Wholesale: Products & Services

All Archived Product/Process CMP's in One File

Open Product/Process CR PC013002-1 Detail

 
Title: Removing Bridge Taps from LADS circuits
CR Number Current Status
Date
Area Impacted Products Impacted

PC013002-1 Denied
3/20/2002
Resale - Private Line
Originator: Worden, Doug
Originator Company Name:
Owner: Houston, Neil
Director:
CR PM:

Description Of Change

Need to have LADS circuits designed with no bridge taps or be able to remove bridge taps.

Modification after Clarification Meeting:

Establish a process to request the removal of bridge-taps.


Status History

01/30/02 - CR Submitted byVanion Inc.

01/30/02 - CR acknowledged by P/P CMP Manager.

02/04/02 - Contacted Doug Worden at Vanion, Inc to schedule meeting time availability for Clarification Meeting.

02/06/02 - Conducted Clarification Meeting with Vanion, Inc.

02/11/02 - Issued Clarification Meeting Minutes to Vanion, Inc.

02/20/02 - CMP Meeting - CLEC Community Clarification held. It was agreed that the CR would move to Evaluation. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02.

03/13/02 - Issued Qwest's Draft Response dated March 8, 2002 to Vanion.

03/20/02 - CMP Meeting - Qwest presented its Draft Response dated March 8, 2002. The participants agreed that the response was a Deny. Qwest to contact Vanion, who was not in attendance, and inform them of their options.

03/22/02 - Formal response dated March 8, 2002 issued to CLECs. Notification CMPR.03.22.02.F.01240.CR_Responses.

03/28/02 - Telephone conversation with Doug Worden, Vanion - Qwest advised that the response was a deny and there was an escalation process he could pursue if he wanted. He indicated that he would let the response go and they were looking into other avenues.


Project Meetings

CLEC Change Request Clarification Meeting

February 6, 2002 9:00 a.m. (MT) Conference Call 877-564-8688 PC013002-1, Removing Bridge Taps from LADA Circuits

Attendees:

Ric Martin, Qwest Neil Houston, Qwest Jeff Cook, Qwest Cindy Buckmaster, Qwest (Part Time) Steve Kast, Qwest (Follow-up conference call) Doug Worden, Vanion, Inc.

Introduction of Attendees Introductions of the participants on the Conference Call were made and the purpose of the call discussed.

Review Requested (Description of) Change Doug advised that on LADA Circuits, which are for low speed data, but can handle high speed they want the ability to request the removal of bridge taps is requested. Doug clarified that LADA was 2-wire dry pair cable. Qwest indicated that this was data/data non-load service. It was clarified that this was for point to point service passing through the same wire center. Doug indicated that he had no way to order repair and provided an example of where Qwest moved a pedestal and added a bridge-tap, which has disrupted a customer’s service. Doug clarified that for this service Vanion was reselling Private Line services for High-Speed data. He also indicated that Vanion was also a Facility Based CLEC. Cindy Buckmaster joined the call and explained the Line Condition that can be ordered for UBL. However, she indicated that we need to review what was offered for Resale Qwest unable to bring Freddie Pennington, Wholesale Product Manager for Resale, into the call. Qwest indicated that they would coordinate internally and may get Doug back on an additional clarification meeting. Doug indicated that it was OK to have the CR follow the normal process, but wanted Qwest to investigate his trouble ticket CD328473 which was closed and was escalated. Doug advised that Steve Kast, Vanion Service Manager, was involved. Qwest advised that if they caused the problem and were responsible to fix it, they would look into it further. Note: it was clarified further with Doug Worden, Steve Kast and Ric Martin that Qwest was not committing to correcting the problem, but would look into it further to see if there was anything else that could be done.

Confirm Areas & Products Impacted It was confirmed that the product was for Resold Private Line . Confirm Right Personnel Involved Network personnel would be involved, but it was agreed that Process person should be the Owner. Qwest will coordinate.

Identify/Confirm CLEC’s Expectation It was confirmed that Vanion was looking for a process to request the removal of a bridge tap.

Identify any Dependent Systems Change Requests None

Establish Action Plan (Resolution Time Frame) Qwest will look into the Trouble Ticket Qwest will coordinate internal reviews of the CR.


CenturyLink Response

March 8, 2002

Vanion, Inc. Doug Worden Provisioning Manager

SUBJECT: Qwest’s Change Request Response - CR #PC013002-1 Removing Bridged Taps from LADS circuits

This letter is in response to Vanion Inc.’s Change Request PC013002-1 requesting a process for CLECs to request the removal of Bridge Taps from Local Area Data Service (LADS) circuits.

Local Area Data Service (LADS) is ordered in the Colorado Tariffs. Specifically LADS is offered in “Private Line Transport, Services Tariff, COLO. P.U.C. No. 19, Section 5.2”. LADS is described in Section 5.2.4, A.:

Service is offered only for balanced transmission of data signals conforming to the signal power limitations and other parameters specified in the applicable Technical Reference. These circuits are furnished on either a two-wire or four-wire basis, over non-loaded, metallic cable facilities.

Note the facility is non-loaded, but no reference is made to Bridged Tap. Additionally Section 5.2.4, C., 4. states:

No repair will be performed to change the electrical characteristics of the circuit, if they are within the parameters specified in the Technical Publication.

The General Regulations section of COLO. P.U.C. No. 19, Section 2.1.8 states:

It is expressly declared that metallic facilities are in continually decreasing supply and the Company is not obligated to continue to provide such facilities. Due to facility rearrangements, continued use of metallic facilities may be denied to existing customers with no obligation on the Company’s part to pay customer rearrangement costs.

As referenced above, Qwest’s Technical Publication 77314, Local Area Data Service (LADS), Issue C, July 2001 supports the Colorado Tariff on LADS. In addition to qualifying the LADS technical parameters, the General Section 1. states:

The customer should also be aware that Qwest has no obligation to continue to provide this service if suitable facilities are no longer available. Non-availability of suitable facilities may be caused by the continuing need to add new central offices and to transfer areas between serving wire centers, and the increasing use of Digital Loop Carrier technology on lines between the serving wire center and customer locations.

Vanion has stated that their high-speed data has deteriorated with changes in Qwest’s Network, allegedly from the addition of bridged tap to the circuit. LADS is not designed for high-speed data transmission and is not dependent upon the absence of bridged tap. As referenced above, in the Colorado Tariff and Technical Publication 77314, facility rearrangements could impact existing service. Also, as long as the service is within its technical parameters, repair is not required and will not be performed.

Qwest offers a variety of Unbundled Loop products that should meet Vanion’s transmission requirements. These include 2/4/ Wire Non-Loaded Loop, Basic ISDN Capable Loop, DS-1 Capable Loop, and the ADSL Qualified Loop.

Qwest will provide Vanion LADS service as described in its tariffs and technical publications. However, since LADS is not a high speed data service, Qwest declines to initiate a process to remove bridged tap from LADS and respectfully denies Vanion, Inc’s change request.

Sincerely,

Neil G. Houston Staff Advocate-Policy & Law Qwest

Cc: Mary Retka Kathleen Lucero Barry Orrel Jamal Boudhaouia


Open Product/Process CR PC061302-1 Detail

 
Title: Process for ordering Megabit DSL service to connect to Mega Central hubs now installed.
CR Number Current Status
Date
Area Impacted Products Impacted

PC061302-1 Denied
8/21/2002
Pre-Ordering, Ordering, Provisioning Private Line (Megabit DSL Lines)
Originator: Worden, Doug
Originator Company Name:
Owner: Van Dusen, Janean
Director:
CR PM:

Description Of Change

Need to be able to order a new line and megabit service on the same order (LSR) and know that the circuit will be conditioned to provide the DSL service. Without having to do line sharing. Especially when the CO offers MegaBit DSL and the customer has existing lines that already qualify for DSL.


Status History

06/12/02 - CR Submitted by Vanion.

06/13/02 - CR acknowledged by P/P CMP Manager.

06/13/02 - Contacted Vanion to coordinate available times for clarification meeting.

06/18/02 - Conducted Clarification Meeting with Vanion, Inc.

06/25/02 - Issued Clarification Meeting minutes to Vanion. Inc.

07/17/02 - CMP Meeting - Meeting minutes posted to this CR's Project Meetings section. CR status "Clarification" was not changed.

08/14/02 - Issued Qwest's Draft Response dated August 12, 2002 to Vanion.

08/21/02 - CMP Meeting - Qwest presented its Draft Response dated August 12, 2002. Vanion was not present. Qwest will confirm deny response with Vanion. Minutes on this CR to be posted to the Project Meetings section.

08/22/02 - Confirmed with Doug Worden that Qwest's response was a deny. He expressed concern that he was really looking for line conditioning on a POTS line before ordering. Ric Martin advised that the response referenced a previous CR for that request, which was denied. He understood Qwest's response.


Project Meetings

08/21/02 August CMP Monthly Meeting Minutes

Qwest advised that since Vanion was not on the call, Qwest would get with Vanion independently to go over the response. Qwest reviewed its draft response with the CLEC participants. Eschelon asked how many calls does the retail customer have to make to get DSL. Qwest advised that one call is made and Qwest follows up with the customer after POTS is in service. Eschelon stated that CLECs do not get a follow-up call and the retail customer doesn’t have to call back to get DSL. Qwest confirmed that comment. Eschelon asked if this was a deny and Qwest confirmed that it was.

07/17/02 - July CMP Meeting Minutes: Vanion had to leave the CMP meeting early and asked that their CR be rolled over to the August CMP meeting for presentation. CR status is clarification.

CLEC Change Request Clarification Meeting

June 18, 2002, 11:30 a.m. (MT) Conference Call 877-564-8688 PC061302-1, Process for ordering Megabit DSL service to connect to Mega Central Hubs now installed.

Attendees: Ric Martin, Qwest Cindy Buckmaster, Qwest Jeff Cook, Qwest Steve Kast, Qwest Doug Worden, Vanion, Inc. Becky Watson, Vanion, Inc.

Introduction of Attendees Introductions of the participants on the Conference Call were made and the purpose of the call discussed

Review Requested (Description of) Change Doug reviewed Vanion’s CR. He indicated that they wanted to put in one order (LSR) for Megabit DSL service and POTS. Becky clarified that Vanion was not collocated in Qwest facilities and was not interested in the Line Sharing product. They wanted to order on the customer’s behalf. They would like to order a 1FB with DSL. They want to be able to take the customer out of dealing with Qwest. Becky indicated they currently can’t offer the DSL product because it’s a moving target on whether facilities would be available. Cindy indicated that data would not be available only if the facility can’t support it. Becky confirmed they were only interested carrying data and having Qwest as the voice provider. Cindy clarified that Vanion is looking to be able to provision the POTS circuit on copper cable versus pair gain capable to allow data service.

Confirm Areas & Products impacted It was confirmed that the area impacted was Pre-Ordering, Ordering and Provisioning. The product impacted are Resale POTS and Megabit DSL.

Confirm Right Personnel Involved Qwest indicated that they would need to include their Resale SMEs, Janean Van Dusen and Stacy Hartman.

Identify/Confirm CLEC’s Expectation Vanion’s expectation is to be able to place one LSR and be able to provision DSL on the POTS line ordered.

Identify any Dependent Systems Change Requests There are no related Systems CRs. Qwest advised that there was a similar CR issued by Eschelon, PC122701-2. Qwest requested Vanion to review the Archive Interactive Report for the CR and Qwest’s response.

Establish Action Plan (Resolution Time Frame) The CR will have the collective CLEC clarification and SME input at the July CMP meeting.


CenturyLink Response

August 12, 2002

Doug Worden Provisioning Manager Vanion, Inc.

SUBJECT: Qwest’s Change Request Response - CR #PC061302-1 Process for ordering Megabit DSL service to connect to Mega Central hubs now installed

This letter is in response to Vanion’s Change Request PC061302-1 requesting that they be allowed to place one LSR and be able to provision DSL on the POTS line ordered.

Vanion’s Change Request is similar to two (2) previously submitted Change Requests, PC122701-1, Qwest to offer line conditioning to qualify a loop for Qwest resale DSL service, and PC122701-2, Qwest to allow 1FB POTS and DSL on one LSR.

Qwest’s response to the two previous Change Requests was that basically the service was not offered to Qwest Retail customers and, therefore, was not going to be offered to Resale customers. Qwest’s responses to each CR can be reviewed in Qwest’s Product/Process CR Archive Report located at URL http://www.qwest.com/wholesale/cmp/archive.html. After additional review, Qwest’s position remains the same. It is not technically and economically feasible for Qwest Retail to offer this service at this time. Qwest does not offer pre-qualification of facilities for DSL prior to the end user’s line being in place. Current process for Retail and Resale is that two (2) orders must be issued. One (1) for the POTs and one (1) for the DSL once the POTS line is loop qualified.

At last month's CMP meeting, there was a question on the Retail process for ordering POTS and DSL. The Retail process does require 2 orders, whether it is an N (new) order or a T (transfer) order. If the end user is interested in DSL, then after the N or T order is installed, a Loop qualification is done on the N (telephone number) or the T (telephone number) and the end user is contacted to place the 2nd order, which would be a C (change) order to add the DSL service.

Sincerely,

Janean Van Dusen (801) 239-4305

Cc:


Open Product/Process CR PC062602-2 Detail

 
Title: Rejects on CLEC to CLEC Reuse of Facilities orders for no circuit IDs found
CR Number Current Status
Date
Area Impacted Products Impacted

PC062602-2 Completed
4/15/2009
Ordering, Provisioning LNP, Unbundled Loop, UNE, Loop
Originator: Mendoza, Lori
Originator Company Name: Allegiance
Owner: Urevig, Russell
Director:
CR PM: Thomte, Kit

Description Of Change

While there is a process in place to be able to submit CLEC to CLEC reuse of facilities orders without providing circuit ID information, 90% of the orders submitted by Allegiance since late May 2002 are being rejected for various erroneous and invalid reasons regarding the circuit ID information. While working through these rejected orders with Russ Urveig, it was discovered that the process currently in place for Qwest’s SDCs to find working circuits needs to be redesigned, job aides need to be changed, and the SDCs need more training. While Allegiance received rejects for “no working circuits at end user address”, “unable to validate address to find circuits that are working”, and “these numbers on this LSR are ported to XXX Company” – Russ was able to locate working, reusable UNE DS0 Circuits.

While some of the rejects proved out that there were no reusable UNE DS0 circuits, the reject reasons did not clearly state the true circumstances. For example one reject stated “no working circuits found”. When further researched, it was found that there were indeed working circuits there but the only working circuits for the End User were DS1s.

Allegiance would also like to collaboratively work with Qwest and other CLECs to establish clear, definitive reject reasons for CLEC to CLEC reuse of facilities orders to insure that all resources available to the SDCs have been utilized to find working circuits. When Allegiance submits CLEC to CLEC reuse of facilities orders, we already have obtained a CSR from the CLEC so we know the numbers we are porting are indeed working on some kind of circuit. These reject reasons should be clear enough to insure the CLEC that there are indeed no working UNE DS0 circuits to reuse. As stated above some of the orders rejected did indeed have available working UNE DSO circuits that could be reused. Allegiance currently does not have confidence that the SDC’s reject reasons are valid and their training is adequate to locate reusable UNE DS0 circuits. In many instances we are having to drop new loops in order to take the customer when there are reusable loops available. Installing new loops is more expensive, more time consuming for the cut over, and there is the risk the orders will be held for lack of facilities. The ability to “reuse” facilities is less expensive, the cut over process is less time consuming, and the end user has less down time.

Expected Deliverable:

Clear, definitive reject reasons that the CLECs can rely on that all resources were utilized to “find” working UNE DS0 circuits for CLEC to CLEC reuse of facilities orders.


Status History

06/26/02 - CR Submitted by Allegiance.

06/26/02 - CR acknowledged by P/P CMP Manager

06/28/02 - CR Posted to Web

07/01/02 - Clarification meeting scheduled

07/03/04 - Clarification meeting held

07/10/02 - Meeting minutes distributed to Allegiance

07/17/02 - CMP Meeting - Meeting minutes posted to this CR's Project Meetings section. CR status remains as "Clarification"

08/06/02 - Held additional session with Allegiance regarding comment and scenarios associated with reject reasons

08/14/02 - Sent Draft Response to Allegiance

08/21/02 - August CMP Meeting - Meeting minutes posted to this CR's Project Meetings section and the CMP Web site. The CR status changed to "CLEC Test"

09/18/02 - September CMP Meeting - Status remains as "CLEC Test" Meeting minutes posted to this CR's Project Meetings section and the CMP Web site.

10/03/02 - Contacted Alex with Allegiance to inform him of action item that Allegiance had from the September Product and Process meeting.

10/16/02 -October CMP Meeting: This CR will remain in "CLEC Test" Meeting minutes posted to this CR's Project Meetings section and the CMP Web site. Approval given to close this off line with concurrence from Lori at Allegiance.

10/18/02 - Contacted Allegiance to follow up on potential closure of this CR.

10/23/02- Received message from Allegiance that this CR could be closed based on information that Lori had received from within Allegiance.


Project Meetings

Qwest requested that Allegiance research to determine if Allegiance personnel is receiving the comments that were agreed to. Attendees agreed that this could be closed off line if Allegince (Mendoza) agreed.

09/18/02 September CMP Meeting The improved comments associated with rejects on CLEC to CLEC Reuse of Facilities were implemented on August 23. The response indicated it was implemented on August 22. Qwest will update the status history to reflect the actual date. Allegiance (Wicks) indicated they were unaware that the process was underway, Terry will check with his people to find out. Eschelon (Johnson) indicated they had encountered a couple of problems with the process, Russ worked through these issues for them. This CR will remain in “CLEC Test” until the October meeting when it is anticipated that the CR will be updated to "Completed."

- 08/21/02 - August CMP Meeting Minutes Qwest (Urevig) reviewed the three scenarios and comments that are associated with the reject reasons. Allegiance (Wicks) inquired about the second scenarios comments. Are they intended to be two separate or one comment? Qwest indicated that they are two distinct comments. This CR was moved to "CLEC Test".

"Wicks, Terry" , Kathleen Thomte/Mass/USWEST/US@USWEST cc: Cheri Hurless/GROUPWARE/USWEST/US@USWEST

Subject: CR

I wanted to get back to you with the different type of comments we are looking at placing on the rejected CLEC to CLEC migrations request, during our last meeting we determined there were 4 different types of rejects which would require different comment.

1. Wrong type of circuit being requested does not match what was requested by CLEC. 2. Multiple circuits at customer location not all circuits being migrated. 3. No circuits found for migration 4. CLEC to CLEC reuse of facility show detail of which CLEC migration is from (This is probably going to be included in the first scenario).

These are the scenarios and the comments that will reject will contain, I combined the 2 and 3

1. When Qwest finds the circuit at the requested address is NOT the same type of circuit to which the migrate has been requested, the comment remark associated with this will read: Circuits at request address do not match the type of circuit indicated on the LSR for migration. The circuits found are (ex. LX-N or AD--, HCE-, etc)

2. Multiple circuits are found at the requested address, if the number of circuits at the address do NOT match the number of migrations indicated on the LSR. It is very important that the CLEC indicate who the OLSP (old local service provider) is when requesting migration because this will aid in determining whether multiple circuits are really an issue. Qwest will provide these comment remarks for the reject: Multiple circuits have been identified at request address, circuits are currently not those of the indicated OLSP or Multiple circuit have been identified for the OSLP but do not match the number of loops requested for migration.

3. Qwest has searched all available records to identify circuits at end user address, but was NOT able to identify circuit for migration. Qwest will review all data on LSR to obtain circuits to be migrated. Additional data that is recommended to aid in the migration request are: the TN that is being ported to the NLSP’s (new local service provider) switch and the name of the OLSP. If Qwest can NOT find the circuits, the following comment remarks will be provided on the reject: Qwest has search for circuits at the requested address, using the end user name, address, OLSP, and TN provided. Qwest can not find circuits please verify data on LSR for accuracy.

If these cover additional comments or consistent comments will help the CLEC determine the reason for the reject I will place these into the Job aid for Migration then cover this with the SDC's, coaches, SME's and SDC to make sure everyone has the same understanding.

If you have any comments or concerns maybe we can talk or discuss this at the next CMP meeting.

August 12, 2002

Terry Wicks Allegiance Russ Urevig Qwest Kit Thomte Qwest

Notes from follow up meeting: PC062602-2 Rejects on CLEC to CLEC Reuse of Facilities order for no Circuit Ids found. Qwest agreed to hold follow up meeting to collaborate with Allegiance regarding comments associated with reject reasons.

The team agreed that Russ would put together proposed comments for Terry to review. The group also agreed to talk through on the call what the 3-4 scenarios are that exist that could drive the comments.

1. Wrong type of circuit being requested does not match what was requested by CLEC. 2. Multiple circuits at customer location not all circuits being migrated. 3. No circuits found for migration 4. CLEC to CLEC reuse of facility show detail of which CLEC migration is from (This is probably going to be included in the first scenario).

The team agreed that Russ would put together scenarios and new comments for Terrys review.

07/17/02 - July CMP Meeting Minutes: Allegiance (Wicks) reviewed the CR and indicated that his representatives were not using the prescribed process. When analyzed he discovered that the reject reasons did not really make sense. Through discussions with Qwest it appeared that our SDC need access to a special database. Qwest and Allegiance will review the reject reasons to help clarify them. Qwest will provide an initial response prior to the August meeting. This CR will carry a “Clarification” status

Date: July 3, 2002 Place: 1005 17th St Room 1770-C Call-In No.: 877 550-8686 PC062602-2 CR No.:PC062602-2 CLEC Change Request Clarification Meeting

Attendees Name/Company: Terry Wicks Allegiance Russ Urevig Qwest Debbie Osborne Qwest Neil Houston Qwest Kit Thomte Qwest

Meeting Agenda: Action 1.0 Introduction of Attendees See list above

2.0 Review Requested (Description of) Change Terry Wicks reviewed the CR with the SME from Qwest. Process to find working circuits needs to be re designed and reviewed with personnel. Update reject reasons to be clearer specify scenarios that relate to the reject so the SDC can provide better information to the CLECs.

2.1 Terry believes that a collaborative process should be used to allow input from Allegiance and other CLECs in the development of the error messages. We agreed that we could discuss at the CMP meeting and determine the level of interest. 2.2 Terry presented an example that the SMEs reviewed to ensure a level of understanding for the problem. 2.3 Qwest inquired about what changed in May 2002 that seemed to impact thee errors. Allegiance clarified that was when they discovered that the process was not being used.

3.0Confirm Areas & Products impacted 3.1CLEC to CLEC migrations Qwest wanted to clarify that this was a specific issue associated with one product (UNE). And not a global issue. Allegiance indicated it was not global. Qwest inquired about what changed in May 2002 that seemed to impact thee errors. Allegiance clarified that was when they discovered that the process was not being used. 4.0Confirm Right Personnel Involved 4.1Russ Urevig will have the lead on this CR. Neil will stay involved as required.

5.0 Identify/Confirm CLEC’s Expectation 5.1Ensure that Qwest personnel understand the process and are trained. Improve the reject remarks to be more specific to scenarios thus providing the CLECs a better idea of the problem.

6.0Identify any Dependent Systems Change Requests 6.1 None apply

7.0 Establish Action Plan 7.1 No systems are impacted the time frame would be dependent on the participation of the CLEC in the meeting and the timing of updating the documentation. 7.2


CenturyLink Response

August 12, 2002

Terry Wicks, LEC Manger Allegiance Telecom, Inc

SUBJECT: Qwest’s Change Request Response - CR # PC062602-2 Rejects on CLEC to CLEC Reuse of Facilities orders for no circuit IDs found

This is in response to the request from Allegiance where as Allegiance would like to collaboratively work with Qwest to establish clear, definitive reject comment reasons for CLEC to CLEC reuse of facilities orders to insure that all resources available to the SDCs have been utilized to find working circuits.

After meeting with Terry Wicks several times to discuss the application of the comment remarks that are associated with the reject for CLEC to CLEC migration, we have clarified the comments and have modified the comments as set forth below to address the following scenarios.

1. When Qwest finds the circuit at the requested address is NOT the same type of circuit to which the migrate has been requested, the comment remark associated with this will read: Circuits at request address do not match the type of circuit indicated on the LSR for migration. The circuits found are (ex. LX-N or AD--, HCE-, etc)

2. Multiple circuits are found at the requested address, if the number of circuits at the address do NOT match the number of migrations indicated on the LSR. It is very important that the CLEC indicate who the OLSP (old local service provider) is when requesting migration because this will aid in determining whether multiple circuits are really an issue. Qwest will provide these comment remarks for the reject: Multiple circuits have been identified at request address, circuits are currently not those of the indicated OLSP or Multiple circuit have been identified for the OSLP but do not match the number of loops requested for migration.

3. Qwest has searched all available records to identify circuits at end user address, but was NOT able to identify circuit for migration. Qwest will review all data on LSR to obtain circuits to be migrated. Additional data that is recommended to aid in the migration request are: the TN that is being ported to the NLSP’s (new local service provider) switch and the name of the OLSP. If Qwest can NOT find the circuits, the following comment remarks will be provided on the reject: Qwest has search for circuits at the requested address, using the end user name, address, OLSP, and TN provided. Qwest can not find circuits please verify data on LSR for accuracy.

A review of the internal documentation for Qwest has been completed and several changes have been made to streamline the search for unbundled loop circuits. The completed changes and notification to the Wholesale Service Delivery centers will be complete by August 22. The change notifications will be distributed with an MCC, the details of the MCC are the TOPIC is Standardized Comments for CLEC to CLEC Migration Rejects, the SUBJECT is Unbundled Loop, the USER GROUPS AFFECTED are Wholesale. A joint review meeting with the Team Leads, Coaches and SMEs (subject matter experts) will also be held to review the changes and clarify the importance of this process. We have accepted the request to modify the comment remarks on the rejected migration, so that the comments are more standard for the problem encountered. If the Qwest deviates from the standard comments it will be only to provide additional information about that reject.

Sincerely,

Russell Urevig Sr Process Analyst Wholesale Service Delivery


Open Product/Process CR PC062602-3 Detail

 
Title: Cross Reference CLEC Trouble Ticket number on Qwest Trouble Ticket numbers
CR Number Current Status
Date
Area Impacted Products Impacted

PC062602-3 Withdrawn
9/18/2002
Billing, Maintenance/Repair
Originator: Mendoza, Lori
Originator Company Name: Allegiance
Owner: Suellentrop, Craig
Director:
CR PM:

Description Of Change

When Allegiance calls the Qwest Repair Center to open a trouble ticket verbally, we want the CLEC’s internal trouble ticket number to be a required item to be provided to the Qwest representative issuing the Qwest trouble ticket. This will allow for both the Qwest trouble ticket number and the CLEC’s internal trouble ticket number to be cross referenced to each other. Allegiance also wants the CLEC’s internal trouble ticket number to appear on the CLEC’s bill from Qwest for repair and maintenance charges along with the Qwest trouble ticket number. This cross reference of both the Qwest trouble ticket number and the CLEC’s internal trouble ticket number on the bills will allow the CLECs the ability to better reconcile the repair and maintenance charges from Qwest.


Status History

06/26/02 - CR Submitted by Allegiance.

06/26/02 - CR acknowledged by P/P CMP Manager.

06/28/02 - Left voice mail message with T Wicks, Allegiance, for coordinating Clarification meeting on 7/2.

07/02/02 - Conducted Clarification Meeting with Allegiance.

07/03/02 - Issued Clarification Meeting Minutes to Allegiance.

07/17/02 - CMP Meeting - Meeting minutes posted to this CR's Project Meetings section. CR status "Clarification" was not changed.

08/08/02 - Issued Mailout Notification to CLECs advising that the CR will be reviewed with other similar CRs. Notification CMPR.08.08.02.F.01312.Mtg_Proposal.

08/14/02 - Issued Qwest's Draft Response dated August 13, 2002 to Allegiance.

08/19/02 - Issued Mailout Notification to CLECs confirming the Synergy Meeting for Multiple Trouble Ticket and Billing CRs scheduled for 8/27/02, 2:00 pm MT. Notification CMPR.08.19.02.F.01317.CMP_CR_Mtg.

08/21/02 - CMP Meeting - Qwest presented its Draft Response dated August 13, 2002. This CR to be included for discussion in the CLEC conference call scheduled for 8/27. Minutes on this CR to be posted to the Project Meetings section. Status was changed to Evaluation

8/27/02 - CR included in the Synergy Meeting for Multiple Trouble Tickets & Billing CRs. See Meeting Notes in Attach O, Sept Systems CMP Package.

08/30/02 - Conducted additional clarification call with Allegiance to discuss the manual and system aspects of their CR.

09/11/02 - Issued Qwest's revised response dated September 10, 2002 to Allegiance.

09/18/02 - CMP Meeting - Qwest presented its revised response dated September 10, 2002. Minutes on this CR to be posted to the Project Meetings section. Allegiance agreed to withdraw the CR with a Global Action Item being opened to address their request to modify the current spreadsheet they receive with trouble ticket information. Qwest agreed. The CR will be status as Withdrawn


Project Meetings

09/18/02 September CMP Monthly Meeting Minutes

Allegiance advised they would withdraw this CR which will be satisfied with the System CR’s, providing Qwest opens a Global Action Item to research if a column with their Trouble Ticket Number could be added to the current spreadsheet they receive from their Service Manager. Qwest advised that they are looking into this action item. Qwest expressed that development of the spreadsheet is a complicated process. No participating CLEC indicated that they wanted to assume sponsorship of this CR. The CR will be status Withdrawn and a Global Action Item will be opened.

--

08/30/02 Conference Call

Ric Martin and Craig Suellentrop, Qwest, held a conference call with Terry Wicks, Allegiance to discuss the manual and system aspects of their CR. Qwest advised that the system aspect of Allegiance’s CR would be covered under the resultant Systems CR from combining the various System CRs on Trouble Tickets and Repair Charges. Qwest advised that the Systems resolution would look at the “Input” aspect (CEMR and MEDIACC) of getting CLEC Trouble Tickets and the “Output” aspect (Bill) of cross-referencing trouble tickets and Circuit IDs, etc. Allegiance was in agreement with the handling of the systems aspect of their CR. Qwest explained that there might be something that could be done on the manual process aspect, but there wouldn’t be any meaningful output until the systems fix was accomplished. Qwest indicated that they would still pursue the manual aspect if Allegiance were interested in this. Allegiance indicated that they didn’t want Qwest to duplicate efforts on a manual and systems fix. Allegiance asked if Qwest would look into modifying the spreadsheet they get from their Service Manager to include their internal Ticket Number. Qwest advised that they would open a Global Action Item to look at this and asked Allegiance to send an e-mail with a copy of the spreadsheet and details on what they would like included and at the September CMP meeting we would discuss the disposition of their CR.

08/21/02 August CMP Monthly Meeting Minutes

Qwest reviewed its draft response and advised that this CR would be reviewed in conjunction with other CRs related to trouble tickets, repair charges, etc. scheduled for August 27, 2002. The CLEC participants agreed to have this CR reviewed at that meeting. Qwest clarified that a manual process could be developed to request the CLEC trouble ticket, but it would be input into the remarks field that doesn’t have any sorting capability. Allegiance indicated that they currently receive a spreadsheet with the Qwest trouble ticket identified and asked if Qwest couldn’t put Allegiance’s ticket number on the spreadsheet. Qwest confirmed that the spreadsheet is created from a Web site and maintained by Nancy Tangeman.

07/17/02 - July CMP Meeting Minutes: Allegiance introduced their Change Request. Qwest stated the need is to create a process to capture the information Allegiance has requested. CR status is evaluation.

CLEC Change Request Clarification Meeting

July 2, 2002 9:00 a.m. (MT) Conference Call 877-564-8688 PC062602-3, Cross Reference CLEC Trouble Ticket number on Qwest Trouble Ticket Numbers

Attendees: Ric Martin, Qwest Lynn Stecklein, Qwest Craig Suellentrop, Qwest Alice Matthews, Qwest Terry Wicks, Allegiance

Introduction of Attendees Introductions of the participants on the Conference Call were made and the purpose of the call discussed

Review Requested (Description of) Change Terry indicated that this CR was different than the Systems CR that has to do with the CEMR update. Allegiance does not use CEMR and call in their trouble to the AMSC. Allegiance wants to be able to call tickets in, provide their internal number, have it cross referenced with Qwest’s number and to have their internal number show up on the bill. Terry indicated that they would like to see a process change that would require Qwest to get an Internal Ticket number from the CLEC before they open up a trouble ticket. Terry indicated that they intend to e-bond with MEDIACC in the future, which allows them to electronically report trouble without making a phone call. Craig confirmed that the trouble tickets called in are entered into WFA-C and Qwest would need to look into what the flow through systems are. Additionally Qwest will need to look into what is needed to have Allegiance’s ticket number appear on the bill. Terry indicated that no matter how we open up a ticket, the cross-reference to the CLEC Ticket on the bill is what matters. Terry will look into how e bonding to MEDIACC would be communicated and if there is a field currently that would allow this. He will look into whether a systems CR would be required for MEDIACC.

Confirm Areas & Products impacted It was confirmed that the area impacted was Billing and Maintenance & Repair. The product impacted is UBL.

Confirm Right Personnel Involved Qwest confirmed that Craig would remain the SME for now.

Identify/Confirm CLEC’s Expectation Terry confirmed that they were looking for: 1. A process to have the AMSC not open a trouble ticket without first getting a CLEC internal trouble ticket. 2. Determine best method to get CLEC trouble ticket number on the bill.

Identify any Dependent Systems Change Requests Systems CR SCR030702-1 has to do with CEMR update to include a field for CLEC Trouble Ticket. Systems CR SCR042902-01 has to do with getting the CLEC trouble ticket number onto the bill.

Establish Action Plan (Resolution Time Frame) The CR will have the collective CLEC clarification and SME input at the July CMP meeting.


CenturyLink Response

September 10, 2002

Terry Wicks LEC Manager Allegiance Telecom, Inc.

SUBJECT: Qwest’s Revised Change Request Response - CR PC062602-3 “Cross Reference CLEC Trouble Ticket number on Qwest Trouble Ticket numbers.”

This CR requests that “the CLECs internal trouble ticket number to be a required item to be provided to the Qwest Representative issuing the Qwest trouble ticket. This will allow for both the Qwest trouble ticket number and the CLECs internal trouble ticket number to be cross referenced to each other.” Allegiance would also like the CLEC’s trouble ticket number to appear on bills for maintenance and repair charges.

Because of the large number of Charge Requests related to Maintenance and Repair, a meeting was held on August 27, 2002 to discuss possible synergies between the various CRs. As a result of this meeting and further consultation with Allegiance on August 30, 2002, it was determined that the system CRs SCR030702-1 – CLEC Trouble Ticket Cross Reference and SCR042902-01 – Use CLEC Internal Repair Ticket number on CLEC bill to identify maintenance and repair charges would address the concerns raised by this CR relating to cross-referencing trouble ticket numbers and CLEC trouble ticket numbers appearing on the bill. Allegiance agreed that a separate manual process would not be required with the development of the system enhancements covered by these CRs.

Allegiance also raised an issue concerning a spreadsheet they receive from their Qwest Service Manager that contains all of the TOK and NTF tickets. Allegiance would like to see their trouble ticket number on this spreadsheet. Qwest and Allegiance agreed that this issue could be pursued as a Global Action Item and that Qwest will continue to investigate this issue.

Sincerely,

Craig Suellentrop Staff Advocate, Policy & Law Qwest

Cc: Mary Retka, Director-Legal Issues, Qwest Catherine R. Garcia, Senior Process Analyst, Qwest Alice Matthews, Senior Process Analyst, Qwest Dan Busetti, Lead IT Analyst, Qwest

--

August 13, 2002

Terry Wicks LEC Manager Allegiance Telecom, Inc.

SUBJECT: Qwest’s Change Request Response - CR PC062602-3 “Cross Reference CLEC Trouble Ticket number on Qwest Trouble Ticket numbers.”

This CR requests that “the CLECs internal trouble ticket number to be a required item to be provided to the Qwest Representative issuing the Qwest trouble ticket. This will allow for both the Qwest trouble ticket number and the CLECs internal trouble ticket number to be cross referenced to each other.” Allegiance would also like the CLEC’s trouble ticket number to appear on bills for maintenance and repair charges.

The current repair process for Designed Services allows a CLEC to offer the CLEC trouble ticket number to the Qwest representative opening the Qwest trouble ticket. The CLEC trouble ticket number will be entered into a remark field. This field is not “searchable” and does not appear on CLEC bills. This option is not available for Non-Designed Services. Qwest would agree to a process change to ask all CLECs for their internal trouble ticket number, but without systems changes this would not address the majority of Allegiance’s concerns.

Open System CR’s SCR030702-1 – CLEC Trouble Ticket Cross Reference and SCR042902-01 – Use CLEC Internal Repair Ticket number on CLEC bill to identify maintenance and repair charges also would require a very similar process. A meeting will be scheduled for late August to discuss the similarities between these and some other CR’s involving maintenance and repair. Further clarification and direction for this CR will be determined after this meeting.

Sincerely,

Craig Suellentrop Staff Advocate, Policy & Law Qwest

Cc: Mary Retka, Director-Legal Issues, Qwest Catherine R. Garcia, Senior Process Analyst, Qwest Alice Matthews, Senior Process Analyst, Qwest


Open Product/Process CR PC062602-1 Detail

 
Title: Circuit IDs on CLEC to CLEC Reuse of Facilities orders
CR Number Current Status
Date
Area Impacted Products Impacted

PC062602-1 Completed
10/23/2002
Ordering, Provisioning Unbundled Loop, UNE Loop
Originator: Mendoza, Lori
Originator Company Name: Allegiance
Owner: Urevig, Russell
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Allegiance wants the capability to get CLEC circuit ID information from Qwest on UNE DS0 loops prior to submitting a CLEC to CLEC reuse of facilities order. If Qwest Retail wants to reuse facilities when porting a customer from a CLEC back to Qwest, they have the capability to “look up” circuit ID information. Qwest Retail does not have to get this information directly from the CLEC, thus the ability to access circuit ID information speeds up their process of submitting orders to Wholesale and eliminates rejects for “bad or missing” circuit IDs. Giving the CLECs a process to obtain CLEC circuit ID detail up front for reuse orders, will allow the CLECs the same parity in submitting accurate orders in a timely manner. This capability will also allow more frequent use of the CLEC to CLEC reuse of facilities process. In many instances, some CLECs that are loosing a customer will not provide circuit ID information to the winning CLEC, thus inhibiting the process of reusing the facilities. When facilities are not reused and the CLEC submits new loop orders, the results may be held orders for lack of facilities. Also installing new loops is much more expensive.

While there is a process in place to be able to submit CLEC to CLEC reuse of facilities orders without providing circuit ID information, 90% of the orders submitted by Allegiance since late May 2002 are being rejected for various erroneous or unclear reasons regarding the circuit ID information. (I will be addressing that issue in a separate change request.) Allegiance believes that having this additional capability, will greatly enhance our ability to get reuse orders successfully processed and in a more timely manner.

Expected Deliverable:

A process for CLECs to be able to request Circuit IDs up front for CLEC to CLEC reuse of facilities orders that is in parity with Retail’s capability to get such circuit IDs before placing a reuse order for UNE DS0 loops.


Status History

06/26/02 - CR Submitted by Allegiance.

06/26/02 - CR acknowledged by P/P CMP Manager.

06/28/02 - CR Posted to Web

07/02/02 - Contacted Terry Wicks and set up clarification call for July 8, at 9:00 a.m.

07/08/02 - Clarification call was held

07/10/02 - Clarification meeting minutes sent to Allegiance

07/17/02 - CMP Meeting - Meeting minutes posted to this CR's Project Meetings section. CR status was changed to Clarification.

08/14/02 - Issued Qwest draft response to Terry Wicks at Allegiance

08/21/02 - CMP Meeting - Qwest presented its draft response dated 8/13/02. Minutes on this CR to be posted to the Project Meetings section.

09/12/02 - Issued revised Qwest draft response dated 9/10/02 to Terry Wicks at Allegiance

09/18/02 - September CMP Meeting - Qwest presented revised response. CR will stay in Development. Meeting minutes will be posted to this CR's Project Meetings section

10/10/02 - Issued revised Qwest draft response dated 10/8/02 to Alex Pantazis at Allegiance

10/16/02 - October CMP Meeting - Minutes on this CR to be posted to the Project Meetings section. CR will move to CLEC Test status.

10/23/02 - Lori Mendoza notified Qwest that CR should be moved Completed status.

10/28/02 - Issued Qwest Revised Response dated 10/8/02 to Lori Mendoza at Allegiance.


Project Meetings

10/16/02 October CMP Meeting Russ Urevig with Qwest reviewed the revised response dated 10/8/02. Lori Mendoza with Allegiance asked what they should do if unable to determine the circuit ID using the RLD Query. Russ said that the RLD Query must have a valid address and suite number. If no response from RLD Query then send in the LSR to Qwest. Qwest does accept LSRs for CLEC to CLEC migration without circuit ID information. This CR will be updated to CLEC test status and will look to close in November.

09/18/02 September CMP Meeting Qwest reviewed its draft response and summarized the September 4th conference call with Allegiance, walking through Raw Loop Data Tool. When the end user location was a single tenant address the circuit ID was produced. When the end user location was a multi-tenant address, the circuit ID was produced when the suite number was included and when the suite number was in PREMIS database. Allegiance appreciated the assistance with RLD, and, said that providing the circuit ID will get migration orders through the first time with fewer rejects. This CR will stay in development status while determining the tool for CLEC’s to obtain circuit IDs is identified. Eschelon asked if Qwest is not able to come to a systems solution, would a single point of contact be implemented for CLEC’s. Qwest responded that such a solution may be entertained but it was more likely that a mechanized process would be identified.

-- 08/21/02 - August CMP Meeting Minutes: Qwest reviewed its draft response. Allegiance would like to walk through on the phone with Qwest and use Raw Loop Data Tool. Eschelon asked how to identify which CLEC owns the circuit. Qwest stated that the RLDT will provide the circuit ids and that retail and CLECs rely on Qwest Wholesale to identify the local provider. Allegiance indicated they would like to move this CR into development.

07/17/02 - July CMP Meeting Minutes: Allegiance presented their Change Request. Qwest stated that current tools will be reviewed for their capability to look at curcuit IDs in conjunction with end user addresses, including specific addresses that have suite numbers. CR status is clarification

Time/Date: 9:00 a.m. (MDT) / Monday, July 8, 2002 Place: Conference Call Conference: TEL: 877.521.8688 Call-In No: CODE: 7901848 CR No: PC062602-1" Circuit IDs on CLEC to CLEC Reuse of Facilities orders"

Attendees: Terry Wicks, Allegiance Russ Urevig, Qwest Neil Houston, Qwest Bob Mohr, Qwest Michael Keegan, Qwest

Introduction of Attendees Attendees introduced. Review Requested (Description of) Change Description: Allegiance wants the capability to get CLEC circuit ID information from Qwest on UNE DS0 loops prior to submitting a CLEC to CLEC reuse of facilities order. If Qwest Retail wants to reuse facilities when porting a customer from a CLEC back to Qwest, they have the capability to "look up" circuit ID information. Qwest Retail does not have to get this information directly from the CLEC, thus the ability to access circuit ID information speeds up their process of submitting orders to Wholesale and eliminates rejects for "bad or missing" circuit IDs. Giving the CLECs a process to obtain CLEC circuit ID detail up front for reuse orders, will allow the CLECs the same parity in submitting accurate orders in a timely manner. This capability will also allow more frequent use of the CLEC to CLEC reuse of facilities process. In many instances, some CLECs that are loosing a customer will not provide circuit ID information to the winning CLEC, thus inhibiting the process of reusing the facilities. When facilities are not reused and the CLEC submits new loop orders, the results may be held orders for lack of facilities. Also installing new loops is much more expensive.

While there is a process in place to be able to submit CLEC to CLEC reuse of facilities orders without providing circuit ID information, 90% of the orders submitted by Allegiance since late May 2002 are being rejected for various erroneous or unclear reasons regarding the circuit ID information. (I will be addressing that issue in a separate change request.) Allegiance believes that having this additional capability, will greatly enhance our ability to get reuse orders successfully processed and in a more timely manner.

Discussion: Allegiance stated they cannot force a CLEC to provide circuit ID information. Allegiance is dependent on Qwest to provide this information. Reuse of facilities benefits both the CLEC and Qwest. Qwest stated that the current tools will be reviewed for their capability to look at circuit IDs in conjunction with end user addresses. Confirm Areas & Products Impacted Areas Impacted: Ordering, Provisioning Products Impacted: Unbundled Loop, UNE Loop Confirm Right Personnel Qwest confirmed the correct personnel were on the call.

Identify/Confirm CLEC’s Expectation A process for CLECs to be able to request Circuit IDs up front for CLEC to CLEC reuse of facilities orders that is in parity with Retail’s capability to get such circuit IDs before placing a reuse order for UNE DS0 loops. Identify any Dependent Systems Change Requests None Establish Action Plan (Resolution Time Frame) Allegiance can present this Change Request to the CLEC community at the July Product/Process CMP meeting scheduled for July 17 Qwest will issue draft response to this Change Request by Aug 14 (one week prior to the Aug 21 CMP meeting). Qwest will discuss the draft response at the Aug 21 CMP meeting.


CenturyLink Response

October 8, 2002

Lori Mendoza LEC Account Manager Allegiance Telecom

SUBJECT:Qwest’s Change Request Revised Response - CR # PC062602-1 Circuit IDs on CLEC to CLEC Reuse of Facilities orders

At the September CMP meeting, Qwest agreed to continue to research the issues, to determine the most suitable path forward in determining circuit ID information to allow the CLECs the ability to get circuit ID information on DSO type loops for CLEC to CLEC migrations.

Qwest has reviewed the current process of obtaining loop circuit ID’s using the Raw Loop Data (RLD) Query for CLEC to CLEC migrations. We find the tool meets the needs of the change request to provide CLECs a process to obtain Loop Circuit ID details for reuse orders. To clarify, the RLD Query can be used as follows: - Enter a valid address, this must be suite or unit specific if address is multi-tenant. - If address is valid, RLD will provide information on all working TN’s or circuits. - If no matches are found for a specific address, RLD will return a message indicating no information found.

When no circuit information is found, proceed with submitting the LSR and Qwest will determine the circuit and migrate the end user as requested.

The current process provides parity with migrations between Wholesale CLEC to CLEC migrations and migrating end users back to Qwest Retail. The work performed, the results and the responses are handled in the same manner between Retail and the CLECs

LSRs for CLEC to CLEC migration do not require that the Circuit ID field be populated. - Qwest will accept the requests for migration without circuit information. - Qwest will research and determine the circuit or circuits at that address. - If the Loop Circuit ID cannot be determined, Qwest will provide a standard remark associated with the reject of a migration request as follows:

1. When Qwest finds the circuit at the requested address is NOT the same type of circuit to which the migrate has been requested, the comment remark associated with this will read: Circuits at requested address do not match the type of circuit indicated on the LSR for migration. The circuits found are (ex. LX-N or AD--, HCE-, etc).

2. Multiple circuits are found at the requested address: If the quantity of circuits at the address do not match the quantity of lines migrating, as indicated on the LSR, Qwest will use the OLSP information provided by the CLEC to try to determine which services will be migrated. It is very important that the CLEC indicate who the OLSP (old local service provider) is when requesting migration because this will aid in determining whether multiple circuits are really an issue. Qwest will provide these comment remarks for the reject: Multiple circuits have been identified at request address, circuits are currently not those of the indicated OLSP or Multiple circuits have been identified for the OSLP but do not match the number of loops requested for migration.

3. Qwest has searched all available records to identify circuits at the end user address, but was not able to identify circuit for migration: Qwest will review all data on the LSR to obtain circuits to be migrated. Additional data that is recommended to aid in the migration request are: the TN that is being ported to the NLSP’s (new local service provider) switch and the name of the OLSP. If Qwest can not find the circuits, the following comment remarks will be provided on the reject: Qwest has searched for circuits at the requested address, using the end user name, address, OLSP, and TN provided. Qwest can not find circuits, please verify data on LSR for accuracy.

- The CLEC should review the reject remarks, validate any issues in question, and re-submit the LSR once the information is found and the LSR is corrected. - Qwest provides a method to escalate questions on rejects or clarification on remarks for rejects.

Sincerely,

Russ Urevig Senior Process Analyst Wholesale Service Delivery


Open Product/Process CR PC071502-1 Detail

 
Title: Include CFA Information on PTA Email Notifications of NDT
CR Number Current Status
Date
Area Impacted Products Impacted

PC071502-1 Completed
12/18/2002
Coordinated Hot Cuts and Regular Cuts LNP, Unbundled Loop, UNE Loop
Originator: Mendoza, Lori
Originator Company Name: Allegiance
Owner: Hendricks, Linda
Director:
CR PM: Thomte, Kit

Description Of Change

Allegiance is requesting that the CFA information be added to the current PTA notifications of NDT. During the testing of the PTA tool notification of NDT, there have been several instances of receiving a notification of NDT that were Qwest errors. When Allegiance has researched these, everything checks out fine. Our translations are correct, and when dispatching our Tech to our Collocation to check the pairs, the pairs are working fine. The issue has been that Qwest has them on the wrong pair and in some instances the service order has been incorrectly issued.

This is resulting in Allegiance spending extra time, effort and money to isolate the NDT issue to the Qwest side. What would resolve this is if the Pair Information was also on the PTA notification next to the telephone number. With this information showing what pairs Qwest is testing to, we can identify the error quicker.

Expected Deliverable:

Receiving the PTA email notifications of NDT with the CFA information provided in addition to PON, TNs and DD


Status History

07/15/02 - CR Submitted by Allegiance

07/15/02 - CR acknowledged by P/P CMP Manager.

07/17/02 - Spoke with Allegiance regarding potential times for meeting

07/22/02 - Held clarification meeting with Allegiance

08/21/02 - This CR is in "Evaluation" status and is alligned with another CR

09/10/02 - Sent Draft Response to Allegiance

09/18/02 - September CMP Meeting: CR status changed to "Development" Meeting minutes will be posted to this CR's Project Meeting section and the CMP Web site.

10/14/02 - Level one notification sent to CLEC community PROS.10.14.02.F.00598.CFA_Email_Notice

10/16/02 -October CMP Meeting: This CR will change "CLEC Test" Meeting minutes posted to this CR's Project Meetings section and the CMP Web site.

11/20/02 - November CMP Meeting: This CR will reamin in "CLEC Test" October CMP Meeting: Meeting minutes posted to this CR's Project Meetings section and the CMP Web site.

12/18/02 - December CMP Meeting: This CR changed to Closed Status in the CMP Meeting. Meeting minutes posted to this CR's Project Meeting section and the CMP Web site.


Project Meetings

12/18/02 December CMP Meeting Qwest (Hendricks) reported that the QCCC is working to ensure they follow the process and Allegiance (Mendoza) reported the process is working as agreed to and it is O.K. to close the CR. This CR will change to Closed status.

11/20/02 November CMP Meeting Qwest (Thomte) indicated that she thought some problems had been identified recently through a comment from Lori Mendoza. Linda Hendricks confirmed that was true. Allegiance (Mendoza) indicated that they were getting CFA on the PTA about 50 percent of the time. Other CLECs indicated they were seeing problems as well. This CR will remain in CLEC Test.

10/16/02 October CMP Meeting Qwest initiated a Level 1 notification (PROS.10.14.02.F.00598.CFAEmailNotice) on October 14 advising the CLEC community that CFA information would be provided on PTA E-mail notifications. This CR moved to “CLEC Test”

09/18/02 September CMP Meeting This CR should be discussed in conjunction with PC050302-1. Qwest provided an updated response indicating this Change Request has been accepted, although it is dependent on the implementation of PC050302-1. Participants agreed that PC071502-1 CR can implement with a Level 1 notice after comments cycle is completed for PC050302-1. This CR will change to "Development"status with agreement to update to "CLEC Test" once Level 1 notice is sent.

08/21/02 - August CMP Meeting Minutes

This CR is dependent on CR PC050302-1. This CR status changed to "Evaluation"

Date: July 22, 200 Place: 1005 17th St Room 1770-C Call-In No.: 877 550-8686 CR No.: CLEC Change Request PC071502-1 Clarification Meeting

Attendees Name/Company: Terry Wicks Allegiance Russ Urevig Qwest Linda Hedricks Qwet Steve Hilleary Qwest Phyllis Sunnins Qwest Kit Thomte Qwest

Meeting Agenda: Action 1.0 Introduction of Attendees See list above 2.0 Review Requested (Description of) Change Terry Wicks reviewed the CR with the SMEs from Qwest. 2.1During the trial that was held in May and June Allegiance investigated situations that resulted in NDT. *One scenario was due to the Service Order being written with information that was different than what appeared on the LSR. *Another scenario was due to the Central Office being wired incorrectly. 2.2Terry indicated that if Allegiance knows up front what CFA Qwest is testing to it allows them to resolve the issue faster. Allegiance can review based on what they passed on the LSR and what Qwest FOCd back. 2.3

3.0 Confirm Areas & Products impacted 3.1 UNE, Unbudled Loop 4.0 Confirm Right Personnel Involved 4. The team agreed that Linda Hendricks would be the respondent Steve will participate, and Phyllis and Russ would have no further action.

5.0 Identify/Confirm CLEC’s Expectation 5.1 Receive notification regarding CFA used in no dial tone situations

6.0 Identify any Dependent Systems Change Requests 6.1

7.0 Establish Action Plan (Resolution Time Frame) 7.1 No systems are impacted the time frame would be dependent on the participation of the CLEC in the meeting and the timing of updating the documentation.


CenturyLink Response

September 5, 2002

Terry Wicks Allegiance

SUBJECT: Qwest’s Change Request Response - CR #PC071502-1 Include CFA Information on PTA Email Notifications of NDT.

This is a preliminary response regarding Allegiance CR PC071502-1 (Include CFA Information on PTA E-Mail Notifications of NDT). As discussed in the August Product & Process Monthly CMP Meeting, this CR is dependent on the outcome of PC050302-1 (Email Notification of No Dial Tone at 48 Hours).

The implementation of Change Request PC050302-1 is being pursued as a CMP Level 3 change as agreed to in the July Product & Process Monthly CMP Meeting. Based upon the issuance of notice PROD.09.05.02.F.00818.AnalogLoop24Wire, Change Request PC050302-1 is currently in a comment cycle.

Upon the implementation of Change Request PC050302-1 Qwest anticipates being able to make changes as described in PC071502-1. Specifically, Qwest expects to be able to include CFA information in addition to PON, TNs and DD in PTA e-mail notifications.

Assuming the successful implementation of e-mail notifications of No Dial Tone (NDT) per Change Request PC050302-1, Qwest would propose to notify the CLEC community of the changes specified in PC071502-1 as a Level 1 change (i.e. “additional information that does not change the product or process”). Qwest will seek concurrence with this approach at the September Product & Process Monthly CMP Meeting.

Sincerely,

Linda Hendricks Lead Project Analyst Qwest


Open Product/Process CR PC072902-1 Detail

 
Title: Request for estimate of cost for extending or moving a DMARC beyond the MPOE prior to doing the work
CR Number Current Status
Date
Area Impacted Products Impacted

PC072902-1 Withdrawn
8/21/2002
Coordinated Hot Cuts and Regular Cuts Unbundled Loop, UNE Loop
Originator: Mendoza, Lori
Originator Company Name: Allegiance
Owner: Tallman, Shirley
Director:
CR PM:

Description Of Change

Allegiance is requesting that Qwest develop a process to give the CLEC the ability to request an estimate of cost for extending or moving a DMARC (NIU) beyond the MPOE prior to placing an order. In other ILEC territories, Allegiance can fill out a form requesting the extention or move of a DMARC beyond the MPOE, and can get an estimate of the cost prior to placing the order. This gives the CLEC an opportunity to know what costs are involved prior to submitting such an order. Currently in Qwest, we don't know what it will cost until the order is processed and the work has been completed. Allegiance is not aware of the cost until after it has been billed to us.


Status History

07/29/02 - CR Submitted by Allegiance

07/30/02 - CR acknowledged by P/P CMP Manager.

07/31/02 - CR Posted to Web

07/31/02 - Received revised CR title and description from Allegiance

07/31/02 - Coordinated Clarification meeting with Terry Wicks, Allegiance.

08/02/02 - Conducted Clarification meeting with Allegiance.

08/05/02 - Issued Clarification Meeting Minutes to Allegiance

08/05/02 - Allegiance provided response to its Action Item from the Clarification Meeting.

08/05/02 - Received comments from Allegiance on meeting minutes and incorporated them into the database.

08/21/02 - CMP Meeting - Allegiance advised that a conference call clarified the NID/Demarc relocation requirements. Allegiance advised that they were withdrawing the CR. No other CLEC opted to sponsor the CR. Minutes on this CR to be posted to the Project Meetings section.


Project Meetings

08/21/02 August CMP Monthly Meeting Minutes

Allegiance advised that they had a conference call with Qwest where it was clarified the difference between requesting an extension of a jack versus a NID/DEMARC. It is Qwest’s policy that CLECs cannot request an extension to a NID/DEMARC and only in Minnesota and Oregon is it mandated that CLECs can request and extension of a Jack. Allegiance advised that based on this clarification, they would like to withdraw their CR. Qwest asked if any other CLEC would like to sponsor the CR and no CLECs expressed an interest. It was agreed that the CR would be status as withdrawn.

-

Subject: RE: CR PC072902-1 Clarification Meeting Minutes Date: Mon, 5 Aug 2002 13:41:39 -0500 From: "Wicks, Terry" To: "'Richard Martin'"

The department that we fax a form to for Southwestern Bell , to get an estimate of cost, is called the LSC (Local Service Center). This is the department that processes our LSRs.

Terry Wicks LEC Account Manager allegiancetelecom, inc 469-259-4438 terry.wicks@algx.com

CLEC Change Request Clarification Meeting

August 2, 2002 10:00 a.m. (MT) Conference Call 877-564-8688 PC072902-1, Request for estimate of cost for extending or moving a DMARC beyond the MPOE prior to doing the work

Attendees: Ric Martin, Qwest Russ Urevig, Qwest Shirley Tallman, Qwest Bob Mohr, Qwest Linda Sanchez-Steinke, Qwest Terry Wicks, Allegiance

Introduction of Attendees Introduction of the participants on the Conference Call was made and the purpose of the call discussed

Review Requested (Description of) Change Terry indicated that when Allegiance is taking a customer, they may want to move or extend the DMARC beyond the MPOE. They want to get an estimate of the cost before the work is performed. Currently they put their request in when they place the order and get billed for the work after the order is completed. Terry indicated that another ILEC has a form that they complete and submit to get an estimate before the order is submitted. Terry indicated that they have an 800 number and a fax number to which this form is sent. He believes they are dealing with the ILECs engineering department. Terry will confirm what department they deal with. The department is the LSC, Local Service Center at Southwestern Bell. Terry indicated that they were billed for the estimate and would be willing to pay for the estimate. He agreed that an estimate was acceptable with actual costs being billed per their agreement with Qwest. Russ asked if Allegiance was looking at a multi-tenant facility and looking more at an individual customer’s DMARC. Terry indicated that Allegiance is looking at extending the DMARC or sometimes moving the DMARC beyond the MPOE for an individual tenant of a multi-tenant building.

Confirm Areas & Products impacted Terry indicated that their product focus was UBL. Qwest may have to look at other products that would have the same need. It was agreed that the area impacted was Pre-Ordering and Ordering.

Confirm Right Personnel Involved Qwest confirmed that the Network department would be responsible.

Identify/Confirm CLEC’s Expectation Terry confirmed that they wanted a process to request and receive a written cost estimate for extending or moving a DMARC beyond the MPOE prior to submitting an order.

Identify any Dependent Systems Change Requests There are no systems changes associated with this request.

Establish Action Plan (Resolution Time Frame) The CR will have the collective CLEC clarification and SME input at the August CMP meeting.


Open Product/Process CR PC081902-1 Detail

 
Title: The 30 minute rule for Coordinated Hot Cuts.
CR Number Current Status
Date
Area Impacted Products Impacted

PC081902-1 Completed
4/15/2009
Provisioning, Coordinated Hot Cuts UBL, UNE-Loop
Originator: Mendoza, Lori
Originator Company Name: Allegiance
Owner: Toye, Deni
Director:
CR PM: Harlan, Cindy

Description Of Change

The 30 minute rule wording was only added to the PCAT for CHC with and without cooperative testing on 7/19/02. Prior to 7/19/02 Allegiance had asked for the rule in writing and had not received it. The application of this rule by the QCCC has not been consistent over the past year as I have discussed with Allegiance's Service Manager on several occassions. I had asked that the written rule or policy be sent to me in writing so that Allegiance could document our internal processes to follow the Qwest policy. Up until the notice was sent out on 7/18/02 that it was being added to the PCAT, it was conveyed by word of mouth between the QCCC and our operations. For example, some Testers stated that if we had not confirmed with the tester that we were ready to start the cut within 30 minutes of the start time of a cut, then they would JEP the order at 31 minutes. Other QCCC Testers stated that we have to be working the cut within this time or they would JEP it. It has had various clarifications as to what this rule is under the various Managers that have worked in the QCCC over the past year.

Qwest has been pointed out that this is not a new or even a changed process. Qwest has stated that this information has been in the SGAT for approximately 6 years. Allegiance has never opted into the SGAT language for our ICA and up until 8/02/02, Allegiance was never aware that this information was documented in the SGAT.

Here is the wording for reference:

“If you are not ready within thirty (30) minutes of the scheduled appointment time, then you must reschedule the installation by submitting a supplemental LSR. If Qwest is not ready within thirty (30) minutes of the scheduled appointment time, Qwest will waive the nonrecurring charge for the installation option. You and Qwest will attempt to set a new appointment time on the same day and, if unable to do so, Qwest will issue a jeopardy notice and a FOC with a new Due Date.”

The statement implies that “if for any reason” the CLEC is not ready, then it will be SUPd at 31 minutes. It does not take into account that if Qwest fails to notify us of a no dial tone issue, according to the current 48 hour dial tone testing requirements, then the CLEC is still held accountable for not being ready and the order will be SUPd. At the maximum, we may have 1 hour and 30 minutes from the start time of the cut to resolve a no dial tone issue if no notification was sent prior to due date. This has happened to Allegiance several times, and some QCCC testers hold fast to this policy. We have had to escalate on these instances and in some cases it has been denied and the order was JEPd. The wording needs to change to identify exceptions to the rule.

If Qwest is not ready for whatever reason according to this policy, Qwest will work with the CLEC throughout the day to get it cut. But if the CLEC is not ready, Qwest is only allowing a maximum of 1 hour and 30 minutes ( less in many instances) to "get ready" or the order will be JEPd.

Qwest is not taking it into consideration when Qwest fails to follow all steps of the 48 hour dial tone testing requirements and timely notification to the CLEC. When Qwest fails to do this, Qwest is considering that the CLEC is not ready. Allegiance believes that in this type of situation, it is Qwest that is not really ready because Qwest has not followed all steps of the process. Qwest’s consequence for not doing the cuts on due date is the potential that Qwest may have to pay penalties. The current policy is allowing Qwest to work with the CLEC to get it done on cut date to avoid such penalties. The consequence to the CLEC is we can lose that customer if we cannot get the order cut on due date as promised and we only have a limited time to “get ready” in order to complete the cut.


Status History

08/16/02 - CR Submitted by Allegiance

08/19/02 - CR acknowledged by P/P CMP Manager.

08/20/02 - Contacted customer and scheduled Clarification meeting

08/21/02 - CR Posted to Web

08/26/02 - Conducted Clarification meeting with Allegiance

08/30/02 - Clarification minutes issued to Allegiance

09/18/02 - September CMP Meeting Allegiance introduced and explained CR. It was agreed that the CR could move into Evaluation. Qwest will provide Response at the October Meeting. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product /Process CMP Meeting Distribution Package 10/16/02.

10/09/02 - Draft Response issued to Allegiance

10/16/02 - October CMP Meeting - Response accepted by CLEC community. Development of Level 3 Change will begin. This CR will move to Development status. Minutes will be posted to the Project Meeting section.

10/23/02 - Removed Draft from the Response and updated it to include comment from ATT to clarify this process does not over ride the VP Expedite Process

10/25/02 - Final Response posted to web

11/20/02 - November CMP Meeting advised process document is being updated.

12/16/02 - Level 3 Document Number: PROD.12.16.02.F.00877.AnalogLoop2_4Wire distributed. Proposed Effective Date: January 30, 2003

12/18/02 - December P/P CMP Meeting notes will be posted to the Project Meeting section. Changed status to CLEC Test.

12/19/02 - Message from CMP Comment Mail-In PROD.12.16.02.F.00877.AnalogLoop2_4Wire. Comments received on PCAT updates.

01/02/03 - Comments cycle closed for Notification PROD.12.16.02.F.00877.AnalogLoop2_4Wire. There were two CLEC comments received for this notification. The Qwest Final Release Notice and Response to the comments on this notification must be posted to the web by 1/15/03 with an effective date of 1/30/03.

01/07/03 - Changes Qwest owner and presenter to Deni Toye as Linda Hendricks is retired on Jan. 10, 2003. Cindi Dahlstedt will also support CR.

1/15/03 - Comments responded to and updates made to PCAT based on comments made.

1/1/5/03 - January P/P CMP Meeting notes will be posted to the Project Meeting section.

02/19/03 - February P/P CMP Meeting notes will be posted to the Project Meeting section.

3/19/03 - March P/P CMP Meeting notes will be posted to the Project Meeting section.


Project Meetings

03/19/03 March CMP Meeting Cindi Dahlstedt – Qwest reported she has checked to make sure we are sending the NDT notifications and all was okay. Bonnie Johnson – Eschelon asked if we do a spot or total check. Cindi replied a spot check. If any issues are found please notify Deni Toye at dtoye@qwest.com. Lori Mendoza – Allegiance reported NDT are working okay. Sometimes the CFA information is missing. Lori agreed to close this CR.

02/19/03 February CMP Meeting

Deni Toye–Qwest provided statistics regarding PTA NDT Notifications. All were sent within the 24-36 hour time frame. The QCCC has not been out of compliance so we have not executed the 30 minute rule. Lori Mendoza–Allegiance reported they have not had any problems, except they have gotten some PTA notifications without CFA information. This information has been provided to their Service Manager to investigate. Sharon Van Meter–ATT advised she will be meeting with her company to determine whether they will begin to use the PTA tool. This CR will be left in CLEC Test status until next month. At that time we will review additional feedback from the CLEC Community and determine a close date.

01/15/03 - Janaury CMP Meeting

Toye-Qwest stated that Qwest had distributed a notification on this CR and had responded to CLEC comments to the changes. Johnson-Eschelon stated that she had not yet read the Qwest response. Mendoza-Allegiance stated that Qwest has been much better, recently, on no-dial-tone notifications. This CR remains in CLEC Test.

12/18/02 - December CMP Monthly Meeting Minutes Qwest-Linda Hendricks advised the PCAT is out for CLEC comments with a planned implementation date of January 31. This CR will change to CLEC Test.

11/20/02 - November CMP Monthly Meeting Minutes Qwest (Hendricks) reported the PCAT is under development. This project will remain in Development status.

10/16/02 - October CMP Meeting Minutes Qwest reviewed the Acceptance Response to this CR and outlined when the exception will apply and when it will not apply. Eschelon clarified the following scenario: If Qwest can not reschedule the CHC for the same day the exception process will not apply. ATT expressed their concern that the exception process does not apply to VP Expedites. Qwest clarified the current VP Expedite Process does not change and this CR does not override the current VP Expedite Process. Qwest obtained agreement this CR would be handled as a Level 3 change and will follow the Level 3 process. This CR will move to Development status.

09/24/02 - September CMP Meeting Minutes Terry Wicks - Allegiance introduced and explained this CR would allow for an exception to the 30 minute rule for CHC process if CLECs do not get at least 24 - 48 hours NDT notification from Qwest. This applies to CHC only, not basic. In the case of not receiving notification QCC would work with the CLEC to reschedule the technician for sometime the same day instead of sup the LSR at 31 minutes. Jonathan-ATT said this should reduce the number of C01 misses. Linda Hendricks - Qwest explained if we are not doing the PTA email notification we won't be able to track whether the 48 hour NDT notifcation occurred. Eschelon and Allegiance expressed their support of the PTA tool. Qwest advised a response would be provided at the October meeting.

1:30 p.m. (MDT) / Monday 26th August 2002 1-877-561-8688 PC738 5723# Review CR PC081902-1 30 minute rule for Coordinated Hot Cuts

In Attendance: Terry Wicks - Allegiance Linda Hendricks - Qwest Bob Mohr – Qwest Cheri Hurless – Qwest Neil Houston – Qwest Cindy Macy – Qwest Ric Martin – Qwest Linda Sanchez-Steinke – Qwest Deb Smith – Qwest Deni Toye - Qwest

Introduction of Attendees

Review Requested (Description of) Change : Reviewed CR and confirmed business issues this CR will address. Terry requests the wording in the PCAT be changed to reflect an exception to the 30 minute rule if Qwest does not follow the 48 hour DT testing process. If Qwest notifies CLEC with 24 hours or less advance notice an exception process needs to be available. The exception process would allow Qwest and the CLEC to set a new appointment time on the same day, instead of jeopardizing the order and requiring the installation to be rescheduled by submitting a supplemental LSR. The business issue this CR is addressing is prevention of customer loss.

Confirm Areas & Products Impacted : Unbundled Loop / UNE / Loop Conversion orders existing customers PCAT – Ordering Wholesale UNE Installation Option Coordinated Installation with / with out testing

Confirm Right Personnel Involved : Linda Hendricks – confirmed as Lead SME Neil Houston – Network Regulatory Bob Mohr – Product Manager Cheri Hurless – Service Manager Cindy Macy – Change Request Project Manager

Identify/Confirm CLEC’s Expectation : Terry requests the wording in the PCAT be changed to reflect an exception to the 30 minute rule if Qwest does not follow the 48 hour DT testing process. If Qwest notifies CLEC with 24 hours or less advance notice an exception process needs to be available. The exception process would allow Qwest and the CLEC to set a new appointment time on the same day, instead of jeopardizing the order and requiring the installation to be rescheduled by submitting a supplemental LSR.

Identify any Dependent Systems Change Requests : CR PC 081902-2

Establish Action Plan (Resolution Time Frame) Document and issue meeting minutes within 5 business days (9-3-02) - Qwest Present CR at September CMP Meeting - Allegiance Present Draft Response at October CMP Meeting - Qwest


CenturyLink Response

October 16, 2002 For Review by CLEC Community and Discussion at October's CMP Meeting

Allegiance Telecom, Inc

SUBJECT: Qwest’s Change Request Response - CR #PC081902-1 The 30 minute rule for Coordinated Hot Cuts

Allegiance Telecom, Inc is requesting that Qwest change the wording and current process to allow the CLEC to work with Qwest on due date to get the cut done, when Qwest has failed to timely notify the CLEC according to the notification of NDT process, just as Qwest is allowing itself to do when Qwest is not ready. Update the PCAT with any changes resulting from this CR.

Qwest will accept the “30 Minute Exception” CR with the following guidelines:

-All CLECs must be enrolled in the NDT PTA Notification procedure in order to have accurate tracking and parity to ensure the success of the “30 minute rule” process.

-If Qwest fails to notify the CLEC within the timeframe of the NDT notification procedure, we will attempt to reschedule at a mutually agreed upon time for the same day.

-If Qwest is able to reschedule the same day it will not require a Customer Not Ready jeopardy and will not require a supp to the LSR. However the order will be in a CLEC delay status documented on the OSSCN screen in WFA/C.

- Rescheduling the Coordinated Hot Cut may not be workable on the same day. The appointment may require another date and time. This will result in a Customer Not Ready jeopardy.

- This process will be rework for Qwest in several departments and will require the CLEC to supp their LSR if another day and time is required.

The “30 Minute Exception” will not apply when:

- If Dial Tone is found at 48 hours before Due Date and noted in the OSSLOG, then at 1 hour before the due date the Dial Tone is no longer present.

- If the CLEC is not using the PTA NDT Email Notification.

- If the email systems of either Qwest or the CLEC were not working during the notification period, tracking would be invalid.

- If the CLEC has requested a VP Expedite and the interval does not allow the appropriate time for DT verification and CLEC notification (This process does not over ride the VP Expedite Process)

Qwest will issue this as a Level 3 change and seek concurrence of this approach at the October CMP Meeting.

Sincerely,

Linda Hendricks Lead Project Analyst Qwest

Cc: Mary Pat Cheshier, Diane Diebel


Open Product/Process CR PC081902-2 Detail

 
Title: The 48 Hour Dial Tone Testing Requirements
CR Number Current Status
Date
Area Impacted Products Impacted

PC081902-2 Completed
11/20/2002
Provisioning UBL, UNE-Loop
Originator: Mendoza, Lori
Originator Company Name: Allegiance
Owner: Hendricks, Linda
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

The following mailout was sent to CLECs on July 19, 2001 regarding Qwest's process for 48 hour dial tone testing:

*********************************************************************************************

Announcement Date: July 19, 2001

Effective Date: July 29, 2001

Document Number: PROS.07.19.01.F.00012

Notification Category: Process Update

Target Audience: CLEC

Subject: Dial Tone Test 48 Hours Before Due Date

Effective July 29, 2001, a process enhancement will be added to both the Coordinated and Basic Installation Option Processes. Qwest will verify the CLEC’s Dial Tone at the CLEC’s CFA 48 hours prior to the Due Date. This will assist CLECs in identifying dial tone concerns prior to the due date.

Central Office Technicians (COT’s) will check for CLEC Dial Tone 48 hours prior to the Due Date. The Dial Tone check will be for the Unbundled Loop Analog (Voice Grade) Product.

The COT will check for Dial Tone at the CLEC CFA. The COT will document the results from the Dial Tone test and the results will be forwarded to the Implementer/Coordinator (C/I).

If the COT does not detect Dial Tone 48 hours prior to the Due Date, then the (C/I) will contact the CLEC with the information. The CLEC should investigate and supply the dial tone by the Due Date or issue a supplement to the LSR to change the due date.

If the CLEC has requested a Coordinated Installation, the COT will check for Dial Tone one hour prior to the Coordinated Installation time. If dial tone is not detected at that time, then the COT will report this to the C/I who will in turn inform the CLEC.

This Process will be put in place to ensure that the CLEC will receive their circuit on the due date.

*********************************************************************************************

Allegiance believes that Qwest is not complying with the process as stated above. The testing for dial tone is actually being conducted on DVA date (48 hours after Application Date not 48 hours prior to Due Date). Also it is not clear as to when Qwest is notifying the CLEC of no dial tone conditions. This process implies that once the COT forwards the results to the QCCC tester at 48 hours prior to due date, then the tester will immediately notify the CLEC of No Dial Tone conditions. In actual practice, Qwest is not consistently notifying the CLEC at 48 hours prior to cut date. There are inconsistencies between the process and Qwest's actual application of the process. Qwest needs to comply with its published process. This process is not published in the PCAT. The only reference to this process that Allegiance could find was the mailout sent to CLECs on July 19, 2001.

Expected Deliverable

Qwest will comply with its published process. Qwest will update the PCAT to include this process.


Status History

08/16/02 - CR Submitted by Allegiance

08/19/02 - CR acknowledged by P/P CMP Manager.

08/21/02 - CR Posted to Web

08/22/02 - Contacted Allegiance to schedule Clarification Meeting

08/26/02 - Conducted Clarification Meeting with Allegiance.

08/30/02 - Clarification meeting minutes issued to Allegiance

09/18/02 - September CMP Meeting - Allegiance clarified this CR. Meeting minutes will be posted to this CR's Project Meetings section.

10/09/02 - Issued Qwest draft response dated 10/3/02 to Alex Pantazis at Allegiance Telecom.

10/16/02 - October CMP Meeting - Minutes on this CR to be posted to the Project Meetings section. CR status changed to CLEC test.

10/28/02 - Issued Qwest Response dated 10/3/02 to Lori Mendoza at Allegiance.

11/20/02 - November CMP Meeting - CR status changed to Completed. Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

11/20/02 November CMP Meeting Qwest (Neil Houston) reviewed the status of this CR and Qwest said that final notification was sent to CLECs on 10/11/02. Neil proposed that this CR be closed. Lori Mendoza with Allegiance agreed this CR could be moved to complete status.

- 10/16/02 October CMP Meeting Linda Hendricks with Qwest reviewed the draft response to this CR dated 10/3/02. Language was updated in the 2-Wire 4-Wire PCAT Version 10 which was published on 10/11/02. There were no questions from the CMP participants and this CR will be updated to CLEC test.

- 09/18/02 September CMP Meeting Minutes Allegiance reviewed the CR submitted and explained that they would like to have the dial tone testing and notification sync up in the PCAT documentation because the process document, PROS.07.19.01.F.00012, is not clear. Allegiance and Eschelon would like the testing process and the notification process of a no dial tone condition on 5-day interval and on longer than standard interval orders clarified. If the CLECs understand when the dial tone testing is done, then, they can adjust the date their translations are complete. Qwest explained that the CLEC is notified 24 - 36 hours before the due date of a no dial tone condition. The dial tone test is performed on DVA, which on 5-day interval orders is 48 hours after application date. Qwest will clarify the process, for 5-day and longer than standard interval orders, in the PCAT. Allegiance said that clarification in the PCAT would satisfy this CR.

- CLEC Change Request Clarification Meeting 3:00 p.m. (Mountain Time) / Monday 26th August 2002

1-877-554-8688 1930099 # PC081902-2 The 48 Hour Dial Tone Testing Requirements

Attendees Terry Wicks, Allegiance Deb Smith, Qwest Linda Hendricks, Qwest Bob Mohr, Qwest Cindy Macy, Qwest Neil Houston, Qwest Linda Sanchez-Steinke, Qwest

Introduction of the participants on the Conference Call was made and the purpose of the call discussed.

Review Requested (Description of) Change Terry indicated that Qwest is not following the process in document number PROS.07.19.01.F.00012. The process is interpreted that Qwest does the dial tone test and then calls the CLEC right away. The following is extracted from the CR submitted by Allegiance: Allegiance believes that Qwest is not complying with the process as stated above. The testing for dial tone is actually being conducted on DVA date (48 hours after Application Date not 48 hours prior to Due Date). Also it is not clear as to when Qwest is notifying the CLEC of no dial tone conditions. This process implies that once the COT forwards the results to the QCCC tester at 48 hours prior to due date, then the tester will immediately notify the CLEC of No Dial Tone conditions. In actual practice, Qwest is not consistently notifying the CLEC at 48 hours prior to cut date. There are inconsistencies between the process and Qwest's actual application of the process. Qwest needs to comply with its published process. This process is not published in the PCAT. The only reference to this process that Allegiance could find was the mailout sent to CLECs on July 19, 2001.

Confirm Areas & Products Impacted Unbundled Loop 2 wire 4 wire Analog Voice Grade, Coordinated and Basic Option

Confirm Right Personnel Involved Qwest confirmed the correct personnel were on the call. Identify/Confirm CLEC’s Expectation

Allegiance requests the following deliverables on this CR: - Update the PCAT with the Qwest process, and the agreed upon number of hours before due date the dial tone check is done, and, the agreed upon number of hours before the due date that the CLEC is notified of a no dial tone condition. - Provide notification of the process above - Improve on the CLEC notification process when there is a no dial tone condition. Determine the minimum number of hours before due date that the CLEC’s would like to be notified of a no dial tone condition.

Identify any Dependent Systems Change Requests PC081902-1, PC050302-1

Establish Action Plan (Resolution Time Frame) Allegiance will clarify and review this CR at the 9/18/02 CMP Meeting. Qwest will present the draft response at the 10/18/02 CMP Meeting.


CenturyLink Response

October 3, 2002

Lori Mendoza LEC Account Manager Allegiance Telecom, Inc.

SUBJECT: Qwest’s Change Request Response - CR #PC081902-2 48 Hour No Dial Tone Notification

This in response to Allegiance Telecom’s Change Request (CR) PC081902-2. This CR requests that Qwest clarify its 48 Hour No Dial Tone notification process and to document the process in the PCAT.

Qwest accepts this CR and the following language has been added to the 2-Wire or 4-Wire Analog (Voice Grade) Loop V10 PCAT.

Qwest verifies for dial tone at your CFA 48 hours after Qwest’s APP (application) date. If Qwest finds No Dial Tone (NDT), Qwest will retest 48 hours prior to due date. If dial tone is still not present, Qwest will email the NDT results to you through Qwest’s Provider Test Access (PTA) email system. You will receive the NDT PTA email notification approximately 24 to 36 hours prior to the due date. Qwest will email only when there is No Dial Tone. You will need to supply the dial tone by the due date or supplement the LSR, changing the due date.

This language is in document review and will be published to the Wholesale PCAT web site on October 11, 2002.

Sincerely,

Neil Houston Staff Advocate Policy & Law

Linda Hendricks Lead Project Analyst

cc: Mary Retka, Director, Technical Regulatory Interconnection Planning


Open Product/Process CR PC010302-1 Detail

 
Title: RSUs the inabilitiy to provision UNEs
CR Number Current Status
Date
Area Impacted Products Impacted

PC010302-1 Denied
7/17/2002
Ordering Collocation: Physical UNE: Loop
Originator: Mendoza, Lori
Originator Company Name: Allegiance
Owner: Mohr, Bob
Director:
CR PM:

Description Of Change

PON 928898-LP LSR#3330778 Orders D66190766, N66190767 - N66190789 The cancellation of these orders in the Dry Creek Colo states "This customer comes out of a remotely located central office and unbundled loop is not an available product."

Qwest does not allow the provisioning of an Unbundled Loop within a colocation when an End User is serviced by a Remote Switching Unit (RSU). The orders are cancelled and a reject notice is sent to the CLEC. At this time, the CLEC has absolutely no recourse to be able to switch this customer's local service over to that CLEC. The inability to switch an End User that is serviced by a RSU over to a facility based CLEC is unacceptable and anti-competitive. The End User also has no capability to choose another carrier for local service. Allegiance has spent tremendous amounts of money to co-locate in Qwest Central Offices in order to be able to swith Qwest customers over to Allegiance facilities. Allegiance is requesting that Qwest develope a means to allow the switching of End Users service by a RSU to CLEC facilities .


Status History

01/02/02 - CR submitted by Allegiance.

01/03/02 - CR acknowledged by P/P CMP Manager.

01/04/02 - Allegiance contacted to coordinate available times for clarification call.

01/11/02 - Conducted Clarification Meeting with Allegiance.

01/18/02 - Issued Clarification Meeting Minutes to Allegiance.

02/20/02 - CMP Meeting - CLEC Community Clarification held. It was agreed that the CR would move to Evaluation. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02.

03/04/02 - Conducted additional Clarification Meeting with Allegiance.

03/07/02 - Issued 3/4/02 additional Clarification Meeting minutes to Allegiance.

03/13/02 - Issued Qwest's Draft Response dated March 12, 2002 to Allegiance.

03/20/02 - CMP Meeting - Qwest presented its Draft Response dated March 12, 2002. It was agreed that the CR could be moved into CLEC test. Qwest to respond to an action item where Allegiance will reevaluate the CR status. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

03/22/02 - Formal response dated March 12, 2002 issued to CLECs. Notification CMPR.03.22.02.F.01240.CR_Responses.

04/15/02 - Issued E-Mail to Allegiance with EEL and Loop pricing.

04/17/02 - CMP Meeting - Allegiance disagreed that the CR should be in CLEC Test. Allegiance restated its intent of the CR. Qwest to review and provide a revised response. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. The CR status will be revised to Presented.

05/08/02 - Issued Qwest's Supplemental Response dated May 2, 2002 to Allegiance.

05/10/02 - Supplemental response dated May 2, 2002 issued to CLECs. Notification CMPR.05.10.02.F.01265.Final_CR_Response.

05/15/02 - CMP Meeting - Qwest presented its Supplemental response. Qwest to respond to action items generated at the meeting. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. CLEC participants requested that the CR remain in a Presented status.

06/19/02 - CMP Meeting - Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. CR status will remain in Presented.

06/28/02 - Clarified with Covad their request identified under Action Item No. 4. Issued e-mail with uderstanding.

06/28/02 - Reviewed Qwest's response to Action Item No. 5 with John Sheehan, Frontier Communications (Electric LightWave) and sent e-mail with Interactive Report link.

06/28/02 - Received e-mail confirmation from Frontier Communications that Action Item No. 5 can be closed.

07/10/02 - Sent email to Covad, Allegiance, and Eschelon containing responses to additional questions associated with open action items 2 and 4.

07/17/02 - CMP Meeting - Meeting minutes posted to this CR's Project Meetings section. CR status was changed to Denied.and remaining open action items (2 and 4) were closed.


Project Meetings

07/17/02 - July CMP Meeting Minutes: Qwest presented the latest responses to open Action Items 2 and 4 which had been sent to Eschelon, Allegiance, and Covad on July 10, 2002 for comment. CLECs agreed the Action Items could be closed. CR status changed to deny.

Subject: Re: CR Location Date: Fri, 28 Jun 2002 14:05:05 -0400 From: John Sheehan Organization: Frontier / ELI Carrier Services To: Richard Martin

Rick, Sounds fine. This can be closed.

--

Subject: CR Location Date: Fri, 28 Jun 2002 10:56:25 -0600 From: Richard Martin Organization: Qwest Communications International, Inc. To: johnsheehan@frontiercorp.com

John,

Go to URL, http://www.qwest.com/wholesale/cmp/changerequest.html

Click on, "CLEC Qwest Change Request - Product/Process Interactive Reports" to launch the interactive report. The report is in Adobe Acrobat.

When in the report, click on the blue button with CR number PC010302-1. Review Action Item No. 5.

If the response satisfies the intent of Peder's question, please advise. If further clarification is required, please let me know.

Thanks

Ric

--

Subject: Action Item 4 to CR PC010302-1 Date: Fri, 28 Jun 2002 09:28:57 -0600 From: Richard Martin Organization: Qwest Communications International, Inc. To: Mike Zulevic CC: Craig Saunders , Kelly Trachsel

Mike,

Based on our conversation regarding Action Item 4 to the subject CR, the response, which is stated below, didn't fully answer what you were looking for.

Action Item 4 Question and Answer:

Q. Covad expressed the need to have the geographical area of a RSU and the number of lines served by the RSU included in the ICONN database tool.

A. The ICONN database has not been set-up to provide the geographical area of a RSU. This is done through utilization of the DA Maps (refer to CR PC110201-1 and PC012902-1). The number of lines in a RSU will be delineated if the RSU does not share a NXX with another wire center. The number of lines associated with a Central Office NXX can be identified by performing a search on the NPA NXX under the Cetral Office Find tool located at the same URL as Action Item No. 3.

It is my understanding, from our call, that Covad would like to identify what RSUs are tied to a CO, where are the RSUs and what area do they cover.

If this is not correct, please provide further clarification.

Thanks

Ric

-- Subject: CR PC010302-1 Action Item EEL Pricing Comparison Date: Mon, 15 Apr 2002 10:38:51 -0600 From: Richard Martin Organization: Qwest Communications International, Inc. To: Terry Wicks CC: Robert Mohr , Robyn Libadia , Cindy Buckmaster

Terry,

The attached rate sheet is in response to the Action Item on your Change Request PC010302-1 requesting that Qwest provide pricing for an EEL from the Denver Dry Creek to an end-user fed from the Denver Tech Center wire center. You also requested rates for an Unbundled Loop to feed this same user from the one wire center.

The attached rates are for the EEL and UNE products for an EEL from the Drycreek office to an end-user fed from the Tech Center wire Center. As the only way to feed a customer located in the Tech Center Wire Center on an Unbundled Loop is with a collocation placed in the Tech Center Wire Center, the pricing example for the Unbundled Loop is for an Unbundled Loop feed from a collocation space located in the Tech Center Wire Center.

The rates for the EEL were taken from the Qwest templated agreement and, because Allegiance currently doesn’t have the ability to order EELs in Colorado in their contract, a request of this kind would require an amendment to the Allegiance Interconnection Agreement (ICA) before ordering could commence on this product. Rates for the loop were taken from the Allegiance ICA . Collocation would also need to be established at the Tech Center wire center for this example.

Please contact us if you require additional information on these products, or have any questions.

Sincerely,

Ric Martin - CRPM (303) 896-9823 Robyn Libadia- EEL Product Manager (253) 445-0234 Bob Mohr- Unbundled Loop Product Manager (303) 896-2160

PC010302-1 Allegiance response 4-12-02.xls

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CLEC Change Request Clarification Meeting

March 4, 2002, 9:00 (MT) Conference Call

PC010302-1, RSUs – the inability to provision UNEs

Attendees: Ric Martin, Qwest Cheri Hurless, Qwest Bernadette Derlein, Qwest Cindy Buckmaster, Qwest Terry Wicks, Allegiance

Introduction of Attendees Introduction of the participants on the Conference Call was made. Qwest explained that they wanted to review the current situation and get feedback from Allegiance.

Review Requested (Description of) Change Cindy advised that Qwest would be providing a drawing explaining how the Dry Creek CO was configured to the Tech Center RSU. Cindy explained that the Tech Center was connected to the Dry Creek CO by a transport medium (umbilical) and the end user would have a loop to the Tech Center. Cindy explained that there were two ways a CLEC could get a loop for the end user connected to the Tech Center. The first would be for the CLEC to be physically collocated in the Tech Center. The second would be to request an EEL from the dry creek office at whatever transmission level for the end user. Terry wanted to know how to tell if a customer was serviced out of an RSU. Cindy advised that the Raw Loop Data Tool cable field designation of EX would indicate this. Terry advised that it wasn’t practical for them to obtain a certificate for all their sales folks and to check each address separtely. Cindy explained that there is a Raw Loop Data Dump for each central office that would allow for various sorts on the data in the RLDT. A sort could be made on cables with EX and then by address. Terry asked if Qwest could provide information on how the transport for an EEL works and a narrative on the Raw Loop Data Dump. Terry asked about the RSUs that were tied to Dry Creek CO, Eagan, MN and Chandler AZ. Qwest will identify those RSUs tied to those Central Offices Qwest Identified the following Action Items to address: 1. Breakdown how an EEL works that uses a MUX, riding a higher capacity transport 2. Identify how collocation would occur in the different types of RSUs. 3. Identify the Raw Loop Data Tool Training available. Terry requested Qwest to address why the CLEC cannot obtain a loop for an end user that is identified out of the Central Office of record.

CLEC Change Request Clarification Meeting

Date: January 11, 2002, 9:00 (MT) Place: Conference Call 877-564-8688 Subject: PC010302-1, RSUs – the inability to provision UNEs

Attendees: Ric Martin, Qwest Neil Houston, Qwest Laurel Neher, Qwest Bernadette Derlein, Qwest Cindy Buckmaster Terry Wicks, Allegiance

Introduction of Attendees Introduction of the participants on the Conference Call were made and the purpose of the call discussed

Review Requested (Description of) Change Terry reviewed Allegiance’s CR. He explained that they had several orders they had to cancel due receiving reject notices on orders for UNEs. The problem indicated that COs customers given service by RSUs and routes to the CO where they are collocated and there is no place to cross connect. They are unable to port because they are in a RSU. He explained that they do not know they are in a RSU when processing an order. Laurel explained that the RSU would look like a CO. The switch depends on another switch for intelligence. She said that the LERG should have the CLLI. Qwest will look at the LERG to see if it has the information. Qwest thought that the NPNAXX would have the CO location. Neil advised that the Account Manager should advise which Colos have RSUs. The following COs have RSUs: Colorado – Dry Creek ? Center Park ? Denver SE ? Denver Tech Center – ISDN ? Aberdene ? Northglen Minnesota – Egan Arizona – Chandler Laurel explained that the RSU would need to the loop extended to the CO and this is done by ordering an EEL. Terry indicated that they look at customers that are serviced out of the CO where they are collocated at. Neil asked if Allegiance had any volume on the number of instances this is happening. Terry indicated that he did not. He advised that the reject notice was 10/24. Terry provided the TNs that were involved: RFG Management, Inc. 8400 E Cressent Parkway, suite 475, Greenwood Village, 80111, 303-771-0321. Banta, Hoyt, Everall 7979 Tufts Parkway, sutie 1050, Denver 80237, 303-220-8000 Terry indicated that he could go to the Raw Loop Data Tool and pull the address which provides the cable name fixed EX, but he could not identify on a CSR. Terry asked how Qwest determines a customer is in a RSU. Neil advised that it was a matter of Geography. The RSU is an electronic switch with a switch module connected by a TI to the CO. Neil advised that the customers referenced by Terry are in the Denver Tech Center. He explained that the loop is coming out of the RSC and doesn’t extend to the CO. Terry asked what is covered and what is available to view by CLEC. He does not want to have the cost of adding the EEL. He wants to be able to port from the CO where the records show the CO. His record is the CSR. Laurel indicated that the LERG should be used to determine the CO. Terry advised that another ILEC, GTE, put a card in their switch.

Identify/Confirm CLEC’s Expectation Allegiance wants to be able to port a UNE serviced out of an RSU from the CO where the records show the RSU’s CO is serviced and do not want to pay an additional cost.

Establish Action Plan (Resolution Time Frame) Qwest will identify what is contained in the LERG. The CR will have the collective CLEC clarification and SME input at the February CMP meeting.


CenturyLink Response

May 2, 2002

Terry Wicks Allegiance Telecom Inc

SUBJECT: Qwest Change Request Supplemental Response - CR PC010302-1 Remote Swiching Unit- Inability to provision UNEs

This letter is in response to the additional clarification requirements provided at the April 17, 2002 CMP Monthly Meeting on your Change Request PC010302-1 and supplements Qwest’s response dated March 12, 2002. The additional clarification requirements requested that Qwest:

1) Consider the reduction of the Non-Recurring Charge (NRC) for the EEL to allow a CLEC to order the EEL at the Loop NRC price. 2) Consider the elimination of transport rates where the transport would otherwise be billed in the EEL product. 3) Consider the identification of RSUs upon application of the CLECs for a collocation so as to ensure the CLECs make sound decisions about where to spend their collocation monies.

In response to items 1 and 2 above, Qwest’s research indicates that Qwest is in alignment with other ILECs on the handling of RSUs. As described in Qwest’s March 12, 2002 response, Qwest deploys RSUs in a number of situations. Primary among these situations is the deployment of augment switches to accommodate growth in a given geographic area. Installation efforts for EELs are more time and labor intensive than those for UBL, thus the higher NRC. In regard to transport, at times, the new RSU is either programmed to have the same NXX as the host, or has a unique NXX. Where the NXX is the same as the host, mileage is rated at $0. If the NXX is unique, mileage is calculated and the appropriate band rate applies. Reduction of the non-recurring charge or the elimination of the transport rate would tend to undermine both the embedded EEL and Collocation base. Based on our alignment with other ILECs, and the additional cost of the EEL product, Qwest is unable to reduce the NRC or eliminate the Transport charge from EELs provisioned under this arrangement.

In response to item 3, CLECs have access to several resources that indicate the structure of the Qwest network. Among these resources, the Raw Loop Data Tool indicates remotes via the ‘EX’ cable naming convention and the ICONN Database is being modified to identify remotes assigned to a given Central Office. As Qwest is not in a position to counsel CLECs on the construction of their network, Qwest would encourage CLECs to perform their own analysis and research.

Sincerely,

Cindy Buckmaster Product Manager Unbundled Loop Qwest Communications

CC: Bill Campbell – Product Director Qwest Communications Richard Martin – CMP Project Manager Qwest Communications

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March 12, 2002

Terry Wicks Allegiance Telecom Inc

SUBJECT: Qwest Change Request Response - CR PC010302-1 Remote Swiching Unit- Inability to provision UNEs

This letter is in response to your Change Request PC010302-1 requesting that Qwest develop a process to allow the switching of end users service via an RSU to CLEC facilities.

General Information

The structure of the Qwest network occasionally results in the placement of Remote Switching Units (RSUs). These RSUs are a “spin off” of a host wire center and are created where geographic distance and/or population density requires. For the purposes of the Unbundled Loop, an RSU becomes the serving wire center for the end users it touches. As RSUs are deployed, end users served by the RSUs are terminated at the RSU. The structure between the host and the remote units becomes transport, therefore, there is no contiguous loop between the host and the end-users served by the RSU. End users of the remote are not individually identified at the host.

The underlying requirement of an Unbundled Loop is a Collocation in the serving wire center. The serving wire center for end users in the remote is the remote Central Office. Unbundled Loop can be ordered out of the remote only if the CLEC is collocated in the remote.

How to tell if an end user is in a RSU

The Raw Loop Data Tool (RLD) provides the CLEC with the information during pre-order to determine that the end user customer is served from an RSU. In the Raw Loop Data Tool the end user’s cable pair will indicate an “EX” prefix when the facility originates from an RSU (i.e., F1 ca EXA7).

There are two versions of the RLD tool. Using the IMA version a CLEC can view information specific to an end user address. With a digital certificate the CLEC can use the wire center version of the Raw Loop Data Tool. Data from this version of the RLD tool can be downloaded into an Excel spreadsheet or a database provided by the CLEC. Using the “File, Save As” commands from the browser software the CLEC can save the information to the location and in the format they prefer. Approximately 50 – 150 MB of disk space is needed per wire center. The process may be time intensive, as each wire center is checked separately.

See Loop Qualification and Raw Loop Data- CLEC Job Aid on URL http://www.qwest.com/wholesale/training/coursecatalog.html

How to serve customers in an RSU

The first option available to CLECs, to serve end users in a Remote Serving Unit (RSU), is to Collocate in the RSU.

Central Office Collocation:

For Central Office Collocation, each Central Office will be evaluated to determine if your Collocation requirements can be met (e.g., space, power, and heat dissipation).

Three types of Central Office Collocation are available:

Physical Caged Collocation – Allows the CLEC to physically collocate the CLECs own equipment in a Qwest Central Office in a space that is completely enclosed via chain link fencing. The CLEC installs, maintains and repairs their collocated equipment.

Physical Cageless Collocation - Allows the CLEC to physically collocate the CLECs own equipment in a Qwest Central Office in a space shared by Qwest and other CLECs that opt for Cageless Collocation. The CLEC installs, maintains and repairs their collocated equipment.

Virtual Collocation - Allows the placement of the CLECs equipment in a Qwest Central office, however, Qwest will install, maintain and repair the CLECs collocated equipment. In a Virtual Collocation arrangement, the CLEC does not have physical access to the virtually collocated equipment in the Qwest Central Office.

More information can be found in the Collocation Product Catalog (PCAT) at: http://www.qwest.com/wholesale/pcat/collocation.html

Enhanced Extended Loop (EEL):

The second option available to CLECs to serve end users in an RSU, is to request an Enhanced Extended Loop (EEL).

As the facility between the host Central Office and the remote Central Office is transport, the requested EEL would originate in the host office, extend through the remote Central Office and terminate at the end users premises. EEL can be ordered in two configurations; point-to-point (one transmission level from point of origination to point of termination) or Multiplexed EEL (a higher transmission level between the two central offices and a lower transmission level to the end user).

The "Multiplexed EEL" most closely resembles the network Allegiance has described. The CLEC can order a Multiplexed EEL with transport from their Collocation to another Qwest wire center. The Multiplexed EEL must be turned up before ordering EEL links (loops) to be connected to the Multiplexer. The EEL link orders must provide CFA (CKTID and slot number from the Multiplexed EEL). Each EEL, whether link or multiplexed, is ordered via an LSR. Standard intervals apply to each LSR EEL request. Intervals may be found under EEL/LMC in the Interconnection Service Interval Guide (SIG), also located on the Qwest wholesale website: http://www.qwest.com/wholesale/guides/sig/index.html

An abbreviated copy of that SIG has been attached to this document for ease of discussion (see Attached).

More information can be found in the EEL Product Catalog (PCAT) at: http://www.qwest.com/wholesale/pcat/eel.html

Billing elements are further described in the EEL PCAT and each billing element is labeled on the PCAT diagram. Billing elements for this situation are defined below.

Monthly recurring charges for a DS1 or DS3 multiplexed EEL, originating from a collocation, include: ITP, for the connection to the collocation, transport between the two Qwest wire centers, and multiplexing. Multiplexed EEL nonrecurring charges include transport and are applied to the multiplexer.

Monthly recurring charges for the DS1 or DS0 EEL links would be for the link only. EEL link nonrecurring charges include transport and are applied to the link.

Channel Performance charges may also apply (for DSO only).

A CLEC requiring EEL will need both EEL language and all applicable rate elements in their Interconnection Agreement in order to prevent rejection of the LSR. A CLEC with incomplete or no EEL information will need an amendment before EEL can be ordered. All rates and charges associated with EEL can be found in the CLEC Interconnection Agreement or the SGAT, Exhibit A.

Summary

As described above, Qwest will provide CLEC access to all end users, including those served by an RSU. As Qwest’s network complexities are vast, requests may require individual case basis (ICB) review. Qwest continues to modify its process to ensure CLEC access on a timely basis. Status will be provided in accordance with Change Management Process notification methods as updates to the process warrant.

Sincerely,

Bernadette Derelin Product Manager Unbundled Loop Qwest Communications

CC: Bill Campbell – Product Director Qwest Communications Cindy Buckmaster- Product Group Manager Unbundled Loop Qwest Communications Debra S Smith- Product Manager Unbundled Loop Qwest Communications Neil Houston – Network Qwest Communications Richard Martin – CMP Project Manager Qwest Communications


Open Product/Process CR PC050302-1 Detail

 
Title: Email Notifications of No Dial Tone at 48 Hours
CR Number Current Status
Date
Area Impacted Products Impacted

PC050302-1 Completed
4/15/2009
Other: Coordinated Hot Cuts and Regular Cuts Unbundled Loop, UNE
Originator: Mendoza, Lori
Originator Company Name: Allegiance
Owner: Houston, Neil
Director:
CR PM: Harlan, Cindy

Description Of Change

The current process for the QCCC is to call Allegiance with notifiction of No Dial Tone at 48 hours prior to cut date. Allegiance would like to receive all notifications of NDT at 48 hours prior to cut date through email using Qwest's PTA tool in place of receiving these notifications by telephone calls or leaving voice mails.This will allow proper tracking of NDT notifications by both Qwest and the CLECs. This will also insure the CLECs have sufficient time to achieve dial tone prior to cut date. Allegiance believes that receiving email notifications will save a lot of time for both Qwest and the CLECs


Status History

05/03/02 - CR Submitted by Qwest.

05/03/02 - CR acknowledged by P/P CMP Manager

05/06/02 - CR posted to Web

05/09/02 - Schedule Clarification Meeting with Allegiance for this date.

05/09/02 - Conducted Clarification Meeting with Allegiance.

05/14/02 - Issued Clarification Meeting minutes to Allegiance.

05/15/02 - CMP Meeting - Allegiance introduced its CR. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

06/10/02 - Received e-mail from Allegiance providing spreadsheet on the NDT trial.

06/19/02 - CMP Meeting - Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. CR status was changed to Evaluation.

07/10/02 - Initial response sent to Allegiance and posted to the Web

07/17/02 - CMP Meeting - Meeting minutes posted to this CR's Project Meetings section. CR status was changed to Development.

07/20/02 - Qwest issued formal response to the CLEC Community. Notification CMPR.07.29.02.F.01300.Final_CR_Responses.

08/21/02 - CMP Meeting - Qwest provided a status on issuance of the Level 3 notification. Minutes on this CR to be posted to the Project Meetings section. Status to remain in Development.

09/05/02 - Qwest issued Initial Notification on e-mail notification process. Notification PROD.09.05.02.F.00818.Analog_Loop_2_4_Wire.

09/18/02 - CMP Meeting - Qwest advised that the Level 3 notification was issued and the comments cycle ends 9/20/02. Minutes on this CR to be posted to the Project Meetings section. It was agreed that the CR would be status as CLEC Test.

09/26/02 - Qwest issued Final Notification on e-mail notification process. Notification PROD.09.26.02.F.00830.Analog_Loop_Final. Effective date of change is 10/11/02.

10/16/02 - CMP Meeting - Qwest explained this process was implemented 10/11/02. Minutes on this CR to be posted to the Project Meetings section. It was agreed this CR would stay in CLEC test until next month.

11/20/02 - CMP Monthly Meeting agreed to close this CR.


Project Meetings

Qwest explained this process was implemented effective October 11, 2002. No issues have been identified with the process and Qwest requested to close this CR. Lori Mendoza - Allegiance advised they are using the process and it is working without any issues. Allegiance and the other CLECs in attendance agreed to close the CR.

10/18/02 October CMP Monthly Meeting Minutes Qwest explained this process was implemented effective October 11, 2002. As of October 16, four CLECs have signed up to receive E-Mail Notification of NDT via the PTA tool. Eschelon verified that if you do not sign up for email notification via the PTA tool then you will not get any NDT notification, as the only method of NDT notification is now the PTA tool. CLECs can continue to sign up at any time. Qwest agreed to leave the CR in CLEC Test since this process was just implemented, with potential closure in November.

09/18/02 September CMP Monthly Meeting Minutes

Qwest advised that the Level 3 notification had been issued and that the comment cycle was scheduled to end this Friday, September 20th. Qwest advised that Qwest Service Managers had sent out notifications to their CLECs advising them to provide their e-mail address. The CLECs expressed concern over the 48-our language as written and intervals that were longer than the standard intervals. Qwest confirmed that the 48-hour notification was from the due date and this would be clarified in the PCAT or in writing. CLECs expressed concern over participation in the trial. It was agreed that next time Qwest does a trial, Qwest could evaluate if additional CLECs need to be involved. CLECs requested that the final notification advise the CLECs of the impact of the e-mail notification change. Qwest advised that they would add language in the final notification that advises the CLECs that if they do not provide an e-mail address they would not receive the No Dial Tone notifications.

08/21/02 August CMP Monthly Meeting Minutes

Qwest provided a status update on issuance of the Level 3 notice. Qwest indicated that they were holding off until the current 2-wire 4-wire PCAT language gets published to the Web on August 26, 2002. Allegiance expressed concern that issuance was based on the no dial tone PCAT language since they have taken exception to the language. Qwest advised that this could be addressed during the 1:00 p.m. discussion on issuance of the PCAT language. Eschelon advised that they were disappointed that they will need to wait longer for issuance of the Level 3 notice. They stated that Qwest advised last month that it would be issued by this month’s meeting and now they have to wait longer. AT&T asked if they could only have one e-mail. Qwest advised that they could only have one and it must be different than the e-mail if they are receiving test results.

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07/17/02 - July CMP Meeting Minutes: Qwest will continue with the trial that began May 6, 2002. It is available to all CLECs. Allegiance asked if all CLECs had to request the process in order for it to proceed. Qwest responded that the answer is yes, it is all or nothing. Allegiance stated that there should be a choice and that the Qwest response does not reference the “all or nothing” position. Qwest responded that the Level 3 process will support this effort and will allow other CLEC participation.. Qwest will issue the Level 3 initial notice prior to the August CMP meeting. CR status was changed to development.

Subject: Allegiance - NDT Trial E-mail Notification Final Spreadsheet 5/6 - 5/31/02 Date: Mon, 10 Jun 2002 11:36:25 -0500 From: "Wicks, Terry" To: "'Cheri Hurless'" , "'Deni Toye'" , "'Kathie Simpson'" , "'Linda Hendricks'" , "'Mary Pat Cheshire'" CC: "Reece, Mamie" , "Best, Doreen" , "Hill, Todd"

Here is the finalized spreadsheet with the data and comments captured for May. The trial is continuing through June and I will have a separate spreadsheet for June.

<>

Terry Wicks LEC Account Manager allegiancetelecom, inc 469-259-4438 terry.wicks@algx.com

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CLEC Change Request Clarification Meeting

May 9, 2002, 3:30 p.m. (MT) Conference Call 877-564-8688 PC050302-1, E-Mail Notification of No Dial Tone at 48 Hours

Attendees: Ric Martin, Qwest Neil Houston, Qwest Mike Raleigh, Qwest Deni Toye, Qwest Terry Wicks, Allegiance

Introduction of Attendees Introductions of the participants on the Conference Call were made and the purpose of the call discussed

Review Requested (Description of) Change Terry reviewed Allegiance’s CR. He explained that the initial phone call would roll to voice mail and the issue is with the voice mail notifications falling through the crack. He would like to get an e-mail to have a record to hold Allegiance personnel accountable. Terry advised that there is currently a trial with Qwest and Allegiance on this process that started in February with the QCCC. Deni advised that the trial started May 6th and is to be concluded May 31st. Currently they are having the PTA System send the e-mail. Terry advised that the CR was submitted in addition to the trial to have this process implemented for all CLECs.

Confirm Areas & Products impacted It was confirmed that the area impacted was Provisioning for coordinated hot cuts and basic cuts. The product impacted is UBL, LX—Reuses.

Confirm Right Personnel Nvolved Qwest confirmed that Neil Houston would be the SME for response to this Change Request.

Identify/Confirm CLEC’s Expectation Allegiance would like this process implemented for all CLECs.

Identify any Dependent Systems Change Requests There are no related Systems CRs.

Establish Action Plan (Resolution Time Frame) The trial will complete May 31st. The CR will have the collective CLEC clarification and SME input at the June CMP meeting.


CenturyLink Response

.July 10, 2002

Terry Wicks LEC Manager Allegiance Telecom, Inc.

SUBJECT: Qwest’s Change Request Response - CR # PC050302-1 E-mail notifications of NDT at 48 hours through PTA tool

This is in response to Allegiance’s Change Request (CR) PC050302-1. This CR requests that all notifications of No Dial Tone (NDT) at 48 hours prior to the cut date be provided to the CLEC via e-mail using Qwest’s Plant Test Access (PTA) tool. The current trial of PTA e-mail notifications with Allegiance began on May 6, 2002. The trial with Allegiance will continue during the implementation phase for this CR.

Qwest is able to provide all NDT notifications via e-mail using the PTA tool. PTA notifications require that CLECs provide Qwest with an e-mail address separate from the e-mail address provided for test results. CLECS should send their NDT PTA e-mail location to Deni Toye, dtoye@qwest.com. Qwest will add the CLECs NDT PTA e-mail address to the notification list upon receipt. To provide an efficient and uniform notification, Qwest will provide NDT notifications via the PTA tool to all CLECs.

Based upon Qwest’s understanding of the scope of this CR, Qwest views the implementation of this CR as a Level 3 Product & Process change. Timing of the implementation of this change will be dependent upon the quantity and nature of CLEC comments.

Qwest will seek concurrence for this approach at the July Monthly Product & Process CMP Meeting.

Sincerely,

Neil Houston Staff Advocate Policy & Law

cc: Mary Retka, Director, Technical Regulatory Interconnection Planning


Open Product/Process CR 5608353 Detail

 
Title: CLEC unbundled loop to CLEC unbundled loop conversion (for re use of facilities) Revision B May 25, 2001
CR Number Current Status
Date
Area Impacted Products Impacted

5608353 Completed
8/15/2001
Ordering LNP, Unbundled Loop
Originator: Mendoza, Lori
Originator Company Name: Allegiance
Owner: Urevig, Russell
Director:
CR PM:

Description Of Change

Allegiance has submitted orders following this published process and has yet to get an FOC. Every LSR has been rejected. The most common reason for reject is “rejecting lsr for no circuit # provided on lsr” (PON 677170-C1, opened ticket #882725 with IMA help desk. Ticket #882736 was closed. Voice mail left stating that circuit ID is required) another is “not authorized to retrieve CSR” (PON 674152-C1, EDI Help desk ticket #5582316 ), another is “cannot determine changes requested – accnt submitted as “c” – please check and resubmit w/specific changes” (PONs 678784-C2, C3, C4, C5. Did get a FOC on C1, but Susan said it was not typed correctly). On 6/22/01 for PON 684449-C3 and 684449-C4 the rejects were “on a CLEC to CLEC conversion, a circuit number must be provided, and also ACT should be V or Z, (SDC – CAW 888 796 9087). When escalating these rejects, Qwest personnel are not aware of the published process. They insist that the NLSP must provide the OLSP’s circuit ID. Qwest’s published process clearly states that if the NLSP is unable to obtain the circuit ID from the OLSP, the ECCKT field can be left blank. The Service Delivery Consultant will research and determine the circuit ID for the requested migration. This process needs to be sent to all Qwest personnel involved in order writing and training on how to get the circuit IDs within Qwest’s systems needs to take place. It also needs to be sent to the personnel in the call center, the help desk personnel and personnel handling escalations. I did not find one person who was aware of this process, thus the rejects seem valid to them. The alternative might be to give the CLECs access to Qwest’s systems to obtain the proper circuit IDs so that they can be put in the ECCKT field when the LSRs are submitted the first time. Retail doesn’t seem to be having any trouble with their orders when reusing our facilities. They reuse our facilities regularly and as far as I can tell they are not requesting the circuit ID from us prior to submitting their LSR.


Status History

6/13/01 – CR received from Terry Wicks of Allegiance 6/18/01 – Status changed to New – to be Evaluated

6/20/01 – Process implementation for enhanced Circuit ID Process to be verified and presented in interim meeting to be scheduled by Qwest prior to the July CICMP Meeting. (MR) 6/25/01 – Status changed to Reviewed – Under Consideration

7/10/01 – Interim conference call conducted to discuss CLEC to CLEC conversions – meeting minutes sent to the CICMP team on 7/12/01 (MR)

7/13/01 – Drafted response sent to the CICMP Team via email (MR)

8/07/01 – Eschelon and Allegiance confirmed that LSRs are being submitted and handled properly in relation to Qwest’s process on Circuit ID attainment. (MR)

8/09/01 – Revised CR response distributed to the CICMP team via email. (MR)

8/15/01 – CLEC CMP Meeting Product & Process CR 5608353. It was agreed that the CR was closed due to successful processing of LSRs with revised procedure for CKTIDs. Closed


Project Meetings


CenturyLink Response

August 7, 2001

This letter is in response to the following CLEC Change Request Forms #5263137, dated December 1, 2000 and #5608177 and #5608353, dated June 13, 2001. All of these Change Requests pertain to the CLEC to CLEC Migration process. The revised process was released via the Co-Provider Industry Change Management Process (CICMP) on May 25, 2001.

? Re-use of facilities for CLEC to CLEC carrier changes, improving the CLEC to CLEC reuse of facilities process and to ensure nondiscrimination.

? Response: The Qwest Release Notification Forms #5393537 (CLEC Unbundled Loop to CLEC Unbundled Loop), #5393543 (CLEC Unbundled Loop to CLEC Resale), and #5467108 (CLEC LNP with Unbundled Loop to CLEC Unbundled Loop) Revision B, released on May 25, 2001, noted changes in the Pre-Order section that the requirement to obtain the “Circuit Identification Number from the OLSP” is optional. Both Eschelon and Allegiance provided Qwest with examples of orders that were rejected by Qwest due to no Circuit Identification Number provided. After gap analysis, it was determined that additional training of Qwest Service Center personnel and updates to Service Delivery M&Ps were required. The following measures have been implemented:

? An updated Multi Channel Communicator (MCC) New or Changed Information Procedure was issued on July 9, 2001. ? Issued to target Qwest internal personnel in the Wholesale Customer Care, Customer Service, Error Group, Held Order/Escalation, Order Processing and Order Resolution organizations. ? Topic of the MCC: “CLEC to CLEC Migration of an Unbundled Loop and Unbundled Loop to other products.” ? CLEC to CLEC Migration is defined as; unbundled to unbundled, unbundled to resale, unbundled to Centrex resale. ? Emphasis placed on processing orders without circuit ids (ECCKT’s) on LSR requesting migration. ? States included in this communication are; AZ, CO, IA, ID-N, ID-S, MN, MT, ND, NE, NM, OR, Outside 14 State Region, SD, UT, WA and WY. ? All internal job aids and on-line support documentation have been updated. ? Qwest Service Center specific training sessions are currently in progress for both center coaches and center personnel. The training will be on going to ensure process compliance.

Sincerely

Nancy J. Hoag Qwest Wholesale Product Team


Open Product/Process CR PC073101-7 Detail

 
Title: QCCC SUPs entire order NDT for partials numbers on multi line cuts
CR Number Current Status
Date
Area Impacted Products Impacted

PC073101-7 Denied
12/12/2001
Ordering Unbundled Loop, LNP
Originator: Mendoza, Lori
Originator Company Name: Allegiance
Owner: Aesquivel III, Frederick
Director:
CR PM:

Description Of Change

It is Qwest’s current practice to SUP the entire order on a multi-line cut when there is NDT or other problems on one or more of the TNs, but not the entire list of numbers being ported. It is Allegiance’s position that the CLEC should be able to make the decision to bring the number over “broken” or not. Qwest should not be making the call to not port a number on cut date due to this scenario. The SUPing of these orders creates additional work and processing for both Qwest and the CLEC. This is also increasing the cost associated with processing the order multiple times. When these numbers are not cut on the due date, Allegiance has experienced the trend of loosing these customers. Our credibility and our ability to service the end user are jeopardized at the very start of the relationship. Allegiance feels that the current Qwest practice to SUP these orders is anti-competitive and therefore the CLEC should have the final say in bringing the Customer over “broken” then effect repair whether it be on the CLEC side or the LEC side in order to fulfill our obligation to the end user as outlined in our signed contract with them.

Granted the process of the 48 pre-testing will catch most of these ahead of cut date, things happen on cut date that cannot be prevented. Allegiance wants the decision to bring the lines over or not to be the CLEC’s call.


Status History

07/30/01 - CR submitted byTerry Wicks

07/31/01 - Status changed to New – To be Reviewed

08/06/01 - CR discussed by the internal Qwest CR review team and owner designated

08/09/01 - Allignment meeting held with Allegiance

08/09/01 - Draft response completed.

08/20/01 - Minutes issued of Alignment Meeting held 08/09/01.

08/23/01 - Clarification Meeting held with Allegiance, minutes issued.

08/29/01 - CR escalated to Scott Simanson, VP. Scott reaffirmed Qwest's position, See attached response.

09/07/01 - Walk through Meeting Held

09/19/01 - CMP meeting - Qwest presented response. Qwest agreed to re-evaluate this request. Status changed from presented to evaluation; Qwest revisiting response.

10/09/01 - Revised Draft Response posted to Database

10/17/01 - CMP Meeting: Qwest presented revised response. Allegiance would like to have Rational and Justification as to why CR was denied.

10/31/01 - Qwest to explain policy issues as it relates to multi-line cuts and will work on cut date issues.

11/14/01 - CMP Meeting: Allegaince not in attendance. Fred Aesquivel/Qwest to provide update at December CMP Meeting.

12/12/01 - CMP Meeting: Request was denied, status changed to denied.

12/28/01 - Formal response dated 10/9/01 issued to CLECs

03/20/02 - CR Open/Closed Status changed to Closed per agreement at 03/20/02 Monthly CMP Meeting that CRs having Denied status should also reflect Closed Status


Project Meetings

09/07/01 - Walk through Meeting Terry Wicks - Allegiance, Todd Mead, Linda Hendricks & Dave Maier - Qwest Reviewed Qwest revised response. Qwest will not hand over circuits with dial tone problems (either on Qwest or CLEC side). However Qwest will be flexible on cut date and will work with the CLEC. Allegiance wants further clarification around the definition of 'flexibility'. Allegiance want to escalate this issue - however, this CR has already been escalated internally to the Vice President level as per the existing CMP escalation procedure.

Action : Linda Hendricks will provide definition of Qwest 'flexibility' on cut date. Allegiance will submit a new CR to clarify the Qwest process when dial tone problems are on the Qwest side.

August 23rd, 2001 Clarification Meeting 1-866-289-7092 PC 741-1286 # PCCR073101-7

Terry Wicks/Allegiance Patrick Weston/Allegiance Doug Barman/Allegiance Linda Hendricks/Qwest Todd Mead/Qwest Introduction of Attendees Terry, Patrick, Doug, Linda and Todd Review Qwest Response Linda’s response to the original CR (PCCR073101-7) was discussed. Essentially Qwest will not hand over bad circuits to a CLEC. In mitigation, Qwest has implemented the 48/1 hour DT test on July 29, 2001 to resolve this issue. There is also the opportunity for the CLEC to split the order and have the bad circuits moved to another LSR. CLEC Response Allegiance accepted that when there is no DT on the Qwest side, Qwest should not hand over circuits until the problem has been resolved. Allegiance’s position is that they would still like to be able to take the circuit. If Qwest is consistently pre-testing on their side at least 48 hours prior to cut date, then the number of incidents of bad facilities on the Qwest side on cut date should be minimal. Allegiance will track and report accordingly. Allegiance will not pursue the issue at this point when the circuit is “bad” on the Qwest side. However, they will be pursuing to take the circuit when the problem is on Allegiance’s side. Allegiance agreed that the 48/1 hour DT test implemented on July 29 should substantially reduce the number of occurrences related to this issue on the Allegiance side. However, when the “no DT” is on the CLEC side, Allegiance wants to have the circuits passed over “as is”, and do not want to split the order. Allegiance has options to get the end user service on any “broken” line when the NDT is on their side. Once the TN is activated and Allegiance has the number in their switch, they can call forward the line to another line or to cell phones they supply to the end user. Allegiance has processes in place that they use daily with this type of situation when dealing with the other LECs. Allegiance would like to be able to use their processes in this situation with Qwest as well. Allegiance is prepared to escalate as needed if this cannot be resolved at this level. Confirm Right Personnel Involved Scott Simanson, VP and Fred Aesquivel Director (Qwest) need to be involved to make the final determination on Qwest’s position with respect to this issue. An internal meeting involving these people needs to take place. Todd will organize. Identify/Confirm CLEC’s Expectation Allegiance wants Qwest to hand over good circuits if the “no DT” is on the CLEC side. Allegiance stated every other ILEC they deal with (including PacBell, SW Bell, Bell North and South, Verizon and Ameritech) do this, as part of their normal business. Establish Action Plan (Resolution Time Frame) Review these minutes as an accurate account of this mornings discussion Set up a meeting with Scott, Fred and Linda to discuss Qwest’s position and draft a response. Set up a walk-through meeting with Allegiance to discuss the Qwest final response.

08/23/01 - Clarification Meeting Allegiance - Terry Wicks, Patrick Western, Doug Baram Qwest - Linda Hendricks, Todd Mead

Allegiance accepted that when there is no DT on the Qwest side, Qwest should not hand over circuits until the problem has been resolved. Allegiance agreed that the 48/1 hour DT test implemented on July 29 should substantially reduce the number of occurrences related to this issue. However, when the “no DT” is on the CLEC side, Allegiance wants to have the circuits passed over “as is”, and do not want to split the order.

08/09/01 - Alignment Meeting Terry Wicks/Allegiance Qwest - Scott Simanson, James Mackie,Dana Frenking, Linda Hendricks, John Moore, Cindy Buckmaster, Nancy Hoag, Lisa Schuzer

Turning up loops that do not meet Qwest test requirements or do not have CLEC DT on them. Their example was if they send in an LSR with 10 loops and 2 do not have CLEC DT on them or if Qwest has a facility problem, Qwest should allow Allegiance to make the decision to accept all of the orders even if problems exist. They want Qwest to close the order and open a repair ticket to provision the loops with the problems. No CLEC DT concern: Turning up loops that do not meet requirements will leave Qwest and the end user in a vulnerable position. If the CLEC decides they can't get DT working after we have closed the order and (if applicable had the translations ran), the end user customer could be out of service. Qwest wouldn't be able to work the order back, because it is closed. In order for the end user to get back to Qwest they would need to issue a WINBACK order and the CLEC would need to issue a disconnect order on the "BAD circuit/loop turned up". Qwest's facilities concern: If Qwest has the problem and our facilities are bad or maybe in some cases won't be built out at all, the following could occur if loop is turned up bad: mask facility issues on Qwest side (or perceive that is what we are doing) open the door for repair PID issues open our selves up to many issues from provisioning to repair PID measurement accuracy billing on a bad loop


CenturyLink Response

October 09, 2001

Wholesale Product Marketing

This letter is in response to the following CLEC Change Request Form PC073101-7 dated 07/30/2001. The Change Request related to Qwest’s current practice to not complete all circuits and/or orders on a given LSR, when there is known trouble either in the Qwest or CLEC network on one or more of the circuits being turned up.

In an effort to minimize the risk of the of an out of service condition during a migration, and to ensure the readiness of all parties to maximize success, Qwest has put the following process improvements in place:

48-Hour Dial Tone Check – Qwest Central Office Technician (COT) tests for Dial Tone at the CLEC CFA on the ICDF 48 hours prior to the scheduled cut. If Dial Tone is not present, the COT notifies the Qwest QCCC Coordinator, who in turn notifies the CLEC. This gives the CLEC 48 hours to correct the no dial tone condition.

1 Hour Dial Tone Check – Qwest COT tests for Dial Tone at the CLEC CFA on the ICDF 1 hour prior to the scheduled cut. If Dial Tone is not present, the COT notifies the Qwest QCCC Coordinator, who in turn notifies the CLEC. This second notification gives the CLEC an hour to correct the no dial tone condition.

Field Pre-Survey - Qwest Field Technicians Pre Survey outside plant facilities to identify any before due date. If Field Technicians determine that facilities are not available or acceptable for the service ordered, the Technician invokes an internal Qwest process to search for other facilities or place the order in a held status if suitable facilities are unavailable. The CLEC is then notified of the Held status.

Order Splitting – Qwest has offered to “split” orders on an LSR and “supp” the order with the circuit with the trouble condition at the time of the cut, allowing the CLEC the necessary time to correct the known condition.

After considerable deliberation and reconsideration, Qwest will continue to follow its practice to not turn over circuits that do not meet all defined standards at the time of the migration. CLEC’s retain the right to escalate and to petition through the Bona Fide Request (BFR) process.

Respectfully,

Frederick M Aesquivel III Director – Local Network Operations Support

CC: Scott Simanson Linda Hendricks Dana Filip


Open Product/Process CR 5548229 Detail

 
Title: Same day pair change during test and turn up (day of cut)
CR Number Current Status
Date
Area Impacted Products Impacted

5548229 Completed
8/21/2002
Ordering Unbundled Loop, LNP
Originator: Mendoza, Lori
Originator Company Name: Allegiance
Owner: Toye, Deni
Director:
CR PM: Thomte, Kit

Description Of Change

Allegiance is requesting that a process be put in place by Qwest to allow for a same day pair change on the day of the cut, during test and turn up, when Allegiance has determined that our assigned pairs have become defective. Currently on cut date when Allegiance has determined that our pairs are bad, Qwest requires Allegiance to SUP the order with the necessary pair change information and a new due date of 5 days out is given thus delaying the cut and possibly loosing the customer. There currently is a process in place within Qwest to do a same day pair change on repair tickets. After a customer has ported to Allegiance and the pairs become defective, Allegiance can issue a change order with new pair information. Once the FOC is received, Allegiance opens an assist-type, or “AT” ticket with Qwest Repair to change the pairs. When we open the assist-type ticket the COT knows that there is a pending order and is able to work the “AT” ticket from the word document generated when the LSR change order has been submitted and FOCd. This process only takes a few hours once Allegiance has submitted the change LSR to Qwest. Allegiance is requesting that a similar process be put in place to accomplish a same day pair change on cut date to save the cut.


Status History

5/10/01 – CR received from Terry Wicks of Allegiance 5/14/01 – CR logged and status changed to New – To be Evaluated

5/16/01 – Status changed to Reviewed – Under consideration

6/15/01 - Allegiance is requesting that a process be put in place by Qwest to allow for same day pair change on the day of the cut, during test and turn up when Allegiance determined that our assigned pairs have become defective. When it is determined that Qwest pairs are faulty at test and turn up, Qwest will try and assign new pairs so that the order can be turned up on the due date. If there are not any spare pairs to assign to, then the order will go into RTT and will be worked through that process. If we are talking CFA change, and Allegiance finds out that the Allegiance CFA is bad on test and turn up, then this poses a few issues. The outside workforce and the Central Office workforces are assigned their workloads 48 hours in advance. Also, if the CFA move work is completed in the Central Office, but a LSR is never received to update the records, the CLEC would run the risk of being put out of service since our records would indicate that the CFA was actually in a different slot. This would also pose a problem if a case of trouble was reported. The actual CFA would not be what the records would show. (DT)

8/09/01 – CR response sent to the CICMP team via email and included in the August CICMP Distribution Package (MR)

8/15/01 – CLEC CMP Meeting. Terry Wicks advised that they haven’t been experiencing any problems and it would be OK to close. Jim Beers indicated that we would show the CR as accepted until procedure is working with CLEC.

08/30/01 - CR is in CLEC test, Allegiance will give update at September 19th CMP Meeting

09/19/01 - CR to remain in CLEC test. Qwest will investigate and provide feedback on issues raised by Allegiance.

10/05/01 - Clarification Meeting Held with Allegiance. Russ Uriveg and Deni Toye to respond to Allegiance issues.

10/10/01 - Revised draft response completed and posted to database.

10/17/01 - CR to remain in CLEC test. Allegiance indicated they were still not receiving FOC . Qwest will investigate and provide feedback on issues raised by Allegiance via revised Qwest response at November CMP Meeting.

10/24/01 - Qwest Response issued to CLEC Community

11/14/01 - CMP Meeting - Allegaince not in attendance. Deni Toye to discuss at December CMP Meeting.

12/12/01 - CMP Meeting, Allegaince still not receiving consistent updated FOCs. Qwest will investigate (see action # 1), CR will remain in CLEC Test.

12/13/01 - Received e-mail from Allegiance listing PONs for same day CFA changes that were processed by Qwest during December thus far.

12/13/01 - Received e-mail from Allegiance listing previous email lists of PONs Allegiance did not get updated FOCs on for the Same Day Pair Change process on test and turn up date.

12/26/01 - Response e-mail from Qwest to Allegiance with revised information on December examples

12/26/01 - E-mail reply from Qwest to Allegiance asking for LSR ID #

12/26/01 - E-mail from Allegiance with LSR ID

12/26/01 - E-mail from Qwest with order numbers

12/26/01 - Reply e-mail from Qwest

12/28/01 - E-mail from Allegiance with more examples of missing updated FOCs

12/30/01 - E-mail from Allegiance with updated PON and LSR ID

01/02/02 - E-mail from Allegiance with two more examples of missing updated FOCs

01/07/02 - Response dated 01/07/02, issued to Allegiance

01/08/02 - E-mail from Allegiance with one example out of four not receiving an updated FOC

01/11/02 - E-mail from Allegiance with early January examples of not receiving updated FOCs

01/16/02 - January CMP meeting. Qwest reiterated that they are focusing on correcting this process. Allegiance will continue to monitor on a weekly basis and hope to see an improvement. CR status will remain in "CLEC Test"

01/18/02 - E-mail from Allegiance with more January examples of not receiving updated FOCs

01/18/02 - Action # 2 opened to find out what e-mail address Qwest is using to send updated FOCs

01/25/02 - E-mail from Allegiance with more January examples of not receiving updated FOCs

02/07/02 - Action # 2 ( what e-mail address Qwest is using to send updated FOCs) changed to pending closure

02/20/02 - February CMP meeting: Allegiance reported an improvement over the past month in receiving updated FOCs. Allegiance would like to see Qwest start reporting on this metric rather than Allegiance. Action # 3 opened to create a report on this metric. CR status remains in CLEC Test. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

02/25/02 - E-mail from Allegiance with February examples of not receiving updated FOCs

03/04/02 - E-mail from Allegiance with February/March examples of not receiving updated FOCs

03/11/02 - E-mail from Allegiance with March examples of not receiving updated FOCs

03/13/02 - MCC titled "CFA Change and Notification" issued to ensue CLECs receive notification on CFA changes

03/14/02 - Resolution to Action Item 3 posted to database and status of action item changed to pending closure.

03/15/02 - Issued February's analysis to Allegiance.

03/20/02 - March CMP Meeting: CR to remain in CLEC Test. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be

posted on the CMP Web site

03/20/02 - E-mail from Allegiance with March 3/11 - 3/15 examples of not receiving an updated FOC

03/28/02 - E-mail from Allegiance with March 3/18 - 3/22 examples of not receiving an updated FOC

04/05/02 - E-mail from Eschelon with three examples of same day pair change where records are not correct (examples included)

04/15/02 - E-mail from Eschelon asking for updates to be made and seeking response on submitted examples

04/17/02 - April CMP Meeting: CR to remain in CLEC Test. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

04/29/02 - E-mail received from Allegiance with examples from 4/15 - 4/19 of not receiving an updated FOC

05/01/02 - Received email from Eschelon with examples of CFA change day of cut.....posted with wrong CFA on CSR sent to R Urevig

05/13/02 - Received email from Allegiance with examples - Same Day CFA'S FOR 4/29 THRU 5/3/02]

05/15/02 - May CMP Meeting: CR to remain in CLEC Test. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

05/17/02 - Received email from Allegiance with CFAs 05/13 - 05/17

06/05/02 - Received email from Allegiance with CFAs 05/20 - 05/31Qwest Urevig will work directly with the centers to determine problem and work with coach to identify repetative problems

06/10/02 - Received email from Allegiance with CFAs 06/03 - 06/07 Qwest Urevig to work with center personnel for responses to problems

06/19/02 - June CMP Meeting: CR to remain in CLEC Test Meeting discussions will be set forth in the Produce/Process Meeting Minutes to be posted on the CMP Web site

06/24/02 - Received email with updated spreadsheet from Allegiance with CFAs from 06/10 - 06/14 Urevig will review issues and provide feedback

06/24/02 - Received email with updated spreadsheet from Allegiance with CFAs from 06/17 - 06/21Urevig will review issue and provide feedback

06/26/02 - Sent email to Allegiance and CLEC community regarding Escalation process

07/08/02 - Allegiance - Same Day CFA Change Spreadsheet updates 6/24/02 through 7/05

07/17/02 - July CMP Meeting: CR to remain in CLEC Test , Meeting minutes posted to this CR's Project Meetings section

07/24/02 - Received email with final spreadsheet from Allegiance

08/21/02 - August CMP Meeting: CR was changed to Completed Status Meeting discussions will be set forth in the Produce/Process Meeting Minutes to be posted on the CME Web site and this CR's Project Meetings section


Project Meetings

August CMP Monthly Meeting Minutes

Allegiance (Wicks) agreed this CR could be moved to “Completed” status. Allegiance did indicate they would like to see a higher level of compliance in this area. Currently they are still not receiving updated FOC’s 30% of the time.

-

"'Russ Urveig'" cc: "'Kit Thomte'"

Subject: Allegiance - Same Day CFA Changes - No Updated FOCs Week of 7/15 - 7/19

Here is the last spreadsheet that I will send to you for updates. Beginning 7/22 we are using the new process to release busy CFAs should the situation arise.

There was only one PON that we did not get an updated FOC on last week. Please confirm the CFA change was corrected on you records for PON 1388133-LP and return the updated spreadsheet to me. Thanks.

<>

Terry Wicks LEC Account Manager allegiancetelecom, inc 469-259-4438 terry.wicks@algx.com

07/17/02 - July CMP Meeting Minutes: Qwest (Buck) provided the following status. Qwest had provided information back to Allegiance on the spreadsheet they have been tracking from. Allegiance agreed that they would begin using the escalation process on July 22. Qwest indicated that in the interim the escalation information has been provided to the CLECs to allow everyone to use the process. Worldcom inquired how someone that did not attend CMP could get the information. Qwest responded that the information was updated in the Qwest Raw Loop Data Qualification Tool Job Aid. This CR will remain in "CLEC Test" until the next CMP meeting to determine if the process is working properly and can be closed.

"Cheri Hurless" , "Wicks, Terry" cc: kthomte@qwest.com

Subject: Spreadsheets

Here is the completed spreadsheet for the CFA changes and no FOC sent, if you have any question please get with Cheri. There was only one request for CFA change where as the records were incorrect, I had a service order issue to correct the problem and it was due dated today. Just to clarify the spread sheet, in the column for NO FOC if the correct CFA was applied in TIRKS and the service order, I place an OK next you your N indicator. In the Comment section I just stated CFA verified. (See attached file: Same Day CFA Spreadsheet No FOC Master.xls)

I believe we have made great improvements on the FOC during the last several week and in all but 1 case the CFA had been correctly changed. I feel that this spread sheet should be discontinued and any concerns for CFA changes should move to the BUSY CFA activity, but only after the CFA query function had been performed on both the old CFA to make sure it is vacant and against the new CFA tom make sure it is busy. Any time we take activities out of the normal process flow and I an referring to requesting a CFA change without documentation there are extra steps we both must take to work together. Thanks for all your feed back on this matter Terry, and I look forward to closing this CR. Russ,

Here are my latest examples of not receiving updated FOCs on same day CFA changes.

5/20/02 thru 5/24/02

1268042-LP Received Updated FOC 1253525-LP Did Not receive updated FOC 1275739-LP Did Not receive updated FOC 1273724-LP Received Updated FOC 1272870-LP Received Updated FOC 1265872-LP Received Updated FOC 1277072-LP Received Updated FOC 1270017-LP Received Updated FOC 1276114-LP Received Updated FOC 1153382-LP Received Updated FOC

5/28/02 thru 5/31/02

1296008-LP 303-706-9024 Did Not receive updated FOC

1284062-L 480-237-0350 Did Not receive updated FOC 1308512-L1 480-966-8198 Did Not receive updated FOC 1295225-LP 303-781-8307 Received Updated FOC Received Updated FOC

1287395-L 303-771-0816 Received Updated FOC 1301207-LP Did Not receive updated FOC

1301991-LP Did Not receive updated FOC 303-762-9176 1278540-LP Received Updated FOC

1303185-L Received Updated FOC 1307043-L Did Not receive updated FOC 1303880-LP Received Updated FOC

1309037-LP Received Updated FOC 1309503-LP Did Not receive updated FOC 1292144-L Did Not receive updated FOC 1301212-LP Received Updated FOC

1285714-LP Received Updated FOC

Terry Wicks LEC Account Manager allegiancetelecom, inc 469-259-4438

Subject: CFA'S FOR 5/13/02 THRU 5/17/02

FOC 1242682-LP TN 720-932-8789 NEW 1263 OLD 1299

FOC 1257259-LP TN 303-755-3199 NEW 829 OLD 814

FOC 1284374-LP TN 206-323-1751 NEW 1279 OLD 1259 AND 1341 SHOWS WORKING IMA

NO FOC 1211795-LP2 TN 752-888-7554 NEW 247 OLD 276

FOC 1261532-LP TN 623-931-8086 NEW 808 OLD 768

FOC 1265023-L TN 303-991-0119 NEW 696 OLD 1183

FOC 1280325-MVL TN 763-576-6636-1 NEW 152 OLD 161

Thank you and have a good day,

Tasha Nichols/Supervisor Qwest/Verizon West 469-259-4823 fax 469-259-9051 tasha.nichols@algx.com


CenturyLink Response

June 26, 2002

Terry Wicks LEC Account Manager Allegiance Telecom

SUBJECT: Qwest’s Change Request Response - CR 5548229 Same Day Pair Change

This letter is in response to your recent request regarding the Escalation process associated with busy CFA. A subsequent request was made to include information to the CLECs regarding how they should initiate an escalation for busy CFA.

Below is the information that is necessary to initiate an Escalation for busy CFA.

Busy Connecting Facility Assignment (CFA) is defined as; When validating the CFA the slot shows that it is currently in use by a circuit in the Trunk Integrated Record Keeping System (TIRKS). The busy CFA can be the result of several different reasons: normal activity, pending service order activity, pending Inventory Availability Date (IAD) issues, and canceled service orders that have not cleared in TIRKS. Should you receive an indicator that the CFA is currently in use, however you records indicate the CFA is NOT in use, an Escalation ticket may be opened.

Information that is required for an Escalation ticket will be for BUSY CFA problems.

1. TERM Z TYPE LONG CLLI (ex.ALBONMNEHG1)

2. TERM A TYPE SHORT TYPE CLLI (e.g., ALBQNMNE)

3. CABLE TYPE (e.g., alt01)

4. UNIT NUMBER (e.g., 086)

5. Was there a disconnect request submitted to free CFA location. (EX. Yes, a disconnect request was submitted and an FOC was received. The PON number for the disconnect was AAA121211-MA)

6. Was the Slot changed during installation? If so what was the old slot and what should the current slot be? (EX. Yes, we changed the CFA during test and turn-up the previous CFA was ALT01 slot 89 TCANAZMAHG1 and slot changed to slot 91. The PON number associated to this change was AAA121211-MA)

7. Was there any migration activity on this CFA? (EX. Yes, we should that a migration to another Provider on 06/17/2002)

8. Want type of request were you attempting when you encounter the busy CFA problem? (EX. We were attempting to request a new loop and utilize this CFA, or we were attempting a change activity against circuit 99.LXFU.000111.nw.)

9. Were there any change activity against the circuit, if so PON number for activities. (EX. Our records show a change activity should have taken place on 06/17/2002 from PON AAA121211-MA to free this CFA. Or our records indicate a disconnect request on 06/17/2002 on PON AAA121211-MA which should have freed the CFA.)

If you have any questions regarding this information please feel free to contact me.

Sincerely,

Russ Urevig Senior Process Analyst

01/07/02 Response to Allegiance e-mail dated 12/28/01 January 7, 2002

Terry Wicks LEC Account Manager Allegiance Telecom

CC: Catherine Garcia

This letter is in response to your e-mail dated Friday, December 28th, 2001 – Allegiance – Same Day CFA Change – No Updated FOC Received.

Response: Since we have received examples of FOC’s not being sent to the CLEC’s when a CFA has been changed, new focus on this process has been brought forward. The QCCC have put the following procedures in place to insure that the CFA process is followed.

- All testers have been re-trained on the CFA Change Process.

- Four compliance reviews, for each tester, are completed every month focusing on compliance to the CFA Change Process.

- Performance managing is being done to insure the CFA Change Process is being complied with. If a tester fails their compliance review, there is documented discussion around the issue.

- Weekly Leadership meeting are held to discuss issues for the center. The CFA Change Process has been brought forward during these meetings to insure that the process is understood and followed.

Sincerely,

Deni Toye Network Unbundled Loop Process

October 10, 2001 Terry Wicks, Allegiance

This letter is in response to your CLEC Change Request Form CR5548229 dated August 30, 2001, Request:

Allegiance has sent Qwest examples of orders when Allegiance had problems on same day CFA changes. Allegiance was not receiving FOC’s back specifying that a CFA had been changed. Allegiance would like to know that there is a process for a CFA change on test and turn up for the same day.

Qwest Response: There was a process put into place to allow the CLEC to have a CFA change before or on the due date. On August 9, 2001 a process was put in place to allow this activity to happen. Terry Wicks sent some examples to show that the process is not working. After investigation of these orders, it was determined that a process is in place and does work, however, there are isolated cases of non-compliance issues. The orders that Terry sent to us did have the CFA changed the day of the due date, however, non-compliance to the process did not produce a call to the SDC, therefore, a FOC was not sent to the CLEC. These examples have been forwarded to the centers for process compliance verification.

Sincerely,

Deni Toye Network Unbundled Loop Process


Open Product/Process CR PC092701-1 Detail

 
Title: Develop a process for CLECs to get a FULL CSRs on DID numbers
CR Number Current Status
Date
Area Impacted Products Impacted

PC092701-1 Completed
12/12/2001
Pre-Ordering, Ordering Re-Sale
Originator: Mendoza, Lori
Originator Company Name: Allegiance
Owner: Manning, Monica
Director:
CR PM:

Description Of Change

Allegiance is requesting that a process be developed by Qwest to allow CLECs to be able to retrieve a full and complete CSR for all DID numbers for a specific End User at a specific location. Currently Allegiance is not confident that the information received through IMA is accurate. We have had several instances of End Users going down after conversion due to DIDs not being addressed. The reason for this is that not all DIDs are showing up on the CSRs. One example is for City of Tukwila BTN 206-433-1800. The CSR we pulled in IMA only shows the block 206-433-1844 to 1851 when in actuality the range goes to 1871. Qwest also advised us the DID 206-433-1856 did not exist. This meant that there was a break in the range of 206-433-1844 to 1855 then 206-433-1857 to 1871. DID range 206-433-7140 to 7199 is totally unaccounted for on the CSR.

These DID numbers were for the local police and fire station in this city. Due to the inaccurate CSR we left a two-way trunk with Qwest which disrupted the hunting (this line had a DPA on it that the customer wanted to keep). There were two sets of DIDs that were not addressed so when the TFD trunk they were riding on was ported the DIDs went down. The only way we were able to find the additional DIDs was by call Qwest for assistance.


Status History

09/25/01 – CR received from Terry Wicks of Allegiance Telecom

09/27/01 – CR status changed to Submitted

09/27/01 – Updated CR sent to Terry Wicks of Allegiance Telecom

10/05/01 - Held Clarification Meeting with Allegiance

10/17/01 - CMP Meeting: Clarification conducted with CLEC community. "Current Status" changed to evaluation.

10/26/01 - Draft Response completed on 10/26

11/01/01 - Issued draft response dated 10/26/01 to Allegiance.

11/09/01 - Issued revised draft response dated 11/8/01 to Allegiance.

11/14/01 - CMP Meeting: It was agreed to move this CR to CLEC Test with the concurrence of Allegiance.

11/16/01 - Matt Rossi issued Final Response to the CLEC Community.

11/30/01 - Per telecon between T Wicks, Allegiance, and Ric Martin, Qwest, Allegiance was in agreement with moving the CR into CLEC Test.

12/12/01 - CMP Meeting - CLEC participants agreed that the CR could be closed.


Project Meetings

9:00 p.m. (MDT) / Friday, October 05, 2001 Conference Call 1-877-542-1728 PC7712487 # PCCR092701-1

Name/Company: Terry Wicks, terry.wicks@algx.com, Allegiance Monica Manning, mxmanni@qwest.com, Qwest Susie Wells, sdwell2@qwest.com, Qwest Kate Spry, kspry@qwest.com, Qwest

Introduction of Attendees Terry, Monica, Susie, and Kate Review Requested (Description of) Change Develop a process for CLECs to get a “full” CSRs on DID numbers. Confirm Areas & Products Impacted Areas: Pre-Ordering / Ordering Products: Resale Confirm Right Personnel Involved Monica Manning is the ‘owner’ of this CR and will be the point of contact for future problems of this nature until the root cause is established and draft response issued. Susie would like to stay informed as to response and is available for questions pertaining to her area. Terry Wicks would like to stay informed as to response. Kate will coordinate all necessary clarification meetings, complete meeting minutes, and review, forward, and send information to Mike Keegan and Matt Rossi to store to database. Identify/Confirm CLEC’s Expectation Allegiance is requesting that a process be developed by Qwest to allow CLECs to be able to retrieve a full and complete CSR for all DID numbers for a specific End User at a specific location. Currently Allegiance is not confident that the information received through IMA is accurate. We have had several instances of End Users going down after conversion due to DIDs not being addressed. The reason for this is that not all DIDs are showing up on the CSRs. One example is for City of Tukwila BTN 206-433-1800. The CSR we pulled in IMA only shows the block 206-433-1844 to 1851 when in actuality the range goes to 1871. Qwest also advised us the DID 206-433-1856 did not exist. This meant that there was a break in the range of 206-433-1844 to 1855 then 206-433-1857 to 1871. DID range 206-433-7140 to 7199 is totally unaccounted for on the CSR.

These DID numbers were for the local police and fire station in this city. Due to the inaccurate CSR we left a two-way trunk with Qwest which disrupted the hunting (this line had a DPA on it that the customer wanted to keep). There were two sets of DIDs that were not addressed so when the TFD trunk they were riding on was ported the DIDs went down. The only way we were able to find the additional DIDs was by call Qwest for assistance. To clarify, two points are being addressed: ? When you pull a CSR and submit a request, the phone numbers aren’t on the CSR in the LSR. Is it then rejected? If so, why don’t they show up in the CSR if they are rejected? Terry gave the following examples: Here are the PONs where we ported these DID ranges: PON 699510-NP 206-431-3650 thru 3689 699510-NP1 206-431-3890 thru 3899 699510-NP2 206-433-1804 thru 1843

We have not completed the porting of these PONs: PON 860171-NP1 206-433-1844 thru 1855 PON 860171-NP2 206-433-1857 thru 1871 PON 860171-NP3 206-433-7140 thru 7199

The following TNs were on our CSR but we were told by Qwest there were additional TNs not showing up: 206-433-1844 thru 1851

The following TNs were not on our CSR we pulled from IMA for BTN 206-433-1800 206-433-1852 thru 1855 206-433-1857 thru 1871 206-433-7140 thru 7199

? Additional DIB ranges need to be addressed.

Identify any Dependent Systems Change Requests No related system CR’s were identified Establish Action Plan (Resolution Time Frame) Monica will clarify process via a written formal response draft. After clarification is received regarding possible system changes. She will forward this documentation to Kate by 10/18/01. Kate will review and forward the response draft to Mike Keegan and Matt Rossi to store in the CR database by 10/19/01 for CLEC review. The web location will be noted in Matt Rossi’s email regarding the response document by 10/22/01. This information can then be reviewed and discussed by the CLEC Community at the following CMP Meeting. Terry can view this information on the CR database and this CR can then be reviewed and discussed by the CLEC Community at the following CMP Meeting. Corrections/updates can then be made at that time.


CenturyLink Response

Wholesale Product Marketing FINAL RESPONSE

November 8, 2001

Terry Wicks LEC Manager Allegiance Telecom, Inc

This letter is being sent in response to CLEC Change Request Form # PC092701-1. PC092701-1 pertains to a request for a process to get a full CSR on DID numbers.

We have reviewed the list of LSRs and associated CSR you provided to QWEST for this Change Request. While it may have appeared that a Full CSR was provided to you by IMA, the Review Full CSR Response displayed a message indicating that only 52 of 61 pages were returned. This would explain why only a portion of the DID numbers for the account appeared.

The IMA User Guide provides instructions on how to retrieve additional CSR data, when the complete CSR is not displayed. This information can be found in Chapter 1 of the User Guide, under Reviewing Customer Service Records. As long as a Full CSR request does not exceed the page number limitation (300 pages in the IMA GUI, 450 pages in IMA EDI) and the CLEC is authorized, all of the CSR pages should be returned. If the instructions in the User Guide are followed, all of the CSR pages can be retrieved.

If you should encounter this trouble again while trying to retrieve a full CSR and have followed the steps outlined in the User Guide, please contact the Wholesale Systems Help Desk at (888) 796-9102 immediately. If we receive a trouble report regarding CSR retrieval "as it is occurring", we will be able to determine the root cause and correct the problem.

Sincerely,

Monica Manning IMA Process Specialist


Open Product/Process CR PC092701-2 Detail

 
Title: Develop a process for CLECs to get a FULL CSRs on Resale Centrex lines.
CR Number Current Status
Date
Area Impacted Products Impacted

PC092701-2 Completed
2/20/2002
Pre-Ordering, Ordering Re-Sale
Originator: Mendoza, Lori
Originator Company Name: Allegiance
Owner: Wells, Susie
Director:
CR PM:

Description Of Change

Allegiance is requesting that a process be developed by Qwest to allow CLECs to be able to request and receive from the CSR center a full CSR for all TNs for a specific End User at a specific location that has Resale Centrex lines. The CLEC would only need to submitting one WTN and the address in order to receive the full CSR that would include all WTNs and feature detail at that address for that End User. Currently the only capability to the CLECs is to pull partial CSRs by WTN. When all WTNs are not known, there is no way to ascertain that all TNs have been accounted for before submitting an order to Qwest to convert.


Status History

09/25/01 - CR received from Terry Wicks of Allegiance Telecom

09/27/01 - CR status changed to Submitted

09/27/01 - Updated CR sent to Terry Wicks of Allegiance Telecom

10/05/01 - Held Clarification Meeting with Allegiance

10/17/01 - CMP Meeting: Clarification conducted with CLEC community. "Current Status" changed to evaluation.

10/26/01 - Held additional Clarification Meeting with Allegiance.

11/01/01 - Issued draft response dated 10/26/01 to Allegiance.

11/09/01 - Sent Terry Wicks an updated version of the Draft Response dated 11/8/01.

11/14/01 - CMP Meeting: Allegiance asked Qwest SME to provide more information on the product and process at the next Dec CMP Meeting. CLEC to create a Systems CR. Qwest to advise if there was a manual process available to Qwest retail that was not available to CLECs. Qwest to advise if Qwest retail had to get all WTN numbers from new customers. Qwest to investigate the security issues.

12/05/01 - Issued Qwest's response dated 12/04/01 to Action Items to Allegiance and Eschelon.

12/12/01 - CMP Meeting - Qwest presented its response which denied the CR Request due to resource constraints. Qwest to investigate whether there is another approach which can accommodate the CR request.

12/17/01 - Received e-mail from Allegiance providing additional clarification of what he would like to receive.

01/08/02 - Qwest issued Revised Response dated January 8, 2002 to Allegiance and posted response to dBase.

01/16/02 - CMP Meeting - Qwest presented its revised response. Allegiance confirmed the response met their request and it was agreed that the CR could move into CLEC Test. Qwest will update the external documentation with its response.

01/21/02 - Issued Qwest's Response dated January 8, 2002 to CLEC Community.

02/20/02 - CMP Meeting - it was agreed that the CR could be Closed. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02.

03/20/02 - CR Open/Closed status changed to closed and inactive and checked for Archive 2002


Project Meetings

Subject: Allegiance - CSRs for Centrex Resale PC 092701-2 Date: Mon, 17 Dec 2001 11:58:52 -0600 From: "Wicks, Terry" To: "'Rick Martin'"

Rick,

Per our conversation last week, here is my suggestion for the manual process for Qwest to develop so that CLECs can get full CSRs on Centrex Resale accounts:

I would like to be able to email a single point of contact at Qwest, a form that shows the following:

1. Customer Name and Service Address 2. Any WTNs that we know of 3. A box or section to be checked that we have an LOA from the End User 4. Some type of verbiage stating that we want Qwest to list all WTNs for that End User at that address 5. Qwest would then list ALL WTNs for that End User at that address and email it back to the requestor at Allegiance

All we want is to confirm all WTNs for a particular End User at a specific address. We will pull the partial CSRs for each WTN through IMA once we have confirmed with Qwest that we have all WTNs at that address.

To me, this should be a fairly simple process to get all WTNs for a Centrex Resale customer.

I don't have Monica Manning's email, so if you could forward this to her for me. Thanks

Terry Wicks LEC Account Manager allegiancetelecom, inc 469-259-4438 terry.wicks@algx.com

-

Alignment/Clarification Meeting 10:30 p.m. (MDT) / Friday, October 26, 2001 Conference Call 1-877-542-1728 PC7712487 # PCCR092701-2

Attendees: Terry Wicks, terry.wicks@algx.com, Allegiance Monica Manning, mxmanni@qwest.com, Qwest Kate Spry, kspry@qwest.com, Qwest

1.0 Introduction of Attendees 1.1 Terry, Monica, and Kate 2.0 Review Requested (Description of) Change 2.1 Develop a process for CLECs to get a “full” CSRs on DID numbers. 3.0 Confirm Areas & Products Impacted 3.1 3.2 Areas: Pre-Ordering / Ordering Products: Resale 4.0 Confirm Right Personnel Involved 4.1 Monica Manning is the ‘owner’ of this CR and will be the point of contact for future problems of this nature until the root cause is established and draft response issued. 4.2 Susie would like to stay informed as to response and is available for questions pertaining to her area. 4.3 Terry Wicks would like to stay informed as to response. 4.4 Kate will coordinate all necessary clarification meetings, complete meeting minutes, and review, forward, and send information to Mike Keegan and Matt Rossi to store to database. 5.0 Identify/Confirm CLEC’s Expectation 5.1 Monica learned from Jeff Thompson that what he discussed with Terry deals with retrieving CSRs in IMA by common DPA or ALI codes. She needed more clarification regarding their discussion so an additional clarifying meeting was held today. Jeff’s suggestion of using DPA or ALI codes to retrieve information would require modifying IMA screens, hence causing a systems change and would become a systems CR. Terry stated that if this is a systems change, then Allegiance would like a work-around. Monica will look into a work-around option. 6.0 Identify any Dependent Systems Change Requests 6.1 No related system CR’s were identified 7.0 Establish Action Plan (Resolution Time Frame) 7.1 Monica will look into work-around options and create a written formal response draft. She will forward this documentation to Kate by 10/26/01. 7.2 Kate will review and forward the response draft to Mike Keegan and Matt Rossi to store in the CR database. This information can then be reviewed and discussed by the CLEC Community at the following CMP Meeting. 7.3 Terry can then review and discuss the response at the next CMP meeting. Corrections/updates can then be made at that time.

Alignment/Clarification Meeting 9:00 p.m. (MDT) / Friday, October 05, 2001 Conference Call 1-877-542-1728 PC7712487 # PCCR092701-2 Terry Wicks, terry.wicks@algx.com, Allegiance Monica Manning, mxmanni@qwest.com, Qwest Susie Wells, sdwell2@qwest.com, Qwest Kate Spry, kspry@qwest.com, Qwest

Introduction of Attendees Terry, Monica, Susie, and Kate Review Requested (Description of) Change Develop a process for CLECs to get a “full” CSRs on Resale Centrex lines. Confirm Areas & Products Impacted Areas: Pre-Ordering / Ordering Products: Resale Confirm Right Personnel Involved Monica Manning is the ‘owner’ of this CR and will be the point of contact for future problems of this nature until the root cause is established and draft response issued. Susie would like to stay informed as to response and is available for questions pertaining to her area. Terry Wicks would like to stay informed as to response. Kate will coordinate all necessary clarification meetings, complete meeting minutes, and review, forward, and send information to Mike Keegan and Matt Rossi to store to database. Identify/Confirm CLEC’s Expectation Allegiance is requesting that a process be developed by Qwest to allow CLECs to be able to request and receive from the CSR center a full CSR for all TNs for a specific End User at a specific location that has Resale Centrex lines. The CLEC would only need to submitting one WTN and the address in order to receive the full CSR that would include all WTNs and feature detail at that address for that End User. Currently the only capability to the CLECs is to pull partial CSRs by WTN. When all WTNs are not known, there is no way to ascertain that all TNs have been accounted for before submitting an order to Qwest to convert. (No ability to find out what 1 particular customer has at 1 particular location.) Example number is (206) 364-8495 Terry mentioned that Jeff Thompson from Qwest has been involved with this and may be a good resource to tap into. Monica will check to see if a process could be implemented to submit requests to the CSR center so that they can pull the full CSRs. Identify any Dependent Systems Change Requests No related system CR’s were identified Establish Action Plan (Resolution Time Frame) Monica will speak with Jeff Thompson and clarify process via a written formal response draft. After clarification is received regarding possible system changes. She will forward this documentation to Kate by 10/18/01. Kate will review and forward the response draft to Mike Keegan and Matt Rossi to store in the CR database by 10/19/01 for CLEC review. The web location will be noted in Matt Rossi’s email regarding the response document by 10/22/01. This information can then be reviewed and discussed by the CLEC Community at the following CMP Meeting. Terry can view this information on the CR database and this CR can then be reviewed and discussed by the CLEC Community at the following CMP Meeting. Corrections/updates can then be made at that time.


CenturyLink Response

January 8, 2002

Terry Wicks LEC Manager Allegiance Telecom, Inc.

This letter is being issued to revise Qwest’s response dated November 8, 2001 to Change Request PC092701-2 requesting confirmation of all WTNs for a particular End User at a specific address for a Centrex Resale Customer. Qwest is prepared to implement the attached process to accommodate the CLECs request of confirming an End User WTNs.

Sincerely,

Susie Wells Sr. Process Analyst

(See Supplemental Information following detail report for Process)

December 4, 2001

Terry Wicks LEC Manager Allegiance Telecom, Inc. And, Kathy Stichter ILEC Relations Manager Eschelon Telecom, Inc.

This letter is in response to questions/concerns generated at the November CMP Meeting regarding Qwest’s response dated November 8, 2001 to Change Request PC092701-2.

Question: Is there a manual process available to Qwest retail that was not available to CLECs?

Answer: No. Qwest retail only retrieves CSRs for the WTNS provided by their customer .

Question: Does Qwest Retail have to get all WTN Numbers from new customers?

Answer: Yes. Qwest retail has to obtain all WTNs from their customer.

Sincerely,

Carolyn Brown Director Process Management

Cc: Monica Manning

--

DRAFT RESPONSE For Review By CLEC Community and Discussion at November CMP Meeting

Wholesale Product Marketing

November 8, 2001

Terry Wicks LEC Manager Allegiance Telecom, Inc

This letter is being sent in response to CLEC Change Request Form # PCR092701-2. PCR092701-2 pertains to a request for a process to get Full CSRs on Resale Centrex lines.

An IMA System Change would be required, in order to allow CLECs to request a Full CSR for all telephone numbers for a specific end user at a specific location. For the Resale Centrex account, DPA or DEPT and LOCN selection criteria might be added to the Review/Retrieve CSR functionality in IMA. However, a Systems Change Request would need to be created for these enhancements.

Until the IMA system changes can be deployed, you had requested that QWEST develop an interim process for obtaining end user specific Resale Centrex CSRs. Because a mechanized process does not exist, our service center personnel would have to gather this information manually. Unfortunately, QWEST does not have the resources to devote to these kinds of special requests. As long as a CLEC has the appropriate authorization, full CSRs can be retrieved through IMA. In lieu of the full CSR, partial CSRs by WTN can be retrieved. When a CLEC is unable to identify all WTNs associated with a request, the end user customer will have to be the provider of the information.

Sincerely,

Monica Manning IMA Process Specialist


Open Product/Process CR PC092701-3 Detail

 
Title: Develop a process for a point of contact, a process of investigating and proper training conducted when improper behavior by Qwest personnel occurs
CR Number Current Status
Date
Area Impacted Products Impacted

PC092701-3 Withdrawn
10/10/2001
Provisioning Re-Sale
Originator: Mendoza, Lori
Originator Company Name: Allegiance
Owner: Masztaler, Joan
Director:
CR PM: Thomte, Kit

Description Of Change

Allegiance has experienced numerous instances when Qwest personnel have given false information to our customers. There have been instances of disparaging remarks against Allegiance and down right rudeness by Qwest Techs. When I have documented these occurrences and given the dates, times, names, etc. to my service manager, it has taken weeks to get any reply. The reply has not been sufficient to hold the offender accountable. In several cases, Qwest has simply replied that it did not happen or it did not happen as reported. The current process is not sufficient to handle these occurrences.

The most recent example happened today. PON 806241-HDSL1 – The FOC date to put in the circuit for this client is 09/25/01. Qwest was at the customer premises on 09/24/01 at 5:10 p.m. to do some work. The Qwest tech who went out was extremely rude to the customer. The Tech stated he has come several times, always after closing (5p.m.) and was not happy that he did not have access to the MPOE. The tech did not identify himself until the owner mentioned another company. The owner asked the tech if he worked for End 2 End Communications and the tech got upset and simply left. Several times the Qwest techs have told the customers that they would go down if they proceeded with converting to Allegiance.

Allegiance is requesting that an improved process be put in place that the CLECs can report these occurrences of anti-competitive behavior when they happen. This process should include a single point of contact , a thorough investigation with an appropriate response to the CLECs in a timely manner. The process should also include the proper training of Qwest personnel to prevent future occurrences


Status History

09/25/01 – CR received from Terry Wicks of Allegiance Telecom

09/27/01 – CR status changed to Submitted

09/27/01 – Updated CR sent to Terry Wicks of Allegiance Telecom

09/28/01 – Established clarification meeting with Terry Wicks of Allegiance Telecom for 10/10/01

10/10/01 - Spoke with Terry Wicks, he asked to have the CR withdrawn and cancelled our meeting scheduled for 10/10/01.


Project Meetings


Open Product/Process CR PC091201-1 Detail

 
Title: Please provide the standard, documented process for when orders are held on cut date, when Qwest has no facilities
CR Number Current Status
Date
Area Impacted Products Impacted

PC091201-1 Completed
10/17/2001
Ordering and Day of Cut UNE
Originator: Mendoza, Lori
Originator Company Name: Allegiance
Owner: Hendricks, Linda
Director:
CR PM:

Description Of Change

Allegiance wants clarification about the process when the problem is on Qwest’s side – Qwest should not have to SUP orders for no facilities on cut date. Allegiance provided an example of this happening (PON 824041-LP); Qwest should investigate this example and provide a documented process and reason why this happens on cut date.

Also what is the process to negate the charges for these cuts and how is this tracked to insure the CLEC is not billed?


Status History

09/12/01 - CR received by Terry Wicks of Allegiance Telecom

09/12/01 - CR status changed to Submitted

09/12/01 - Updated CR sent to Terry Wicks

09/26/01 - Clarification Meeting held with CLEC's.

09/27/01 - Draft Response issued to CLEC's.

10/17/01 - CMP Meeting: Qwest presented response. It was agreed that the CR could be closed without reissuing response.


Project Meetings

Wednesday, September 26, 2001

Introduction of Attendees Terry Wicks, terry.wicks@algx.com, Allegiance Gary Stacy, gstacy@qwest.com, Qwest W. Rob Tomlinson, wtomlin@qwest.com, Qwest Linda Hendricks, lkhendr@qwest.com, Qwest Russ Urevig, rurevig@qwest.com, Qwest Joan Wells, jmwell2@qwest.com, Qwest Deni Toye, dtoye@qwest.com, Qwest Kate Spry, kspry@qwest.com, Qwest Ric Martin, rhmart2@qwest.com, Qwest

Terry, Gary, Rob, Linda, Russ, Joan, Deni, Kate, and Ric Review Requested (Description of) Change Clarify and document process for when orders are held on cut date, when Qwest has no facilities. Confirm Areas & Products Impacted Areas: Ordering and Day of Cut Products: UNE Confirm Right Personnel Involved Linda is the ‘owner’ of this CR and will be the point of contact for future problems of this nature until the root cause is established and draft response issued. Russ will forward necessary SCAT documentation to Kate. After the clarification meeting, it was determined that Gary, Rob, Joan, and Deni will not need to be involved in this CR. Kate will coordinate all necessary clarification meetings, complete meeting minutes, and review, forward, and store necessary documentation to database. Identify/Confirm CLEC’s Expectation Per Allegiance, “Allegiance wants clarification about the process when the problem is on Qwest’s side – Qwest should not have to SUP orders for no facilities on cut date. Allegiance provided an example of this happening (PON 824041-LP); Qwest should investigate this example and provide a documented process and reason why this happens on cut date. Also, what is the process to negate the charges for these cuts and how is this tracked to insure the CLEC is not billed?” Per Linda, there are no non-reoccurring charges. Identify any Dependent Systems Change Requests No related system CR’s were identified Establish Action Plan (Resolution Time Frame) Linda will clarify this process via a written formal response draft. She will forward this documentation to Kate by 9/27/01. Russ will forward the necessary SCAT documentation to Kate by 9/26/01. Kate will review and forward this information to Michael Belt and Matt Rossi to store in the CR database by 9/28/01 for CLEC review. The web location will be noted in Matt Rossi’s email regarding the response document on 9/28/01. This information can then be reviewed and discussed by the CLEC Community at the October CMP Meeting. Terry can view this information on the CR database and this CR can then be reviewed and discussed by the CLEC Community at the October CMP Meeting. Corrections/updates can then be made at that time.


CenturyLink Response

September 27, 2001

Terry Wicks LEC Manager, Allegiance Telcom Inc.

CC: Scott Simanson Fred Aesquivel

Re: DRAFT RESPONSE for PCCR 091201-1 For Review By CLEC Community and Discussion at October CMP Meeting" Topic: Provide the standard, documented process for when orders are held on cut date, when Qwest has no facilities Dated: 09/12/01

Dear Terry:

This letter is in response to the following CLEC Change Request Form PCCR 091201-1, dated 09-12-2001. The Change Request pertains to the Clarification and documented process for when orders are held on cut date, when Qwest has no facilities.

Qwest has a Pre Survey procedure in place to identify facility issues before due date. When it is discovered that facilities are not available or good an internal Qwest process looks for other facilities or place the order in a held status if no facilities can be located. The CLEC is then notified of the held status. The Cheyenne Held Order group notifies the CLEC after the order is placed in held. If the facility problem is found on test and turn up the CLEC is notified verbally at that time.

The orders that Allegiance inquired about on PON 824041-LP were held for facility problems on the due date, 8-29-01. The problem was discovered while trying to turn up the orders. The orders were all on Integrated Pair Gain and the process for handling Integrated Pair Gain orders was followed. A problem was discovered between the D4 channel and the SLC equipment in the Central Office. Qwest did not know of this problem until they tried to turn up the loops. The orders are being worked on to discover how to fix the problem and get the service provisioned. According to the WFA/C OSSLOG the CLEC has been advised of the progress.

Waiving the Non Recurring Charge does not apply to these orders because Qwest did meet the appointment time. The negating of Non Recurring Charge applies when Qwest does not meet the appointment time as specified on the CLEC’s LSR. MC The Missed Commitment should be applied only on Coordinated Orders (new and reuse) when Qwest misses the CLEC requested appointment time by 30 minutes or more. This MC=Y or MC causes a billing error to make the billing “fall-out” so the installation charges are dropped. This is placed on the OSSOI Cmnt/Rmk line in WFA/C. Systems captures and passes on to the billing CRIS system. When the billing error falls out, the SDC (service delivery coordinator) negates the nonrecurring charge on the customer's bill. This is how they receive their negated charges. The CLEC approved the start of the cut at 1007 on 8-29-01 by Scott at Allegiance.

Sincerely

Linda K. Hendricks Lead Project Analyst


Open Product/Process CR PC102517-1 Detail

 
Title: New BAN Establishment Process and Notification
CR Number Current Status
Date
Area Impacted Products Impacted

PC102517-1 Completed
2/21/2018
Billing
Originator: Isaacs, Kim
Originator Company Name: Allstream
Owner: Gfeller, Ryan
Director:
CR PM: Lorence, Susan

Description Of Change

Allstream recently experienced CenturyLink establishing a new CABS BAN that was never added to its electronic transmissions or to the CABS E-bill tool as requested on our CLEC questionnaire. As a result, Allstream was not aware of the new BAN until it received an aging from CenturyLink.

Allstream is requesting that CenturyLink automatically set up new BANs on the Bill Media requested on the CLEC questionnaire and that CenturyLink notify the CLEC when a new BAN starts billing.

Expected Deliverables:

CenturyLink will automatically set up new BANs on the Bill Media requested on the CLEC questionnaire and CenturyLink notify the CLEC when a new BAN starts billing.


Status History


Project Meetings

02-21-18 Product Process CMP Meeting Mark Coyne – CenturyLink reminded callers that this is an Allstream CR. The update to the CABS Business Procedure went in to effect on February 1, 2018 and the CR has been in CLEC Test since then. Mark recommended this CR be moved to a Completed status. There were no objections.

01-17-18 Product Process CMP Meeting Mark Coyne – CenturyLink stated that the Level 4 initial notice was sent on December 18, 2017. No CLEC comments were received during the comment cycle. The update is to the CABS Business Procedure to advise customers that, in addition to including the new BAN on the FOC that is returned, CenturyLink will also send an email to the Customer contact as listed on their current Questionnaire to provide the newly assigned BAN. The Final notice will be sent today with an effective date of February 1, 2018. The CR will be considered for Closure in the February meeting.

12-13-17 Product Process CMP Meeting Mark Coyne – CenturyLink stated that this Allstream CR was presented by Kim Isaacs last month and that a clarification call was conducted on November 6, 2017. A CenturyLink response was sent on December 6, 2017 to advise that the CR was accepted. Mark then reviewed the CenturyLink response that is included on pages 12 and 13 of the CMP package. He said a Level 4 notice will be sent on December 18, 2017 with an effective date now of February 1, 2018. Mark asked if there were any questions. There were none.

11-15-17 Product Process CMP Meeting Mark Coyne – CenturyLink stated that a new CR had been submitted by Allstream and asked Kim Isaacs to present.

Kim Isaacs – Allstream presented the CR stating that Allstream recently experienced CenturyLink establishing a new CABS BAN that was never added to its electronic transmissions or to the CABS E-bill tool as requested on our CLEC questionnaire. As a result, Allstream was not aware of the new BAN until it received an aging from CenturyLink. Allstream is requesting that CenturyLink automatically set up new BANs on the Bill Media requested on the CLEC questionnaire and that CenturyLink notify the CLEC when a new BAN starts billing.

Mark Coyne – CenturyLink added that a Clarification call was conducted on November 6, 2017 and the Meeting minutes are available. The new BAN process for CABS has not changed from IABS but there are a few new employees performing the tasks. There was a glitch in the current process and folks have been retrained. The process is for CenturyLink to send an email to all customers when a new BAN is established and to state that we will follow current media designations for electronic media, etc. CenturyLink will send a response that we will accept this CR. Mark asked if there were any questions. There were none. Mark asked Kim if that was acceptable.

Kim Isaacs – Allstream responded yes.

11-06-17 Clarification Call meeting minutes Attendees: Kim Isaacs – Allstream Rita Urevig – CenturyLink Sue Gilbert – CenturyLink Sue Kriebel – CenturyLink Ryan Gfeller – CenturyLink Mark Coyne – CenturyLink John Hansen – CenturyLink Susan Lorence – CenturyLink

Susan Lorence – CenturyLink relayed the purpose of a Clarification call for the Change Request (CR) and reviewed a high level agenda.

Kim Isaacs – Allstream said the CR was due to a recent experience in conjunction with the establishment of a new BAN for Allstream. Kim said they were not aware of the new BAN until it was on an aging report. Allstream is requesting that when a new CABS BAN is established, that it be added to the Bill Media requested on their CLEC questionnaire and that CenturyLink notify the CLEC when a new BAN starts billing. Susan Lorence – CenturyLink said the SME team has done some preliminary investigation.

Sue Kriebel – CenturyLink said the “new BAN” process has not changed when we went from IABS to CABS. Sue said some new employees were trained on the process following the Access consolidation but that the select group has been retrained. Sue said she wanted to nr sure she understands the request. The CR states that Allstream wants to be notified when a new BAN starts billing but Sue said the process is to notify when the BAN is created by the service order team vs. when it starts billing. Sue asked if that made sense. She said CenturyLink used to have a process that the BAN might be established and not bill for awhile which is not the case now. Kim Isaacs – Allstream said yes that made sense to notify when the BAN is established. Sue Kriebel – CenturyLink asked who the notification would go to for Allstream so we insure that the notification is sent to the correct person.

Kim Isaacs – Allstream provided the name as listed on their current Questionnaire but said that person was out on leave and provided the backup name that would be included in the out of office message.

Susan Lorence – CenturyLink reviewed the next steps for the CR which was to have Allstream present the CR in the Product Process monthly meeting on Wednesday, November 15. We will follow-up with a CMP response to accept the CR and relay that CenturyLink believes it was a one time training situation which has been addressed. Susan said she was not sure a notice was required to the full CLEC community since it was a one off.

Mark Coyne – CenturyLink said that this resolves the problem for Allstream but asked if it addressed the problem for all customers.

Susan Lorence – CenturyLink said the process would be followed for all customers. CenturyLink is confirming that the additional training will resolve this and that no other internal process changes will be required. We will provide that as part of the CR response

Kim Isaacs – Allstream said that was fine and she will present the CR in the monthly meeting. Susan Lorence – CenturyLink asked if there were any questions. There were none.

The Clarification call ended at 1:20 PM MT.


CenturyLink Response

December 6, 2017

Kim Isaacs, Allstream

SUBJECT: Allstream Product Process Change Request PC102517-1, CenturyLink Response for Review

This letter is in response to Allstream Change Request PC102517-1, entitled “New BAN Establishment Process and Notification”

CR Description: Allstream recently experienced CenturyLink establishing a new CABS BAN that was never added to its electronic transmissions or to the CABS E-bill tool as requested on our CLEC questionnaire. As a result, Allstream was not aware of the new BAN until it received an aging from CenturyLink.

Allstream is requesting that CenturyLink automatically set up new BANs on the Bill Media requested on the CLEC questionnaire and that CenturyLink notify the CLEC when a new BAN starts billing.

History: The CR was received on October 25, 2017. A Clarification call was held on November 6, 2017 with Allstream and CenturyLink representatives present. During the Clarification call, CenturyLink relayed that the new BAN process for CABS had not changed from IABS but there were some additional employees performing the task. This small number of additional CenturyLink employees have been retrained on the current process which is for the newly established BAN to be set up to follow current media designations for electronic media, etc.

CenturyLink Response: CenturyLink is accepting this CR and is proposing that a Level 4 CMP notification be sent to communicate an additional step that CenturyLink will take to provide the new BAN to customers. An update will be made to the CABS Business Procedure to relay that in addition to including the new BAN on the FOC that is returned, CenturyLink will also send an email to the Customer contact as listed on their current Questionnaire to provide the newly assigned BAN. The proposed effective date will be in late January 2018.

Sincerely,

Susan Lorence CenturyLink Wholesale CR Project Manager


Open Product/Process CR PC021318-1 Detail

 
Title: Include Impacted USOCs on Rate Notifications
CR Number Current Status
Date
Area Impacted Products Impacted

PC021318-1 Completed
6/20/2018
Billing
Originator: Isaacs, Kim
Originator Company Name: Allstream
Owner: Brummett , Lee
Director:
CR PM: Lorence, Susan

Description Of Change

Currently, CenturyLink sends rate change notifications with a general description of the product impacted by the rate increase. To implement the rate change in its billing system(s), CenturyLink identifies the USOCs impacted.

Allstream is requesting that CenturyLink include this USOC information on the PROD:Rate notices. UPDATE: 4/18/18: Allstream is also requesting that CenturyLink included the existing rate and proposed rates along with the USOCs on rate notifications.

Expected Deliverables/Proposed Implementation Date (if applicable):

CenturyLink will include USOCs [4/18/18 Update existing rates and proposed rates] impacted by rate changes on the PROD:Rate notifications.


Status History


Project Meetings

06/20/18 Product Process CMP Meeting Mark Coyne – CenturyLink advised that this Allstream CR is now in CLEC Test. He recapped that Allstream had revised the CR in April to also include the existing and proposed rates on the CenturyLink rate notification. CenturyLink sent the CR draft response in early May and a revised CR response in late May identifying that rate notifications will also include the existing and proposed rates when available. Mark said on June 6, 2018, a Level 1 customer notification which was effective immediately was sent to relay the CR implementation plan to all customers. CenturyLink did contact Kim Isaacs – Allstream as CR originator to see if Kim agreed to move this CR to Completed and Kim approved. Mark asked if there were any objections to moving this CR to a Completed status. There were none.

Nancy Taylor – Allstream said she agreed.

05/16/18 Product Process CMP Meeting Mark Coyne – CenturyLink advised that this Allstream CR was presented by Kim Isaacs in the April meeting. He told callers that the CenturyLink draft response is included on page 15 of the package. He advised that CenturyLink accepts the original CR. CenturyLink proposes that a Level 1 notification be sent to communicate that: • The rate change notifications will include Reseller intrastate USOCs in the legacy Qwest 14-state region. • This change is temporary as long as USOCs are used in the local service request ordering and billing process. Product Codes and Price Plans associated with products and services ordered via EASE and billed in Ensemble are not considered part of this change request. • In the event the complete list of the affected USOCs may not be available at the time the rate notice is required to be distributed, CenturyLink will provide the tariff reference and location. Mark Coyne – CenturyLink stated that the Allstream revision to the CR that requested existing and proposed rates is still under review and will be reviewed and discussed in the June meeting.

Kim Isaacs – Allstream asked when the situation regarding the USOCs not being available would apply.

Mark Coyne – CenturyLink stated that he did not think it would occur often but, to his understanding, it would all revolve around the timing of the notification and perhaps the SME team would not have a complete list.

Lee Brummett – CenturyLink concurred.

Kim Isaacs – Allstream asked if, in that case, could the notice include a description of the product from the tariff.

Lee Brummett – CenturyLink stated that we would investigate to see if that could be spelled out on the notice.

Kim Isaacs – Allstream asked for confirmation that the request for rate information was still under review.

Mark Coyne – CenturyLink confirmed.

Kim Isaacs – Allstream asked if they would have to submit a new CR when the billing system migrated to the new platform.

Mark Coyne – CenturyLink said yes. He asked if there were any other questions. There were none.

04/18/18 Product Process CMP Meeting Mark Coyne – CenturyLink advised that this is a new Allstream CR. The Clarification call was held March 14, 2018. The meeting minutes are available on the calendar and in the CR. Mark asked Kim to present.

Kim Isaacs – Allstream explained the purpose of the CR and explained that she also wants rates included as a new requirement for the CR. Kim said this is similar to the information they receive from other ILECs and she believes CenturyLink has the information available. She said providing the information would save her from asking for the information from her Service Manager.

Susan Lorence – CenturyLink asked Kim to send an email and update the CR to add this new requirement.

Kim Isaacs – Allstream advised that she would.

Mark Coyne – CenturyLink stated that CenturyLink has held several meetings and that internal discussions would continue and a draft response would be sent out prior to the May CMP meeting.

03/22/18 Product Process CMP Meeting Mark Coyne – CenturyLink advised that this is a new Allstream CR. The Clarification call was held March 14, 2018. The meeting minutes are available on the calendar and in the CR. Kim Isaacs – Allstream advised that she would like to present this CR in the April meeting.

03/14/18 Clarification Call meeting minutes

Attendees: Kim Isaacs – Allstream Rita Urevig – CenturyLink Lee Brummett – CenturyLink Robyn Crichton – CenturyLink Mark Coyne – CenturyLink Susan Lorence – CenturyLink John Hansen – CenturyLink

John Hansen – CenturyLink opened the call, announced the attendees, and explained the purpose of a Clarification call for the Change Request (CR) and reviewed a high-level agenda.

Kim Isaacs – Allstream said the CR was a request for CenturyLink to include impacted USOCs and rates whenever it sends out rate change notifications. If the USOCs are not included, she has to contact Rita Urevig to have someone internally provide them so that Allstream can update their data accordingly. She stated that other ILECs had been including this information for some time now. Kim said providing the USOCs on the notice would be more efficient and easier for both CenturyLink and customers. Mark Coyne – CenturyLink asked if she was expecting only data from the 14-state region (CenturyLink QC) or from all regions of the company.

Kim Isaacs – Allstream stated that if data was available from Legacy EQ and Legacy CenturyLink, that would be great, but definitely CenturyLink QC.

Susan Lorence – CenturyLink asked if CenturyLink could provide the first three letters of the USOC if there was an extensive list.

Kim Isaacs – Allstream stated that was acceptable and gave the example of 1RZxx indicating that the xx was the wildcard portion. Kim said if there was no specific USOC, she would like that noted also and where they would find the info in the OC&C section of the bill

John Hansen – CenturyLink reviewed the next steps for the CR and asked if Allstream was prepared to present the CR in the Product Process monthly meeting on Wednesday, March 21, 2018.

Kim Isaacs – Allstream stated that she would not be able to attend the March meeting, but would present the CR in the April meeting.

John Hansen – CenturyLink advised that the meeting minutes would be posted to the Wholesale Calendar prior to the CMP meeting and would advise via email to Allstream that they were posted.

John Hansen – CenturyLink asked if there were any questions. There were none.

The Clarification call ended at 9:41 AM MT.

02/21/18 Product/Process CMP Meeting Walk on Items (Attachment F)

Mark Coyne – CenturyLink advised callers that a new CLEC CR was received from Allstream and would be presented in the March CMP meeting. This CR is titled Include Impacted USOCs on Rate Notifications. A clarification call has been scheduled for Wednesday, March 7, 2018 at 9:00 AM MT/10:00 AM CT. The CR and information about the clarification call is posted to the Wholesale calendar and is open to the full CMP Customer community to attend.


CenturyLink Response

May 30, 2018

Kim Isaacs Allstream

SUBJECT: Allstream Product Process Change Request PC021318-1, CenturyLink Response for Review - REVISED

This letter is a revised response to Allstream Change Request PC021318-1, entitled “Include Impacted USOCs on Rate Notifications”

CR Description: Currently, CenturyLink sends rate change notifications with a general description of the product impacted by the rate increase. To implement the rate change in its billing system(s), CenturyLink identifies the USOCs impacted.

Allstream is requesting that CenturyLink include this USOC information on the PROD:Rate notices.

On April 18, 2018, Allstream updated the CR to request that CenturyLink include the existing rate and proposed rate along with the USOC on rate notifications.

History: The CR was received on February 13, 2018. A Clarification call was held on March 14, 2018 with Allstream and CenturyLink representatives present. During the Clarification call, Allstream stated that if the USOCs are not included, they have to contact their Service Manager to provide the information and that it would be more efficient if CenturyLink provided this information upfront.

On May 16, 2018, during the monthly CMP meeting, CenturyLink reviewed the draft response indicating this CR is accepted. The CenturyLink Response is being revised (in bold/caps below) to address the April 18, 2018 Allstream update to the CR.

CenturyLink Response REVISED: CenturyLink is accepting this CR and is proposing that a Level 1 CMP notification be sent to communicate the following: • The rate change notifications will include Reseller intrastate USOCs/RATES (5-30-18) in the legacy Qwest 14-state region. • This change would be temporary as long as USOCs/RATES (5-30-18) are used in the local service request ordering and billing process. Product Codes and Price Plans associated with products and services ordered via EASE and billed in Ensemble are not considered part of this change request. • In the event the complete list of the affected USOCs/RATES (5-30-18) may not be available at the time the rate notice is required to be distributed, CenturyLink will provide the tariff reference and location.

Sincerely,

Susan Lorence CenturyLink Wholesale CR Project Manager

May 9, 2018

Kim Isaacs, Allstream

SUBJECT: Allstream Product Process Change Request PC021318-1, CenturyLink Response for Review

This letter is in response to Allstream Change Request PC021318-1, entitled “Include Impacted USOCs on Rate Notifications”

CR Description: Currently, CenturyLink sends rate change notifications with a general description of the product impacted by the rate increase. To implement the rate change in its billing system(s), CenturyLink identifies the USOCs impacted.

Allstream is requesting that CenturyLink include this USOC information on the PROD:Rate notices.

On April 18, 2018, Allstream updated the CR to request that CenturyLink include the existing rate and proposed rates along with the USOCs on rate notifications.

History: The CR was received on February 13, 2018. A Clarification call was held on March 14, 2018 with Allstream and CenturyLink representatives present. During the Clarification call, Allstream stated that if the USOCs are not included, they have to contact their Service Manager to provide the information and that it would be more efficient if CenturyLink provided this information upfront.

CenturyLink Response: CenturyLink is accepting this CR and is proposing that a Level 1 CMP notification be sent to communicate the following: • The rate change notifications will include Reseller intrastate USOCs in the legacy Qwest 14-state region. • This change would be temporary as long as USOCs are used in the local service request ordering and billing process. Product Codes and Price Plans associated with products and services ordered via EASE and billed in Ensemble are not considered part of this change request. • In the event the complete list of the affected USOCs may not be available at the time the rate notice is required to be distributed, CenturyLink will provide the tariff reference and location.

Sincerely,

John Hansen CenturyLink Wholesale CR Project Manager


Open Product/Process CR PC061002-1 Detail

 
Title: LSR put in Jeopardy when no dial tone present when Qwests installs Unbundled Loop
CR Number Current Status
Date
Area Impacted Products Impacted

PC061002-1 Completed
11/21/2002
Ordering, Maintenance/Repair, Provisioning Loop
Originator: Dowding, Byron
Originator Company Name: Alltel
Owner: Hendricks, Linda
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

When ALLTEL orders an unbundled loop with a NC Code of LX--and the CHC marked N, Qwest checks for dial tone at the end user (new loops) or at the spot pair (reuse facilities). If there is no dial tone present, Qwest contacts the CLEC gives them 30 minutes to get dial tone on the loop or the LSR is put in Jeopardy and a new LSR has to be written with a new due date. If the order contains multiple loops and one of the loops does not have dial tone, all of the loops are placed in Jeopardy. Qwest has responded to our concerns saying that this has always been their procedure but it was not being followed. Because these orders are not coordinated hot cuts, Qwest can make their cut anytime during the day. It could even happen over a lunch hour. We have also had situations where Qwest has put a loop on the wrong spot pair, had no dial tone at the customer’s premise and placed the order in Jeopardy.

Expected Deliverable:

Qwest to change this process ASAP, give the CLEC a reasonable amount of time (90 minutes) to correct a no dial tone situation on a reuse of existing facilities and give loops to the CLEC if there is continuity to the spot pair on new facilities


Status History

06/10/02 - CR Submitted by Alltel

06/10/02 - CR acknowledged by P/P CMP Manager

06/12/02 - CR posted to Web

06/14/02 - Called Alltel and scheduled clarification call to be held 06/18/02 10:30 a.m. MST

06/18/02 - Clarification call held with Alltel

06/25/02 - Clarification call meeting minutes sent to Alltel and posted in database

07/17/02 - CMP Meeting - Meeting minutes posted to this CR's Project Meetings section.. CR status"Clarification" was not changed.

08/14/02 - Issued Qwest draft response dated 8/13/02 to Byron Dowding at Alltel

08/21/02 - Issued updated Qwest draft response dated 8/19/02 to Byron Dowding at Alltel and posted response to http://www.qwest.com/wholesale/cmp/teammeetings.html

08/21/02 - CMP Meeting - Qwest presented its draft response dated 8/19/02. Minutes on this CR to be posted to the Project Meetings section.

08/22/02 - Posted updated Qwest draft response dated 8/19/02 to CMP database

08/21/02 - August CMP Meeting - Meeting minutes posted to this CR's Project Meetings section

08/30/02 - Posted Alltel response dated 8/27/02 to Qwest draft response dated 8/19/02

09/12/02 - Posted e-mail dated 9/12/02 to Byron Downing at Alltel

09/12/02 - Issued revised response dated 9/12/02 to Alltel

09/18/02 - September CMP Meeting - Qwest presented revised response. CR will move to Development. Meeting minutes will be posted to this CR's Project Meetings section

10/11/02 - Qwest issued Final Notification. Notification PROD.10.11.02.F.00839.Final_2 _4_Wire_Loop. Effective date of change is 10/27/02.

10/16/02 - October CMP Meeting - Minutes on this CR to be posted to the Project Meetings section.

10/28/02 - CR status changed to CLEC Test.

11/20/02 - November CMP Meeting - This CR will remain in CLEC Test Meeting minutes will be posted to this CR's Project Meetings section. Approval given to close this off line with concurrence from Byron at Altel..

11/21/02 - Contacted Alltel to follow up on potential closure of this CR.

11/21/02- Received call from Byron Dowding, Alltel that this CR can be closed.


Project Meetings

11/20/02 November CMP Meeting Qwest reviewed the status of this CR as it was moved to CLEC test last month. Linda Hendricks with Qwest said there have not been questions or concerns from the CLEC Community on implementation. Qwest will follow up with Byron Dowding at Alltel to make sure they are not experiencing any problems and ask if the CR can be closed. The CLEC Community has agreed to close this CR if Alltel agrees.

- 10/16/02 October CMP Meeting Michael Buck with Qwest said that final notification PROD.10.11.02F.00839.Final24WireLoop was sent on 10/11/02 and the implementation date is 10/27/02. The CR is currently in Development Status and Qwest would like to move it to CLEC Test on the deployment date later this month. Byron Dowding with Alltel said that it was appropriate to move to CLEC test and discuss again at the November CMP meeting.

09/18/02 September CMP meeting Minutes Qwest discussed the revised draft response and provided an update that Qwest would no longer require dial tone on new unbundled loops effective mid-October. Conversion orders will continue to require dial tone. Qwest explained that the effective date is following the PCAT update for 2-wire 4-wire, Version 11, which is effective October 21, 2002. Allegiance and Eschelon appreciate Qwest changing to the no dial tone requirement on new unbundled loops. Allegiance also noted a clarification from the August Meeting minutes regarding the conversation on this CR. At the August meeting Lyndall Nipps – Allegiance asked why doesn't Qwest check for continuity on DS0 loops like you do for DS1 and above loops by plant test date. Qwest responded that it was not in the infrastructure to test for continuity on DS0 loops. A pre-survey is done for all UBL except for LX - -. LX - - is worked on the due date. This CR was moved to Development status.

9/12/02 2:29 p.m. To: cc:

Subject: RE: Updated Draft Response to CR PC061002-1

Byron -

The following is in response to Alltel's questions in your e-mail dated 8/27/02:

1. CHC means Coordinated Hot Cut (Y or N). You can have a Hot Cut with the Basic Option. Hot Cut means we go from one service provider to another on an existing service, this option can be ordered Coordinated or Basic.

2. Qwest is preparing to only require dial tone on reuse LX-- in mid-October.

3. The polarity of the Qwest wiring and facilities, from the CFA to the NI at the end user locations, can be checked using normal Qwest test systems and sets. The polarity of the supplied CLEC service can not be tested without the CFA operationally in service. If the CLEC provides service on the CFA with reversed polarity, Qwest will not reverse their wiring or facilities to correct, as this would impair Qwest’s ability to properly maintain the circuit in service. The polarity of a loop start line is of significant importance when the facility provided is anything but a plain copper loop. Pair Gain facilities require correct polarity of supplied service to operate correctly.

4. Qwest is preparing to only require dial tone on reuse LX-- in mid-October.

Please call me if you have any questions.

Thank you

Linda Sanchez-Steinke Change Request Project Manager Qwest

-- From: Byron.Dowding@alltel.com on 08/27/2002 08:03:51 a.m. To:

Subject: RE: Updated Draft Response to CR PC061002-1 Linda This is ALLTEL's response to the Qwest response I don't have any feedback yet to verify Qwest allowing more than 30 mintutes to provide dial tone on a loop. Byron

SUBJECT: ALLTEL response to Qwest response regarding change request PC061002-1 dated 08/19/2002

ALLTEL would like to make the following points.

1. The first statement in Qwest’s response states that this CR is about Qwest’s Hot Cut process. CR PC061002-1 has nothing to do with Hot Cuts. This CR is about ordering an unbundled loop with the Basic option and no testing (CHC is N). The service being ordered is 2/4 wire analog with the NC code of LX--. Due date on the loop being turned over to the CLEC and actual customer in service date don’t have a direct relationship. 2. The CLECs have stated several times that ordering a new loop and reuse should be handled as 2 different issues. We are willing to provide dial tone in a reasonable time when we are reusing a facility. When ordering a new loop no dial tone should be provided. 3. Our techs check for polarity when shooting trouble and can reverse the jumper/drop to correct the problem. Polarity should never be an issue with loop start dial tone. I would like to know how Qwest could check for polarity on loop start dial tone when dial tone is provided. 4. For the most part providing dial tone requires CLECs to program dummy numbers in their switch and then reprogramming when the service is actually turned up. This places a costly and unneeded burden on the CLECs.

ALLTEL is planning to charge Qwest for providing joint test capabilities when ordering unbundled loops that Qwest requires dial tone on. ALLTEL is also going to work with the regulatory agencies to significantly reduce the one-time charges associated with provisioning these types of loops.

-- 08/21/02 - August CMP Meeting Minutes: Qwest provided an updated draft response dated August 19, 2002 because information was missing in the August 13, 2002 draft response. The updated draft response is available on line and was handed out to participants in the meeting. Allegiance expressed concern that the 2-wire 4 wire PCAT updated language does not distinguish between new loops and conversions and that Allegiance and other CLECS are trying to find out the technical reasons why Qwest requires dial tone on new loops when there are other ways to check for continuity. Allegiance asked if Qwest checks for continuity from demarc to the central office before plant test date. Eschelon also asked for Allegiance’s question to be answered; does Qwest dispatch for continuity. Qwest stated (Hilleary) that we are pushing for dial tone on due date and dial tone 48 hours before due date is not a requirement. Allegiance disagreed. Qwest stated (Hendricks) that dispatch for continuity is not done, and the pre-survey is done to make sure there are facilities. Qwest stated (Braegger) that on services provided on UDC there is no way to verify correct service operation without Dial Tone on the circuit. Covad said that on digital loop carrier card verified set options correctly if have dial tone. Qwest (Braegger) stated that if Dial Tone is coming in reversed to the card, the card will not operate correctly and won’t operate unless there is battery to it.

Covad asked what would prevent Qwest technician from putting dial tone on temporarily from ICDF at cosmic frame. Qwest (Retka) asked that Covad send in procedure on a CR for Qwest to use spare dial tone temporarily from the ICDF.

Allegiance indicated that Qwest was the only ILEC requiring dial tone on new loops and is a burden on all CLECs when changing from T1 to UNE loop because translations are required for two different numbers and when Qwest checks for ANI the line is not the right number. Eschelon said there is effort that they must go through internally assigning dummy numbers to CFA to provide dial tone for Qwest.

Allegiance asked how Qwest identifies a fault and what does it mean in PCAT wording, pages 5-6 under the ordering section, asked if the purpose of notification is relationship managing. Eschelon asked if they should receive a jeopardy rather than a call if there was a short. Qwest (Boudhaouia) stated Qwest will re-write the PCAT. Allegiance said that the language creates concern over PIDS managing to process and Allegiance does not want the PCAT updated on 8/26/02. Qwest (Maher) stated that for Qwest and the CLECs to follow the CMP, the PCAT would be updated on 8/26/02 because there were comments from the CLEC community on the PCAT change, and Qwest had followed CMP and responded to those comments. Qwest (Schultz) clarified that the PCAT update included documentation of processes that were currently in effect. Allegiance objected to the PCAT update on 8/26/02.

Alltel asked for status of CR. Qwest (Graham) reviewed draft response part 1 reviewing why tests are done and the technical reasons for dial tone requirement.

Qwest (Hendricks) reviewed draft response part 2 reviewing the procedure for the basic option. When the CLEC selects the basic option and is not ready on due date, the technicians go on to their other work. If the CLEC calls back later in the day, then Qwest will try to get technicians back out. Alltel (Dowding) will check with Alltel people that asked for CR because they had said at 31 minutes the order has to be supplemented. Qwest explained that the 31 minutes would be applicable on the appointment time option but is not applicable on the basic option.

Due to another scheduled meeting, which many CMP participants wished to attend, the meeting was adjourned before discussion on the final disposition of the CR was concluded. Qwest will work offline with Alltel regarding the status of the CR and bring the CR back up for discussion at the September CMP meeting.

CLEC – Qwest Change Management Process Monday, August 12, 2002 Ad-Hoc meeting to discuss CLEC comments and CR Conference Bridge: 877.521.8688, passcode 7901848#

NOTE: These DRAFT meeting minutes were developed August 19, 2002 by Qwest following a meeting on the 2Wire 4Wire CLEC Dial Tone Requirement

MEETING MINUTES

The meeting was initiated by Qwest via Change Management notice CMPR.08.06.02.F.01307.CMPMtgFinalized that was distributed to the CLECs on August 6, 2002. Qwest scheduled the meeting to discuss the following two items with members of the CLEC community:

1) CLEC comments received for Notice PROD.07.12.02.F.00784.AnalogLoop24Wire 2) CMP Change Request PC061002-1 titled, “LSR put in Jeopardy when no dial tone present when Qwest installs Unbundled Loop” from Alltel.

The meeting began with Qwest reviewing the Qwest response to CLEC comments from Allegiance, Alltel, and Eschelon on the Level 3 notification sent out by Qwest on July 12th, 2002, PROD.07.12.02.F.00784.AnalogLoop24Wire. Several CLECs asked when the comments response had been distributed and Qwest responded that the notification had gone out the evening of August 9th, 2002, via notice PROD.08.09.02.F.00807.AnalogLoop24Wire and that the Qwest response to the comments had been posted under the Qwest CMP Product/Process Archive Document Review site under PROD.07.12.02.F.00784.AnalogLoop24Wire. Qwest then reviewed the response to comments with the attendees on the call. Allegiance stated that the Qwest posted comments referred to both conversion of analog loops as well as new installations, and that Allegiance did agree that CLEC dial tone should be required on conversion orders but not on new orders. Eschelon asked why the PCAT was being updated associated with PROD.07.12.02.F.00784.AnalogLoop24Wire. Qwest responded that the PCAT was being updated to reflect the requirement that Qwest currently has in place for these types of orders, and that the requirement was for CLEC dial tone prior to order completion. Eschelon, Allegiance, and ATT requested that the PCAT update be delayed until there was final resolution of the Alltel CR. Qwest responded that this request was out of process because the PCAT update needed to take place August 26th based on the final notice PROD.08.09.02.F.00807.AnalogLoop24Wire, but Qwest would take the request to delay the PCAT update back for final determination. Eschelon stated that there was no reason for CLEC comments if Qwest did nothing with them. Qwest responded that Qwest does take CLEC comments under consideration, but there is no CMP requirement to revise product/process changes based upon CLEC comments. Allegiance then stated that Qwest was the only ILEC requiring CLEC dial tone prior to order completion on NEW orders, and that Qwest needed to reevaluate the requirement. Covad stated that the issue could be resolved by Qwest providing Qwest dial tone to test the circuits, or that there were other test alternatives Qwest could implement. Qwest responded that the requirement for CLEC dial tone was still in effect due to technical requirements outlined in the response to CLEC comments, and that Qwest would provide a response to the Alltel CR at the August 21st CMP Monthly Product/Process meeting. The CLECs requested that a specific block of time be set aside at the CMP Monthly Product Process meeting to discuss this issue so they could have their technical subject matter experts on the call. Qwest agreed to set aside a specific time on August 21, 2002 to further discuss this. The time will be 1PM MT. The call-in number is 877 572-8687 passcode 3393947. The meeting then adjourned.

-

07/17/02 - July CMP Meeting Minutes: Alltel introduced their Change Request. Alltel requested the wording in the meeting minutes for the clarification meeting held on June 18, 2002 be changed from “48 hours before the Due Date” to “48 hours after application date”. Allegiance stated that Qwest is the only ILEC requiring dial tone testing for testing continuity. Covad stated it should be the CLECs responsibility for providing dial tone. Eschelon stated all CLECs are interested in this Change Request. CR status is presented.

Clarification Call Time/Date: 11:00 qa.m. (MDT) / Tuesday, June 18, 2002 Place: Conference Call Conference: TEL: 877.521.8688 Call-In No: CODE: 7901848 CR No: PC061002-1 "LSR put in Jeopardy when no dial tone present when Qwests installs Unbundled Loop"

Attendees: Byron Dowding, Alltel Neil Houston, Qwest Linda Hendricks, Qwest Steve Hilleary, Qwest Michael Keegan, Qwest

1.0 Attendees introduced. 2.0 Description: The following is extracted from the CR submitted by Alltel: When ALLTEL orders an unbundled loop with a NC Code of LX--and the CHC marked N, Qwest checks for dial tone at the end user (new loops) or at the spot pair (reuse facilities). If there is no dial tone present, Qwest contacts the CLEC gives them 30 minutes to get dial tone on the loop or the LSR is put in Jeopardy and a new LSR has to be written with a new due date. If the order contains multiple loops and one of the loops does not have dial tone, all of the loops are placed in Jeopardy. Qwest has responded to our concerns saying that this has always been their procedure but it was not being followed. Because these orders are not coordinated hot cuts, Qwest can make their cut anytime during the day. It could even happen over a lunch hour. We have also had situations where Qwest has put a loop on the wrong spot pair, had no dial tone at the customer’s premise and placed the order in Jeopardy.

Clarification Call Discussion: Alltel indicated that this problem started recently (60 – 90 days ago) and has occurred at both Omaha and Grand Island, Nebraska

Alltel said the problem is they get a call from Qwest on the due date when no dial tone is present and the order is placed in jeopardy if the problem is not corrected in 30 minutes.

Qwest does a Dial Tone check on both Basic and Coordinated LX - - (2W/4W Analog)type orders on DVA (Design Verify Assign) which is approximately 48 hours after application Date. If there is no Dial Tone at that time Qwest contacts the CLEC to let them know there is no dial tone at this time. The notification is approximately 24-36 hours before the Due Date. I have verified a couple of orders and we have called Alltel after the Dial Tone Check to notify them that there was No Dial Tone at DVA. On Due Date Qwest does another Dial Tone check before they do the install or hot cut before Qwest starts to do the work. If Dial Tone is not present, the COT calls the QCCC (Qwest CLEC Coordination Center) Coordinator. The QCCC Coordinator calls the CLEC and lets them know that Dial Tone is not present at their CFA (Connecting Facility Assignment). The CLEC is given 30 minutes to correct the Dial Tone situation. If the CLEC is not ready in 30 mintues they are requested to send a supplement to their LSR for a new Due Date. If the LX- - has a Reverse Battery or No Signal NCI (Network Channel Interface) Qwest does not require Dial Tone to be present at the CLEC’s CFA. If the order has multiple loops the CLEC may split out the LSR and accept those that do have Dial Tone. The order without Dial Tone may be put on a separate LSR. The Coordinated Appointment Time Option allows the CLEC to choose exactly when they want the installation or hot cut to be performed. The Basic Option allows Qwest to start the installation or hot cut any time between 8AM and 5PM regional time. The COT should be doing the ANI test on the loop before and after they perform the lift and lay. The correct number should be identified. This is the process in place and should be followed to insure the accuracy of the request.

Linda Hendricks will prepare the Qwest response.

3.0 Confirmed that UNE Loop is the product impacted.

4.0 Qwest confirmed the correct personnel were on the call.

5.0 CLEC expects Qwest to change this process ASAP, give the CLEC a reasonable amount of time (90 minutes) to correct a no dial tone situation on a reuse of existing facilities and give loops to the CLEC if there is continuity to the spot pair on new facilities

6.0 No Dependent Systems Change Requests were identified,.

7.0 Action Items Alltel can present this Change Request to the CLEC community at the July Product/Process CMP meeting scheduled for July 17 Qwest will issue draft response to this Change Request by Aug 14 (one week prior to the Aug 21 CMP meeting). Qwest will discuss the draft response at the Aug 21 CMP meeting.


CenturyLink Response

September 12, 2002

Byron Dowding OSS Coordinator Alltel

SUBJECT: Qwest’s Change Request Revised Response - CR #PC061002-1 LSR put in jeopardy when no dial tone present when Qwest installs unbundled loop Alltel is requesting that Qwest change its Hot Cut process to allow for 90 minutes when no Dial Tone is present at the CFA and not to reject orders with multiple service requests when one of the requests must be rescheduled. (Part 1, No Dial Tone) Dial tone is required to provide a quality installation of the service ordered. To ensure adequate circuit level performance, installation and operational tests are performed. Dial tone must be present to perform these tests across the entire circuit: - To verify the assurance of the assignment and translation of the CFA. - To confirm the Competitive Local Exchange Carrier (CLEC) Connecting Facility Assignment (CFA) is operational and test hard wiring from the Qwest Interconnection Distribution Frame (ICDF) to the CLEC CFA. - To perform a polarity test at the termination of the Network Interface Device (NID) and to perform an overall end to end operational circuit test to ensure reliability and functionality. - When provisioning over Digital Loop Carrier (DLC), to perform ground start, loop start and polarity check tests to assure the electronic card in the DLC is operational and optioned correctly. These operational tests require dial tone to minimize trouble reports immediately following test and turn up. If the NC/NCI codes are such that the circuits do not require Dial Tone, Qwest does not require Dial Tone to be present at the CLEC’s CFA.

Qwest is preparing to no longer require the CLEC to provide Dial Tone on new Unbundled Loops (LSR ACT = N) in mid-October and will follow all appropriate CMP timelines. Prior to new Unbundled Loop Basic or Coordinated Hot Cuts, the Qwest Technician will conduct performance testing to assure the new Unbundled Loop complies with its respective NC/NCI standards.

(Part 2, 90 minutes) Perhaps the CLEC request reflects a misunderstanding. Qwest believes that the process in place more than meets the needs of the CLECs. The Basic Option allows Qwest to start the installation or hot cut any time between 8AM and 5PM regional time. Qwest actually allows more than 90 minutes when a Basic Installation is ordered.

Here is the procedure when the Basic Installation Option is ordered:

On Due Date when Qwest is finished doing the installation and core tests, we call to notify the CLEC that we are done and that the test has been completed. If the CLEC wants to do more testing on their own or they can't get something working on their end, Qwest waits 30 minutes, then calls the CLEC again. If the CLEC still isn’t ready Qwest lets the field tech and the Central Office Technician (COT) go to their next jobs.

Qwest will hold the order open and if we do not have a CLEC resolution by the end of day we will have the COT disable the circuit. If the CLEC calls back on the same day and is ready, we will try to get a tech back out (if applicable) and the COT back in the central office. If it is too late in the day, or the resources are not available, Qwest will jeopardize the order and the CLEC must supplement the LSR with a new desired due date.

If the order has multiple loops the CLEC should accept the loops that have Dial Tone and supplement the LSR to remove the loop that does not have Dial Tone. The loop without Dial Tone should be put on a separate LSR with a new desired due date.

In mid-October, on a New order the Outside Technician (OST) will check for dial tone. If the OST does not have dial tone they will: - Call the Central Office and have the COT check for dial tone. If dial tone exists, the OST needs to check the facilities and resolve. - If no dial tone exists, the COT needs to check for dial tone at the Connecting Facility Assignment (CFA). If dial tone exists at the CFA, the COT needs to check the wiring in the CO and resolve. - If dial tone does not exist, the COT will notify the OST and the COT will wire in temporary Qwest dial tone for the OST to perform core tests to complete the order. The QCCC Coordinator / Implementor will not need to notify the CLEC.

Sincerely,

Linda Hendricks Lead Project Analyst Qwest

Cc: Mary Retka, Mary Pat Cheshier, Diane Diebel


Open Product/Process CR PC102802-1 Detail

 
Title: Correction/clarification of Qwest documentation (PCAT, IMA User’s Guide, etc.) describing customer authorization requirements for retrieval of CSRs.
CR Number Current Status
Date
Area Impacted Products Impacted

PC102802-1 Completed
3/31/2003
Pre-Ordering All Products
Originator: Dickinson Pardee, Carla
Originator Company Name: AT&T
Owner: Thacker, Michelle
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Currently Qwest documentation contains conflicting requirements for CLECs to obtain customer authorization prior to reviewing a customer’s CSR. Qwest’s requirements are not only conflicting within the Qwest documentation, but also conflict with the requirements of applicable law. AT&T requests that Qwest correct its documentation to be clear and consistent with applicable law. The three websites that AT&T has identified with this problem (there may be more) of conflicting information are the websites for:

- Pre-ordering (http://www.qwest.com/wholesale/clecs/preordering.html),

- LOA/POA (http://www.qwest.com/wholesale/preorder/index.html), and

- the IMA User’s guide (http://www.qwest.com/wholesale/downloads/2002/020916/ugpreorder_101_091302.pdf).

The Pre-Ordering website states "Before initiating activity, obtaining a CSR and placing orders on behalf of an end-user, you are required to have a Letter of Authorization or Proof of Authorization giving you authorization to do activity on their behalf." In a separate paragraph, the website provides "While it is not necessary for the LOA to accompany your request, the indication of authorization is required when you request a CSR for an account owned by Qwest or another CLEC." The initial reference to “Letter of Authorization or Proof of Authorization” by itself is fine, but the later reference only to "LOA" suggests written approval from the customer is required for access to the CSR. This is not the case. AT&T understands that customer authorization is required, but a written authorization is not. See 47 CFR Section 64.2007(b). This section of the federal rules identifies the methods by which a carrier may obtain customer approval to access CPNI. It states that "A telecommunications carrier may obtain approval through written, oral or electronic methods." State requirements in the Qwest territory largely mirror the federal rules.

The LOA/POA document states "Prior to obtaining records or placing orders for an end-user you must obtain permission from the end-user to act on their behalf in matters pertaining to the communications services." The following paragraph states "Proof of authorization can be arranged through a Letter of Agency" -- indicating there are options for obtaining authorizations from the customer. The third option cited is "oral authorization verified by an independent third party (with third party verification as POA)." Third party verification is necessary for a transfer of service, but is not required just to view a CSR. The website further states "While the Letter of Agency need not accompany your request for records or services, the indication of agency authorization is a required field entry when you request customer service records or submit Local and Access Service Request forms." As written, this language seems to require a written letter of authorization from the customer in order to view customer records. This is not consistent with the federal and state rules referenced above.

In the IMA user’s guide, "Reviewing Customer Service Records", 10.01 page 1-18 also provides that "Proof that a CLEC has received a Letter of Authorization (LOA) is required if the CLEC attempts to retrieve a CSR for a customer account owned by Qwest or another CLEC". Once again, this language suggests that a written letter of authorization is required. It is not.

While AT&T understands it is necessary to obtain customer consent prior to reviewing CSRs, it is not necessary to obtain written consent or third party verification of oral consent. Qwest does not have the authority through its PCAT, or otherwise, to demand more of CLECs than applicable law requires. AT&T would like to believe that the Qwest language referenced in this CR is simply inadvertent and does not represent Qwest’s intent to require more of CLECs than applicable law requires. However, AT&T does find this documentation troubling and believes that it is important that Qwest clean up its documentation to reflect what is required by applicable law. Please make these corrections and clarifications as soon as possible to avoid further confusion among Qwest’s CLEC customers. Suggestions AT&T would offer include: (i) do not use LOA interchangeably with other forms of authorization that may be obtained; and (ii) simply refer to applicable law in the places where the requirement for authorization needs to be referenced.

Expected Deliverable

AT&T expects Qwest to provide uniform instructions, in accordance with applicable law, within 60 days of submission of this CR.


Status History

10/28/02 - CR Submitted by AT&T

10/29/02 - CR acknowledged by P/P CMP Manager.

11/01/02 - Contacted customer and scheduled Clarification meeting

11/01/02 - CR Posted to Web

11/05/02 - Conducted Clarification meeting with AT&T

11/08/02 - Clarification meeting minutes issued to AT&T

11/20/02 - November CMP Meeting - AT&T presented this CR. CR status changed to Presented. Meeting minutes will be posted to this CR's Project Meetings section.

12/10/02 - Issued Qwest draft response dated 12/3/02 to Carla Dickinson Pardee at AT&T

12/11/02 - Draft Response posted to the web site

12/18/02 - December CMP Meeting - Qwest presented draft response to this CR. CR status changed to Development. Meeting minutes will be posted to this CR's Project Meetings section.

01/08/03 - Issued Qwest response to Carla Dickinson Pardee at AT&T

01/15/03 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/30/03 - Qwest issued Process Notification PROS.01.30.03.F.00998,PreorderingV14, Pre-Ordering Overview V14.0 updates to PCAT, effective date 1/31/03

01/31/03 - Qwest issued Process Notification PROS.01.31.03.F.0997.POA_LOA_V2, Proof of Authorization / Letter of Agency V2.0, planned updates to PCAT, proposed effective date 2/21/03.

02/14/03 - Qwest issued Final Notice and Qwest Response to CLEC Comments on Proof of Authorization Letter of Agency V2.0, effective 2/21/03

02/19/03 - February CMP Meeting - Qwest provided update on this CR. Meeting minutes will be posted to this CR's Project Meetings section.

03/07/03 - Qwest issued PROS.03.07.03.F.01023.LSOG_Updates Pre-Ordering Overview V18.0

03/19/03 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

03/27/03 - Rec'd voice mail from Carla Pardee ok to close this CR.


Project Meetings

03/19/03 March CMP Meeting Michelle Thacker with Qwest provided status on this CR and said that the 12.0 IMA and LSOG documentation has been provided for review. Carla Pardee with AT&T will call Linda Sanchez-Steinke with Qwest after review of the documentation and advise if AT&T is ready to close this CR. The CLEC Community agreed that this CR could be closed if AT&T agrees.

02/19/03 February CMP Meeting This CR is in development status and Donna Osborne-Miller with AT&T said that Qwest will incorporate the PCAT changes requested, the submitted comments, and they would like to leave the CR open another month. This CR will remain in development status.

01/15/03 January CMP Meeting Michelle Thacker with Qwest gave an update on this CR. Documentation for IMA will be effective 1/21/03 with IMA release 11.01. PCAT documentation is targeted to be available in late January. LSOG documentation and Preparation Guide will be available with the 12.0 IMA release in April. This CR will stay in Development status.

12/18/02 December CMP Meeting Linda Sanchez-Steinke with Qwest presented the draft response to this CR and said that CLEC facing documentation and the IMA User’s Guide will be updated. AT&T agreed with the Qwest response and Liz Balvin with Worldcom asked if there would be updates to the Preparation Guide. Qwest will e-mail an answer to Liz Balvin’s question and include in meeting minutes. This CR will be moved to Development status.

11/20/02 November CMP Meeting Carla Pardee with AT&T presented this CR and said that three of the Qwest pre-ordering web sites have different requirements ranging from oral to written approval prior to CLECs reviewing the customer service record. AT&T Legal interpretation is that only oral approval from customers is required prior to reviewing the CSR. Qwest will present the draft response at the December CMP Meeting.

CLEC Change Request Clarification Meeting

November 5, 2002, 3:00 p.m. (MT) Conference Call 1-877-554-8688 PIN 1930099 # PC102802-1 Correction/clarification of Qwest documentation (PCAT, IMA User’s Guide, etc.) describing customer authorization requirements for retrieval of CSR’s.

Carla Pardee, AT&T Mike Johnson, Qwest Sharon King, Qwest Cap Hamilton, Qwest Beth King, Qwest Michelle Thacker, Qwest Linda Sanchez-Steinke, Qwest

Introduction of the participants on the Conference Call was made and the purpose of the call discussed.

Review Requested (Description of) Change The description of change requested in the CR was reviewed. Carla indicated that AT&T is asking that there be consistency in all Qwest documentation associated with the review of customer service records (CSRs). AT&T Legal interprets the wording in the following Qwest websites to be inaccurate according to federal rules, 47 CFR Section 64.2007(b) - Pre-ordering (http://www.qwest.com/wholesale/clecs/preordering.html), - LOA/POA (http://www.qwest.com/wholesale/preorder/index.html), and - the IMA User’s guide (http://www.qwest.com/wholesale/downloads/2002/020916/ugpreorder101091302.pdf) AT&T’s interpretation is that approval to view the customer service record (CSR) can be in written, oral or electronic format.

Confirm Areas & Products Impacted Carla indicated that all products are impacted.

Confirm Right Personnel Involved Qwest confirmed that the right personnel were involved in the conference call.

Identify/Confirm CLEC’s Expectation Carla confirmed that AT&T is not disputing oral approval from customer to review CSR. The documentation wording sounds like the CLECs have to get written permission from customers to view their CSR and AT&T is asking that Qwest documentation be revised.

Establish Action Plan (Resolution Time Frame) This CR will be presented by Carla at the November CMP Meeting.


CenturyLink Response

December 3, 2002

Carla Pardee LSAM Manager AT&T

SUBJECT:Qwest’s Change Request Response - CR # PC102802-1 (Correction/clarification of Qwest documentation (PCAT, IMA User’s Guide, etc.) describing customer authorization requirements for retrieval of CSRs.)

This is in response to AT&T’s Change Request CR PC102802-1. This CR requests that Qwest clarify and correct as needed Qwest documentation (PCAT, IMA User’s Guide, etc.) that describes customer authorization requirements for retrieval of CSRs.

Qwest accepts this CR and will review and clarify CLEC facing documents pertaining or referencing customer authorization requirements.

The IMA User Guide 11.01, is targeted for review in late December and Qwest External Documentation is targeted for review in late January.

Sincerely,

Michelle Thacker Process Specialist Qwest


Open Product/Process CR PC110702-1 Detail

 
Title: Request that rate change notifications/mailouts contain rates effected.
CR Number Current Status
Date
Area Impacted Products Impacted

PC110702-1 Completed
2/19/2003
Notifications/Mailouts All Products
Originator: Dickinson Pardee, Carla
Originator Company Name: AT&T
Owner: Cornwell, Barbara
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Currently Qwest notifications/mailouts advising of a rate change do not identify the effected rates. Rather, the notifications/mailouts frequently reference a Commission Order from a cost docket, or some other reference, without identifying either the rates that have been effected or the newly implemented rates. It would be extremely helpful to the CLECs if these notifications/mailouts would list the precise rates effected, rather than having to track down the reference to the rate change.

Expected Deliverable

Notifications/mailouts list the precise rates effected.


Status History

11/07/02 - CR Submitted by AT&T

11/08/02 - CR acknowledged by P/P CMP Manager

11/11/02 - CR Posted to Web

11/13/02 - Contacted customer and scheduled Clarification meeting

11/14/02 - Held Clarification Meeting

11/20/02 - Clarification meeting minutes issued to AT&T

11/20/02 - November CMP Meeting - AT&T walked on this CR. Meeting minutes will be posted to this CR's Project Meetings section.

12/10/02 - Issued Qwest draft response dated 12/3/02 to Carla Dickinson Pardee at AT&T

12/11/02 - Draft Response posted to the web site

12/18/02 - December CMP Meeting - Qwest presented draft response to this CR. CR status changed to Development. Meeting minutes will be posted to this CR's Project Meetings section.

12/26/02 - Notification sent PROS.12.26.02.F.00973.CR_RateChange

01/08/03 - Issued Qwest response to Carla Dickinson Pardee at AT&T

01/15/03 - January CMP Meeting - Qwest presented updated response. Meeting minutes will be posted to this CR's Project Meetings section.

02/07/03 - Qwest Issued PROS.02.07.03.F.01008.AZ_Struc_Rates

02/19/03 - February CMP Meeting - CR was moved to completed status. Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

02/19/03 February CMP Meeting This CR is in Development status and Donna Osborne-Miller with AT&T said that they received the rate change notification with new rates attached and they would like to close this CR. This CR will be moved to Completed status.

01/15/03 January CMP Meeting Barb Cornwell with Qwest gave an update on this CR and said that a generic Exhibit A will be provided with the Arizona Phase II A cost docket. This CR will remain in Development status.

12/18/02 December CMP Meeting Barb Cornwell presented the Qwest draft response and said that starting with the next Cost Docket, Qwest will include an Exhibit A in the notification. The Exhibit A will include the rates that are changing and timeframe the rates will be changed. Individual contract rate sheets are available from Qwest service managers. Joan Matzler added that SGAT rate changes are also available on the web site. This CR will be moved to Development status. Stichter-Eschelon provided updates to the notes to include the following: Would any change in the SGAT rate because of a cost docket apply to Eschelon? And Qwest responded yes.

11/20/02 November CMP Meeting Carla Pardee with AT&T presented this CR and said that the rate change notifications that Qwest currently provides do not meet AT&T’s needs. Carla said that they would like to have the new rates included in the notifications. Mike Zulevic with Covad said this is something he requests from the Account Team. Once rates are effective, Covad wants to understand the impact prior to implementation. Bonnie Johnson said that Eschelon has asked for rate changes many times and Kathy Stitcher added that previous change requests have been denied. A CR was denied in the May timeframe, because of the number of staff hours required. Sue Burson with Qwest said that she remembered the change request. Mike Zulevic said that Qwest might want to look at the dispute resolution process for billing and determine if providing the new rates is unduly burdensome. Judy Schultz with Qwest asked if AT&T was looking for rates associated with specific USOCs applying to AT&T. Carla Pardee said that last week they received notification about Arizona and the week before on Utah. They would like to know what the elements are, and what the new rate will be. With the Colorado UNE, we never received rates and it causes confusion, and the account team doesn’t always provide what is needed. Kathy Stitcher said that Eschelon submitted CR number PC053002-2X and it was denied because it was economically not feasible. Kathy said that on Arizona they did contact their service manager and also received a spreadsheet for Utah with some items missing. It was agreed this CR would move to clarification status.

- CLEC Change Request Clarification Meeting

November 14, 2002, 2:30 p.m. (MT) Conference Call 1-877-554-8688 PIN 1930099 # PC110702-1 Request that rate change notifications/mailouts contain rates effected. Introduction of the participants on the Conference Call was made and the purpose of the call discussed. Attendees Carla Pardee, AT&T Sue Kriebel, Qwest Barb Cornwell, Qwest Laurel Neher, Qwest Cliff Dinwiddie, Qwest Cindy Pierson, Qwest Dana Nielsen, Qwest Linda Sanchez-Steinke, Qwest

1 Introduction of Attendees Introduction of the participants on the Conference Call was made and the purpose of the call discussed.

2. Review Requested (Description of) Change The description of change requested in the CR was reviewed. Carla indicated that AT&T receives the mailouts when there is a Commission order or Cost Docket for rate changes and they would like to review the rates in a more efficient way and would like ability to compare the old rates to the new rates. Laurel Neher with Qwest asked if this would apply to Exhibit A SGATs. Carla said that most would be applicable and the Utah Order is what prompted the CR and it would be helpful to compare the new rates that were effective and be able to distribute throughout AT&T. Cindy Pierson with Qwest said that today on the Qwest web site Utah 10/16/02 is available in Exhibit A in the SGAT. Carla asked if there is a footnote that references the commission order and Cindy said that the note section lists the dockets approved in. Barb Cornwell with Qwest said that when the notice is received that if interested in AT&T specific rate sheets, an electronic copy of the rate sheet can be sent by the Service Manager. Barb also said that a notification for Arizona would be received today by AT&T. Carla will contact her Service manager and get with the AT&T people who requested the CR to provide information on the web site information available.

3. Confirm Areas & Products Impacted Carla indicated that all products are impacted.

4. Confirm Right Personnel Involved Qwest confirmed that the right personnel were involved in the conference call.

5. Identify/Confirm CLEC’s Expectation Carla confirmed that AT&T is interested in comparing the old rates to the new rates and that they are interested in AT&T specific rates.

6. Establish Action Plan (Resolution Time Frame) This CR will be walked on by Carla at the November CMP Meeting.


CenturyLink Response

January 6, 2003

Carla Dickinson Pardee ILEC Relations Manager AT&T

SUBJECT: Qwest’s Change Request Response - CR PC110702-1 Request rate change notifications/mailouts contain rates effected.

As a follow up to the December 18, 2002 CMP Meeting, Qwest will enhance the current process to additionally provide an Exhibit "A" rate sheet customized to specifically reflect only the rates Ordered in the Docket. This document will be attached as a communication piece with the rate change notifications/mailouts for CLEC distribution and reference.

Qwest plans to have this solution coordinated and operational to coincide with the implementation of the Arizona Cost Docket Phase IIA. Notification of the Arizona rate change is expected on or about January 15, 2003. Level 1 Process Change, PROS.12.26.02.F.00973.CRRateChange, was sent on December 26, 2002.

Sincerely,

Barb Cornwell Senior Process Analyst Qwest

December 3, 2002

DRAFT RESPONSE For Review by CLEC Community and Discussion at December’s CMP Meeting

Carla Dickinson Pardee ILEC Relations Manager AT&T

SUBJECT:Qwest’s Change Request Response - CR PC110702-1 Request rate change notifications/mailouts contain rates effected.

Currently, Qwest notifications/mailouts advising of a rate change do not identify the affected rates. The purpose of the notification is to advise the CLEC of the pending implementation of a rate change as Ordered by a Public Utilities Commission. Qwest’s standard operating procedure is to ensure Interconnect Contract Agreements are updated with the Ordered rates are available to CLECs during the implementation process.

In response to this request, Qwest will enhance the current process to additionally provide an Exhibit "A" rate sheet customized to specifically reflect only the rates Ordered in the Docket. This document will be attached as a communication piece with the rate change notifications/mailouts for CLEC distribution and reference.

Qwest plans to have this solution coordinated and operational to coincide with the implementation of the New Mexico Cost Docket. Notification of the New Mexico rate change is expected on or about January 15, 2003.

Sincerely,

Barb Cornwell Senior Process Analyst Qwest


Open Product/Process CR PC030802-1 Detail

 
Title: Local Service Freeze Process to remove LEFV from Qwest residential accounts (being executed under the exception process)
CR Number Current Status
Date
Area Impacted Products Impacted

PC030802-1 Completed
6/19/2002
Pre-Ordering, Ordering, Provisioning, Billing LNP, Private Line, Unbundled Loop, UNE
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Berry, Harriett
Director:
CR PM: Thomte, Kit

Description Of Change

VALIDATE THESE FOLLOWING BULLET ITEMS AS PART OF THE PROCESS:

- Caller must be a Qwest retail customer

- Customer must call business office and say they wish to "remove the freeze off of their local service"

- Do not instruct the customer to use the word "PIC". This is used for inter and intra lata services and causes confusion which can delay removing the LEFV

- CLEC can be a third party on the call to Qwest by the local customer

- Customer can call up to 7pm in his local service area to remove the freeze

- The LEFV resides in a repository that is worked overnight which means it will be removed off the customer's account that night and the LSR can be sent the next day without rejection

- Although updates to a CSR can take up 3-5 days, the removal of the freeze is not dependent on that CSR being updated.

- Qwest does not charge $5 to remove the freeze

- A Communicator will be sent to the CLEC community when the PCAT is updated

The last 2 bullet points can be removed from the CR as per clarification call 03/18/02

Scope expanded to include business accounts as well (per CLEC request 03/20/20)


Status History

03/08/02 - CR Submitted by AT&T (03/08/02 reflects the date notification was sent advising the receipt of this CR at cmpcr@qwest.com and not the 03/05/02 submitted date shown on the CR.)

03/08/02 - CR acknowledged by P/P CMP Manager

03/08/02 - CLEC contacted (e-mail) to organize clarification meeting

03/14/02 - Clarification call cancelled by Qwest. Call rescheduled for Monday March 18th.

03/18/02 - Clarification call held with AT&T

03/19/02 - Clarification draft meeting minutes sent to AT&T by e-mail

03/19/02 - AT&T advised Qwest they would like this CR expedited (on letter dated March 18)

03/20/02 - March CMP Meeting: AT&T 'walked-on' this CR and requested the use of the exception process. CMP meeting participants agreed. AT&T also requested a call next week with Qwest SME’s and the CLEC community. CR Status changed to "Evaluation." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

03/20/02 - AT&T e-mail requesting Qwest to work with them on specific customer issues related to removing local service freeze

03/20/02 - Reply e-mail from Judy Schultz stating she would be investigating the issue

03/21/02 - Notification CMPR.03.21.02.F.01239.CR_Meeting issued to CLECs informing them of a call on 03/26/02 to discuss this issue

03/26/02 - CR scope expanded to include business accounts

03/26/02 - General clarification call held

03/27/02 - Draft general clarification meeting minutes sent to participating CLECs via e-mail

03/28/02 - E-mail from AT&T seeking clarification on the IMA 9.0 edit

03/28/02 - Letter from AT&T expressing their disappointment with the general clarification call held on 03/26/02

03/29/02 - E-mail from AT&T asking for status and description of potential systems fix

04/01/02 - Minutes from general clarification call (03/26/02) updated to reflect AT&T’s comments. Last bullet point modified to reflect AT&T’s request to lift freeze until all issues addressed.

04/01/02 - E-mail from AT&T to Qwest with an example of rejected LSR

04/01/02 - Reply e-mail from Qwest with R-Order details

04/01/02 - Notification CMPR.04.01.02.F.01248.CR_Meeting issued to CLECs informing them of a call on 04/04/02 for a follow up discussion on this issue

04/01/02 - Reply e-mail from AT&T expressing their reservation about the effectiveness of the escalation process

04/02/02 - Draft response dated 04/02/02 sent to AT&T for discussion at Thursday's (04/04/02) general call. CR Status changed to "Presented"

04/02/02 - Notification PROS.04.02.02.F.00414.Local_Service_Freeze issued informing CLECs of PCAT update

04/03/02 - Draft response dated 04/02/02 posted to the P&P Interactive report on the CMP web site at: http://qwest.com/wholesale/cmp/changerequest.html

04/04/02 - Follow-up meeting held

04/04/02 - Notification CRCMPR.04.04.02.F.01251.Draft_CR_Response informing all CLECs a draft response had been posted in the Product/Process Interactive Report for this CR

04/05/02 - Letter from AT&T expressing their disappointment with Qwest's response presented in the follow-up meeting on 04/04/02

04/05/02 - Status update from Qwest on AT&T's request to immediately lift the freeze

04/08/02 - E-mail from AT&T seeking clarification on the correct 800 number to use

04/08/02 - Draft follow-up meeting minutes sent to participating CLECs via e-mail

04/08/02 - Formal Escalation received from AT&T, status changed to "Escalated"

04/09/02 - Reply e-mail with correct 800 number - 877-719-4294 (outside of the retail/business office number 800-244-1111)

04/09/02 - Qwest response sent acknowledging receipt of Formal Escalation from AT&T (PC030802-1-E06).

04/09/02 - Escalation posted to the web: http://qwest.com/wholesale/cmp/escalations.html

04/09/02 - All CLECs notified this CR has been escalated Notification CMPR.04.09.02.F.01252.CR_Escalation

04/10/02 - Worldcom joins escalation PC030802-1-E06 as a participant

04/10/02 - AT&T comments on Qwest's draft response

04/10/02 - E-mail from AT&T asking for clarification on whether the LEFV is always on the CSR

04/10/02 - "Participate" button removed from escalation web site at 5 p.m. (MST) as per CMP guidelines

04/11/02 - Qwest binding response dated 04/11/02 sent to Worldcom and AT&T

04/11/02 - Qwest binding response dated 04/11/02 posted to the web: http://qwest.com/wholesale/cmp/escalations.html

04/11/02 - E-mail from AT&T asking whether the binding response is effective immediately

04/12/02 - Reply e-mail from Qwest confirming binding response is effective immediately

04/17/02 - April CMP Meeting: Qwest and AT&T read out their binding responses. Status remains "Escalated." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

04/18/02 - Received AT&T binding response and posted to the escalation web site: http://qwest.com/wholesale/cmp/escalations.html Attached binding response to CR

04/19/02 -Received AT&T letter regarding numerous issues associated with the CMP System and Product and Process meeting

04/23/02 - Received email from AT&T regarding process updates Business Procedures RN: Removal of Local Service freeze letter addressed questions with this CR as well as others

04/26/02 - Reply email from Qwest to AT&Ts response of April17th

04/26/02 - Qwest binding response dated 04/26/02 posted to the web: http://qwest.com/wholesale/cmp/escalations.html

04/29/02 - Qwest AT&T and other CLECs participated in a call to review Qwests response to AT&T questions from 04/17/02

05/06/02 - Qwest sent email containing minutes for CLEC review from meeting on 4/29/02

05-15-02 - May CMP Meeting: Status remains "Escalated." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. AT&T to issue letter outlining problems that still exist.

06/19/02 - June CMP Meeting: AT&T agreed to close this CR. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.


Project Meetings

04/19-02 This is an excerpt from a letter sent by Terry Bahner at AT&T. This is the only portion of the letter that pertained to this CR.

Documentation and disposition of AT&T CR PC 03802-1 – Local Service Freeze

As you know, I submitted this CR and requested application of the CMP “Exception Process”. I then escalated the issue based on discussions with Qwest. It’s a strange dichotomy for Qwest to state at the CMP Product and Process meeting that AT&T had five business days to respond to Qwest’s binding response to AT&T’s escalation of PC 030802-1 and then infer it was at Qwest’s own discretion whether to even document AT&T’s comments let alone where. At a minimum, the correspondence generated as part of the escalation should be included with the documentation of the CR, just as all other correspondence and minutes relating to CRs are documented. Since Qwest indicated in its binding response to AT&T’s escalation that Qwest would continue “to do problem solving working sessions with AT&T”, I don’t understand why my request to move the escalated change request to a ”Development” status was denied. AT&T understood the main purpose of escalating a change request was to ensure it received top priority based on business needs, not to house it in the dead-end file once Qwest provides its binding response. Qwest was clearly not prepared to present the binding response at the CMP meeting. No copies were provided to the CLEC community at the meeting and Sue Burson appeared unsettled by the request to present the binding response and respond to questions. While I have provided detailed written comments on Qwest’s binding response, AT&T has not rejected it. The areas addressed by Qwest’s response may satisfy most of AT&T’s needs, however, it is not clear from Qwest’s response that the problems AT&T has been experiencing have actually been resolved. AT&T expects that Qwest will work collaboratively with AT&T to resolve these issues. We are extremely disappointed that Qwest chose to then send out the local service freeze notice as a Level 1 notification (Announcement Date: April 18, 200; Document Number: PROS.04.18.02.F.00426.LocalServFreeze) . Judy, you had articulately explained the five levels of Qwest-initiated product/process changes in the morning portion of the April 17th meeting. Yet, the notice was sent on April 18th as a Level 1 instead of the Level 3 AT&T had strongly recommended in our written and oral responses on April 17th. We have repeatedly indicated to Qwest the local service freeze has had a daily negative impact on our ability to meet the end customers’ requests for a change in local service provider. For Qwest to indicate at this juncture of the change request that no comment cycle is available to the CLEC community shows a true disregard for the redesigned CMP, to the commitment made by the entire CMP re-design team since its work began in July 2001 and to Qwest’s commitment in its binding response “to do problem solving working sessions with AT&T.”

04/10/02 - AT&T comments on Qwest's draft response

1. Caller must be a Qwest retail customer This is a true statement. The Qwest Retail end user may contact their Qwest Retail business office to have their local service freeze removed. Their new CLEC may be on the phone with them at the same time (Three-way call).

AT&T - AT&T should be able to call the retail office without having the customer on line, this would eliminate the unnecessary time it takes to reach the customer. (Portland Metro Market – AT&T Broadband)

2. Customer must call business office and say they wish to "remove the freeze off of their local service" This is a true statement. When the end user customer contacts the Qwest Retail business office, they should ask to have their local service freeze removed. If the end user customer simply states that they are moving to AT&T, there may be some confusion as to whether this is a PIC change or the customer is moving their local service to AT&T.

AT&T - Does the retail office see the pending order to port to the CLEC? End users are being told their Qwest number(s) are disconnected and therefore Qwest cannot remove the LEFV. Perhaps they are confusing the "pending" disconnect. Notation on the Qwest side is very poor. Customers are given information such as their number is disconnected, but when they call back again, there is no note of the information they were given or even that they called in earlier. (Denver Metro Market - AT&T Broadband) AT&T believes the Qwest Retail business office is not the best arm of Qwest to be responsible for removing the LEFV. Sales’ organizations are based on revenue generating actions. They should not be responsible for lifting the LEFV when this clearly indicates a loss of revenue when the end customer moves to another competing CLEC for their local service. We believe this accounts for the lack of notations on the customer’s account after he has called nine times to remove the LEFV. (Terry Bahner - LSAM)

3. Do not instruct the customer to use the word "PIC". This is used for inter and intraLATA services and causes confusion which can delay removing the LEFV This is true. It is helpful in guiding the end user customer through the process since they may have a PIC, LPIC, and Local Service Freeze. The Sales Consultants have been provided training and job aids to help determine the customer’s need.

AT&T - Again, Qwest’s notation is very poor. The notes need to indicate what "type" of freeze the customer wishes to remove. The customer will use the word "LOCAL" and the Qwest notes will indicate "PIC". This is still a training issue on the Qwest side. The "R" order number should be noted so both sides of Qwest’s offices have access to this information. (Denver Metro Market - AT&T Broadband) AT&T believes the lack of notation or the wrong notation on the customer’s account and the multiple times the end customer has to call Qwest to lift the LEFV is indicative of a failed process and a serious training deficit. (Terry Bahner - LSAM)

4. CLEC can be a third party on the call to Qwest by the local customer See question #1

AT&T - AT&T believes Qwest needs to send out additional internal memos to drive home this statement. (Terry Bahner - LSAM)

5. Customer can call up to 7pm in his local service area to remove the freeze Qwest has customers across three different time zones. The Residence end user customer may call their Qwest Retail business office until the close of business in the Pacific time zone. - Central time zone until 9:00 PM (they will be routed to a center in the Mountain or Pacific time zones after 7:00 PM local time) - Mountain time zone until 8:00 PM (they will be routed to a center in the Pacific time zone after 7:00 PM local time) - Pacific time zone until 7:00 PM The hours for the Business, Federal Government, Education, Public Access Lines business offices are listed in the April 3, 2002 update to the PCAT.

AT&T - The window of opportunity to reach the retail office should be extended to include Saturdays. (Portland Metro Market - AT&T Broadband) Prime selling hours are until 9pm. The 7pm time could prevent us from closing the sale if the customer has a freeze on. It is not enough to rationalize that the customer can always call back later to remove the freeze. Sales organizations know that any obstacle thrown in the way of completing the sale at the time of offering the sale diminishes the chances of completing the sale. This places Qwest at an unfair competitive advantage. (Salt Lake Metro Market - AT&T Broadband) AT&T requests expanded hours to include Saturdays. (Denver Metro Market - AT&T Broadband) AT&T believes that Qwest for the time being should at least match their hours of removing the LEFV to the Monday-Saturday schedule already in existence. A second option would be for the CSIE to field the calls and note the customer’s account. (Terry Bahner - LSAM)

6. The LEFV resides in a repository that is worked overnight which means it will be removed off the customer service record. Qwest has a Local Freeze Repository where all frozen phone numbers are stored. That repository is updated on a daily basis as orders are issued to add or remove local freeze. When an order is issued to remove the freeze, the telephone number is removed from the Repository that night. The LEFV will not be removed from the CSR for 3-5 days. See further explanation in response to question 7.

AT&T - If the "R" order number is supplied in the remarks field...why cannot this be done manually and resubmitted the same day? See # 7’s explanation that SDC’s are already checking for system notations and if there is a notation, they will process the LSR. If Qwest does include Saturday hours but not same day supps, what day would the number update in the repository? (Denver Metro Market - AT&T Broadband)

7. Although updates to a CSR can take up 3-5 days, the removal of the freeze is not dependent on the CSR being updated. The Customer Service Record does not update for 3-5 days after the R order is issued to add or remove the Local Service Freeze. When a LSR is issued and there is LEFV on the CSR, the Wholesale Service Delivery Coordinators are checking system notations to determine if an order has been issued to remove the local service freeze. If there is a notation, they will process the LSR. In addition, if the LSR contains the R order number (of the freeze removal) the SDC will allow the order to be processed.

AT&T - The centers should be able to send the LSR immediately after calling the retail office to remove the freeze. Waiting 24hrs to submit is unacceptable unless Qwest is willing to reduce the 3-business day port rule. (This point was made my Jonathan Wolf on last week’s call. (Portland Metro Market - AT&T Broadband) However, the LSR will be rejected if submitted the same day as the LEFV removal request. This adds an additional day to the installation process. This may also require AT&T to contact the customer again to reschedule the originally promised installation date. This, in turn, could cause the original install to be missed if the customer cannot be contacted again in enough time to meet the due date. (Salt Lake Metro Market - AT&T Broadband)

The following questions were submitted by AT&T in a letter to Qwest dated 03/19/02

8. Customer required to call Qwest multiple times to remove LEFV The customer should be able to accomplish removal of the local service freeze in one call to Qwest.

AT&T - Simply remove the freeze with one call. (Portland Metro Market - AT&T Broadband) Should be able to and can are two different things. (Salt Lake Metro Market - AT&T Broadband) AT&T has provided examples where this demonstrates that it does not occur. As stated in earlier meetings with Qwest, this is one of the three process requirements that must be addressed to move the CR towards a workable process. (Terry Bahner - LSAM)

9. No established process to remove the LEFV at the Qwest retail offices Qwest has had established processes in place for local service freeze removal since March 10, 2001 when Local Service Freeze was first implemented.

AT&T - There are no established process by Qwest, until a workable process is in place a all frozen accounts should be lifted per Mike Mason’s request on the last two calls. (Portland Metro Market - AT&T Broadband) It’s apparent these "established processes" are broken. (Denver Metro Market - AT&T Broadband) AT&T has repeatedly indicated the process is not consistent. This has been demonstrated to Qwest by examples that range from Qwest refusing to help the end customer when AT&T Broadband is on the call to actually adding the LEFV and issuing a "D" order to disconnect the customers service instead of the "R" order. (Terry Bahner - LSAM)

10. No consistent confirmation number provided by the Qwest retail offices to note customer account Qwest Sales Consultants are currently providing the R order number to any end user customer or CLEC (on 3-way call) who requests it. We have determined that a specific work group has been providing "confirmation numbers" instead of the R order numbers. That situation has been corrected by the issuance of internal memo (MCC) and managing the performances of the involved individuals. Do not hesitate to request the R order that is being issued to remove the freeze.

AT&T - AT&T believes Qwest needs to continue to monitor how the LEFV is noted on the customer’s account by the Qwest representative. Although AT&T acknowledges and appreciates Qwest identifying a specific work group who was incorrectly providing a "good" confirmation number, a problem still surfaced after the MCC was sent. Once again we reference when Qwest issued either a "D" order or a "C" order for removing the LEFV. (Terry Bahner - LSAM)

11. Inconsistent information between the account team and the PCAT pertaining to submission of the LSR The PCAT is the Qwest official source for CLEC information.

AT&T - AT&T believes Qwest subject matter experts did provide inconsistent information to the service managers. It placed them in a precarious position by having to always "go to the SPOC" for every issue concerning the LEFV. This caused delays in developing a working process and delays in the status of the examples provided. It created a unnecessary extra layer in resolving outstanding LEFV issues. (Terry Bahner - LSAM)

12. Inconsistent Quality Check process at the Sierra Vista Center Calls and orders are monitored on a regular basis to ensure quality.

AT&T - Improved communication between the retail office and Sierra Vista (Portland Metro Market - AT&T Broadband) Inconsistencies still exist. (Denver Metro Market - AT&T Broadband) If this is true, why is Qwest saying they can cancel an LSR related to an LEFV issue? If this is true, why are some orders rejected and others are issued a jeopardy condition after the FOC? (Terry Bahner - LSAM)

13. Inconsistent escalation process at the Denver CSIE once confirmation has been received There are several determining factors as to how the escalation is handled. Each escalation is reacted to on an individual case basis.

AT&T - A single point of contact for escalations. (Portland Metro Market - AT&T Broadband) AT&T believes this does not meet our business requirements. Our third standing request is for Qwest to provide an escalation process that addresses LEFV issues that occur out of process. AT&T should not be penalized and lose their requested due date when Qwest fails to remove the LEFV. Our customer should never be placed in jeopardy when he wishes to have another CLECS’ local service because a Qwest system or agent failed to respond properly to a LSR issue regarding LEFV. (Terry Bahner - LSAM)

14. IMA 9.0 edit pulled and no notice sent to the CLEC Qwest did not remove any IMA 9.0 edits; therefore, notification to the CLECs was not necessary. There was a non-IMA edit in place that was checking the CSRs for LEFV which was relaxed so LSRs could flow through and allow the Service Order Processors to check the Freeze Repository and edit for a freeze at that point in the process.

AT&T - Qwest has stated on numerous occasions that back end systems are not considered CLEC impacting. Therefore, these back end system edits are neither subject to a CLEC review nor a CLEC upgrade notification. AT&T believes these edits did affect our orders. We believe they changed whether a LSR was rejected up front or issued a jeopardy condition after the FOC. This alters how a CLEC responds to an LSR. AT&T has repeatedly asked how these non-IMA edits affect our orders. Qwest has not provided an answer. AT&T has reconfirmed the information provided on March 15th by the Qwest service managers that an edit did occur on March 14th, 2002. If we cannot question Qwest’s backend systems, then we will refer to it as an IMA change when we believe our orders have been impacted. (Terry Bahner - LSAM)

15. IMA 9.0 edit to be implemented at a future date without CLEC notice All planned CLEC Impacting changes to IMA are currently being presented to the CLECs for prioritization. There are no plans to implement a 9.0 edit pertaining to Local Service Freeze.

AT&T - AT&T wants Qwest to not implement any edits in any systems (IMA, non-IMA) until a workable process to remove the LEFV has been agreed upon by AT&T and the CLEC community. (Terry Bahner - LSAM)

16. Jeopardy condition codes issued after the FOC affecting CLEC due date Qwest has listened to the concerns raised by AT&T on this issue and has taken steps to fortify existing processes to alleviate this problem.

AT&T - However, since we have to wait to supp the Pon AFTER the freeze is removed, this still results in a due date push out/reschedule for the customer. (Denver Metro Market - AT&T Broadband) AT&T wants to know what these steps are. The action of issuing a jeopardy condition after the FOC drastically affects our due date. If this jeopardy condition is a result of Qwest’s inability to successfully lift the LEFV, we believe we should not lose our due date under any circumstances. (Terry Bahner - LSAM)

17. Inconsistent Qwest retail process where CLEC can be a third party on the call with end customer See question #1

18. Inconsistent process between removing the LEFV and the updating of the CSR See question #6

19. Confusing reject /jeopardy condition message issued by Qwest The reject/jeopardy message currently being used is the only existing message that fits the local service freeze situation. Requests for new reject messages go through the CMP CR process. LSRs received to change lines/accounts with a local service freeze are rejected with the error message "Features on account are not compatible with requested features". In the Customer Comments section of the Reject Notice Qwest will include the following: "Please have end user contact current local service provider to have local service freeze removed."

AT&T - According to an earlier Qwest communication, Qwest stated the error message would read "Change activity not allowed, CLEC does not own account". Is this the message if the reject is caught up front (fatal reject) as opposed to the message for a jeopardy reject after the FOC? Or has this been changed altogether? (Denver Metro Market - AT&T Broadband) AT&T believes Qwest has not adequately addressed this issue. AT&T has requested LEFV be listed as a reason for a reject/jeopardy message in the PCAT. The jeopardy matrix needs to address LEFV. (Terry Bahner - LSAM)

20. AT&T reiterated they would like all of the above bullet points validated by Qwest and the process clearly documented in the PCAT The PCAT will be updated April 3, 2002.

AT&T - Under the current circumstances, Qwest needs to provide a collaborative atmosphere in resolving LEFV issues before any future PCAT documentation takes place. (Terry Bahner - LSAM)

21. What kind of questions does Qwest ask a Retail end user customer before adding a local service freeze? Upon initial contact with the end user customer, the Qwest Sales Consultant informs the customer of the availability of the freeze as follows: "We offer free protection to ensure that your provider of local service, long distance service, and local long distance service cannot be changed unless you contact us directly. You may remove this protection from your account at any time by contacting Qwest directly with a verbal, written, or electronically signed authorization. Would you be interested in setting that up now?" If the end user customer indicates they would like a freeze established, they are transferred to a Third Party Verifier (TPV) who asks the customer for the Billing Name on the account, Billing Address, the last four digits of their Social Security Number, and their date of birth. In addition, they ask if the caller is over 18 years old and is responsible for the account, and if they have permission to place the local service freeze on each specific line of the account.

AT&T - AT&T believes Qwest needs to go beyond the statement provided. It’s apparent the end customer is unaware of the cumbersome process to remove the LEFV when he wishes to obtain local service from a different company. (Terry Bahner - LSAM)

22. What changes have been made in the Local Service Freeze Removal process since 02/18/02? The process was working well before that date. Qwest has had established processes in place for local service freeze since March 10, 2001 when Local Service Freeze was first implemented. The only changes made to the process have been made within the past two weeks as a result of this CR.

AT&T - It is very clear to AT&T that Qwest did not have a working process in place on March 10, 2001. If Qwest had a good process in place that didn’t harm both the end customer and the CLEC, this CR would have never been submitted. (Terry Bahner - LSAM)

As a general proposition, Qwest has responded in the theoretical realm to many of the questions versus saying what the actual situation is (like in #8 above, but there are many other examples in their responses). It's easy to set up a theoretical process, but that is meaningless if the practical implementation is not being accomplished effectively. (Salt Lake Metro Market - AT&T Broadband)

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04/08/02 - Draft follow-up meeting minutes sent to participating CLECs via e-mail

CLEC Change Request Follow-up Meeting 11:30 a.m. (MDT) / Thursday 4th April 2002 1-877-564-8688 ID 626-5401 # PC030802-1 Local Service Freeze - Process to remove LEFV from Qwest residential accounts

Attendees: Terry Bahner / AT&T Sharon Van Meter / AT&T Lindel Watkis / AT&T Mike Mason / AT&T Cynthia Linenberger / AT&T Rick Wolters / AT&T Johnthon Wolf / AT&T Joan Russell / AT&T Mitchell Menezes / AT&T Bonnie Johnson / Eschelon Karen Clauson / Eschelon Terry Wicks / Allegiance Leilani Hines / Worldcom Susan Travis / Worldcom Monica Avila / VarTec Telecom, Inc. Judy Schultz / Qwest Todd Mead / Qwest Harriett Berry / Qwest Pam DeLaittre / Qwest Scott Riley / Qwest Pete Budner / Qwest Carylon Brown / Qwest Sue Burson / Qwest

Introduction: - Qwest presented a brief history of the CR, (submitted 03/08/02, clarification call 03/18/02, AT&T expedite letter 03/19/02, AT&T walked-on @ CMP 03/20/02, general clarification call 03/26/02, Qwest draft response issued 04/02/02). The purpose of this call is to review Qwest’s draft response dated 04/02/02 - Note: Notification CMPR.04.01.02.F.01248.CRMeeting issued to CLECs on the 1st of April, informing them of a call on 04/04/02 for a follow up discussion on this issue. Standard P&P Redline guidelines of 5 business days for notifications to CLECs not followed due to expedited status of this CR.

Review Qwest Draft Response - Harriett Berry reviewed Qwest’s draft response dated April 2, 2002 - AT&T commented that using Aegis is currently their only option, as when they call the Qwest Business Offices they be on hold for long periods and the staff do not appear to be familiar with this process. AT&T asked that the 866-311-0222 number remain in effect. Qwest agreed that the Aegis number will remain in effect until this issue is resolved. - AT&T stated that the Qwest web site states the Local Service Freeze can be removed immediately, which has not been their experience. Qwest reiterated that it is effective the same day, but the LSR has to be submitted the next day. AT&T then asked Qwest to reduce the process time by one business day. Qwest took an action to reply to this. - AT&T stated that their desire is for Qwest to lift the Local Service Freeze so the LSR can be submitted the same day - see 2.10 - Eschelon asked if the LSR can be submitted using the R-Order number in the PON field? Qwest believed this would work. Qwest will investigate and report back. - AT&T reiterated they believe something changed on February 18th. They believe this process is broken and asked Qwest to lift the Freeze to before February 18th conditions - see 2.10 - Eschelon stated that Qwest could go to the State Commissions and seek a waiver on the Local Service Freeze. Eschelon also asked about a written process to remove the Freeze. Besides the presence of a form, Eschelon wanted to know whether there was a back end process in place to deal with this and what had been communicated to the CLECs? Qwest took an action to respond to this. - AT&T reiterated they are seeking: 1. To only have to make one call 2. To send in their LSR without rejection 3. A clear and concise escalation process 4. Have the AGIS number available on Saturday’s - AT&T also stated they continue to see large numbers of customers with the Freeze implemented, who believe they have never asked for it on their account. Qwest replied that they are continuing to investigate the AT&T examples and have already found most of the TPV’s for the AT&T examples. AT&T replied they have heard this before but have yet to receive any validation from Qwest. AT&T stated the implementation of a freeze is not clear as too many customers are not aware of this action on their account. Qwest will provide validation to Terry Bahner (AT&T) - AT&T stated they were going to escalate this CR as they expected resolution today, but believed this call had failed in its intent. AT&T want the freeze lifted and want an official response on this from Qwest in 24 hours. AT&T also offered to support an application by Qwest to the commission to get a waiver on Local Service Freeze until this issue is resolved. - AT&T also stated they believe the interim exception process has not worked for them as they had expected a response to this CR immediately.

Establish Action Plan - Qwest will respond to the above actions as soon as possible. - Qwest will either respond or provide a status update on lifting the freeze within 24 hours

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04/05/02 - Status update from Qwest on AT&T's request to immediately lift the freeze

Status Update: Per action from April 4th CLEC Meeting

All, Qwest continues to review and analyze AT&T's request made yesterday to lift the Local Service Freeze. Qwest has not arrived at its final position at this time, however executive management is deeply engaged. We will follow up with another status update prior to close of business Monday April 8th 2002.

CR details can be found in the Product & Process Interactive report. The Product & Process Interactive report can be found at: http://qwest.com/wholesale/cmp/changerequest.html

Thanks Todd Mead

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04/05/02 - Letter from AT&T expressing their disappointment with Qwest's response presented in the follow-up meeting on 04/04/02

1875 Lawrence St. Denver, CO 80202-1847

April 5, 2002

Todd Mead CMP Manager Qwest Communications 1801 California Street Denver, Colorado 80202

RE: Change Request PC 030802-1

Dear Todd:

This reconfirms AT&T’s repeated request that Qwest suspend the local service freeze until a collaborative Qwest-CLEC process can ensure an effective, efficient and prompt way to remove the LEFV with no impact to the end customer. AT&T does not believe Qwest’s draft response presented at the April 4th conference call meets our company’s immediate needs.

AT&T is disappointed that Qwest cannot recognize the impact the LEFV has on our daily LNP operations. It is very disturbing when Qwest continues to fail to bring to the table a workable solution. It is discouraging when Qwest continues to ignore our requests to engage the appropriate Qwest subject matter experts to participate in discussions with AT&T to help resolve this issue quickly. Had the appropriate operational SMEs from Qwest participated on the call yesterday, we might have made progress resolving these issues. Unfortunately, once again such individuals were absent.

AT&T’s expectations of the LEFV process is really quite simple. The end customer should be able to remove the LEFV with one call. AT&T Broadband should then be able to submit the LSR to port the customer immediately after the customer has taken the appropriate step to remove the LEFV without fear of an order rejection or a jeopardy condition being issued after the FOC. And last, if the process fails, there is a working escalation process to effectively handle the issue quickly.

Up to this point, Qwest has made minimal effort to work with AT&T to hammer out a workable solution. We view this as a dismal Qwest failure. First, it demonstrates Qwest’s inability to perform a normal function adequately. Second, it clearly shows Qwest does not acknowledge nor recognize the urgency related to the CMP exception process. Third, it demonstrates Qwest’s inability to effectively manage changes to its processes when they adversely impact CLECs.

AT&T will send to Qwest written comments embedded in Qwest’s April 2, 2002, rough draft response to change request PC 030802-1. It will also include AT&T’s proposed resolutions. In the meantime, AT&T will continue to direct the end customer to call AEGIS directly to remove the LEFV from his account. We are expecting at least a verbal response from Sue Burson by close of business today regarding AT&T’s request to suspend LEFV until a workable process can be implemented. AT&T would expect Sue to then send a written response to AT&T. Please insure the minutes from the April 4th conference call reflect AT&T has officially escalated this to Sue Burson.

Sincerely,

Terry Bahner Supervisor AT&T Local Services Access Management Western Region 303-298-6149

Cc: Tim Boykin Sharon Van Meter Donna Osborne-Miller Judy Schultz Mike Mason

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04/02/02 - Notification PROS.04.02.02.F.00414.LocalServiceFreeze issued informing CLECs of PCAT update

Announcement Date: April 2, 2002 Effective Date: April 3, 2002 Document Number: PROS.04.02.02.F.00414.LocalServiceFreeze Notification Category: Process Notification Target Audience: CLECs, Resellers Subject: Options to Remove Local Service Freeze

Beginning April 4, 2002, Qwest will issue updates to its Wholesale Product Catalog that includes new/revised documentation for Local Service Freeze.

The Local Service Freeze PCAT will be updated to outline the options of requesting the removal of the Local Service Freeze. The PCAT also lists the information the retail end-user needs to provide to have the Local Service Freeze removed.

You will find a summary of these updates on the attached Web Change Notification Form. Actual updates are found on the Qwest Wholesale Web site at this URL: http://www.qwest.com/wholesale/clecs/lsfreeze.html

You are encouraged to provide feedback to this notice through our web site. We provide an easy to use feedback form at http://www.qwest.com/wholesale/feedback.html. A Qwest representative will contact you shortly to discuss your suggestion.

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03/28/02 - Letter from AT&T expressing their disappointment with the general clarification call held on 03/26/02

1875 Lawrence St. Denver, CO 80202-1847

March 28, 2002

Todd Mead CMP Manager Qwest Communications 1801 California Street Denver, Colorado 80202

RE: Change Request PC 030802-1

Dear Todd:

AT&T is greatly disappointed with the conference call Qwest facilitated March 26, 2002 to discuss the expedited CR PC 030802-1. Qwest stated at the March 20, 2002 Product and Process CMP monthly meeting they understood the urgency of this change request regarding the local service freeze (LEFV). There was no need for a second clarification call. A clarification call had already been held on March 18, 2002.

We believed Qwest was willing to resolve the issue expediently, Todd, when you indicated you would have your subject matter experts available on the March 26th call. I then indicated to you that I was expecting my AT&T Broadband subject matter experts to also be available to help resolve the issue in the e-mail I sent March 22, 2002 (RE: CR # 5582295 - Updated Matrix). I suggested, in order getting to immediate resolution, that you include operational subject matter experts. I was very clear about AT&T’s expectations for the March 26th conference call.

AT&T also believes Qwest implied a resolution would be forthcoming by indicating the temporary 800 telephone number was directly dependent on the outcome of the March 26th meeting. If Qwest was not ready to problem solve the issue then there should never have been a question about keeping the 800 number available. While AT&T appreciates Qwest extending the use of the 800 telephone to help ease the burden of this issue, we should not have had to explain why we needed the extended use of it.

AT&T once again reminds Qwest of the negative impact the LEFV has imposed on our ability to port a customer. It continues to affect our daily ability to port a customer who wants our local service. This truly is unacceptable to us. AT&T has identified and shared with Qwest some of the most basic obstacles in a letter sent March 18, 2002 (RE: Change Request PC 030802-1).

Since Qwest has indicated a formal response will be issued to the CLEC community on April 3rd without a collaborative effort between Qwest and the CLEC community, AT&T clearly expects Qwest to be open to additional suggestions on the follow up conference call scheduled April 4th. AT&T expects that conference call to resolve outstanding issues and the appropriate decision-making individuals from Qwest will attend.

We believe going forward explicit timelines should be provided and adhered to by Qwest for an expedited CR. It should mirror the expedited CR Qwest presented as a walk on at the same March 20 meeting. Qwest clearly defined the timeframe and expectations of the CLEC community during that presentation. It should not be any different for an expedited CLEC CR.

AT&T looks forward to partnering with Qwest and the CLEC community to enhance the Interim Exceptions Process for OSS interfaces, Product and Process Changes (RE: Qwest Re-Design Web site) in future re-design CMP sessions. We believe use of the process, as it now stands for this specific change request, clearly indicates its’ lack of substance.

Sincerely,

Terry Bahner Supervisor AT&T Local Services Access Management Western Region 303-298-6149

Cc: Tim Boykin Sharon Van Meter Donna Osborne-Miller Judy Schultz Mike Mason

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03/27/02 - Draft general clarification meeting minutes sent to participating CLECs via e-mail

General Clarification Meeting

3:00 p.m. (MDT) / Tuesday 26th March 2002

1-877-564-8688 ID 626-5401 # PC030802-1 Local Service Freeze - Process to remove LEFV from Qwest residential accounts

Attendees: Terry Bahner / AT&T Carla Dickinson-Pardee / AT&T Sharon Van Meter / AT&T Lindel Watkis / AT&T Mike Mason / AT&T Cynthia Linenberger / AT&T Noriko Wilson / AT&T Anthony Robert / AT&T Leilani Hines / Worldcom Susan Travis / Worldcom Monica Avila / VarTec Telecom, Inc. Judy Schultz / Qwest Todd Mead / Qwest Harriett Berry / Qwest Pam DeLaittre / Qwest Gay Abrahamson / Qwest Joan Smith / Qwest Connie Winston / Qwest

Introduction: Qwest presented a brief history of the CR, (submitted 03/08/02, clarification call 03/18/02, AT&T expedite letter 03/19/02, AT&T walked-on @ CMP 03/20/02 and general notification to all CLECs advising them of this meeting 03/21/02) Note: Notification CMPR.03.21.02.F.01239.CRMeeting issued on 03/21/02 to CLECs informing them of a call on 03/26/02 to discuss this issue. Standard P&P Redline guidelines of 5 business days for notifications to CLECs not followed due to expedited status of this CR.

Review Description of Change: Terry Bahner read out the following from Change Request PC030802-1: VALIDATE THESE FOLLOWING BULLET ITEMS AS PART OF THE PROCESS: - Caller must be a Qwest retail customer - Customer must call business office and say they wish to "remove the freeze off of their local service" - Do not instruct the customer to use the word "PIC". This is used for inter and intra lata services and causes confusion which can delay removing the LEFV - CLEC can be a third party on the call to Qwest by the local customer - Customer can call up to 7pm in his local service area to remove the freeze - The LEFV resides in a repository that is worked overnight which means it will be removed off the customer's account that night and the LSR can be sent the next day without rejection - Although updates to a CSR can take up 3-5 days, the removal of the freeze is not dependent on that CSR being updated. - Qwest does not charge $5 to remove the freeze * - A Communicator will be sent to the CLEC community when the PCAT is updated * *Removed as per clarification meeting 03/18/02 Terry also read out additional scope as per AT&T’s expedite request (AT&T letter dated 3/19/02) - Customer required to call Qwest multiple times to remove LEFV - No established process to remove the LEFV at the Qwest retail offices - No consistent confirmation number provided by the Qwest retail offices to note customer account - Inconsistent information between the account team and the PCAT pertaining to submission of the LSR - Inconsistent Quality Check process at the Sierra Vista Center - Inconsistent escalation process at the Denver CSIE once confirmation has been received - Qwest retail office confusing end customers by referring to the LEFV as a PIC freeze (Repeated above 3rd bullet) - IMA 9.0 edit pulled and no notice sent to the CLEC - IMA 9.0 edit to be implemented at a future date without CLEC notice - Jeopardy condition codes issued after the FOC affecting CLEC due date - Inconsistent Qwest retail process where CLEC can be a third party on the call with end customer - Inconsistent process between removing the LEFV and the updating of the CSR - Confusing reject /jeopardy condition message issued by Qwest

- AT&T reiterated they would like all of the above bullet points validated by Qwest and the process clearly documented in the PCAT - AT&T confirmed they would like the CR scope expanded to include Business Accounts as per CLEC request at the March CMP meeting. Todd will adjust CR documentation. - AT&T stated that 68% of all orders for removing LEFV in the Portland region had to be rescheduled last month. AT&T are seeking clarification on what exactly is the process for removing LEFV. AT&T also asked for an extension on the 800 number until the LEFV process is clarified and documented. - Qwest reiterated that they are working as expeditiously as possible to resolve this issue, and they aim to present a written draft response to the CLECs next week. - AT&T said they are willing to wait for the written response next week but need immediate ‘relief’ now. Immediate ‘relief’ was defined by AT&T as: - Keeping the 800 number live until next week (and include Saturday availability) - Someone in CSIE to take the lead on this issue and be nominated as the Single Point of Contact (SPOC) - Qwest would confirm later in the day on the status of this request. - AT&T also stated that they believe 100% of customers they talk too, insist they never asked for the freeze to be installed. AT&T would like to know what type of validation/questions Qwest ask to believe the customer has requested this product. - AT&T also asked for clarification on the R-Number and whether the order number is sufficient as some LSRs are currently being rejected with this information. - Worldcom and VarTec Telecom expressed their continued interest in this issue. - Qwest restated that they are currently not aware of anything that was ‘backed out’ of IMA 9.0 and also reiterated that the only work currently pending for IMA is in the prioritization list for all CLECs to vote on. - AT&T stated that since February 18th 2002, this process has not been working. They requested that in light of Qwest’s inability to support the process and the fact that the freeze placed on accounts were questionable as far as customer approval to begin with. That the best and quickest way to fix this matter was to lift the freeze and go back to the way we were prior to February 18th and not go back until all the issues were properly addressed and good process was actually in place. Qwest stated that a number of States were ‘turned-up’ on Feb 18th so this may be a volume issue. AT&T believe their volume did not change on Feb 18th and asked for the freeze to be lifted until a working process is put in place by Qwest. Qwest replied they understood AT&T’s concern and reiterated they are working as fast as possible on getting an accurate and workable solution for all CLECs.

Establish Action Plan: Next Meeting: Thursday 4th April @ 11:30 am (MDT) - same bridge number as this call. Qwest will present written response. Qwest will investigate and report back to AT&T this afternoon on providing ongoing ‘relief’

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03/21/02 - Notification CMPR.03.21.02.F.01239.CRMeeting issued to CLECs informing them of a call on 03/26/02 to discuss this issue

Qwest will host a general clarification meeting on CLEC Change Request (CR) PC030802-1 (Process to remove LEFV from Qwest residential accounts) on Tuesday March 26, 2002.

Date: Tuesday, March 26, 2002 Time: 3:00 p.m. MST Conference Line: 1-877-564-8688 Passcode 626-5401 #

Details of the CR can be found in the Product/Process Interactive report at: http://qwest.com/wholesale/cmp/changerequest.html Sincerely,

Todd Mead

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03/19/02 AT&T advised Qwest they would like this CR expedited

1875 Lawrence St. Denver, CO 80202-1847

March 18, 2002

Todd Mead CMP Manager Qwest Communications 1801 California Street Denver, Colorado 80202

RE: Change Request PC 030802-1

Dear Todd:

AT&T is requesting Qwest to officially expedite PC 030802-1. The local service freeze (LEFV) is critically affecting AT&T Broadband’s ability to port customers. This LEFV has presented multiple obstacles. We are requesting to have an immediate discussion between Qwest and AT&T Broadband subject matter experts to discuss the many problems associated with LEFV. What have been identified to date are the following:

- Customer required to call Qwest multiple times to remove LEFV - No established process to remove the LEFV at the Qwest retail offices - No consistent confirmation number provided by the Qwest retail offices to note customer account - Inconsistent information between the account team and the PCAT pertaining to submission of the LSR - Inconsistent Quality Check process at the Sierra Vista Center - Inconsistent escalation process at the Denver CSIE once confirmation has been received - Qwest retail office confusing end customers by referring to the LEFV as a PIC freeze - IMA 9.0 edit pulled and no notice sent to the CLEC - IMA 9.0 edit to be implemented at a future date without CLEC notice - Jeopardy condition codes issued after the FOC affecting CLEC due date - Inconsistent Qwest retail process where CLEC can be a third party on the call with end customer - Inconsistent process between removing the LEFV and the updating of the CSR - Confusing reject /jeopardy condition message issued by Qwest

It is critical Qwest establish a team to address the customer impact and at the same time improve the processes. As I have indicated both in e-mail and on the clarification call to Qwest, this is now a high profile issue between both companies. Mike Mason, Vice-President AT&T Broadband, has escalated this to Scott Shipper, Vice-President Qwest.

AT&T’s account team has declined to work directly with AT&T to resolve this issue and has instructed AT&T to move all discussion to CMP. In addition Todd, you stated on the clarification call held March 18, 2002, Qwest would not provide a resolution to this CR until the monthly CMP forum in May. This is unacceptable to AT&T.

AT&T requests Qwest to expedite PC 030802-1 immediately. AT&T will present this CR as a "walk on". Please inform Jim Beers. Under the Interim Exception Process for OSS Interfaces, Product and Process Changes (RE: Qwest Re-Design Web site) this can be addressed at Wednesday’s monthly CMP meeting and voted on as an expedited issue by the CLEC community.

Sincerely,

Terry Bahner Supervisor AT&T Local Services Access Management Western Region 303-298-6149

Cc: Tim Boykin Sharon Van Meter Donna Osborne-Miller Judy Schultz

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Clarification Meeting

11:00 a.m. (MDT) / Monday 18th March 2002 1-877-564-8688 ID 626-5401 # PC030802-1 Local Service Freeze – Process to remove LEFV from Qwest residential accounts

Attendees: Terry Bahner / AT&T Donna Osborne-Miller / AT&T Cynthia Linenberger / AT&T Lindel Watkis / AT&T Mike Harggert / AT&T Harriett Berry / Qwest Chris Quinn-Struck / Qwest Pete Budner / Qwest Todd Mead / Qwest

Review Requested (Description of) Change: Terry read out the change request: VALIDATE THESE FOLLOWING BULLET ITEMS AS PART OF THE PROCESS: * Caller must be a Qwest retail customer * Customer must call business office and say they wish to "remove the freeze off of their local service" * Do not instruct the customer to use the word "PIC". This is used for inter and intra lata services and causes confusion which can delay removing the LEFV * CLEC can be a third party on the call to Qwest by the local customer * Customer can call up to 7pm in his local service area to remove the freeze * The LEFV resides in a repository that is worked overnight which means it will be removed off the customer's account that night and the LSR can be sent the next day without rejection * Although updates to a CSR can take up 3-5 days, the removal of the freeze is not dependent on that CSR being updated. * Qwest does not charge $5 to remove the freeze * A Communicator will be sent to the CLEC community when the PCAT is updated

- AT&T asked for more clarification around the 6th Bullet as the updated PCAT indicated the LSR can be submitted immediately after the LEFV is removed (not the next business day). - The last two bullet points can be removed from the original CR. Todd will adjust the CR documentation. - AT&T asked for clarification around the edit that is going into IMA - AT&T asked for Qwest to explain the role and also train the duty pager on the Local Service Freeze process. AT&T have experienced significant problems with issues they have escalated to the duty pager - AT&T also asked Qwest to provide clarification on what remarks to expect in the remarks section of the jep notification re: Joan Wells

Confirm Areas & Products Impacted: Products: LNP, Private Line, Unbundled Loop & UNE Areas: Pre-ordering, Ordering & Provisioning - Billing was added

Confirm Right Personnel Involved: Harriett confirmed she is the correct person to be the Qwest SME in relation to this CR.

Identify/Confirm CLEC’s Expectation: AT&T want to see a clear and concise process around removing the Local Service Freeze, verified and documented in PCAT.

Establish Action Plan (Resolution Time Frame): General clarification – April CMP meeting. Qwest’s initial response presented at May CMP meeting. AT&T will send Change Management a letter this afternoon requesting Qwest expedite this CR. AT&T will ‘walk-on’ this CR at Wednesday’s CMP meeting.


CenturyLink Response

Draft Response for Discussion on General Clarification Call to be held April 4th

April 2, 2002

Terry Bahner Supervisor AT&T Local Services Access Management 1875 Lawrence St. Denver, CO 80202-1847

SUBJECT: Qwest’s Change Request Response - CR # PC 030802-1 "Local Service Freeze Removal for Residence and Business Customers"

Following are responses to your list of issues and questions from CR #PC030802-1, your additional list of issues dated March 19, as well as questions from our March 26, 2002 conference call.

1. Caller must be a Qwest retail customer This is a true statement. The Qwest Retail end user may contact their Qwest Retail business office to have their local service freeze removed. Their new CLEC may be on the phone with them at the same time (Three-way call).

2. Customer must call business office and say they wish to "remove the freeze off of their local service" This is a true statement. When the end user customer contacts the Qwest Retail business office, they should ask to have their local service freeze removed. If the end user customer simply states that they are moving to AT&T, there may be some confusion as to whether this is a PIC change or the customer is moving their local service to AT&T.

3. Do not instruct the customer to use the word "PIC". This is used for inter and intraLATA services and causes confusion which can delay removing the LEFV This is true. It is helpful in guiding the end user customer through the process since they may have a PIC, LPIC, and Local Service Freeze. The Sales Consultants have been provided training and job aids to help determine the customer’s need.

4. CLEC can be a third party on the call to Qwest by the local customer See question #1

5. Customer can call up to 7pm in his local service area to remove the freeze Qwest has customers across three different time zones.

The Residence end user customer may call their Qwest Retail business office until the close of business in the Pacific time zone.

- Central time zone until 9:00 PM (they will be routed to a center in the Mountain or Pacific time zones after 7:00 PM local time) - Mountain time zone until 8:00 PM (they will be routed to a center in the Pacific time zone after 7:00 PM local time) - Pacific time zone until 7:00 PM

The hours for the Business, Federal Government, Education, Public Access Lines business offices are listed in the April 3, 2002 update to the PCAT.

6. The LEFV resides in a repository that is worked overnight which means it will be removed off the customer service record. Qwest has a Local Freeze Repository where all frozen phone numbers are stored. That repository is updated on a daily basis as orders are issued to add or remove local freeze. When an order is issued to remove the freeze, the telephone number is removed from the Repository that night. The LEFV will not be removed from the CSR for 3-5 days.

See further explanation in response to question 7.

7. Although updates to a CSR can take up 3-5 days, the removal of the freeze is not dependent on the CSR being updated. The Customer Service Record does not update for 3-5 days after the R order is issued to add or remove the Local Service Freeze.

When a LSR is issued and there is LEFV on the CSR, the Wholesale Service Delivery Coordinators are checking system notations to determine if an order has been issued to remove the local service freeze. If there is a notation, they will process the LSR. In addition, if the LSR contains the R order number (of the freeze removal) the SDC will allow the order to be processed.

The following questions were submitted by AT&T in a letter to Qwest dated 03/19/02

8. Customer required to call Qwest multiple times to remove LEFV The customer should be able to accomplish removal of the local service freeze in one call to Qwest.

9. No established process to remove the LEFV at the Qwest retail offices Qwest has had established processes in place for local service freeze removal since March 10, 2001 when Local Service Freeze was first implemented.

10. No consistent confirmation number provided by the Qwest retail offices to note customer account Qwest Sales Consultants are currently providing the R order number to any end user customer or CLEC (on 3-way call) who requests it. We have determined that a specific work group has been providing 'confirmation numbers' instead of the R order numbers. That situation has been corrected by the issuance of internal memo (MCC) and managing the performances of the involved individuals. Do not hesitate to request the R order that is being issued to remove the freeze. 11. Inconsistent information between the account team and the PCAT pertaining to submission of the LSR The PCAT is the Qwest official source for CLEC information.

12. Inconsistent Quality Check process at the Sierra Vista Center Calls and orders are monitored on a regular basis to ensure quality.

13. Inconsistent escalation process at the Denver CSIE once confirmation has been received There are several determining factors as to how the escalation is handled. Each escalation is reacted to on an individual case basis.

14. IMA 9.0 edit pulled and no notice sent to the CLEC Qwest did not remove any IMA 9.0 edits; therefore, notification to the CLECs was not necessary. There was a non-IMA edit in place that was checking the CSRs for LEFV which was relaxed so LSRs could flow through and allow the Service Order Processors to check the Freeze Repository and edit for a freeze at that point in the process.

15. IMA 9.0 edit to be implemented at a future date without CLEC notice All planned CLEC Impacting changes to IMA are currently being presented to the CLECs for prioritization. There are no plans to implement a 9.0 edit pertaining to Local Service Freeze.

16. Jeopardy condition codes issued after the FOC affecting CLEC due date Qwest has listened to the concerns raised by AT&T on this issue and has taken steps to fortify existing processes to alleviate this problem.

17. Inconsistent Qwest retail process where CLEC can be a third party on the call with end customer See question #1

18. Inconsistent process between removing the LEFV and the updating of the CSR See question #6

19. Confusing reject /jeopardy condition message issued by Qwest The reject/jeopardy message currently being used is the only existing message that fits the local service freeze situation. Requests for new reject messages go through the CMP CR process.

LSRs received to change lines/accounts with a local service freeze are rejected with the error message "Features on account are not compatible with requested features." In the Customer Comments section of the Reject Notice Qwest will include the following: "Please have end user contact current local service provider to have local service freeze removed."

20. AT&T reiterated they would like all of the above bullet points validated by Qwest and the process clearly documented in the PCAT. The PCAT will be updated April 3, 2002. 21. What kind of questions does Qwest ask a Retail end user customer before adding a local service freeze? Upon initial contact with the end user customer, the Qwest Sales Consultant informs the customer of the availability of the freeze as follows: "We offer free protection to ensure that your provider of local service, long distance service, and local long distance service cannot be changed unless you contact us directly. You may remove this protection from your account at any time by contacting Qwest directly with a verbal, written, or electronically signed authorization. Would you be interested in setting that up now?"

If the end user customer indicates they would like a freeze established, they are transferred to a Third Party Verifier (TPV) who asks the customer for the Billing Name on the account, Billing Address, the last four digits of their Social Security Number, and their date of birth. In addition, they ask if the caller is over 18 years old and is responsible for the account, and if they have permission to place the local service freeze on each specific line of the account.

22. What changes have been made in the Local Service Freeze Removal process since 02/18/02? The process was working well before that date. Qwest has had established processes in place for local service freeze since March 10, 2001 when Local Service Freeze was first implemented. The only changes made to the process have been made within the past two weeks as a result of this CR.

Sincerely,

Harriett Berry Senior Process Analyst Qwest

Cc: Sue Burson, Director Process Management, Qwest


Open Product/Process CR PC040501-1 Detail

 
Title: Legacy CR USOC Differentiation of Business and Residence
CR Number Current Status
Date
Area Impacted Products Impacted

PC040501-1 Withdrawn
5/16/2001
Billing Unbundled Loop
Originator: Dickinson Pardee, Carla
Originator Company Name: AT&T
Owner:
Director:
CR PM:

Description Of Change

This change request asks Qwest to create a list of business USOCs separate from residence USOCs to alleviate OCN problems for CLECs. In order to ensure that the appropriate billing unit, residence or business, receives the correct DUF files for billing purposes, two OCNs for each state are having to be used for each product. If there were separate business USOCs from residence USOCs, it would only be necessary to have one OCN for each state for each product.


Status History

04/03/01 - CR submitted by Carla Dickinson

04/05/01 - Status changed to New - To be Industry Evaluated and sent to Carla Dickinson

04/06/01 - Status changed to New - To be Clarified and questions sent to Carla Dickinson

04/06/01 - Updated CR sent to Carla Dickinson

05/16/01 - Status changed to Canceled - Qwest and Co-Provider as per May CICMP Meeting

3/28/02 - Posted this legacy CR to CMP Database. Completed CR Form had been posted to the Web as part of the "Change Request (CR) Archive - Change Requests statused as Inactive before August 1, 2001"


Project Meetings


Open Product/Process CR PC120301-6 Detail

 
Title: Two Six Code Inventory For Local Interconnection Trunk Groups Ordered By Qwest
CR Number Current Status
Date
Area Impacted Products Impacted

PC120301-6 Completed
12/18/2002
Provisioning Local Interconnection Service (LIS)
Originator: Stryczek, Kathy
Originator Company Name: AT&T
Owner: Olsen, Linda
Director:
CR PM: Thomte, Kit

Description Of Change

When Qwest orders a local interconnection trunk group, AT&T assigns the two-six code and returns it to Qwest on the FOC. Qwest should be inventorying the two-six code that AT&T assigns for Qwest-initiated ASRs. However, Qwest is not inventorying the AT&T two-six code. Qwest is assigning their own two-six code. This presents a major problem in a number of areas including maintenance. One of the first pieces of information asked by Qwest when AT&T reports a trouble is to provide the two-six code. AT&T provides the AT&T-assigned two-six code, but Qwest didn't inventory it so the Qwest maintenance group can't find the trunk group AT&T is reporting.

Here is the industry documentation from the ASOG for two-six code assignment:

53 TSC - Two Six Code

Identifies a code assigned to a trunk group or a CCS link

Set.

NOTE 1: The code set is unique to each established

trunk group or CCS Link Set and is provided to the

customer on the Firm Order Confirmation or Design and

Order Confirmation. The TSC entry may then be

populated by the customer when ordering changes,

additions or deletions to an existing trunk group or CCS

Link Set.

Clearly Qwest is not in compliance with inventorying the two-six code, as the ASOG specifically states the two-six code is provided to the customer on the FOC. In the case where Qwest initiates ASRs, Qwest is the customer and AT&T is the supplier. Consequently, Qwest should be inventorying the two-six code provided by AT&T to Qwest on the FOC.

Expected Deliverables:

AT&T expects that Qwest will comply with industry guidelines and change process to begin to inventory the two-six code that AT&T assigns to Qwest-initiated ASRs.


Status History

12/03/01 - CR Submitted by AT&T and acknowledged by Qwest

12/07/01 - Clarification call arranged for 12/10/01, rescheduled for 12/11/01 at AT&T's request

12/11/01 - Clarification call held with AT&T

12/12/01 - CMP Meeting, AT&T introduced their CR, status changed to Clarification

12/14/01 - Draft clarification meeting minutes issued to AT&T

01/16/02 - January CMP meeting. The CR was clarified with the CLEC community. Qwest presented various potential manual and system options. Qwest received feedback on potential solutions and will continue to evaluate scenarios for presentation at the February CMP meeting. Status changed to "Evaluation"

02/12/02 - Draft response sent to AT&T and entered into CMP Database

02/19/02 - E-mail from AT&T with some questions about Qwest's response

02/20/02 - February CMP meeting: Qwest response dated 02/12/02 presented to CLECs. Qwest will present expected time frame for system implementation at the March CMP meeting. CR Status changed to "Development" Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

02/22/02 - Formal response dated 02/12/02 issued to CLECs - Document Number: CMPR.02.22.02.F.01229.CR_Responses

03/20/02 - March CMP Meeting: Status update provided to CLECs, CR status to remain in "Development." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

04/12/02 - Revised response dated 04/10/02 sent to AT&T

04/12/02 - Revised response dated 04/10/02 posted to the web

04/17/02 - April CMP Meeting: Qwest presented revised response dated 04/10/02. Qwest agreed to open a related systems CR. Status of this CR to be advised after discussions with Judy Schultz. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

04/24/02 - Issued Systems CR to cmpcr@qwest.com on behalf of AT&T

05/15/02 - May CMP Meeting: CLEC participants agreed that the CR could be closed. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

06/14/02 - Held status session with AT&T

06/25/02 - Held status session with AT&T

06/27/02 - Held status session with AT&T

07/11/02 - Held status session with AT&T

07/18/02 - This CR was reopened under Product and Process as agreed to in the monthly Systems CMP meeting.

07/25/02 - Held status session with AT&T

08/21/02 - August CMP Meeting: This CR will remain in "Development" Meeting minutes posted to this CR's Project Meetings section and the CMP Web site.

09/11/02 - Sent Revised Response to AT&T

09/18/02 - September CMP Meeting: This CR will remain in "Development" Meeting minutes posted to this CR's Project Meetings section and the CMP Web site.

09/26/02 - Contacted AT&T to establish status session.

10/07/02 - Held status Meeting with AT&T

10/16/02 - October CMP Meeting: This CR will remain in "Development" Status Meeting minutes posted to this CR's Project Meetings section and the CMP Web site.

11/20/02 - November CMP Meeting: This CR was changed to "CLEC Test" Status, Meeting minutes posted to this CR's Project Meeting section and the CMP Web site.

12/18/02 - December CMP Meeting: This CR Changed to Completed status. Meeting Minutes posted to this CR's Project Meeting sectiona dn the CMP Web site.


Project Meetings

12/18/02 - December CMP Meeting Qwest (Thomte) reported that the process is working as agreed to AT&T advised it is O.K. to close this CR. This CR will change to Completed status.

11/20/02 November CMP Meeting Qwest (Thomte) indicated that the trial orders that were established to convert the embedded base trunk groups in Wyoming were successful. The result is that both new trunks and embedded trunk groups appear to process through the systems using the AT&T Two Six code of CC. Qwest recommended that this CR move to CLEC Test and potentially be completed in December.

10/16/02 October CMP Meeting Qwest (Thomte) indicated that the trial was continuing and that two trial groups that are due to complete in early November. This CR to remain in “Develoment”.

08/21/02 - August CMP Meeting Qwest (Thomte) indicated progress had been made on this CR. Back end systems and reporting capability should be capable of accepting non Qwest two six code during September. Qwest and AT&T anticipate having a status meeting in late August. AT&T (Van Meter) concurred with the read out. This CR will remain in "Development" status

02/19/02 E-mail from AT&T with some questions about Qwest's response

Subject: RE: Qwest Response to Change Request PC120301-6 "Two-Six Code Inv entory for Local Interconnection Trunk Groups Ordered by Qwest" Date: Tue, 19 Feb 2002 17:20:24 -0600 From: "Stryczek, Kathleen K (Kathy), BNSVC" To: Michael Keegan CC: "Olsen, Linda Kae" , "Martin, Richard" , "Mead, Todd" , "Adkisson, Ann B, NCAM" , "Feinstein, Philip G (Phil), NNCER" , "Scherer, Esther A, NCAM" Michael, Thank you for your response to request PC120301-6 for Qwest to inventory the two-six code provided by AT&T on local interconnection trunk groups ordered by Qwest. If Qwest used the two-six code as the PON, would AT&T be able to report trouble tickets using the AT&T assigned two-six code? Also, would the Qwest maintenance group be able to locate a trunk group by searching for a PON which would have the two-six code embedded? If Qwest uses the AT&T two-six code only in the PON, but not in other systems, then I am concerned that Qwest may not be able to find the two-six code and associated trunk group when AT&T is reporting a trouble involving trunk groups ordered by Qwest. Kathy Stryczek AT&T 602-277-4527

Clarification Call, December 11, 2001, 11:00 am (MDT)

Attendees: Todd Mead, Qwest Linda Kae Olsen, Qwest Peggy Kilgus, Qwest Ann Adkinisson, AT&T Kathy Stryczek, AT&T Ester Shearer, AT&T

Reviewed description of Change Request.

Products impacted: Local Interconnection Service (LIS) Qwest need to have someone from the repair group who is involved in the management and use of the TIRKS system, involved in preparing the response to this CR. AT&T's expectation: AT&T would like Qwest to use the two-six code provided by AT&T when Qwest places an order for a local trunk group.

Action Plan: - Qwest will evaluate various options. This CR will be clarified with the CLEC Community at the January CMP Meeting. Qwest will provide a draft response for discussion at the February 2002 CMP meeting. - AT&T will provide Qwest with a contact in Ameritech to discuss ordering process and use of two-six codes. - Qwest to identify and involve the appropriate repair/TIRKS person to assist Linda in developing the draft response. An internal meeting will be held by next Wednesday (12/19/01)


CenturyLink Response

REVISED RESPONSE

September 6, 2002

Kathy Stryczek AT&T

Subject: PC120301-6 Two-Six Code Inventory for Local Interconnection Trunk Groups Ordered By Qwest

This is a revised Qwest response to AT&T’s request, that Qwest comply with industry guidelines and change process to begin to inventory the two-six code that AT&T assigns to Qwest-initiated ASRs.

Qwest accepts AT&T’s request regarding complying with industry guidelines and inventory the two six code that is provided to Qwest on the FOC.

Qwest has worked in conjunction with AT&T to provide a trial request that will flow through the various systems and reporting processes. Qwest is currently making the appropriate modifications to support the request for AT&T.

Currently Qwest has one order that is in a trial process. AT&T has advised that they have additional orders expected in the near future. Qwest expects to address AT&T’s additional orders with the revised process.

Sincerely, Qwest

REVISED RESPONSE

September 6, 2002

Kathy Stryczek AT&T

Subject: PC120301-6 Two-Six Code Inventory for Local Interconnection Trunk Groups Ordered By Qwest

This is a revised Qwest response to AT&T’s request, that Qwest comply with industry guidelines and change process to begin to inventory the two-six code that AT&T assigns to Qwest-initiated ASRs.

Qwest accepts AT&T’s request regarding complying with industry guidelines and inventory the two six code that is provided to Qwest on the FOC.

Qwest has worked in conjunction with AT&T to provide a trial request that will flow through the various systems and reporting processes. Qwest is currently making the appropriate modifications to support the request for AT&T.

Currently Qwest has one order that is in a trial process. AT&T has advised that they have additional orders expected in the near future. Qwest expects to address AT&T’s additional orders with the revised process.

Sincerely, Qwest

REVISED RESPONSE

April 10, 2002

Ms. Kathy Stryczek Manager AT&T

SUBJECT: Qwest’s Change Request Response - CR # PC120301-6 Two-Six Code Inventory for Local Interconnection Trunk Groups Ordered by Qwest

This letter is a follow-up response to AT&T Change Request PC120301-6, requesting Qwest inventory the two-six code that AT&T assigns for Qwest initiated ASRs.

Qwest’s written response dated February 12, 2002 informed the CLEC community that Qwest was willing to perform a detailed economic and technical investigation to evaluate the feasibility of implementing the system changes required to meet the intent of this CR.

Qwest has completed its evaluation and has concluded the cost of changing the myriad of downstream-related systems needed to effect this change is prohibitive. Qwest suggests deferral of this CR until the 2003 fiscal year funding review, planned for later this year.

Therefore Qwest regretfully informs AT&T that this CR cannot be processed this year.

Sincerely,

Susan Bliss Director Process Management Qwest

FORMAL RESPONSE

February 12, 2002

AT&T Ms. Kathy Stryczek Manager

SUBJECT: Qwest’s Change Request Response - CR PC120301-6 Two-Six Code Inventory for Local Interconnection Trunk Groups Ordered by Qwest

This letter is in response to AT&T Change Request PC120301-6, Two-Six Code Inventory For Local Interconnection Trunk Groups Ordered By Qwest. AT&T has requested that Qwest inventory the two-six code that AT&T assigns for Qwest initiated ASRs.

During the CLEC Community clarification meeting held January 16, 2002, AT&T confirmed their desire for Qwest to inventory the TSC provided on the FOC for the order. AT&T agreed that this TSC, along with the TCICs and ACTL information provided today, could be provided during the up-front planning meeting for new markets. Qwest could then use this code as the PON number as well as possibly make program modifications that would allow it to be used as the TSC (TGAC) in the processing and inventory systems used by Qwest (EXACT, IABS, TIRKS, WFA, TRDB, etc.)

Qwest is willing to pursue internal system changes to evaluate the feasibility (technical and economical) of implementing such changes. Qwest can not determine all of the systems that would be impacted, nor what the downstream effects on the process would be until the systems evaluations are performed.

If this approach is acceptable to AT&T, Qwest will initiate the required internal system changes and provide a status update at the March CMP meeting.

Sincerely,

Linda Kae Olsen Process Specialist - LIS Qwest


Open Product/Process CR PC012302-1 Detail

 
Title: Qwest to provide more detail in embargoed central office notifications
CR Number Current Status
Date
Area Impacted Products Impacted

PC012302-1 Completed
3/20/2002
Other: Notifications LNP
Originator: Bahner, Terry
Originator Company Name: AT&T
Owner: Suellentrop, Craig
Director:
CR PM:

Description Of Change

AT&T would like to see more detail included in Qwest’s embargoed central office notifications. Specifically, AT&T seek great clarification about the cut-over process and the planned timing of cut-overs. AT&T also seek clarification on the product implications of this process.


Status History

01/22/02 - CR Submitted by AT&T.

01/23/02 - CR acknowledged by P/P CMP Manager.

01/29/02 - AT&T contacted to schedule clarification meeting for 01/30/02.

01/30/02 - Clarification Meeting conducted with AT&T.

02/06/02 - Clarification Meeting minutes transmitted to AT&T.

02/20/02 - CMP Meeting - CLEC community clarification conducted. CR status changed to "Evaluation." Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

03/12/02 - Draft response dated 03/01/02 issued to AT&T. CR Status changed to "Presented"

03/13/02 - Received e-mail from AT&T seeking clarification concerning LNP supplemental orders to cancel or reschedule a port out

03/20/02 - March CMP Meeting: CLECs agreed to close CR. CR Status changed to "Completed." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

03/21/02 - Formal response dated 03/01/02 posted to CMP database

03/22/02 - Formal response dated 03/01/02 issued to CLECs. Notification CMPR.03.22.02.F.01240.CR_Responses

04/17/02 - CR Open/Closed status changed to closed and inactive and checked for Archive 2002


Project Meetings

1:30 p.m. (MDT) / Wednesday 30th January 2002 Conference Call TEL: 877.554.8688 CODE: 3269208 PC012302-1 "Qwest to provide more detail in embargoed central office notifications"

Attendees: Terry Bahner, AT&T Esther Scherer, AT&T Sharon Van Meter, AT&T Jonathan Spangler, AT&T Laurel Burke, Qwest Craig Suellentrop, Qwest Joan Wells, Qwest Peter Wirth, Qwest

Introduction of Attendees: Attendees introduced.

Review Requested (Description of) Change: AT&T would like to see more detail included in Qwest’s embargoed central office notifications. Specifically, AT&T seek great clarification about the cut-over process and the planned timing of cut-overs. AT&T also seek clarification on the product implications of this process.

Terry Bahner, AT&T reviewed the CR and added the following points that need to be addressed: 1) AT&T would like additional information on notices for both “switch embargoes” and “frame conversions” including the specific URL in the Qwest Wholesale web page identifying the schedule dates for embargoes/conversions in Qwest CO facilities. Joan Wells, Qwest identified the URL [http://www.qwest.com/cgi- bin/iconn/iconnembargoreport.pl?function=14]. Information was also requested regarding the Qwest contact for notice issuance, and the frequency and time interval for notices transmitted via e-mail to potentially affected CLECs. 2) AT&T indicated that current Qwest notices are incomplete in that “ordering embargo implications” are not addressed. AT&T expressed a need for written language in the notice directing the CLEC to the applicable Qwest procedures for product ordering during the associated “quiet time” and “embargo” periods. This would assist AT&T in planning orders, thus minimizing potential rejected orders during the actual embargo timeframes. Craig Suellentrop, Qwest indicated that current Qwest notices provide information on the physical cut-over process only and not overall product ordering during the entire embargo timeframe. Joan Wells, Qwest will investigate the location of Qwest procedures within the SGAT and PCAT. An example notification was submitted to Qwest via e-mail. This notification was transmitted to the Qwest participants prior to the clarification meeting. 3) AT&T raised questions regarding IMA 9.0. Terry Bahner, AT&T asked “what the different product embargo intervals are in regards to an LSR being rejected because of the IMA 9.0 edit?” Jonathan Spangler, AT&T indicated that the IMA edit was generated under a Qwest internal UR sometime in the November 2002 time frame. Qwest will investigate this IMA edit and determine the impact to product orders during the embargo time frame.

Confirm Areas & Products Impacted: LNP product added to CR.

Confirm Right Personnel Involved: Qwest & AT&T confirmed appropriate personnel were in attendance. Qwest will engage any other additional personnel, as required, to address the IMA 9.0 edit.

Identify/Confirm CLEC’s Expectation: Qwest to evaluate CR. During the February 2002 Monthly P&P CMP Meeting, Qwest will either solicit input from CLEC community & provide potential solutions to the CR; or provide an expedited response to the CR.


CenturyLink Response

March 1, 2002

Terry L. Bahner Supervisor AT&T 1875 Lawrence St Denver, CO 80202-1847

SUBJECT: Qwest’s Change Request Response - CR # PC012302-1: Qwest to provide more detail in embargoed central office notifications.

AT&T is asking Qwest for more information regarding service order embargoes that occur because of switch conversions. During clarification meetings AT&T had several items that required information. AT&T would like the notices that are sent out about switch conversions to contain specific information about service order embargoes and what products are affected. AT&T is also interested in information about whether a service order embargo applies to LNP port-out activity. Finally, AT&T asked about the IMA 9.0 edit and what orders would be rejected because of this edit. AT&T was particularly concerned about LNP port-out activity regarding the IMA 9.0 edit.

Notices regarding trunk-side services are sent out 90 days and 30 days prior to conversion. These notices are sent to carriers (CLEC’s, IXC’s, and wireless providers) that have LIS, Feature Group, or Type II trunks in the affected switch. If any carrier would like to augment their existing trunks in the new switch, orders to disconnect from the old switch and connect to the new switch must be provided 60 days prior to the conversion. If the carrier only wants to have their trunks transferred on a “like-for-like” basis, the disconnect and new orders must be received 30 days prior to the conversion. Service orders for trunk side facilities are embargoed for 35 days during the conversion process. This interval is established as 30 days prior to the conversion until 5 days post conversion. These dates are stated on the notices.

For line side facilities a service order embargo is in place approximately 5 days prior to the conversion and continues until 2 days after the conversion. Centrex orders will have a standard 5 week embargo (10 days prior to the conversion and 4 weeks post conversion). Service orders with due dates falling within these periods will be rejected. The only exceptions are for disconnects, service denial/restoral, and LNP port-out activity. Some switch conversions (an ISDN only switch for example) have no associated service order embargo. Service order embargo dates are contained on the ICONN website (database http://www.qwest.com/cgi-bin/iconn/iconnembargoreport.pl?function=14).

The IMA 9.0 edit went into effect on February 23, 2002. This edit was put into place to reject line-side orders with due dates that fall within the embargo period. A patch was put into effect on February 27, 2002 to allow LNP port-out orders to flow through.

Sincerely,

Craig Suellentrop Interconnection Planner Qwest

Cc: Joan Wells, Senior Process Analyst, Qwest Mary Retka, Director Legal Issues, Qwest


Open Product/Process CR PC013102-1 Detail

 
Title: DMS100 SR/ALI
CR Number Current Status
Date
Area Impacted Products Impacted

PC013102-1 Completed
4/15/2009
Provisioning 911
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Kaster, Jim
Director:
CR PM: Harlan, Cindy

Description Of Change

AT&T has been officially served by Arapahoe County Colorado that current 911 default routing is inadequate. Current 911 call routing for some jurisdictions that define designated serving areas for service providers, is not routed using the ALI database, but is routed via selective router in the DMS 100 switches. If no number is found, then routing should be done by utilizing information associated with the incoming trunk group of the service provider. Current routing methods can, in some cases, route calls to the wrong PSAP, requiring the call to be re-routed to the correct PSAP, resulting in a loss of time in a possible life threatening situation. This issue impacts all CLEC's providing business or residential service.


Status History

01/30/02 - CR Submitted by AT&T.

01/31/02 - CR acknowledged by P/P CMP Manager.

02/06/02 - Clarification Meeting conducted with submitting CLEC.

02/08/02 - Clarification Meeting minutes transmitted to submitting CLEC & posted in CMP data base.

02/13/02 - Requested additional information from AT&T (Arapahoe County documents & list of mis-routed telephone numbers).

02/18/02 - Requested additional information from AT&T receicved.

02/20/02 - CMP Meeting - CLEC community clarification conducted. CR status remains in "Clarification" due to request to meet with Arapahoe County. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

02/27/02 - Agenda forwarded to AT&T for technical discussion meeting scheduled for Monday, 03/04/02.

03/04/02 - Conducted technical information exchange meeting with AT&T.

03/04/02 - Received e-mail from AT&T advising that the document received for review at the technical information exchange meeting was not considered AT&T proprietary.

03/11/02 - Issued meeting minutes from technical information meeting to AT&T.

03/20/02 - CMP Meeting - AT&T presented its CR and Qwest discussed its White Paper that was being finalized. Qwest advised that there was a meeting scheduled for tomorrow at 9:00 am with the Colorado PUC, AT&T, Qwest and perhaps a couple of PSAPs. Qwest to send a copy of the White Paper to AT&T when it is approved. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. Qwest advised that the status would move to Evaluation. AT&T disagreed.

03/20/02 - Issued Qwest's White Paper, DMS 100 E9-1-1 Routing, to AT&T.

03/21/02 - Meeting held with Colorado PUC, AT&T and Qwest.

03/22/02 - AT&T requested, via e-mail, that the CR be statused in evaluation.

04/10/02 - CR status changed to Presented

04/10/02 - Draft response sent to originating CLEC and posted to the CMP database.

04/17/02 - CMP Meeting - Qwest presented its response. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. It was agreed that the CR would be status as Development.

04/23/02 - Formal response dated April 23, 2002 issued to CLECs. Notification CMPR.04.23.02.F.01260.Final_CR_Response.

05/15/02 - CMP Meeting - Qwest provided a status update. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. CR status will remain in Development.

06/12/02 - Conducted conference call with AT&T to address action items from the May CLEC Forum, 911 Breakout Session and to discuss disposition of the CR.

06/18/02 - Conducted conference call with AT&T to review initial framework and agreed to conduct two follow-on meetings with vendor, ILEC, CLEC, CO PUC, Intrado, NENA, Independents and RBOC participation. The first half day meeting is scheduled for July 23, 2002 and the second all day meeting is scheduled for July 30, 2002.

06/19/02 - CMP Meeting - Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. CR status will remain in Development.

07/01/02 - Issued Mailout notification advising of subcommittee meetings scheduled for July 23, 2002 and July 30, 2002. Notification CMPR.07.01.02.F.01289.Default_Routing_Mtg.

07/17/02 - CMP Meeting - Meeting minutes posted to this CR's Project Meetings section. CR status "Development" was not changed.

07/22/02 - Issued Mailout notification with meeting material for 7/23 conference call. Notification CMPR.07.22.02.F.01293.DefaultRoutingMtgDoc.

07/23/02 - Conducted CLEC and Industry Conference Call. It was agreed that the 7/30 Meeting with CLECs and Industry would be canceled and Qwest and AT&T would meet to discuss the outcome of the meeting and path forward.

07/30/02 - Issued meeting minutes from CLEC Conference Call held on 7/23 through mailout process. Notification CMPR.07.30.02.F.01302.MtgMinDefaultRouting.

07/30/02 - Conducted conference call with AT&T to discuss the 7/23 meeting and discuss the path forward.

08/02/02 - Issued meeting minutes from 7/30/02 conference call to AT&T.

08/21/02 - CMP Meeting - Qwest provided a status on CR. Minutes on this CR to be posted to the Project Meetings section. Status to remain in Development.

09/18/02 - CMP Meeting - Qwest provided a status on CR. Minutes on this CR to be posted to the Project Meetings section. Status to remain in Development.

10/09/02 - Received e-mail from AT&T advising that they were not going to be able to submit their plan as scheduled and this would impact the Novembe Colorado PUC meeting.

10/16/02 - CMP Meeting - Qwest provided a status on CR. Minutes on this CR to be posted to the Project Meetings section. Status to remain in Development.

11/20/02 - November CMP Meeting - Qwest provided a status on CR. ATT is working on process and planning to present to the Colorado PUC in January.

12/18/02 - December P/P CMP Meeting notes will be posted to the Project Meeting section. Proposal still in progress. ATT may present either in January or March as they have some data and issues that needs to be clarified before they can present their findings/decisions.

01/07/03 - Qwest - Jim Kaster advised ATT is working with the PUC and have decided to make their presentation in March. The process is still under development.

01/15/03 -CMP Meeting - Qwest - Jim Kaster advised ATT is working with the PUC and have decided to make their presentation in March. The process is still under development.

02/19/03 - February CMP Meeting minutes will be posted to the Project Meeting section.

03/19/03 - March CMP Meeting minutes will be posted to the Project Meeting section.

04/04/03 - Donna Osborne Miller advised it is okay to close this CR and when she receives a copy of the presentation it will be shared with the CLEC community.

4/16/03 - April CMP Meeting minutes will be posted to the database


Project Meetings

04/16/03 - April CMP Meeting Donna Osborne Miller agreed it was okay to close this item. A copy of the presentation will be included in the notes.

03/19/03 - March CMP Meeting James Kaster Qwest reported ATT gave a presentation to the Colorado PUC on March 13, 2003. This was a very forward looking presentation and the PUC is currently reviewing the information. This team will continue as an ongoing task force. Cindy Macy Qwest asked if ATT would be able to share the presentation with the Forum and also if we could close this CR since the team will be an ongoing task force. Donna –ATT agreed to check with Ervin Rea and let us know if we could close the CR and share the presentation. The suggestion was made to share the presentation at the next CLEC Forum. Donna will advise Cindy of her decision.

02/19/03 - February CMP Meeting Kaster–Qwest advised the team is targeting to present to the PUC in March. The date of the meeting was not known at this time. Sharon Van Meter – ATT asked if Ervin Rea from ATT is involved and Qwest advised yes.

01/15/03 - January CMP Meeting

Kaster-Qwest stated that AT&T will present their report to the FCC in March. The CR remains Development.

12/18/02 December CMP Monthly Meeting Qwest-Kaster and ATT-Spangler advised SME Jim W. and Rich Kaplin are finalizing the presentation. Jim W is working on obtaining the cost estimate and reviewing the data that Entrado provided. They have found some inaccuracies in the data from Entrado that need to be clarified. They have approximately 43 pages of data that needs to be paired down into a presentation. There is a 911 Task Force meeting in January and then again in March. The team would like to present at the January meeting if their data is accurate, otherwise they will continue working on the presentation and present in March. This CR will remain in Development status.

11/20/02 November CMP Monthly Meeting ATT (Spangler) advised they are continuing to work on this project. ATT will plan on presenting their process at the January Colorado PUC meeting. This project will remain in Development status.

10/16/02 October CMP Monthly Meeting ATT advised they are continuing to work on this project but do to additional investigation needed they will not be able to submit their plan as scheduled and will not be able to present at the November Colorado PUC meeting, but plan on presenting at the January meeting. This project will remain in Development status.

Subject: RE: PC013102-1 DMS 100 SR/ALI Change Request Action Item Date: Wed, 9 Oct 2002 19:03:06 -0400 From: "Spangler, Jonathan F, NCAM" To: "Martin, Rick" CC: "Boykin, Timothy (Tim), NCAM" , "Kaplan, Richard S (Rich), NLNS" , "Roth, Diane F, LGA" , "Morgenstern, Dale C, NLNS" , "Bruno, Vincent G, NLNS" , "Friesen, Letty S, LGA" , "Ann Adkisson" , "Carla Pardee" , "Donna Osborne-Miller" , "Ervin Rea" , "Esther Scherer" , "Sharon Van Meter" , "Teresa Bahner"

Per AT&T's action item for CR PC013102-1 DMS 100 SR/ALI, AT&T will not be able to provide a presentation regarding solutions to the 911 default routing in the Denver MSA. AT&T recognizes that this delay jeopardizes our plan to present our solutions to the CO 911 Task Force to be held in November.

If you have any questions, please let me know.

Jonathan Spangler Carrier Performance - Western Region AT&T Local Services & Access Management Voice: 303-298-6240 Fax: 303-298-6455 Email: jfspangler@att.com Pager: 888-858-7243 pin 106241 or jonathan.spangler@my2way.com

09/18/02 September CMP Monthly Meeting Minutes

Qwest advised that AT&T was developing a plan for the Denver area to have 9-1-1 calls default routed by CLEC. Qwest indicated that they would then review the plan and if acceptable schedule a preliminary meeting with the Colorado PUC and another CLEC (ICG). The next step would be to present the plan to the PSAPs at the PUCs formal meeting in November. Eschelon asked if the CLECs would be involved in any of the meetings and if they would have a chance to review the plan. Qwest advised that the meeting in November might be open and they would provide notification when the meeting was taking place. Qwest also indicated that they would post AT&T’s plan to this CR in the CMP Product/Process Change Request Interactive report. The CR will remain in Development.

-

08/21/02 August CMP Monthly Meeting Minutes

Qwest advised that there was a meeting on July 23, 2002 with a wide range of participation including other ILECs, Nortel, NENA Working Committee Chairperson, BellSouth and Idaho PUC. The result of the meeting was that the NENA Working Committee would work towards a national standard, and for the Denver Market, AT&T would be developing a plan for default routing by CLEC. AT&T is currently working with BellSouth to put a recommendation to submit to Qwest for Qwest to pursue funding. The goal is to have everything complete by 10/15/02 for presentation to the PUC and PSAPs. AT&T advised that they concurred with Qwest’s status and appreciated everybody’s participation. They were participating in the NENA working committee and were happy with the progress. They indicated that they would be sending some minor comments to the minutes.

--

CLEC Change Request Qwest & AT&T Conference Call

July 30, 2002, 8:30 am (MT) Conference Call

877-572-8687, P/C 7994817 PC013102-1, DMS100 SR/ALI

Attendees: Ric Martin, Qwest Jim Kaster, Qwest Jim Winegarden, Qwest Matt Kruzick, Qwest Jonathan Spangler, AT&T Ervin Rae, AT&T Richard Kaplan, AT&T

Introduction of Attendees Introduction of the participants on the Conference Call was made and the purpose of the meeting discussed.

Discussion Items Rich Kaplin indicated that based on 7/23/02 conference call, AT&T would like to pursue Tom Breen’s recommendation, for the Denver Market, as set forth in paragraph 2.13 of the 7/23/02 meeting minutes. The language from the meeting minutes is as follows: "Tom Breen responding as the NENA Network Technical Committee Chairperson indicated that if the need is to be able to default route at something more granular than the rate center, one would need to assume that the PSAPs play fair, and, with cooperation from Qwest, there would need to be negotiations with the PSAPs. Recommendation could be to get one default PSAP for a rate center or by carrier. Get a PSAP to volunteer to be the default PSAP for the rate center. If picked well, they would most likely be the PSAP handling most default routed calls anyway. Tom indicated that all PSAPs need to be involved in the process. Tom indicated that the long-term solution resides in NENA committees. He indicated that Tom Hinkleman could provide the pre-release final technical recommendation on rate center consolidation. It will be published by NENA shortly. Tom Breen stated that if the above could not be achieved, alternatively, all CLEC’s could ask to negotiate with Qwest for not using NPANXX based routing, however, once the TN/ESN is established (without the delete function on disconnects), the legacy record will remain and could misguide the call. This cannot be on a CLEC by CLEC basis because Number portability will mean that the NPA-NXX ranges will NOT be or will not remain unique to any given CLEC or ILEC. If the wild cards are to be removed it will require it being a switch wide process on each affected Selective Router/SR-ALI database. Tom Breen recommends trying to educate the PSAPs in the area on the technical limitations of the system, and ask them to cooperate in identifying a default PSAP per Rate Center, even if there has to be more than one to spread the load from all of the area’s carriers."

The general discussion was that we needed to look at the reduction in the number of trunks (7) going to the primary PSAPs in the Denver area. The general consensus was that there would be PSAP jurisdictional issues to overcome and we should first get the Colorado PUC buy-in and support from another CLEC. It was agreed that ICG would be an acceptable CLEC. In addition to the jurisdictional issues with the PSAP, the cost issues will need to be addressed.

It was agreed that Rich Kaplin would develop a plan with associated PSAP benefits for reducing the number of Trunks. Jim Winegarden would provide technical support to Rich. Jim Kaster would be Qwest’s point of contact for receipt of documentation of AT&T.

It was understood that the plan would look at the reduction in the number of trunks and does not change Qwest’s standard on default routing. Based on the PSAPs designated to the reduced number of trunks, Qwest will need to change their default wild card to that PSAP and update the NPA NXX, which will require a complete reload. This could be accomplished by staggered cuts.

The following plan was agreed to: - AT&T will submit a working plan by the end of September - Qwest will perform its cost evaluation by mid October - ICG support and participation will be obtained. - If Qwest agrees to move forward, Qwest will initiate a preliminary meeting with the PUC staff by the end of October. - Presentation will be made at the PUC Task Force meeting on November 14, 2002. - With support from the PUC, a presentation will be made to the PSAPs – timing to be determined.

It was agreed and recognized that participation in the NENA Default Path subcommittee was very important.

-

CLEC Change Request CLEC and Industry Conference Call

July 23, 2002, 8:30 am (MT) Conference Call

877-572-8687, P/C 7994817 PC013102-1, DMS100 SR/ALI

Attendees: Ric Martin, Qwest Linda McKelvey, Qwest Jim Kaster, Qwest Jim Winegarden, Qwest Mary Wallace, Adelphia Jonathan Spangler, AT&T Vince Bruno, AT&T Dale Morgenstern, AT&T Richard Kaplan, AT&T Bernard Brabant, Bell Canada – NENA Default Path Working Group Chairperson Tom Breen, BellSouth Gretchen Leedy, Cbeyond Michael Lipread, Cbeyond Susan Bumstead-Smith, Century Tel Sheila Stewart, Century Tel John Walker, Complete Telecommunications Amanda Owens, Eschelon David Frame, Eschelon Paul Hanser, Eschelon Wayne Hart, Idaho PUC Joe Schumacher, Intrado Steve Sipple, Nortel James Baron, Talking Nets Rana Peeling, US Link Kim Sattler, US Link

Introduction of Attendees Introduction of the participants on the Conference Call was made and the purpose of the meeting discussed.

Jim Kaster provided background on the AT&T Change Request and directed participants to the CMP Web site to review the CR. Jim addressed the parties involved being the end user, independent telephone companies, CLECs, Qwest, Public Service Answering Point (PSAP) and the State. The PSAP and the State would be left to accept or reject any recommendations on Default Routing.

Discussion Items Jim Winegarden provided a brief history of 9-1-1 default routing. Jim Winegarden provided a technical explanation of Qwest’s 9-1-1 process. Jim explained that the main issue is with the period of time delay between when the end user has service and the related Service Order Input (SOI) order is entered into the Selective Router Database (SRDB). Jim also indicated that a concern with the use of 10 digit number in the SRDB is that with a disconnect, the number will always remain in the SRDB.

Rich Kaplan indicated that the basis for AT&T’s provisioning found some misroutes caused by the NPA-NXX wildcard. Their issue with Arapahoe County facilitated their issuance of the CR. Arapahoe County withdrew their request. They are still looking for a collective solution for reducing the time period for updates after SOI record submission. The TN Emergency Service Number (ESN) legacy records could still cause misroutes and would require removal. Need to address the first few hours new customers could go to any of the (40) PSAPs in Denver. Jim Kaster explained the PSAPs will transfer the call to the appropriate PSAP.

General consensus in the meeting was that the best thing that could be done is to get the most timely SOI order updates processed.

Tom Breen advised the AT&T’s situation is similar to what BellSouth did in Atlanta with their Rate Center consolidation and linking one primary default PSAP to the Rate Center. Tom indicated that the best solution is timely updates of the database, speed-up the front end processing and PSAP designation to the appropriate Rate Center.

Jim Kaster advised the he believed there was another National Emergency Number Association (NENA) Work Group addressing real time updates.

Rich Kaplan addressed their request on the removal of wild cards and route to the trunk group ESN.

Bernard Brabant indicated that if we’re talking Denver, Colorado has gone through a major rate center consolidation. Records in the Selective Router Database (SRDB) would increase, as every TN/ESN records would have to be transmitted and kept in the SRDB. One of the issue would be uploading that information, due to transport and interface limitations. Need to apply 1 rule nationally. Removal of NPA-NXX wild card would require assignment of trunk group default by Customer entity (Municipality, Region, County, State, Primary PSAP, etc.) and at a minimum by rate center. Canada has deployed a province wide 9-1-1 system arrangement where trunk group default is provided at the Customer/entity/Primary PSAP level. NENA should address the needs of the wireline, wireless and IP worlds.

Jim Winegarden indicated that a default by trunk group would only happen with an ANI failure or no record found.

Tom Breen indicated that in addition to the ALI Database Manager, it is the responsibility of all carriers to improve their service order provisioning process. This may require significant changes to exisiting Operational Support Systems.

Jim Kaster addressed the additional impacts imposed by states. Example is the State of Washington that SOI orders can’t be sent until midnight the day after cut.

Tom Breen addressed NENA future planning. Tier 1 data delivered with each 9-1-1 call would have the incoming call location coded into the call. There is a Powerpoint presentation that was presented at Indianapolis that he could share. Tom also indicated that they were looking at the ability to make the TN ESN address info on the fly and simultaneously update the SRDB (for calls made from a PBX or CTX) .

Vince Bruno suggested that there are some long term solutions, some not so long term solutions and some solutions available today. He wanted to know what solutions are available today (i.e. get SOI orders delivered more quickly, explore issue of disconnects to reduce exposure). Bernard Brabant indicated that the NENA Default Call Path Working Group was being reinstated and there would be a meeting around mid-August. The goal is to come up with a Technical Information Document (TID) on E911default routing standards. Tom Breen suggested using the data technical committee working on ALI database. With his Network Technical Committee hat on Tom Breen suggested the Denver area matter may require special arrangements to solve. His statement in no way implies any obligation on Qwest, AT&T, any other CLEC or any PSAP(s). Rich Kaplan asked if their request to remove wild cards is an option. Tom Breen indicated that the removal of wild card doesn’t correct the problem when there is old record information in the SRDB. Rich Kaplan asked if with a new customer assigned an existing TN, does the legacy record get removed with a disconnect? Jim Winegarden explained that there is no disconnect and the record will remain but the new SOI overlays the old record covering the TN.

Steve Sipple clarified that a range of TNs could not be batch and loaded into the SRDB. Each individual TN needs to be loaded. It was established that the DMS100 could not accept a single tape load of the SRDB and instead must be loaded through individual transactions. Bernard Brabant indicated that an Ethernet Interface Unit (EIU) card allows for faster transactions processing to the selective router. Bernard further indicated that Bell Canada is using an Intrado's Management System set of software applications that does process delete for those TNs that are currently in exception in the MS' SRDBQ file, by sending the deleted TN with the NPA NXX default ESN to the 9-1-1 SRDB (selective router switch) for an overwrite. Tom Breen indicated that some E911 SSPs don’t use that faster TCP/IP port yet, and it would require changes to their ALI DBMS-to-SR update processes.

Bernard Brabant cautioned that before deciding on the best way to go, we need to look at the overall impact. Bernard suggested interested parties are welcome to join his NENA working group. If interested they should send an e-mail to bernard.brabant@bell.ca.

Rich Kaplan asked if Qwest was confident that the 40 PSAPs could effectively transfer calls between PSAPs. Jim Winegarden said yes.

Rich Kaplan asked Tom Breen if he had any recommendations. Tom Breen responding as the NENA Network Technical Committee Chairperson indicated that if the need is to be able to default route at something more granular than the rate center, one would need to assume that the PSAPs play fair, and, with cooperation from Qwest, there would need to be negotiations with the PSAPs. Recommendation could be to get one default PSAP for a rate center or by carrier. Get a PSAP to volunteer to be the default PSAP for the rate center. If picked well, they would most likely be the PSAP handling most default routed calls anyway. Tom indicated that all PSAPs need to be involved in the process. Tom indicated that the long-term solution resides in NENA committees. He indicated that Tom Hinkleman could provide the pre-release final technical recommendation on rate center consolidation. It will be published by NENA shortly. Tom Breen stated that if the above could not be achieved, alternatively, all CLEC’s could ask to negotiate with Qwest for not using NPANXX based routing, however, once the TN/ESN is established (without the delete function on disconnects), the legacy record will remain and could misguide the call. This cannot be on a CLEC by CLEC basis because Number portability will mean that the NPA-NXX ranges will NOT be or will not remain uniqie to any given CLEC or ILEC. If the wild cards are to be removed it will require it being a switch wide process on each affected Selctive Router/SR-ALI database. Tom Breen recomends trying to educate the PSAPs in the area on the technical limitations of the system, and ask them to cooperate in identifying a default PSAP per Rate Center, even if there has to be more than one to spread the load from all of the area’s carriers.

Tom Breen explained that BellSouth’s plan is to move to a centralized Off-Board Selective Routing (OBR) Interface developed by Nortel (ENS00011). Initially they would default route by incoming trunk group and in the future the originating switch’s Tier 1 call data will likely contain the info to route to the correct PSAP. It is anticipated that the OBR database will NOT use wild cards.

Joe Schumacher indicates that Intrado processes SOI records three times a day: 3 AM, 11 AM, and 3 PM

It was agreed that the follow-on CLEC and Industry meeting scheduled for July 30, 2000 would be canceled. Qwest and AT&T will meet to address the discussions from today’s meeting and discuss the appropriate steps to be taken.

07/17/02 - July CMP Meeting Minutes: Qwest is moving forward with the list of attendees for meetings scheduled for July 23, 2002 and July 30, 2002. Meetings are to look at establishing an Industry recommendation on 911 Default Routing. CR status remains development.

06/18/02 Conference Call

Attendees:

Susie Bliss – Qwest Jim Kaster – Qwest Jim Winegarden – Qwest Ric Martin Qwest Jonathan Spangler – AT&T Ervin Rea – AT&T Rich Kaplan – AT&T Vince Bruno – AT&T Tim Boykin – AT&T

It was agreed that two follow-on meetings would be held.

First - July 23, 200 8:30 to 11:30 MT conference bridge 877-572-8687, ID 7994817 Second - July 30th 8:30 to 4:30, hosted by AT&T at their Denver office on Lawrence street.

06/12/02 Conference Call

Attendees:

Susie Bliss – Qwest Matt Kruzick – Qwest Jim Kaster – Qwest Jim Winegarden – Qwest Ric Martin Qwest Jonathan Spangler – AT&T Ervin Rea – AT&T Rich Kaplan – AT&T Vince Bruno – AT&T Dale Morgenstern – AT&T Tim Boykin – AT&T

Conference call was held with AT&T to address action items from the May CLEC Forum, 911 Breakout Session and to discuss disposition of the CR

Qwest advised that they had received written communication from Arapahoe County that the issue with AT&T has been put to rest. AT&T is to work with Arapahoe County on obtaining the written communication that Qwest received.

Both Parties agreed that the solution to AT&T’s Change Request should come from NENA. NENA has a subcommittee on the topic of Default Routing. In addition there is another subcommittee on the topic of Global Dynamic Updates. It was agreed that each party would review internally what each party could contribute to developing a recommendation to take to NENA.

It was agreed that there would be another conference call on Tuesday, 6/18 to review a high-level framework of what this recommendation should be to move forward. AT&T will issue a draft high-level framework document by Friday 6/14 for review on Tuesday.

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CLEC Change Request Information Exchange Meeting March 4, 2002, 10:00 (MT) Conference Call PC013102-1, DMS100 SR/ALI

Attendees: Ric Martin, Qwest Linda McKelvey, Qwest Jim Kaster, Qwest Patty Joe Ryan, Qwest Jim Winegarden, Qwest Phil Linse, Qwest Jonathan Spangler, AT&T Ervin Rea, AT&T Tim Boykin, AT&T Letty Friesen, AT&T Vince Bruno, AT&T Dale Morgenstern, AT&T Richard Kaplan, AT&T

Introduction of Attendees Introduction of the participants on the Conference Call was made and the Agenda was reviewed. Qwest explained that the purpose of the meeting was for each party to provide an exchange of technical information for each to fully understand each others respective 911 network architectures. AT&T expressed that they wanted the CR to be expedited. AT&T indicated that they also wanted as an outcome of the meeting a perspective of a path forward with Action Items. Qwest advised that they would not commit to coming up with solutions.

Discussion Items AT&T provided a power point presentation of their Architecture via e-mail to all Qwest participants. AT&T clarified that the AT&T Proprietary Statement was not applicable and AT&T would send and e-mail stating such. AT&T reviewed page 2 of their presentation and indicated that bullet number 6 is where the issue resides. Qwest provided the following comments: ? Bullet 3- ALI processed into Intrado and next day file received. ? Bullet 4 & 5 – These bullets are strictly on ANI failures and PSAPs have been aware of this since the inception of 911. ? Bullet 6 – This issue is understood due to the memory constraints and is also understood by the PSAP community. Qwest further explained that the issue in Bullet 6 can’t happen within a few days and that there are memory constraints in the in the DMS100. There was discussion on Nortel upgrades – the ENS 005 for 911 provides all the features and ENS004 would accommodate 32mm records. The original switch feature only allowed 300,000 records in the table, which set the standards for default entries on NPA-NXX. The current switch capability has 800,000 records. Qwest explained that any upgrade would be like doing an office upgrade, which is time consuming and presents an inherent risk to break existing things that are in place. This would be communities that come in on the same trunk group which are tied to different NPA NXXs. For these communities, an ANI failure would pick the larger PSAP and this would show on the screen. Qwest didn’t know if these communities fell within the Denver area. AT&T indicated that they didn’t believe Arapahoe County is aware of this and then what would the solution be. Qwest indicated that all default routing goes to 1 PSAP and a check that was made indicated that the dBase hadn’t been updated. AT&T questioned whether this was ANI failures or what. Qwest advised that this was complete defaults where no record was found and when there was a check with the dBase folks the records were not in the dBase. AT&T questioned that calls went to Arapahoe for anywhere in the Denver Rate Center because the NPA NXX was pointed to Arapahoe, but could have gone anywhere based on the assigned wild card. Qwest indicated that they could validate if the NPA NXX is correct. Qwest asked if the problem was prevalent due to AT&T’s change in testing procedure. Qwest indicated that they were aware that AT&T has multiple NPA NXXs. AT&T asked to get a listing of the Wild Cards used by Qwest. Qwest indicated that on moves with LNP there is a current record and the customer would be miss routed until the record gets updated. AT&T advised that the LERG has all of their NXX codes. Qwest clarified that change in its standard use of the wild card would use up memory, have timing constraints, be costly and would have follow-on impact with existing customers. AT&T asked how there would be a breaking and fixing of the communities that come in from one trunk. Qwest explained that when the community was added, they told us which PSAP the call would go to (i.e. 999 goes to PSAP A, 998 goes to PSAP B and 997 goes to PSAP C). This would be set in the system with its default. Any orders for selective routing are set to the 7 digit if there is a wild card with the same NXX. AT&T indicated that they would not put in any record and the new design would have separate trunk groups and not have the wild card. Qwest explained that with a default ESN to the NXX and you ripped out the NXX would act in the same manner. With a trunk in for 998 PSAP B and you pulled the wild card out the call would have gone to PSAP B. If the number borders 998 and 997, the entry would still show PSAP C. AT&T asked how the system gets built. Qwest explained that it boils down to the state and whether they build per trunk groups or number of lines. It was explained that the PSAP builds to the number of trunks and look at the concentration. In Colorado you are required to build to the number of records, which depend on the number of trunks and switch capacity. Qwest asked how AT&T builds its system. AT&T explained that they monitor to P.01 grade of service and augment/add as required. AT&T stated that Arapahoe is asking to add 6 trunk groups. AT&T feels they are asking for something that can be done in another way. Qwest explained the concentration factor as follows: With 6 communities A – F 3 trunks each for 911 going to the Selective Router would mean a total of 18 trunks. If a PSAP only has 8 trunks they would have to look at the potential volume of calls that could come in from the 18 trunks knowing they can only handle 8. AT&T asked if there were any other issue with eliminating wild cards. Qwest explained that the use of wild cards saves memory. Eliminating wild card could adversely impact others. There would be a ripple effect – Qwest would need a new contract with Intrado. AT&T indicated that the Selective Router has a data field. Qwest indicated that the Selective Router dBase is linked to Intrado. AT&T questioned if the Intrado dBase – data field could look for the information. Qwest advised that if the wild cards are removed, Intrado would have to put it in the table. Intrado would have to do a reload with the entry for the wild card. Denver has approximately 3 mm customers that would have to be reloaded – this would mean down time. Further the switch is in a tandem arrangement which duplicates the effort. AT&T asked if there was any way of arriving at what the situation would be for doing Cap Hill and Broomfield. Qwest indicated that it would come down to time, money and risk. Risk would be the human factor, we really don’t know what they are receiving on a trunk group, etc. Qwest explained that Cap Hill was initially 20 tapes and 10 days brand new. We now have 2 switches. Qwest explained that the dual tandem switch was installed for disaster recover purposes. The tandem switch could not be used as a back-up and both switches would need to be done in parallel. AT&T asked if Qwest could quantify the effort. Qwest identified they would have their costs, Nortel costs and Intrado costs. Qwest couldn’t commit to having quantifiable costs. Qwest asked if AT&T’s dBase has been updated. AT&T indicated that they had an updated report. Qwest advised that they would evaluate the options.

Action Items AT&T is to provide Qwest with their NXXs. Qwest to provide AT&T a list of their wild cards. Qwest to report back to AT&T with a preliminary plan for responding. Qwest will obtain information on how many misrouted calls have been reported by the PSAP, Arapahoe County.

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1:30 p.m. (MDT) / Tuesday 05th February 2002 Conference Call TEL: 877.554.8688 CODE: 3269208 PC013102-1 "DMS100 SR/ALI"

Ervin Rea, AT&T Donna Osborn-Miller, AT&T Jonathan Spangler, AT&T Jim Kaster, Qwest Phil Linse, Qwest Christine Quinn-Struck, Qwest Peter Wirth, Qwest

1.0 Introduction of Attendees Attendees introduced.

2.0 Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Description: AT&T has been officially served by Arapahoe County Colorado that current 911 default routing is inadequate. Current 911 call routing for some jurisdictions that define designated serving areas for service providers, is not routed using the ALI database, but is routed via selective router in the DMS 100 switches. If no number is found, then routing should be done by utilizing information associated with the incoming trunk group of the service provider. Current routing methods can, in some cases, route calls to the wrong PSAP, requiring the call to be re-routed to the correct PSAP, resulting in a loss of time in a possible life threatening situation. This issue impacts all CLEC's providing business or residential service.

Expected Deliverables: DMS100 switches to be modified to ensure that the switch is routing calls according to the ALI database and not the selective router. Should a number not be located in the ALI database the routing should utilize information associated with incoming trunks.

1) Urban Ray reviewed the CR. Requested that "modified" be changed to "programmed" in the "Expected Deliverables" text. Basically, AT&T indicated that outside county "911" calls are being misdirected to Arapahoe County, CO. AT&T’s position is that programming of the router (Nortel DMS100) is required to correctly route using the Automatic Line Identification (ALI) database to the appropriate Public Service Access Provider (PSAP) (i.e., Arapahoe County). 2) Previous AT&T communications with Qwest were identified. Urban Ray, AT&T agreed to forward correspondences to the CRPM. 3) Qwest asked for a listing of any phone numbers that were misdirected to the Arapahoe County PSAP, if available, for Qwest investigation. Urban Ray, AT&T indicated he may speak with Arapahoe County in the near future and will request the listing. 4) Jonathan Spangler, AT&T asked if Qwest could respond to the CR in the February 20, 2002 Monthly Product & Process CMP Meeting. The CRPM indicated that due to the short timeframe, Qwest could give a status update & review the CR with the CLEC community.

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} Confirmed.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Qwest & AT&T confirmed appropriate personnel were in attendance.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measureable terms ie provide a documented process, change a process to include training etc)} Qwest to evaluate CR. During the February 2002 Monthly P&P CMP Meeting, Qwest will solicit input from CLEC community.


CenturyLink Response

April 23, 2002

Donna Osborne-Miller and Ervin Rea LSAM Managers AT&T

SUBJECT: Qwest’s Change Request Response - CR #PC013102-1 DMS100 SR/ALI

This letter is in response to AT&T’s Change Request PC013102-1 requesting Qwest to modify its DMS100 switches to ensure that the switch is routing calls according to the ALI database and not the selective router. Further, if a number cannot be located in the ALI database, AT&T is requesting that the routing utilize information associated with incoming trunks, as one possible solution supported by the manufacturer.

On March 21, 2002, Qwest and AT&T held a meeting with the Colorado Public Utilities Commission (PUC) Staff. In the meeting, the issue of timely ALI database updates was discussed and it was agreed that timely updates would reduce default routing occurrences. It was agreed that the parties would hold off on pursuing default routing by trunk group ESN until a meeting could be held with the PUC and other industry stakeholders. The parties also agreed to participate in the appropriate Industry Forum on Global Dynamic Updates. In addition a meeting is to be scheduled by the PUC Staff with Arapahoe PSAP, Qwest and AT&T to review specific issues and discuss how the parties can address the Arapahoe PSAP’s concerns.

After the meeting Qwest and AT&T agreed that the CR should be placed in a hold status while the aforementioned issues are addressed.

At April 17, 2002 CMP Monthly Meeting it was agreed that the CR would be status as Development until further direction is agreed to.

Sincerely,

Richard H Martin Change Request Project Manager


Open Product/Process CR PC020802-1 Detail

 
Title: Correct and accurate transmission of ADUF or category 011 DUF records.
CR Number Current Status
Date
Area Impacted Products Impacted

PC020802-1 Completed
7/17/2002
Originator: Dickinson Pardee, Carla
Originator Company Name: AT&T
Owner: Zimmerman, Alan
Director:
CR PM:

Description Of Change

CLECs depend on accurate and correct transmission of access DUF records (category 011 or ADUF) in order to bill IXCs access records. Qwest is not transmissting complete accurate DUF records for category 011, or ADUF records. Consequently AT&T and other CLECs are unable to accurately and completely bill other IXCs.

Modification:

Revised Category reference from "013" to "011"


Status History

02/08/02 - CR Submitted by AT&T

02/08/02 - CR acknowledged by P/P CMP Manager.

02/11/02 - Scheduled Clarification Meeting by e-mail notification to AT&T for 02/15.

02/15/02 - Conducted Clarification Meeting with AT&T.

02/19/02 - Issued Clarification Meeting Minutes to AT&T.

02/24/02 - Issued Revised Clarification Meeting Minutes to AT&T.

03/14/02 - AT&T issued e-mail requesting additional input on the fixes for DUF records.

03/20/02 - CMP Meeting - AT&T presented its CR. Qwest to set-up a meeting with CLECs. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. It was agreed that the CR would move to Evaluation.

04/04/02 - CLEC Notification, CMPR.04.04.02.F.01250.CR_Mtg_Logistics, issued scheduling conference call per Action Item 1.

04/10/02 - Issued Qwest's Draft Response dated April 5, 2002 to AT&T.

04/10/02 - Voice Mail received from AT&T requesting that the CLEC conference call scheduled for 4/12/02 be rescheduled.

04/11/02 - CLEC Notification, CMPR.04.11.02.F.01253.CR_MTG_Cancelled , issue to cancel Conference Call.

04/17/02 - CMP Meeting - Qwest Presented its response. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. It was agreed that the CR would be status as Development.

04/19/02 - Formal response dated April 5, 2002 issued to CLECs. Notification CMPR.04.19.02.F.01258.Final_CR_Responses.

04/26/02 - Conducted CLEC Conference Call to review system fixes implemented by Qwest to address third party test issues.

05/03/02 - Issued meeting minutes from CLEC Conference call to CLEC participants for comments.

05/09/02 - Issued meeting minutes from CLEC Conference Call to CLEC Community. Notification CMPR.05.09.02.F.01263.Mtg_Minutes_4_26_02.

05/15/02 - CMP Meeting - Qwest advised that the CLEC Conference Call was conducted and meeting minutes issued. Eschelon advised that Qwest's answers to questions were not accurate. Eschelon to send e-mail to Qwest. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. It was agreed that the CR would remain in Development.

06/17/02 - Conducted conference call with Eschelon to clarify their concerns on Qwests response to Action Item No. 2.

06/18/02 - Issued e-mail to Eschelon confirming that the issue of CICs being 0000 in the 110125 access records was limited to the Central Region.

06/19/02 - CMP Meeting - Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. CR status was changed to CLEC Test.

06/25/02 - Issued e-mail to Eschelon and copied AT&T with clarifications to questions raised by Eschelon at the 4/26/02 CLEC conference call.

07/03/02 - Follow-up telephone conversation with Eschelon to confirm that clarifiation response was acceptable. Eschelon to advise.

07/17/02 - CMP Meeting - Meeting minutes posted to this CR's Project Meetings section. CR status was changed to Completed.


Project Meetings

07/17/02 - July CMP Meeting Minutes:

AT&T agreed to close this Change Request

Subject: Clarification Response to Questions from 4/26/02 CLEC Conference Call Date: Tue, 25 Jun 2002 09:06:57 -0600 From: Richard Martin Organization: Qwest Communications International, Inc. To: Kathy Stichter , wdmarkert CC: Alan Zimmerman , "Pardee, Carla"

Kathy/Bill,

Based on our conference call, Monday June 17, 2002, the following clarifications were made to the previous questions asked and anwered from our 4/26/02 CLEC Conference Call to review System Fixes Implemented Pursuant to Third Party Tests on DUF Transmission:

Meeting Minute item 3.2 - The original question had to do with why access records appear on the DUF with zero's in the CIC. The original answer discussed Feature Group A usage. There is one more circumstance when an access record would show a CIC of zero's. That has to do with 110125 records in the Central region when Qwest is the underlying provider of the 8XX service.

Those records currently go out with a zero CIC as well.

Meeting Minute item 3.3 - It was confirmed that Eschelon will be getting two separate files for Meet Point Billing and DUF. The type of file and mehtod of transmission will depend on the agreements made between Eschelon and Qwest.

To: wdmarkert@eschelon.com, Richard H Martin/Mass/USWEST/US@USWEST cc:

Subject: 0000's in the CIC

Hello; Yesterday I mentioned that I thought that the issue of CICs being 0000 in the 110125 access records was limited to the Central region. I have since confirmed that this is correct. Central is the only region where this occurs. As discussed in our call yesterday, this is usage that was carried by Qwest, so we would be the billable carrier. This should be the only FG-D usage you see with 0000 in the CIC field.

Have a good day!

Alan Zimmerman Qwest Wholesale Billing Manager (303)896-8346

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CLEC Conference Call

April 26, 2002 10:00 am (MDT) Conference Call TEL: 877-564-8688 CODE: 8973036 System Fixes Implemented Pursuant to Third Party Tests on DUF Transmission (Product/Process CR PC020802-1)

Attendees: Ric Martin, Qwest Wendy Thurnau, Qwest Brad Wickes, Qwest Alan Zimmerman, Qwest Carla Pardee, AT&T Jonathan Spangler, AT&T Kathy Stichter, Eschelon Bill Markert, Eschelon Jack Mungia, Eschelon Deb Hoffman, US Link

Introduction of Attendees Introduction of the participants on the Conference Call was made. Ric Martin explained that the call was a result of an Action Item from March’s CMP Monthly Meeting under Change Request PC020802-1. Details on the CR can be viewed in the CLEC Change Request – Product/Process Interactive Report located at the following URL: http://www.qwest.com/wholesale/cmp/changerequest.html This call will discuss the system fixes that were implemented by Qwest to become compliant with third party tests on the transmission of DUF Records and provide an update on the Central Regions compliance. Ric Martin requested that all CLEC participants send their e-mail address for receipt of meeting minutes.

Review of System Fixes Alan Zimmerman explained the 3rd Party Testing of the DUF conducted by KPMG Consulting and Cap Gemini, Ernst & Young (CGE&Y). The tests involved thousands of calls, and about 43 different call types. Both KPMG and CGE&Y have now concluded that Qwest’s DUF does adequately reflect usage made from Resale and UNE lines. To get to this successful conclusion, Qwest had to make several system changes, as detailed in KPMG’s Exceptions 3036, 3037, 3113 and 3098, as well as CGE&Y IWO 2129. Alan explained that these system changes are generally grouped into two categories: Pending Order File implementations and specific Local Measured Service issues, with a few additional fixes for specific other circumstances. Alan described the fixes and fix dates from those KPMG Exceptions, and answered questions from Eschelon and AT&T. The major fixes discussed included: Pending Order File Process --The pending order file (POF) Process was installed September 13th to more precisely handle usage made within a few days of customer conversion between local service providers. --The Western region had some inconsistencies in the way local measured service usage made on conversion day was handled. This was fixed Nov. 22. --8XX usage did not go to POF process in Western region until Nov 12. Central region had some specific circumstances where 8XX usage delayed in the POF process could be dropped. These circumstances were fixed November 20. --There were timing issues with POF processing in Central such that conversions done via a C order posted on a Thursday or Friday could have some of the usage released from POF for processing before all toll guides and databases were updated. This was fixed Feb. 7th. Local Measured Service (LMS) Records --Central & Eastern had problems that caused a very small percent of Local Measured Svc usage to error. These were fixed in December 2001. --Sent Paid LMS calls that were operator assisted were not properly sent on the DUF in the Western region. This was fixed Nov 22. --Central region LMS calls that originated from a UNE and billed to a resold line did not get a DUF record passed to the reseller until Dec 17. Additional Fixes --WATS attempts that originated from UNEs and did not complete did not have a DUF record generated for the Central region until Feb 18th. --Toll calls that intraLATA calls originated from a coin phone, were sent paid (not alternately billed), were carried by Qwest, and terminated to a UNE account did not have access records generated on the DUF until March 28th. --The Eastern region had a problem that resulted in duplicate records being generated to the DUF when an operator handled LMS call was made. This duplicate record condition was fixed 2/04.

Questions Raised During Discussion AT&T asked what products were covered and Qwest confirmed UNE-P and Resale. Eschelon asked what 0 meant and Qwest replied that if it comes from Qwest and it is a 0, bill Qwest. Qwest was requested to advise what condition access calls show up with a kick of 5123 versus 0 in all 3 regions. Eschelon asked what the meet point billing is on the same DUF. Qwest to provide response.

Closing Ric Martin advised that meeting minutes would be issued to the CLEC participants for review before posting to the CLEC community. Also responses to the Qwest action items would be issued to the all CLEC participants.

Subject: FW: CR PC020802-1 - Clarification Date: Thu, 14 Mar 2002 12:00:18 -0500 From: "Pardee, Carla D, NCAM" To: CC: "Hayes, Robert W (Bob), NCAM"

Ric:

AT&T has been discussing this CR (asking for correct and accurate transmission of DUF records) internally. AT&T would like to know the scope of the problem that was fixed. Did this fix correct only billing systems for UNE-P, or did this DUf transmission problem extend to meet point billing records as well? Does this fix have anything to do with the recent notification about the UNE-P records credits? We would like to set up another meeting to discuss this, or, if it is appropriate to discuss it in the CMP meeting next week, we are amenable to that as well. Let me know what works best for you. Thank you.

ps - I don't have Allan Zimmerman's correct e-mail address, if you wouldn't mind forwarding this to him also. Thank you.

Carla Dickinson Pardee Manager - LSAM (303) 298-6101

Revised (2/24/02) CLEC Change Request Clarification Meeting

2:30 p.m. (MDT) / Friday February 15, 2002 Conference Call TEL: 877-564-8688 CODE: 8973036 PC020802-1, Correct and Accurate Transmission of ADUF, DUF Records

Attendees: Carla Pardee, AT&T Richard Martin, Qwest Lynn Stecklein, Qwest Peggy Esquibel-Reed, Qwest Alan Zimmerman, Qwest Mark Pomeroy, Qwest Doug Warren, Qwest

Introduction of Attendees Introduction of the participants on the Conference Call were made and the purpose of the call discussed

Review Requested (Description of) Change Carla advised that the 013 DUF was to transmit Access records. She indicated that the ADUF records were not being transmitted correctly for UNE-P. She indicated that AT&T didn’t believe they were getting all DUF records and subsequently couldn’t bill their IXCs. Carla indicated that she thought that this was something the ROC was monitoring. Alan advised that the test were in the 3036 ROC Test. Alan further stated that the tests indicated that the Eastern and Western regions were 100% compliant. He indicated that the Central region is having issues with access of records received within a couple of days from a Change Order. Carla asked if there was any documentation on this. Alan advised that the documentation is on the WEB under Exception 3036. Alan explained that there is no Category 013, it is 011 for UNEs. Ric explained that there was a Systems Change to split the ADUF and ODUF records

Confirm Areas & Products Impacted It was confirmed that AT&T was interested in the product covered under Cat 011, which is Switched Access. . Confirm Right Personnel Involved It was confirmed that this is a Product/Process CR and Alan Zimmerman is the appropriate SME.

Identify/Confirm CLEC’s Expectation It was confirmed that AT&T wants confirmation that the Central Region is in compliance with providing 100% of the records.

Identify any Dependent Systems Change Requests It was confirmed that there is a System CR to break out Category 010 from 011.

Establish Action Plan (Resolution Time Frame) Qwest will report back on Central compliance progress by March’s CMP meeting


CenturyLink Response

April 5, 2002

Carla Pardee LSAM Manager AT&T

SUBJECT: Qwest’s Change Request Response - CR #PC020802-1 Correct and Accurate Transmission of ADUF or Category 011 DUF Records

This letter is in response to AT&T’s Change Request PC020802-1 requesting accurate and correct transmission of access DUF records (category 011 or ADUF).

During the February 15, 2002 Clarification Meeting, Qwest advised that the 3036 ROC Tests indicated Qwest’s Western and Eastern Regions were 100% compliant with issuance of DUF records. Qwest’s Central Region was still under testing by KPMG.

On Wednesday, KPMG officially closed the last issues associated with the DUF test for the 13 state ROC test area. These last issues had to do with correct population of Indicator 4 and the matches of calls made to DUF records passed in the Central region. KPMG found no records with incorrect Indicator 4 values, and found about 96% of the calls expected on the DUF. KPMG has now sent us the calls that comprise the four- percent of expected calls that KPMG did not find. Qwest will investigate these messages to see if any problems are found. Historically, however, there have been several percent of KPMG's expected calls that did not generate AMA records, did not complete a billable call, did not in fact belong to a wholesale account, or were passed on the DUF but were missed by KPMG. So Qwest expects to be able to explain essentially all the KPMG calls with these valid reasons. That analysis has just begun.

Qwest will provide the results of the analysis when they become available.

Sincerely,

Alan Zimmerman (303)896-8346 azimmer@qwest.com

Cc: Susan Burson


Open Product/Process CR PC090401-4 Detail

 
Title: Clarify Qwest’s process on completing LSRS day after due date
CR Number Current Status
Date
Area Impacted Products Impacted

PC090401-4 Completed
11/14/2001
Ordering and Billing LNP
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Wells, Joan
Director:
CR PM:

Description Of Change

QWEST notified CLEC community LSRS would complete orders day after at 11:59 pm of install date to coincide with disconnect in switch.. Qwest escalation center is stating that orders can start closing as early as 3pm with the possibility of closing even sooner with disconnect to follow. Interconnect has stated that if Qwest determines that there is a large volume of orders to close, they can decide a random time to start the process. AT&T would like to understand why this time frame fluctuates if the closing of these orders causes the disconnect in the switch to shift to an earlier time. AT& T is requesting a flow chart or documentation explaining and listing the backend systems for this process.


Status History

09/04/01 - CR Received from Donna Osborne-Miller of AT&T

09/04/01 - Status changed to New - To be Reviewed

09/04/01 - Updated CR sent to Tim Bessey and Donna Osborne-Miller of AT&T

09/21/01 - Clarification Meetings held with CLEC's.

10/11/01 - Draft Response posted to database.

10/17/01 - CMP Meeting: Draft response presented. Qwest to revise and issue final response. It was agreed that current status be changed CLEC Test.

10/17/01 - Draft response issued to CLEC Community

11/01/01 - Sent final response to Donna OsBorne-Miller at AT&T

11/06/01 - Sent revised final response to Donna OsBorne-Miller at AT&T

11/06/01 - AT&T reply to Qwest final response dated November 6, 2001. Qwest only considers business days in the LNP process.

11/14/01 - AT&T moved to close this CR at the November CMP meeting.

11/16/01 - Matt Rossi issued Final Response Document to the CLEC Community.


Project Meetings

November 6, 2001 AT&T reply to Qwest final response dated November 6, 2001 Joan Wells Qwest LNP Process Manager

RE: CR Form #PCCR090401-4

The intent of this change request was to clarify Qwest’s LNP process and to address any discrepancies in the information provided by their Denver Interconnect Center on August 15th, August 17th, August 24th and August 31st to AT&T. Qwest’s Denver Interconnect Center stated on multiple conference calls (to AT&T Broadband and to LNS) that calendar days, instead of business days, would be counted in the LNP process. Discussions with Qwest at the October 17th Product and Process CMP meeting clarified that Qwest uses business days.

AT&T understands this to mean that if a port is scheduled on a Friday or Saturday, Qwest will not jeopardize the end customer by closing the LSR or removing the switch translation any earlier than the next business day. Next business day is defined as the following Monday at 11:59 p.m. AT&T wants to clarify that holidays do not constitute a Qwest business day. Therefore, Friday, Saturday or Sunday ports would not be disconnected out of the switch until the following Tuesday at 11:59 p.m. if Monday is a designated holiday.

Qwest states that their Interconnect Centers have been advised and are aware of this process. The process states that the ten (10) digit unconditional trigger and switch translations associated with the end user customer’s telephone number will not be removed, nor will Qwest disconnect the customer’s billing and account information, until 11:59p.m. (local time) of the next business day after the due date.

AT&T interprets this to mean Qwest has provided documentation and training to the typists at Sierra Vista, Phoenix, and Duluth Centers, both Interconnect Service Centers, the RCMAC center and any additional Qwest centers directly related to the LNP process. AT&T Broadband will reference Qwest’s letter dated October 29, 2001 to restore loss of dial tone when it is a direct result of non-adherence to Qwest’s LNP process by any Qwest employee of these centers. AT&T further expects the duty supervisors to be well versed in this process and provide consistent action and information based on this process.

Sincerely, Terry Bahner AT&T Local Services – LSAM Western Region

CC: Sharon Van Meter Tim Boykin Donna Osborne-Miller Mitch Menezes

Friday, September 21st, 2001 Alignment/Clarification Meeting

Donna Osborne-Miller, dosborne@att.com,AT&T Terry Bahner, tbahner@att.com, AT&T Kathleen Stichter, klstichter@eschelon.com, Eschelon Telecom Linda Miles, llmiles@qwest.com, Qwest Russ Urevig, rurevig@qwest.com, Qwest Joan Wells, jmwell2@qwest.com, Qwest Kate Spry, kspry@qwest.com, Qwest Ric Martin, rhmart2@qwest.com, Qwest

Introduction of Attendees Donna, Terry, Kathy, Linda, Russ, Joan, Kate, and Ric Review Requested (Description of) Change Clarify process to complete LSRS the day after due date. Confirm Areas & Products Impacted Areas: Ordering and Billing Products: LNP Confirm Right Personnel Involved Joan is the ‘owner’ of this CR and will be the point of contact for future problems of this nature until the root cause is established and draft response issued. After the clarification meeting, it was determined that Linda and Russ will not need to be involved in this CR. Kate will coordinate all necessary clarification meetings, complete meeting minutes, and review, forward, and store necessary documentation to database. Identify/Confirm CLEC’s Expectation AT&T has asked Qwest to clarify the process for completing LSRS the day after due date. Per AT&T, “Qwest notified the CLEC community LSRS would complete orders day after at 11:59 p.m. of install date to coincide with disconnect in switch. Qwest escalation center is stating that orders can start closing as early as 3 p.m. with the possibility of closing even sooner with disconnect to follow. Interconnect has stated that Qwest determines that there is a large volume of orders to close, they can decide a random time to start the process. AT&T would like to understand why this time frame fluctuates if the closing of these orders causes the disconnect in the switch to shift to an earlier time. AT&T is requesting a flow chart or documentation explaining and listing the backend systems for this process.” Identify any Dependent Systems Change Requests No related system CR’s were identified Establish Action Plan (Resolution Time Frame) Joan will clarify this process via a flowchart and written formal response draft. She will forward this documentation to Kate by the morning of 10/5/01. Kate will review and forward this information to Michael Belt to store in the CR database by 10/8/01 for CLEC review. This information can then be reviewed and discussed by the CLEC Community at the October CMP Meeting. Donna and Terry can view this information on the CR database and this CR can then be reviewed and discussed by the CLEC Community at the October CMP Meeting. Corrections/updates can then be made at that time.


CenturyLink Response

Wholesale Product/Process Final Response

November 6, 2001

Ms. Terry Bahner Ms. Donna Osborne-Miller AT&T Communications

This letter is in response to CLEC Change Request PCR090401-4, dated September 4th, 2001, title of change: Clarify Qwest’s process on completing LSR’s day after due date. This Change Request pertains to the implementation of the new LNP process involving stand alone LNP port out service order requests.

Description of Change as noted in CR: QWEST notified CLEC community LSRS would complete orders day after at 11:59 pm of install date to coincide with disconnects in switch.. Qwest escalation center is stating that orders can start closing as early as 3pm with the possibility of closing even sooner with disconnect to follow. Interconnect has stated that if Qwest determines that there is a large volume of orders to close, they can decide a random time to start the process. AT&T would like to understand why this time frame fluctuates if the closing of these orders causes the disconnect in the switch to shift to an earlier time. AT& T is requesting a flow chart or documentation explaining and listing the backend systems for this process.

Implementation of this Qwest business process change was included in the IMA 8.0 release and was deployed effective August 20th, 2001.

The change is as stated: The ten (10) digit unconditional trigger and switch translations associated with the end user customer’s telephone number will not be removed, nor will Qwest disconnect the customer’s billing and account information, until 11:59p.m. (local time) of the next business day after the due date. Internal Qwest systems have been adjusted to accommodate this process change.

* Order completion and disconnect of translation’s will not occur prior to 11:59 p.m. the next business day following the due date.

* The subscription date to ASMS is sent to match the CLEC requested due date as available per the standard interval guide.

* The FOC is sent and matches the ASMS subscription date requested by the CLEC as available per the standard interval guide.

* An effective billing date to discontinue account billing is added to the order to match the actual port subscription date as requested by the CLEC and as available per the standard interval guide.

* Additional notification and a reminder of this current process was sent to the Interconnect Center’s through an internal communicator dated 10/29/01. The title was “Qwest response to CLEC questions concerning the current LNP Port Out process of holding switch translations and order completion until the next business day at 11:59pm.” * The process agreement is as stated: The ten (10) digit unconditional trigger and switch translations associated with the end user customer’s telephone number will not be removed, nor will Qwest disconnect the customer’s billing and account information, until 11:59p.m. (local time) of the next business day after the due date.

For due date changes or cancellation’s on existing LSR’s the following process should be followed:

Due Date Changes * You must notify Qwest via LSR supplement or notification to the ISC if you require a DD change for your port activity * Notifications of DD changes via a LSR supplement should be made as soon as possible on the DD and prior to 8:00 PM Mountain Time. * Late notification of DD changes will require that you call the ISC prior to 12:00 noon on the day after the DD (in the end-users' time zone) and issue a LSR supplement via IMA or IIS to confirm the request. If the port due date falls on a Saturday, the CLEC should notify the ISC no later than the following Monday by noon of the DD change. * Late DD change notifications after 12:00 noon the day after the DD, will require you to contact the Call Center Representative at 888-796-9087 to initiate an escalation ticket for these late changes. The CLEC should also issue a LSR supplement via IMA or IIS to confirm the request. The CLEC should also issue a LSR supplement via IMA or IIS to confirm the request.

Cancels * You must notify Qwest via LSR supplement or notification to the ISC if you require a cancel of the port activity. ? Notifications of DD cancels via a LSR supplement should be made as soon as possible on the DD and prior to 8:00 PM Mountain Time. * Late notification of DD cancels will require that you call the ISC prior to 12:00 noon on the day after the DD (in the end-users time zone) and issue a LSR supplement via IMA or IIS to confirm the request. . If the port due date falls on a Saturday, the CLEC should notify Qwest no later than the following Monday by noon of the cancellation. * Late cancel notifications after 12:00 noon the day after the DD will require you to contact the Call Center Representative at 888-796-9087 to initiate an escalation ticket for these late cancels. The CLEC should also issue a LSR supplement via IMA or IIS to confirm the request.

Qwest Interconnect Service Center hours of operation to support the functions described above are: 6 AM to 8 PM Mountain Time, Monday-Friday 7 AM to 5 PM Mountain Time on Saturday

With the implementation of this new process, the CLEC is still responsible for notifying Qwest if they are unable to meet their requested port due date. Service order completion and disconnect of switch translation’s are not scheduled to occur anytime prior to the 11:59 p.m. time frame the next business day following the due date. However, the port subscription message was sent for the initial CLEC desired due date and changes or cancellation’s must occur as outlined above or as noted in the supplement information listed in the Product catalog.

Sincerely,

Joan Wells Process Manager Local Number Portability

CC: Margaret Bumgarner Lorna Dubose Constance Overly Kate Spry


Open Product/Process CR PC110201-2 Detail

 
Title: Partial turn up of circuits on multiple related LSRs
CR Number Current Status
Date
Area Impacted Products Impacted

PC110201-2 Completed
2/20/2002
Ordering, Test and Turn-up of facilities Unbundled Loop, UNE-P
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Osborne, Deb
Director:
CR PM:

Description Of Change

CLECs have the ability to submit multiple circuits on an LSR or multiple LSRs and relate them to each other. However, if circuits are related by same or related orders, Qwest testers require CLECs to complete or sup all LSRs that are related if a few circuits fail testing. AT&T wants Qwest to allow CLECs to complete LSRs that have circuits that test good and to sup out LSRs with circuits that fail testing. An example of this problem of related orders is with a hospital SEAP0104650. 7 of 10 circuits tested good. Because 3 circuits on related LSRs failed testing, Qwest’s policy stated the work done on the 7 good circuits would have to be worked back and all 10 LSRs needed to be sup’d for a new due date. Qwest’s policy to do all or none causes excess re-work and problems associated with working-back circuits to Qwest.

Modification - 11/27-01:

The CR will focus on accepting partial LSRs that are related to multiple LSRs and will also evaluate any differences on managed cuts versus coordinated cuts.


Status History

11/02/01 - CR received by Donna Osborne - Miller of AT&T

11/02/01 - CR status updated to Submitted

11/02/01 - Updated CR sent to Donna Osborne-Miller of AT&T

11/12/01 - Left voice messages for Donna and Jonathon at AT&T to schedule clarification meeting.

11/14/01 - CMP Meeting - AT&T presented its CR.

11/19/01 - Clarification Meeting scheduled with AT&T for 11/27..

11/27/01 - Conducted Clarification meeting with AT&T.

11/27/01 - Issued Clarification Meeting Minutes to AT&T.

12/04/01 - Issued e-mail to AT&T requesting additional information.

12/12/01 - CMP Meeting - CLEC Clarification was made on the CR. Qwest advised that its current practice allows what the CR is requesting. Qwest to formalize its response. Status of CR changed to Evaluation.

01/08/02 - Issued Qwest's Draft Response dated December 27, 2001 to AT&T and posted to dBase.

01/16/02 - CMP meeting - Qwest presented its Draft Response. It was agreed that the CR could move into CLEC Test.

01/21/02 - Issued Qwest's Response dated December 27, 2001 to CLEC Community.

02/20/02 - CMP Meeting - It was agreed that the CR could be Closed. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02.

03/20/02 - CR Open/Closed status changed to closed and inactive and checked for Archive 2002


Project Meetings

Subject: CR PC110201-2 Date: Tue, 04 Dec 2001 13:18:28 -0700 From: Richard Martin Organization: Qwest Communications International, Inc. To: Jonathan Spangler CC: Mark Coyne , Deborah Osborne

Jonathan,

This e-mail is a follow-up to the voice mail I left yesterday. In the voice mail I indicated that we were still looking to get the names of the individuals that provided the direction referenced in our 11/27 Clarification Meeting. In addition, I advised that it appears that the PON referenced in the CR, SEAP0104650, is not in Qwest's system. Could you please double check the PON number or provide the related LSRs.

Thanks for your cooperation,

Ric

CLEC Change Request Clarification Meeting

Date: November 27, 2001, 9:30 (MT) Place: Conference Call Conference Call-In No.: 877-542-1728 CR No.: PC110201-2, Partial Turn-up of circuits on multiple related LSRs

Attendees: Ric Martin, Qwest Mark Coyne, Qwest Connie Winston, Qwest Jonathan Spangler, AT&T Horacce Fluker, AT&T Shelia Dizon-Crun, AT&T

Introduction of Attendees Introduction of the participants on the Conference Call were made and the purpose of the call discussed

Review Requested (Description of) Change Jonathan Spangler provided two (2) examples where they were advised that they had to SUPP all LSRs when partial LSRs or Circuits were completed.

First – AT&T had issued 10 separate LSRs that were related to one another and 7 of the 10 were good circuits. Qwest personnel, including supervision and after the initial escalation, advised AT&T that they would only do all 10. Second – AT&T had several circuits on one LSR. One circuit was a DSL TN and they couldn’t port all TNs. This was resolved by AT&T issuing a SUPP to remove the DSL TN.

It was agreed that this CR would only focus on the first example and AT&T would evaluate if they wanted to issue a Change Request on the second example. In addition to evaluation the first example, AT&T wanted Qwest to advise of any differences for handling managed cuts versus coordinated cuts. AT&T advised that they wanted, in the first example, to be able to complete the 7 LSRs and SUPP out the other 3. Connie Overly advised that she believed that was Qwest’s policy. Jonathan advised that this was contrary to what AT&T was told in their Quality Service Manager call. In addition Qwest’s associate, supervisor and escalation manager advised otherwise. Qwest is to confirm the policy. Qwest requested AT&T to provide the names of the individuals that center.

Confirm Areas & Products Impacted The products listed on the CR are the products AT&T want to ensure is covered. . Confirm Right Personnel Involved Qwest had the appropriate SMEs involved.

Identify/Confirm CLEC’s Expectation AT&T wanted clarification on Qwest’s policy and documentation of the policy.

Identify any Dependent Systems Change Requests There is no corresponding System CR

Establish Action Plan (Resolution Time Frame) AT&T will advise of the Qwest personnel involved in the example. Qwest will confirm its policy and provide documentation Qwest will provide appropriate communication of correct policy. The CR will be Clarified with the CLECs at December’s CMP and Qwest will advise on the above.

-


CenturyLink Response

Wholesale Product Marketing

December 27, 2001

Jonathon Spangler ILEC Relations Manager AT&T

This letter is being sent in response to CLEC Change Request Form # PC110201-2. PC110201-2 pertains to a request to change the due date on one or more LSRs that were previously submitted in a group of related PONs. This response addresses the current IMA process for changing the due date on one or more LSRs within a group of related PONs allowing the remaining PONs to be processed.

IMA Process:

A supplemental LSR should be issued for the PON requiring the due date change. The value entered in LSOG field 25 SUP should be “3” because there will be other changes on the LSR in addition to the due date change.

The value entered in LSOG field 51 RPON should be blank to indicate that this PON is no longer part of a related group.

The value of LSOG field 14 DDD should contain the new desired due date.

The value of LSOG field 10 PGofPageof should follow the LSOG business rules for the product specified on the LSR.

The LSOG business rules are documented on the Qwest website http://www.qwest.com/wholesale/clecs/lsog.html.

Sincerely, Deborah Osborne Process Specialist


Open Product/Process CR PC110201-1 Detail

 
Title: Qwest Rate Center Maps
CR Number Current Status
Date
Area Impacted Products Impacted

PC110201-1 Completed
3/20/2002
LNP
Originator: Van Meter, Sharon
Originator Company Name: AT&T
Owner: Saunders, Craig
Director:
CR PM:

Description Of Change

Qwest determines the Rate Centers. AT&T needs to mirror the Rate Center areas for residential LNP. What is the process for obtaining Rate Center Maps from Qwest?


Status History

11/01/01 - CR received from Sharon Van Meter of AT&T

11/02/01 - CR status updated to Submitted

11/02/01 - Updated CR sent to Sharon Van Meter of AT&T

11/14/01 - CMP Meeting - AT&T presented its CR in open forum. Qwest would expand CR to include CLLI codes, Eschelon requested DA maps also be included. AT&T asked that the clarification meeting be held with all CLEC community.

11/16/01 - Held Clarification Meeting with AT&T, Eschelon and Worldcom (see meeting minutes and Eschelon e-mail).

12/12/01 - CMP Meeting: AT&T presented this CR, Qwest SME in attendance. Discussion on the level of detail and the location needed for each map. Status changed to Evaluation. Qwest will present their draft response at the January CMP meeting.

12/18/01 - Requested example rate map from LeiLani Hines (Worldcom). She posted to Qwest via mail the same day.

12/21/01 - Map received by Qwest. Craig Saunders has copy.

01/04/02 - E-mail from AT&T requesting map examples

01/04/02 - E-mail response to AT&T

01/04/02 - E-mail from Eschelon requesting additional information on Qwest response content

01/09/02 - E-mail from Qwest asking for AT&T address to forward map example.

01/09/02 - E-mail from Qwest responding to Eschelon e-mail on Qwest response content

01/10/02 - Draft response dated 01/10/02 posted to the CMP database and issued to AT&T. Status changed to "Presented"

01/16/02 - January CMP meeting. Qwest presented their response. Eschelon asked if they will be able to use these maps for predicting rates for their lines. Qwest took an action to respond to this request at the February CMP meeting. Status will remain in "Presented" status.

01/18/02 - E-mail with AT&T mailing address for map example

01/18/02 - Clarification e-mail from Eschelon

01/18/02 - Map request e-mail from Eschelon

02/20/02 - February CMP meeting: Qwest will have the rate center maps on the wholesale web site by the end of this week. There will also be a web form to enable CLECs to order maps to a street level detail. CR status changed to "Development" until CLECs are notified of URLs. CR status will then change to CLEC Test status. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

03/01/02 - Formal response dated 03/01/02 posted to the CMP database. Response was updated to include the URL for rate center maps

03/01/02 - Formal response dated 03/01/02 issued to CLECs. Notification number: CMPR.03.01.02.F.01233.CR_Responses

03/04/02 - Formal response dated 03/01/02 posted to web in the Product & Process Interactive report URL: http://qwest.com/wholesale/cmp/changerequest.html CR Status changed to "CLEC Test"

03/20/02 - March CMP Meeting: CLECs agreed to close CR. CR Status changed to "Completed." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

04/17/02 - CR Open/Closed status changed to closed and inactive and checked for Archive 2002


Project Meetings

01/18/02 Map request e-mail from Eschelon

Subject: RE: Clarification on Rate Maps/document to determine zones for lo op rates Date: Fri, 18 Jan 2002 17:13:09 -0600 From: "Clauson, Karen L." To: Todd Mead CC: Kathleen Stichter , "Morrisette, Garth M." , Susan Travis Todd: Garth has indicated that we also need the rate center maps as well. Please send copies to Kathy Stichter. Thanks.

01/18/02 Clarification e-mail from Eschelon

Subject: RE: Clarification on Rate Maps/document to determine zones for lo op rates Date: Fri, 18 Jan 2002 17:12:04 -0600 From: "Clauson, Karen L." To: Todd Mead CC: Kathleen Stichter , "Morrisette, Garth M." , Susan Travis I will be in Denver for the CMP Re-design meeting on Tuesday-Thursday. We can discuss on a break, if you would like. Otherwise, you can arrange a call with Kathy Stichter and Garth Morrisette while I am out, if Kathy can find a suitable time for you. Essentially, we are simply asking for the documentation that allows us to determine where our lines (and future lines) fall within the zones that have been established for geographically deaveraged loop rates. For example, a newspaper article in Denver said that Zone 1 (the most dense zone) covered most of the city of Denver. What are the boundaries of that Zone? Do you have a list of wire centers/CLLI code by zone (where the zone is defined by wire centers) or a map that shows these zones? We need this information for AZ and CO. I am copying Susan Travis of WCOM, because she had this same request, and she may have other states.

01/18/02 E-mail with AT&T mailing address

Subject: RE: Your Address Date: Fri, 18 Jan 2002 12:50:10 -0500 From: "Van Meter, Sharon K, NCAM" To: "Todd Mead" CC: "Saunders, Craig" Todd, Thanks for the reminder. 1875 Lawrence St. Room 8-15 Denver, CO 80205 Thanks for your help. Sharon Van Meter Western Region LSAM 303-298-6041 303-540-1637 (pager)

--Original Message-- From: Todd Mead [mailto:tmead@qwest.com] Sent: Friday, January 18, 2002 10:42 AM To: Van Meter, Sharon K, NCAM Cc: Saunders, Craig Subject: Your Address Sharon, Please send me you mailing address and we will send you a copy of the map you requested. Thanks Todd

01/09/02 E-mail from Qwest responding to Eschelon e-mail on Qwest response content

Subject: Re: Qwest Rate Center Maps Date: Wed, 09 Jan 2002 16:09:55 -0700 From: Todd Mead Organization: Qwest Communications International, Inc. To: "Clauson, Karen L." CC: "Van Meter, Sharon K, NCAM" , jmschu4@qwest.com, susan.a.travis@wcom.com, "Saunders, Craig" , "Stichter, Kathleen L." Karen, Yes! The Qwest response presented at next week's CMP meeting will encompass the information you refer to below. Thanks Todd

01/09/02 E-mail from Qwest asking for AT&T address to forward map example.

Subject: Re: Qwest Rate Center Maps Date: Wed, 09 Jan 2002 16:07:41 -0700 From: Todd Mead Organization: Qwest Communications International, Inc. To: "Van Meter, Sharon K, NCAM" CC: jmschu4@qwest.com, susan.a.travis@wcom.com, klclauson@eschelon.com, "Saunders, Craig" Sharon, The map the Qwest individual referred to in the CMP meeting is the same as the example Worldcom sent us. Sharon, if you can send me your address I will make sure a copy is sent to you for your review. Thanks Todd

01/04/02 E-mail from Eschelon requesting additional information on Qwest response content

Subject: RE: Qwest Rate Center Maps Date: Fri, 4 Jan 2002 11:26:00 -0600 From: "Clauson, Karen L." To: Todd Mead , "Van Meter, Sharon K, NCAM" CC: jmschu4@qwest.com, susan.a.travis@wcom.com, klclauson@eschelon.com, "Saunders, Craig" , "Stichter, Kathleen L." Todd: Thanks for the helpful response. Since Sharon asked specifically about the rate center maps, I wasn't sure that your response below deals with the Distribution Area (DA) maps requested by Eschelon. Will we be getting the DA maps at the January meeting? Also, at the meeting in December, we discussed whether the CLECs were actually requesting the correct items to meet their objectives (e.g., being able to identify customers in zones for geographically deaveraged rates). I believe this caem up because Qwest said that it didn't know if it had maps of the type requested. If not, then Qwest must look at something else to make these determinations. We asked that, if we had not requested the documentation used by Qwest for this purpose, that such documentation also be produced. Have you determined yet whether Qwest has different documents/maps and, if so, will that be provided at the January meeting? Thanks, Karen

01/04/02 E-mail response to AT&T

From: Todd Mead [SMTP:tmead@qwest.com] Sent: Friday, January 04, 2002 11:14 AM To: Van Meter, Sharon K, NCAM Cc: jmschu4@qwest.com; susan.a.travis@wcom.com; klclauson@eschelon.com; Saunders, Craig Subject: Re: Qwest Rate Center Maps Sharon, Thanks for your e-mail. At the December CMP meeting, we had a general clarification on this CR where you presented the business reasons for submitting this CR and then the Qwest SME's asked you several questions pertaining to the exact nature of information you were after with these rate center maps. The following are notes I documented from the December CMP clarification meeting: - What states you wanted maps for (Washington, Utah, Colorado, Oregon, Minnesota, Arizona & New Mexico) - What level of detail (you want to be able to see what rate center a specific address is located in) - What format you are after (CLECs prefer electronic, however hard copy would do) - Whether you wanted to only see major metro areas i.e.. Denver, Aurora, Smokey Hills etc. CLECs agreed to this - Eschelon wanted to know if these maps would show how each customer is being served i.e. RSU (Qwest responded they would not and Eschelon responded that they may submit a separate CR). - Worldcom wanted to know if the maps show the CILLI detail (they had some examples from previous USWest maps). We have since contacted LeiLani and she has forwarded a copy of these old maps to the Qwest SME to review to help their response preparation. - You also want the response to include the process for getting these maps updated At the January CMP meeting (01/16/02) Qwest will present their response to your CR. The Qwest team is currently working on this response and I will e-mail it to you (plus Eschelon and Worldcom) as soon as I receive it from the Qwest SME. The response will also be posted to the CMP database and published on the web no later than next Friday (01/11/02). If I have missed something here, I would be more than happy to discuss this with you. You can call me anytime today to discuss this. Regards Todd

01/04/02 E-mail from AT&T requesting map examples

Subject: Qwest Rate Center Maps Date: Fri, 4 Jan 2002 10:49:43 -0500 From: "Van Meter, Sharon K, NCAM" To: CC: , , Todd, I haven't heard anything about the deliver of the Rate Center Maps. It was my understanding that you would contact me and deliver some maps for my review. Please advise. Sharon Van Meter Western Region LSAM 303-298-6041 303-540-1637 (pager)

12/18/01 e-mail from Worldcom to Qwest

Todd, Sure, I will put one in the mail today. LeiLani Hines Worldcom Carrier Management

12/18/01 e-mail from Qwest to Worldcom

Leilani, The Qwest SME would like to see the copy of the map you have. Could you please send him one? Thanks, Todd

> From: Stichter, Kathleen L. > Sent: Friday, November 16, 2001 3:18 PM > To: 'mbelt@qwest.com' > Subject: PC110201-1 > > Mike, > Qwest has a web site http://www.qwest.com/iconn/ that a CLEC can go to and > click on Outside Plant Jobs Greater than $100K to get information on the > build jobs Qwest is planning. Once at this web page the details Qwest > gives are: > State, WireCenter, Job #, Fiber/Cooper, Quantity, Location i.e. DA/CLLI, > Ready for Service and Completion Date. The information populated in the > Location field is either CLLI or DA (Distribution Area). The DA data is a > number i.e. 310211. This number, for the distribution, means nothing to > Eschelon without a map detailing the bounderies down to street level > detail of the specific distribution area. > Thanks > > Kathy Stichter > ILEC Relations Manager > Eschelon Telecom Inc

3:00 p.m. (MDT) / Thursday 16th Nov 2001 Clarification Meeting Conference Call

Attendees: Sharon Van Meter / AT&T Matt Kruzic / Qwest Jacob Barlow / Qwest Jan Attebarry / Qwest Craig Saunders / Qwest Mary Anderson / Qwest Michael Belt / Qwest Kathy Stichter / Eschelon (called later) Tom Dixon / Worldcom (called later)

Review Requested (Description of) Change: AT&T – Qwest Rate Center maps to be public information to the CLEC Community Eschelon & Worldcom would like the DA and CLLI Maps also included with this CR.

Products Impacted - LNP

Identify/Confirm CLEC’s Expectation - Yes the expectations of the CR are understood, need to clarify the issue of Proprietry Qwest information.


CenturyLink Response

March 1, 2002

Sharon Van Meter Manager AT&T 1875 Lawrence St. Denver, CO 80205

SUBJECT: Qwest’s Change Request Response - CR # PC110201-1 Qwest Rate Center Maps

REQUEST: Qwest determines the Rate Centers. AT&T needs to mirror the Rate Center areas for residential LNP. What is the process for obtaining Rate Center Maps from Qwest?

Additional clarifications/requests: Requested maps at a street level detail. Requested maps for MSA’s in Arizona, Colorado, Washington, Utah, Oregon, Minnesota, & New Mexico Prefer electronic, however paper will do. Requested maps at a level to determine DA areas. Requested maps at a CLLI level detail. Requested a process to update maps.

RESPONSE: Qwest has provided, on the Qwest Wholesale web site, the same rate center maps that Qwest uses and updates on a quarterly basis. The URL is:

www.qwest.com/wholesale/network/ratecentermaps.html

Qwest does not solely rely upon rate center maps to determine number portability. Qwest, as well as other companies, relies upon the Local Exchange Routing Guide (LERG) as the official guide to determine the portability of a number. Qwest determines whether a number is available for porting by looking at the customers switch information, both from and to, which reflects the serving rate center. As determined by the FCC, Qwest does not permit the porting of the numbers between two different rate centers.

Currently the Rate Center maps used by Qwest and provided on the wholesale website do not have the capability to provide wire center street level detail. Maps of DA’s are available through the Qwest Wholesale web site by following the process outlined under the URL:

www.qwest.com/wholesale/pcat/remotecollocation.html

Requesting multiple DA’s in a particular wire center will enable CLEC’s to ascertain the description of the wire center boundary.

In regard to the request for maps where Qwest plans fiber and copper jobs greater than $100,000, Qwest has plot maps that are available for review as outlined in SGAT section 10.8.2.4. Qwest agrees to provide CLEC access to relevant plats upon receiving a bona fide request for such information as stated in the SGAT.

Sincerely,

Craig Saunders Staff Advocate Policy & Law Qwest

CC: Barry Orrel, Director Legal Issues, Qwest Jim Eitel, Director Legal Issues, Qwest Lydia Eiguren, Senior Director Business Development, Qwest John Hayat, Staff Advocate Policy & Law, Qwest Mary Retka, Director Legal Issues, Qwest


Open Product/Process CR PC102601-1 Detail

 
Title: RSID/ZCID assignment for UNE P. (reference Systems CR # SCR012302 1)
CR Number Current Status
Date
Area Impacted Products Impacted

PC102601-1 Completed
1/16/2002
Billing Unbundled Loop, UNE-P
Originator: Dickinson Pardee, Carla
Originator Company Name: AT&T
Owner: Zimmerman, Alan
Director:
CR PM:

Description Of Change

Currently Qwest assigns only one RSID/ZCID per company. RSID/ZCID is an indicator that drives the daily usage files for all products within a CLEC. AT&T has multiple usage products within Qwest’s system. AT&T has a need to receive separated Meet Point/IXC usage files by product. Qwest is currently sending separate usage files to several locations by product. Due to RSID/ZCID assignment, Qwest will send duplicate files of the same data to two locations. For AT&T, this creates duplicate files and unnecessary records that AT&T is not able to eliminate. AT&T receives separate files from all other ILECs, and it appears that the RSID/ZCID is driving this concern. If Qwest will assign a new RSID/ZCID for AT&T business UNE-P Meet Point/IXC records which would be transmitted separately from the MEET Point/IXC currently going to Statton Island. Consequently, AT&T requests that Qwest assign a new RSID/ZCID specifically for AT&T UNE-P business products.


Status History

10/25/01 - CR Received from Carla Dickinson Pardee AT&T

10/26/01 - CR status changed to Submitted

10/26/01 - Updated CR sent to Carla Dickinson Pardee of AT&T

11/09/01 - Contacted Carla Dickinson from AT&T to schedule Clarification Meeting. She is on vacation from 11/9/01 - 11/19/01.

11/12/01 - Went ahead and tentatively scheduled a Clarification Meeting for 11/20/01 and left voice message for Carla to confirm time is okay.

11/14/01 - CMP Meeting - AT&T Presented its CR.

11/20/01 - Qwest rescheduled the clarification meeting for 11/27/01.

11/27/01 - Conducted Clarification Meeting with AT&T.

11/30/01 - Issued Clarification Meeting Minutes to AT&T.

12/03/01 - Issued revised Clarification Meeting Minutes to AT&T.

12/03/01 - AT&T, Carla Dickinson-Pardee advised that the meeting minutes were correct.

12/12/01 - CMP Meeting - CLEC clarification on the CR was made. Qwest advised that a large Systems CR would need to be developed. Qwest received input from AT&T that they would need 1 new RCID/ZCID now and more in the future. Qwest explained the difficulties with duplicating the various rates (USOCs) for each RCID/ZCID. To manually do this would create potential errors. Qwest to review options. CR status is changed to Evaluation.

01/08/02 - Issued Qwest's Draft Response dated December 28, 2001 to AT&T and posted to dBase.

01/09/02 - AT&T Acknowledged Qwest's response and provided preliminary requirements for the Systems Change Request.

01/16/02 - CMP Meeting - Qwest presented its Draft Response. Qwest will work with AT&T to issue a Systems CR on their behalf. It was agreed that the CR could be closed and a Systems CR issued with the Systems CR listed in the Title Section.

01/21/02 - Issued Qwest's Response dated December 28, 2001 to CLEC Community.

01/22/02 - Issued Draft Systems CR to AT&T and received their concurrence.

01/23/02 - Submitted Systems CR on behalf of AT&T.

01/23/02 - Responded to AT&T via e-mail that the products to be covered under the Systems CR could be defined at the Systems CR Clarification meeting.


Project Meetings

Subject: RE: Systems CR for PC102601-1 Date: Tue, 22 Jan 2002 16:17:16 -0500 From: "Pardee, Carla D, NCAM" To: "Richard Martin" , "Alan Zimmerman"

Ric, thanks, it looks good. My only question is which products it would impact. Although I only checked UNE-P, it seems as though this could/would impact all products across the board. Is that true? Thank you.

Carla Dickinson Pardee Manager - LSAM (303) 298-6101

Subject: RE: CR PC102601-1 Draft Response Date: Wed, 9 Jan 2002 09:49:06 -0500 From: "Pardee, Carla D, NCAM" To: "Richard Martin" CC: "Alan Zimmerman" , "Faber, Vicki L, BNSVC" , "Boykin, Timothy (Tim), NCAM" , "Spangler, Jonathan F, NCAM" , "Bahner, Teresa L (Terry), NCAM" , "Rea, Ervin E, NCAM" , "Smith, Troy V"

Richard and Alan:

Thank you for your response re: AT&T's change request for additional assignments of RSID/ZCID. Since Qwest would be faced with several issues if multiple RSID/ZCID values are assigned, AT&T would like to pursue a Systems CR to create another mechanism for CLECs to segment customers for loss/completion reports and DUF files, etc. As explained in the initial CR, AT&T has several business units that need separate transmission of certain files. AT&T requested RSID/ZCID values because AT&T understood that RSID/ZCID values drove transmission of these various files. AT&T is open to Qwest creating some other value for driving these various data files.

Thank you for your response. I look forward to discussing and resolving this matter further in the CMP forum.

Carla Dickinson Pardee Manager - LSAM (303) 298-6101

CLEC Change Request Clarification Meeting

November 27, 2001, 2:00 pm (MT) Conference Call

866-289-7092 PC102601-1, RCID/ZCID assignment for UNE-P

Attendees: Ric Martin, Qwest Mike Marshall, Qwest Mark Early, Qwest Joni Dokken, Qwest Carl Sear, Qwest Carla Dickinson-Pardee, AT&T

Introduction of Attendees Introduction of the participants on the Conference Call were made and the purpose of the call discussed.

Review Requested (Description of) Change Carla advised that with the growth of AT&T’s different businesses they cannot split off the associated products in their DUF Files. They would like to have a separate RSID/ZCID number assigned to their various business products. Carla indicated that other ILECs use OCNs for assignment of the business products. Qwest advised that the RSID/ZCID number was the equivalent of the ACNA. Currently the ACNAs follow Qwest guidelines for their use. Qwest explained that the usage records on the DUF come out per EMI OBF guidelines. Within the EMI OBF guidelines are different record types that identify different types of calls and features, buth these call types and features are not packed separately on the DUF. Qwest further explained that within the DUF Files the category 01 and 10 records are sent in a separate pack from category 11 records, but both packs are sent on the same file. The files are created by ACNA. AT&T indicated that they would like to see the RSID/ZCID further broken down within the CAT 10 file. Qwest indicated that there could be a review to determine hotw to separate feeds for each transmission, but this would require with the billing system capabilities. Before any changes could be initiated, the issue would have to be discussed and agreed to through CMP.

Confirm Areas & Products Impacted The products listed on the CR are the products AT&T wants to ensure is covered. . Confirm Right Personnel Involved Qwest’s Owner will be revised to Alan Zimmerman. Carl Sear, Joni Dokken and Mike Marshall will also support Qwest’s evaluation. Alan is out of the office this week and Qwest will coordinate its evaluation when he returns.

Identify/Confirm CLEC’s Expectation AT&T would like to have the ability to identify the various UNE-P business products to reflect the billing to their various companies.

Identify any Dependent Systems Change Requests There is no corresponding System CR

Establish Action Plan (Resolution Time Frame) Qwest will evaluate various options. This CR will be clarified with the CLEC Community at the December CMP Meeting.


CenturyLink Response

Wholesale Service Delivery

December 28, 2001

Carla Dickinson Pardee LSAM Manager AT&T

This letter is in response to the CLEC Change Request Form #PC102601-1 regarding RSID/ZCID Assignment for UNE-P. Qwest would like to close this Product/Process CR and open a new Systems CR to properly consider the best way of meeting this business need.

Today, the assignment of an RSID/ZCID value drives a lot of business processes in Qwest. USOC rates are maintained for each RSID/ZCID, Loss/Completion reports are generated for each RSID/ZCID, separate bills are generated, security and authorizations are specific per RSID/ZCID, etc. To assign multiple RSID/ZCID values per CLEC would create potential issues with contract updates, authorizations, etc. Qwest would prefer to create another mechanism for CLECs to tell Qwest how to segment customers for purposes of Loss/Completion reports, Daily Usage Feeds and any other system interfaces CLECs desire to have segmented.

This new separation mechanism would need to be accomodated on the LSR and IMA, as well as the other systems involved. A Systems CR would be required to accomplish this. Qwest will open the Systems CR on AT&T’s behalf.

If you have any questions, feel free to e-mail me or call me. Happy New Year!

Sincerely,

Alan Zimmerman (303)896-8346 azimmer@qwest.com


Open Product/Process CR 5579296 Detail

 
Title: NPA NXX supplemental form submissions
CR Number Current Status
Date
Area Impacted Products Impacted

5579296 Withdrawn
7/10/2001
Ordering LIS, SS7, Switched Services
Originator: Rea, Ervin
Originator Company Name: AT&T
Owner: To Be Determined
Director:
CR PM:

Description Of Change

SGAT language states that the submission of the form is optional and “will never be required”. Translations refuses to complete routing of new trunks if the form is not submitted. Either the SGAT language must be changed or the form made optional.


Status History

6/06/01 – CR received by Ervin Rea of AT&T 6/07/01 – Status changed to New – to be evaluated 7/09/01 – Status changed to New – to be Clarified

7/10/01 – Clarification requested via email from AT&T (MR) 7/18/01 – Status changed to Canceled as per July CICMP Industry Team Meeting


Project Meetings


Open Product/Process CR PC090401-1 Detail

 
Title: Request for Qwest to separate daily usage files by separating category 01 and 010 from category 011. (reference Systems CR # SCR111901 1)
CR Number Current Status
Date
Area Impacted Products Impacted

PC090401-1 Completed
11/14/2001
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Zimmerman, Alan
Director:
CR PM: Thomte, Kit

Description Of Change

AT&T is requesting Qwest to separate daily usage files, separating Category 01 and 010 from category 011

Request for Qwest to separate daily usage files by separating category 01 and 010 from category 011. Categories 01 and 010 separate daily usage records for end users while category 011 tracks billing for other carriers. AT&T separates billing entities by these functions. AT&T believes that other carriers utilize this same process. AT&T believes would be more efficient if the daily usage files were separate in this manner.


Status History

08/30/01 - CR received from Donna Osborne-Miller of AT&T

09/04/01 - Status changed to New - To be reviewed

09/04./01 - Updated CR sent to Donna Osborne-Miller of AT&T

09/12/01 - Clarification meeting held with AT&T. AT&T to get CLEC community acceptance.

09/21/01 - ATT will not have opportunity to present at community meeting until 10/15/01

10/17/01 - CMP Meeting: Discussions with CLEC community conducted regarding CR. SBC indicated that they were receiving separate billing records for daily usage. Alan Zimmerman, Qwest to draft reply for next CMP (November 14, 2001). No change to "Current Status."

11/01/01 - Draft response issued

11/07/01 - Draft response updated to indicate if approved this will need to become a system CR

11/14/01 - CMP meeting it was agreed that this request can be closed. A system CR will be opened by Qwest to allow the work to be prioritized.

11/26/01 - Final response issued to CLECs


Project Meetings

09/12/01 - Clarification meeting on PCCR 090401-1. In attendance Carla Dickinson Pardee and Troy Smith from ATT. Alan Zimmerman and Kit Thomte from Qwest.

Alan indicated that he was familiar with this subject. He believed it had been submitted once before but did not have the support of the other CLECs at that time. Alan indicated that he thought some of the CLECs might see the need for this now.

Alan stated the issue: In the current environment two usage files containing the same data are sent to two locations. ATT would like to have the file containing message types 01 and 10 split out on one file. The other file should contain message type 11, to be distributed separately.

Carla indicated she would take this CR to the next community meeting to propose this change to other CLECs.


CenturyLink Response

November 6, 2001

This letter is in response to the CLEC Change Request Form #PC090401-1. This Change Request requests that the Daily Usage Feed (DUF) be split into two pieces - with local usage (generally Category 1 & 10 EMI records) on one file, and access usage (Category 11 records) on a separate file.

Today, both local usage and access usage is sent on a single DUF file for each CLEC. It is fairly straight-forward to separate this usage into two files. To do so requires some small programming changes, as well as some JCL and NDM/Connect: Direct changes for every CLEC that chooses to have their DUF split into two pieces. This would be a medium-sized effort. This CR will be moved to the Systems CMP process in order to prioritize this system work.

Qwest would implement this CR in such a way that those CLECs that wish to continue to receive their DUF file as one file (like today) would be able to continue with that implementation. Those that wish to receive two separate files would be able to do so, having those two files sent to two different destinations (assuming connections exist) or to the same destination as the CLEC desires.

Any CLEC who would like to have their DUF split in two as this CR requests may send an e-mail to me at azimmer@qwest.com to be included in the deployment of this functionality. If you have any questions, feel free to e-mail me or call me at the number below.

Sincerely,

Alan Zimmerman (303)896-8346


Open Product/Process CR PC090401-2 Detail

 
Title: UNE P to UNE L Bulk Conversion Process
CR Number Current Status
Date
Area Impacted Products Impacted

PC090401-2 Completed
3/20/2002
N/A
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Urevig, Russell
Director:
CR PM:

Description Of Change

AT&T would like to establish an efficient process with Qwest to convert AT&T customers residing on the Qwest UNE-P platform to the Qwest UNE-L platform on a Bulk LSO basis.

The process would include a minimum of the following steps:

- CLEC will provide prior notification of intent to convert via a list (spreadsheet?) identifying the LSO and number of TNs

- CLEC will provide ONE LSR PER CUSTOMER LOCATION for conversion.

- Qwest will provide a SPOC for each LSO conversion on the same due date.

- Qwest will perform a Loop Qualification for each LSR.

- Qwest will provide Loop Qualification results to CLEC.

- CLEC will have option to make supplemental changes or cancel LSRs per results of loop qualification.

- CLEC will schedule conversion to begin on Due Date no earlier than 4:00 PM. All conversions within the LSO will be completed by 12:00 Midnight.

Time Intervals for conversions shall be monitored and shall conform to the existing performance standards set in the current Qwest hot cut agreement.


Status History

08/30/01 - CR Received from Carla Dickinson of AT&T

09/04/01 - Status changed to New - To be Reviewed

09/04/01 - Updated CR sent to Donna Osborne-Miller and Carla Dickinson of AT&T

09/17/01 - Clarification meeting held. With AT&T.

09/28/01 - Draft response posted to database.

10/17/01 - CMP Meeting: Qwest presented response. A separate meeting will be conducted with AT&T and Qwest to further address the response and future implementation. CLEC community agreed to the separate meeting with just AT&T in attendance. No change to "Current Status."

11/07/01 - Working with Qwest Project Management team to establish meeting.

11/14/01 - CMP Meeting it was agreed that all CLEC's needed to be invited to the session scheduled with AT&T for Friday Nov. 16th. As a result the meeting will be postponed until Nov. 26th or 30th. To accommodate the time that is required to notify all CLECs of the meeting. It was agreed that the CR would be placed into development status.

with AT&T

11/19/01 - Notification was sent to all CLECs regarding a meeting to discuss the two questions that came out of the Oct. CMP meeting

11/30/01 - Held meeting with AT&T regarding questions that came up during the CMP meeting in Oct. All CLECs were invited to the session11/30/01 - Held meeting with AT&T

12/12/01 - CMP Meeting - Qwest reviewed status of CR. Meeting 11/30 resolved all issues. Qwest's response on Appointment Scheduler needs to be finalized and will be discussed at the Systems Meeting. AT&T advised that if the response was acceptable, the CR could be placed into CLEC Test.

12/13/01 - Per Judy Schultz, AT&T, was satisfied with the presentation on Appointment Scheduler and the CR could be placed into CLEC Test.

12/28/01 - Qwest's formal response dated 9/28/01 issued to CLECs.

01/16/02 - Qwest provided an update on Appointment Scheduler and indicated that a special override will be used for out of hour cuts. AT&T requested that the CR remain in CLEC test until the presentation on Appointment Scheduler tomorrow at the Systems CMP Meeting.

01/29/02 - Received e-mail confirmation from AT&T that they would like the CR to remain in CLEC Test until they have gone through the IMA 9.0 training.

02/18/02 - Received e-mail from AT&T advising that the training on IMA 9.0 did not demonstrate the override capability of Appointment Scheduler. Qwest to investigate and advise.

02/20/02 - CMP Meeting - Qwest clarified the issue regarding Appointment Scheduler that the Override feature was included and will review with AT&T. The CR will remain in CLEC Test. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02.

03/20/02 - CMP Meeting - It was agreed that the CR could be closed.

04/17/02 - CR Open/Closed status changed to closed and inactive and checked for Archive 2002


Project Meetings

November 30, 2001

Qwest held a community meeting with AT&T regarding two questions that came up during the October CMP meeting. Other CLECs were invited and several participated.

Jonathan Spangler from AT&T had inquired if the orders would go through the QCCC. Russ Urevig stepped through the process. In the process he identified that in fact the QCCC will be the point of contact for the coordinated after hours cut. Jonathan indicated he had received some push back when trying to schedule other projects.

The second question was regarding charges associated with the after hours cut. Russ explained that the normal after hours charges would apply.

Jonathan brought up an additional issue. He wanted to know what the impacts would be to these projects when the 9.0 IMA Release goes in and the CLECs are required to use Appointment Scheduler. Russ indicated he was not sure that these types of cuts were included in the 9.0 release for Appointment Scheduler. Qwest to follow up with system SME’s regarding the System Change Request.

-

09/17/01 - Introduction of Attendees Jonathan Spangler Carla Dickinson Pardee Russ Urevig Kit Thomte

Kit made introductions of people that were in attendance on the conference call Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} AT&T would like Qwest to develop a process that would allow for the conversion of customers residing on UNE P to UNE L. CLECs will identify specific TN’s within the CO that need to be converted. This would occur initially via a spreadsheet with LSR’s to follow. The spreadsheet would be used by Qwest to determine if the line actually could be converted. Prior to this the CLECs will use the raw loop pre qualification tool to verify TN’s of end users being converted. The CLECs want to minimize the amount of down time for the customers so the cuts should be performed between 4 PM and 12:00 Midnight. The volumes anticipated are not very precise yet. AT&T will provide more information as it becomes available. Russ inquired how AT&T would like to handle a scenario where the end user has multiple lines and only a portion of the lines are being migrated. Would they set up separate accounts?? Jonathan said he would need to check that out. Confirm Areas & Products Impacted {read from change request, modify if needed} At this point only 1FR’s will be submitted, at some point this process might include DSL.

Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} At this point Russ believes a person from network should be involved, this probably would be Deni Toye. A process person for UNE P should either be involved or review the process that is established. Eventually a SME from Retail should be aware of the process.

Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measurable terms i.e. provide a documented process, change a process to include training etc)} Qwest needs to provide a process that will address this type of migration. This process needs to be put in place quickly with the worst case scenario being implementation in December of 2001.

Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts} An existing CR would resolve the necessity of this CR. Russ Urevig agreed to identify this CR and let us know the status.

Establish Action Plan (Resolution Time Frame) {state action required, who will be responsible and by when) Russ will run this CR past his supervisor and the migration team that works on these issues. Russ should have a response by close of business on Monday Sept. 24th The detailed action plan will be provided after the session on the Sept. 24th.

09/12/01 - Susie Bliss is the Director 402-422-8006 Kit Thomte is the Project Mgr. 303 896-6776 Russ Urevig is the Owner 218 723-5800 Donna Osborne Miller gave me has provided the name of an individual to participate in a clarification meeting. Have not heard from the individual yet.


CenturyLink Response

September 28, 2001 Wholesale Product Marketing

Jonathan Spangler, LSAM Supervisor Donna Osborne-Miller, LSAM Manager AT&T Local Services

CC:Russ Urevig Susie Bliss Linda Miles Kit Thomte

This letter is in response to your CLEC Change Request Form PCCR090401-2 dated August 30, 2001.

Request:

AT&T would like to establish an efficient process with Qwest to convert AT&T customers residing on the Qwest UNE-P platform to the Qwest UNE-L platform on a Bulk LSO basis. The process would include a minimum of the following steps: CLEC will provide prior notification of intent to convert via a list (spreadsheet?) identifying the LSO and number of TNs CLEC will provide ONE LSR PER CUSTOMER LOCATION for conversion. Qwest will provide a SPOC for each LSO conversion on the same due date. Qwest will perform a Loop Qualification for each LSR. Qwest will provide Loop Qualification results to CLEC. CLEC will have option to make supplemental changes or cancel LSR's per results of loop qualification. CLEC will schedule conversion to begin on Due Date no earlier than 4:00 PM. All conversions within the LSO will be completed by 12:00 Midnight. Time Intervals for conversions shall be monitored and shall conform to the existing performance standards set in the current Qwest hot cut agreement

Qwest Response:

Conversion from UNE P to UNE L on a Bulk LSO basis can be handled as a project. The CLEC can contact their Account Service Manager to advise of the intent to Bulk convert on an LSO basis. By the conversion being handled as a project, the specifics such as due dates and individual tester, SPOC can be coordinated.

The CLEC can request raw loop data for an entire wire center. The RLD tool provides data in bulk format to the Co-Providers about loop make-up characteristics at the wire center level. The data includes CLLI code, load coil, bridged tap, wire gauge, cable and pair make-up, and similar information on a loop-by-loop basis.

There is a web-site maintained by Qwest where Co-Providers may access the RLD tool. To gain access to the web-site, Co-Providers must obtain a digital certificate from Qwest. The RLD tool is presented in an ASCII text file and can be downloaded to an Excel format or database built by the Co-Provider. The web-site address is http://ecom.uswest.com.

CLEC’s are encouraged to use the Pre-order function in IMA for Loop Qualifications. The results of the Loop Qualification are given to the CLEC. If an LSR is submitted and the loop does not qualify then the LSR would be rejected. A CLEC has the option to make supplemental changes or to cancel an LSR. For any due date requests outside the normal business hours appropriate charges would be billed.

Sincerely,

Russell Urevig Wholesale Service Delivery Process Team


Open Product/Process CR 5579794 Detail

 
Title: Request Qwest to deliver Verification report in Excel or Access format versus flat text file.
CR Number Current Status
Date
Area Impacted Products Impacted

5579794 Withdrawn
7/10/2001
TBD SS7, LIS, Switched Services
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: To Be Determined
Director:
CR PM:

Description Of Change

SGAT language states that the submission of the form is optional and "will never be required". Translations refuses to complete routing of new trunks if the form is not submitted. Either the SGAT language must be changed or the form made optional.


Status History

6/06/01 – CR received by Donna Osborne Miller of AT&T

New - to be clarified – to discuss in 6/20 CICMP Meeting 6/07/01 – Status changed to New – to be evaluated

7/09/01 – Status changed to New – to be Clarified

7/10/01 – Clarification requested via email from AT&T (MR) 7/18/01 – Status changed to Canceled as per July CICMP Industry Team Meeting – being tracked in Systems CICMP


Project Meetings


Open Product/Process CR 5548341 Detail

 
Title: Collocation end to end testing
CR Number Current Status
Date
Area Impacted Products Impacted

5548341 Completed
11/14/2001
Ordering Collocation
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Nelson, Steve
Director:
CR PM:

Description Of Change

AT&T would like the assistance of Qwest to do End to End testing from the AT&T collocation space through the MDF on Qwest’s side of the collocation space. In today’s world, Qwest tests the cabling on the Qwest side of the MDF. AT&T tests the cabling on the AT&T side of the MDF. This cabling represents DS3, DS1 and DS0 circuits. At this time, neither company is testing through the MDF to assure continuity from end to end. As AT&T actually starts ordering local services on the circuits, there is no assurance, without the end to end testing, that the service for the customer will actually work when it is turned up. If AT&T tries to turn up a customer and there is no continuity, the service for the customer is delayed, which causes poor customer service. AT&T is willing, and has offered, to pay Qwest for the time it takes to conduct these tests.

8-01 AT&T request add’l testing documents in regards to end to end testing.


Status History

05/11/01 - CR received by Donna Osborne Miller of AT&T

05/14/01 - CR logged and status changed to New – To be Evaluated

05/16/01 - Status changed to Reviewed – Under consideration

06/18/01 - Qwest will perform tests on the Loop from the horizontal side of the ICDF in the Qwest serving Central Offices to the Network Interface Device (NID) on the end user’s premises. In addition to this testing and the provisioning option chosen by AT&T, continuity testing is also performed when the collocation is turned over to AT&T for acceptance. AT&T certainly has the opportunity to do their own continuity testing of the terminations between their collocation space and the vertical side of the ICDF if the proper installation of these facilities (by AT&T) have come under question. . Qwest currently offers six provisioning options, three which give the CLEC the ability to have joint, cooperative testing to the Unbundled Loop from end to end. An AT&T technician being in the collocation space and a Qwest technician potentially being on the customer’s premises. This “piece” of cable between AT&T’s collocation space and the vertical side of the ICDF is the responsibility of AT&T and is paid for, by AT&T, as part of the collocation build out. With that stated, AT&T is responsible for the testing, maintenance and subsequent repair if they were to find trouble in this cable “piece”. Due to the above noted procedures which are followed when testing the Unbundled Loop and the fact that AT&T owns the piece of cable they are requesting Qwest to test, this CICMP request should be denied and AT&T should continue to be responsible for testing their network components (DP)

07/12/01 - Drafted Response sent to CICMP team via email (MR)

08/09/01 - Meeting scheduled to discuss Qwest’s response to CR regarding End to End testing for August 15th. Meeting announcement sent July 27th and a reminder sent 08/06/01. Meeting materials will be distributed prior to the meeting. (MR)

08/15/01 - CLEC CMP Meeting Product & Process CR 5548341. Steve Nelson has reviewed the issue and has set-up a meeting for today. Minutes will be issued after the meeting.

08/16/01 - Revised Process sent to AT&T, but not accepted

08/28/01 - Two add’l testing process documents provided to AT&T , CO DVA Process and HOT Cut Process. Send by Steve Nelson , Authored by Steven Hilleary.

08/31/01 - Sent memo to Sharon Van Meter requesting acceptance of Qwest Position papers as acceptable to AT&T.

09/04/01 - AT&T forwarded response for review by Dennis Mckeon

09/14/01 - AT&T acceptance response received from Sharon Van Meter for End to End testing.

09/19/01 - CMP Meeting - It wa agreed that the CR would move into CLEC Test. Qwest to combine 2 processes and issue a formal document by 10/05/01.

10/17/01 - CMP Meeting: Qwest issued process documentation in meeting. Formal document to be forwarded to CLEC community via e-mail. No "Current Status" change.

10/19/01 - Qwest document combining 2 processes entered into database.

10/23/01 - Qwest technical documentation transmitted to originating CLEC (AT&T).

11/14/01 - CMP Meeting - it was agreed that the CR could be "Closed."


Project Meetings

Subject: Re: CR 5548341 End to End Testing Date: Mon, 24 Sep 2001 09:04:36 -0700 From: Steve Nelson Lyman McKee wrote:

Steve, My understanding from the CMP 9-17-01 meeting is that you are going prepare a combined document for the end to end testing for distribution to the CLEC community.

That documentation will include the CO DVA Process and the Hot Cut Process as authored by Steven Hilleary and Jerry Jenson.

My notes indicate you were targeting 10-3-01 as having that completed and available for distribution to the CLEC community for their review. This CR would then be reviewed for comments and closure at the 10-17 CMP meeting.

I will be on vacation from 9-25-01 until 10-10-01.

Please forward response and documentation to Matt Rossi for distribution to the CLEC community.

Also forward a copy to mbelt@qwest.com for updating the CMP database.

Lyman McKee 303-896-5260


CenturyLink Response

Steve Hilleary Central Office Staff 402 Valley Ave. NW Puyallup, WA. 98371 shillea@uswest.com

Memorandum To: Central Office Directors

September 21, 2001

LX - - DVA (48 Hour) DIAL TONE TESTING REQUIREMENTS

There has been some confusion about the requirement, documented in the CO DVA PROCESS, for the CO to perform a Dial Tone test on DVA for Unbundled Dial Tone Capable Loops (NC Code LX - -). The requirements are:

1. ALL orders provisioning LX - - circuits MUST be checked for Dial Tone at the ICDF CFA. This includes both HOT CUT (Reuse of Facility) and Basic New (Vacant Facility) orders. 2. If the CO performs this test prior to the DVA and: A. Dial Tone is present the results must be logged in the order OSSLOG, using the OSSRMK screen in WFA-C. B. Dial Tone is NOT present the CO personnel MUST arrange to retest for Dial Tone on the DVA Critical Date by either: - Completing the DVA step partially and reloading the step to the DVA date. - Completing the DVA step and manually handling the order for retest (Manual holding bin) - Completing the DVA step and creating their own work request to retest on the DVA, loading this item to themselves or someone else. If someone else is loaded, the person loading the request must check to ensure that person is scheduled to work and that they know the item is loaded to them. 3. If the test is performed on the DVA and: A. Dial Tone is present the results must be logged in the order OSSLOG, using the OSSRMK screen in WFA-C. B. Dial Tone is NOT present, the testing CO personnel MUST contact the Implementer or Coordinator assigned to work the order (check the OSSOI screen in WFA-C). If none is assigned them must call the toll free number for the Design Service Center handling the order and give the trouble condition to the first implementer or coordinator they reach. Any Center personnel receiving this call SHOULD take the report and initiate Center activity for CLEC notification. This test failure MUST be logged in the OSSLOG. 4. If the time between DVA critical date and Due Date commitment time is greater that two (2) business days, the DSC/QCCC Implementer or Coordinator will determine this and hand off an SPL48 ticket requesting a Dial Tone retest two business day before commitment date. This should be the only time the CO would expect such a handoff.

The important points to remember are: - The CO is ultimately responsible for ensuring this Dial Tone test is peformed. - The CO must arrange their own retest if working DVA steps prior to DVA and NO DIAL TONE is found. - SPL48 tickets will only be generated by the DSC/QCCC under the situation stated in item (4.) above.

Please cascade this memo through your organizations. If you have any questions or comments, please contact me.

Cc: Central Office Senior Directors Deborah Heckart Fred Aesquivel


Open Product/Process CR 5582078 Detail

 
Title: Expanding Qwest Interconnect Center’s hours
CR Number Current Status
Date
Area Impacted Products Impacted

5582078 Completed
1/23/2006
Pre-Ordering All Products
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Wells, Joan
Director:
CR PM:

Description Of Change

Change Qwest’s Interconnect Center’s hours of support. Expand the window: 6am MST to 10pm MST Sunday through Saturday


Status History

06/06/01 - CR received from Donna Osborne Miller of AT&T

06/07/01 - Status changed to New – to be evaluated

07/09/01 - Reviewed under consideration

07/09/01 - LNP product team to discuss on 7/17/01 – will report status during the July 18th Monthly CICMP Meeting (LD)

08/09/01 - Response Pending resolution or concurrence from Qwest’s interconnect Service Center (LD)

08/15/01 - CLEC CMP Meeting Product & Process CR 5582078. Qwest is waiting on response Call volume from AT&T, which will be provided by 9/3.

08/27/01 - Alignment clarification meeting held; Terry Bahner indicated that forecast would be available on 9/4/01 (MJB)

09/04/01 - AT&T Forecast Data Provided

09/07/01 - Status update meeting conducted with AT&T; AT&T forecast data clarified (MJB)

09/19/01 - Status update provided at CMP (MJB)

09/20/01 - Draft Qwest response sent to AT&T (MJB)

10/17/01 - CMP Meeting: AT&T indicated CR should be in Deferred rather than Denied Status, and would like CR revisited in 6 months rather than 1 yr., per the response. Qwest to issue revised response incorporating a six month revisit.

10/26/01 - Qwest Final Response posted to CLEC Community.

11/06/01 - Qwest received reply to final response. Qwest has three areas of concern (see Nov. 6, AT&T reply in Project Meetings).Qwest has agreed to change the CR status to "Deferred" until the May 2002 Product and Process CMP meeting.

11/2/05 - Update sent to AT&T.

1/23/06 - Status changed to Completed


Project Meetings

11/2/05 Update to CR - E-mail send to AT&T

To discuss order processing or status, including Firm Order Confirmation (FOC) and Service Order Confirmation (SOC) Notice, or to send associated information to the appropriate Center for processing, contact our Customer Service Centers. Based on the location of your end-user and the type of service you requested, Local or Access Services, our Service Center numbers are:

LSRs for Interconnect Resale Services, Asynchronous Transfer Mode (ATM) Services, Resale Frame Relay, Complex Resale, Centrex, Local Number Portability (LNP), Interim Number Portability (INP), Unbundled Local Loops and Elements: Location Contact Fax Hours of Operation Interconnect Service Center (ISC) 888-796-9087 888-796-9089 - FAX Monday-Friday 6:00 AM - 10:00 PM Mountain Time Saturday 7:00 AM - 6:00 PM Mountain Time

Qwest's Service Center is available to assist with your needs and, if additional assistance is required you will be transferred to the Customer Service Inquiry and Education (CSIE) Center until 8:00 PM MTN Time Monday – Friday. If additional assistance is required after 8:00 PM or on Saturday, Qwest will coordinate a call back or provide additional assistance as needed.

November 6, 2001

Joan Wells Qwest LNP Process Manager

RE: CR Form #5582078

AT&T understands Qwest has denied its request to expand Qwest’s Interconnect Centers hours as stated at the October 17, 2001 monthly CMP meeting. Qwest has agreed to change the CR status to “deferred” until the May 2002 Product and Process CMP meeting. AT&T has three areas of concern with Qwest’s response:

AT&T recognizes NeuStar’s standard hours of operation do not include Saturday or Sunday; however, Qwest’s own action of providing support on Saturday acknowledges Saturday as an important port day for AT&T Broadband regardless of NeuStar’s hours of operation. Therefore, AT&T believes NeuStar’s standard hours of operation is not a determining factor for Qwest in regards to expanding its hours of support for Saturday or specifically, Sunday.

Although “port activity may currently be scheduled for any desired frame due time”, there are switches within Qwest’s network that cannot be set mechanically. Does Qwest have edits built into its systems to reject or defer LSRs in this scenario? How can these switches be identified?

The last concern centers on the 24-hour AMSC level of support that Qwest has offered. In the October 17 Product and Process CMP meeting, Qwest stated that the technicians at the AMSC center do not have access to Qwest’s provisioning systems for LNP. Offering this center as an alternative to expanding the Interconnect Centers hours only delays and provides a false expectation to CLECS trying to resolve outstanding porting issues. Therefore, AT&T does not believe this as an acceptable alternative to our change request.

AT&T believes continued discussions need to take place as AT&T’s business volumes continue to grow with Sunday porting activity.

Sincerely, Terry Bahner AT&T Local Services – LSAM Western Region

CC: Sharon Van Meter Tim Boykin Donna Osborne-Miller Mitch Menezes September 7, 2001 2:15 p.m.

Attendees:

Terry Bahner (AT&T), Donna Osborne-Miller (AT&T), Sharon Van Meter (AT&T), Lorna Dubose (Qwest), Joan Wells (Qwest), Michael Buck (Qwest), Todd Mead (Qwest)

Qwest clarified some information regarding the forecast information provided by AT&T on 9/5; the forecast information provided is a projection of daily volume in all markets within Qwest territory

Action Items: - Lorna Dubose (Qwest) to communicate forecast information to Ken Beck and Toni Dubuque (9/10) - Lorna Dubose (Qwest) to provide Qwest response (9/14/)

###

Monday, August 27, 2001 1 p.m. Attendees: Terry Bahner (AT&T) Sharon Van Meter (AT&T), Lorna Dubose (Qwest), Michael Buck (Qwest), Todd Mead (Qwest) Terry explained that AT&T is interested in a window of Qwest support for LNP on Sundays after NPAC comes up. There is also a desire for Qwest support into the evening hours during the week. As an example, Terry cited the fact that AT&T gets orders until 10 p.m. (daylight time) in Salt Lake City. Lorna explained that Qwest center management could evaluate the possibility of expanded hours once the appropriate forecasting information is provided. The information to be included in the forecast: Expected volume by day and hour; any fluctuations expected (e.g. due to daylight savings time). Terry explained that she expected to be able to provide Qwest with forecast data by September 4. Lorna indicated that Qwest would attempt to examine forecast data prior to the September CMP meeting. Qwest will aim to provide a response prior to the September CMP meeting, but the formulation of a response might not be possible. Action Items: - Terry Bahner (AT&T) to provide Qwest with forecast volumes by 9/4/01 - Lorna Dubose (Qwest) to provide Qwest center management with forecast by 9/5/01 - Lorna Dubose (Qwest) to develop Qwest response by working with center management (tentative target: 9/7/01; with Michael Buck to organize walk-through meeting with AT&T during early week of 9/10/01)

###

LNP Meeting Notes 8/13/01

Attendees: Lorna Dubose Matt Rossi Terry Bahner Donna Osborne-Miller CR #5582078 – Expand Qwest’s interconnect center’s hours - Lorna currently waiting on response from the Qwest Interconnect Hours - Terry to give estimate to Lorna on call volume to expect


CenturyLink Response

Wholesale Product/Process October 24, 2001

Ms.Terry Bahner, Ms. Donna Osborne-Miller, AT&T

This letter is in response to CLEC Change Request Form #5582078, dated June 6, 2001. This Change Request pertains to a request by AT&T to Expand Qwest’s Interconnect Center hours to include a window of 6am MST to 10pm MST, Sunday through Saturday.

At this time, Qwest has no plans to expand the Interconnect Center hours. The following are some of the reasons that Qwest has made this decision: Currently, Qwest’s published normal hours of work are Monday – Friday 7am MST to 7pm MST. These hours are in parity in both Qwest Wholesale and Qwest Retail. Qwest Interconnect Center’s hours have already been previously expanded to 6am MST to 8pm MST Monday-Friday and 7am – 5pm MST on Saturday’s. NeuStar’s standard hours of Operation for the NPAC are Monday – Friday 7am – 7pm CST/CDT. The Qwest Interconnect Center hours currently exceeds this standard. Economic conditions currently do not facilitate an increase in head count to support the proposed increase in order activity and expansion. Lack of support from downstream systems, currently operating under the standard business hours. System maintenance necessities (i.e. scheduled down time) do not support expansion. Access to automated systems for order input is already available. Port activity may currently be scheduled for any desired frame due time in those switches where the ten digit triggers are set mechanically. 24-hour support is currently available through the Account Maintenance Support Center (AMSC) in handling repair issues that are a result of number portability.

At this time, Qwest will not expand its Interconnect Center hours further. Qwest had originally proposed that we review the expansion request again in one year, but at Clec request, Qwest has agreed to review again in six months.

Sincerely, Joan Wells Qwest LNP Process Manager

September 20, 2001

DRAFT RESPONSE For Review By CLEC Community and Discussion at October CMP Meeting Wholesale Product/Process Ms.Terry Bahner, Ms. Donna Osborne-Miller, AT&T

This letter is in response to CLEC Change Request Form #5582078, dated June 6, 2001. This Change Request pertains to a request by AT&T to Expand Qwest’s Interconnect Center hours to include a window of 6am MST to 10pm MST, Sunday through Saturday. At this time, Qwest has no plans to expand the Interconnect Center hours. The following are some of the reasons that Qwest has made this decision: Currently, Qwest’s published normal hours of work are Monday – Friday 7am MST to 7pm MST. These hours are in parity in both Qwest Wholesale and Qwest Retail. Qwest Interconnect Center’s hours have already been previously expanded to 6am MST to 8pm MST Monday-Friday and 7am – 5pm MST on Saturday’s. NeuStar’s standard hours of Operation for the NPAC are Monday – Friday 7am – 7pm CST/CDT. The Qwest Interconnect Center hours currently exceeds this standard. Economic conditions currently do not facilitate an increase in head count to support the proposed increase in order activity and expansion. Lack of support from downstream systems, currently operating under the standard business hours. System maintenance necessities (i.e. scheduled down time) do not support expansion. Access to automated systems for order input is already available. Port activity may currently be scheduled for any desired frame due time in those switches where the ten digit triggers are set mechanically. 24-hour support is currently available through the Account Maintenance Support Center (AMSC). At this time, Qwest will not expand its Interconnect Center hours further. Qwest will review this expansion request again in one year.

Sincerely,

Joan Wells Qwest LNP Process Manager

CC: Lorna Dubose Judy Schultz Margaret Bumgarner Michael Buck Todd Mead


Open Product/Process CR 5582099 Detail

 
Title: LNP switch disconnect timing
CR Number Current Status
Date
Area Impacted Products Impacted

5582099 Completed
12/12/2001
Billing LNP
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Dubose, Lorna
Director:
CR PM:

Description Of Change

Change current switch disconnect process to where disconnect occurs immediately after AT&T Broadband activates the number.


Status History

06/06/01 - CR received from Donna Osborne Miller of AT&T

06/07/01 - Status changed to New to be evaluated

07/09/01 - Reviewed under consideration

07/09/01 - LNP product team to discuss on 7/17/01, will report status during the July 18th Monthly CICMP Meeting (LD)

08/09/01 - Qwest is soliciting proposals from vendors such as Telcordia to include a time and cost estimate to accommodate this request. Qwest has received a time and cost proposal from Telcordia and has solicited a proposal from another vendor to prepare a business case and cost study analysis for a solution to this request. Target completion for business case and cost study tentatively set for end of September 2001 (LD)

08/19/01 - Process change implemented related to this request was implemented; going forward, Qwest will complete disconnect orders for LNP on the day after the due date (MJB)

08/27/01 -- alignment clarification meeting held; Lorna Dubose reiterated that Qwest is awaiting time and cost from second vendor; cost analysis still expected to be done during month of September (MJB)

09/7/01 -- Status update meeting conducted with AT&T; anticipated dates remain same (MJB)

09/18/01 - Internal status update meeting; target response date updated (MJB)

09/19/01 -- Status update provided at CMP (MJB)

10/05/01 - Time and cost from final vendor received 2 weeks later than expected

10/10/01 - Draft response posted to database

10/17/01 - Qwest to internally establish whether there is an impact to IMA.

11/06/01 - Received AT&T's reply to Qwest Final Response. AT&T Broadband will continue to operate under the process formally introduced on August 20th, 2001. AT&T will look forward to a future solution in 2002 and move CR Status to CLEC Test mode during the November 14, 2001CMP Meeting.

11/09/01 - Issued revised response to AT&T.

11/13/01 - Issued final response to CLEC Community and posted to Web.

11/14/01 - CMP Meeting: CR to remain in Presented status. Judy Schultz to raise associated action item and address at December CMP Meeting.

12/12/01 - CMP Meeting: Qwest denied request, status changed to denied.

12/12/01 - AT&T requested status changed to Deferred as they may want to revisit this CR at a later date.

12/19/01 - AT&T written response to Qwest position

12/28/01 - Formal response dated 11/9/01 issued to CLECs


Project Meetings

12/19/01 AT&T written response to Qwest position December 19, 2001 Lorna Dubose LNP Wholesale Product Manager Qwest Communications 1801 California Street Denver, Colorado 80202 RE: CR5582099 Dear Lorna: AT&T understands Qwest has denied CR5582099. It will be placed in deferred status until AT&T is able to review Qwest’s self-reporting data for OP-17 PID which measures LNP switch disconnect timing. Qwest took an action item in the December CMP meeting to find out when this measurement will be included in Qwest’s Performance Results Reports. Currently, Qwest does not provide data to the CLECS for OP-17 PID and the CLECS do not have access to the internal data Qwest referenced in its response to AT&T November 9th, 2001. AT&T submitted this CR with the intent to eliminate loss of dial tone. We do not believe the 73% reduction in loss of dial tone Qwest stated is an acceptable standard. AT&T Broadband still experiences loss of dial tone in spite of the August mechanization of holding both the switch translations and the service orders until 11:59 P.M. of the next business day after the port due date. Qwest would be able to perform at 100% if they would adopt the process of disconnecting from the switch once the CLEC activated the number in NPAC. AT&T is disappointed Qwest will no longer pursue an avenue which would truly insure a stable platform for the end customer to port his telephone number. Sincerely, Terry Bahner Supervisor AT&T Local Services Access Management Western Region

Cc: Tim Boykin Sharon Van Meter Donna Osborne-Miller

November 14 - CMP Meeting Callan-Qwest described the CR and the Qwest response. Bahner-AT&T stated that she did not want the CR to be closed as she had just received the response. She also noted that Qwest has not shared its PID data with AT&T. Clausen-Eschelon stated that this CR should not be in CLEC test. Bahner-AT&T stated that she was under the impression that Qwest was moving toward a solution to the CR, but that the recent response was a denial. Callan-Qwest stated that Qwest had evaluated the potential solution and was not prepared to accept the risk of changing a stable system platform, which would be the result of moving forward with a solution to the CR. Dixon-Worldcom asked if this measure was in the PAP. Callan-Qwest stated that it is a PID and it is also a PAP, except in Arizona. Dixon-Worldcom stated that this was inconsistent with his understanding of the Qwest agreements. He understood that Qwest would automatically incorporate all of the ROC measures into the Arizona filing. Callan-Qwest stated that it was her understanding that this had not been requested as a PAP in Arizona. Schultz-Qwest stated that Qwest would take an action item and report at the next meeting. She stated that the CR is denied and asked what status AT&T wanted to leave it in. Bahner-AT&T stated that she would like it left as Presented until next month.

November 6, 2001 AT&T Response to our final position on the CR. Lorna Dubose Qwest LNP Wholesale Product Manager

RE: CR Form #5582099 This letter is in response to the status you provided at the October 17, 2001 Product and Process CMP meeting. We look forward to Qwest implementing a system change that would disconnect the TN out of the switch immediately after AT&T Broadband activates the number. This change would eliminate unnecessary loss of dial tone between Qwest and AT&T Broadband, reduce the number of work backs and snap backs and in general, provide continuity to the LNP process. In the interim, AT&T Broadband will continue to operate under the process formally introduced on August 20th, 2001.

We look forward to the next status in November and a possible implementation date in 2002.

Sincerely, Terry Bahner AT&T Local Services – LSAM Western Region

CC: Sharon Van Meter Tim Boykin Donna Osborne-Miller Mitch Menezes

Internal Status Update Meeting (9/18/01 4:30 p.m.) Attendees: Michael Buck (Qwest), Lorna Dubose (Qwest) Internal cost analysis still on track for 9/28/01 completion. Lorna updated target date for formal AT&T response to 10/12/01.

###

September 7, 2001 2:15 p.m.

Attendees:

Terry Bahner (AT&T), Donna Osborne-Miller (AT&T), Sharon Van Meter (AT&T), Lorna Dubose (Qwest), Joan Wells (Qwest), Michael Buck (Qwest), Todd Mead (Qwest)

Qwest provided a status update on this CR. Qwest has received time and cost estimates from 2 vendors to date. Qwest will be seeking a time and cost estimate from a third vendor. The addition of a third vendor is not expected to adjust the dates communicated in the August 27, 2001 Clarification Meeting. AT&T asked whether Qwest has yet committed to performing the change requested in this request. In response to a question from Sharon, Lorna indicated that Qwest has not yet committed to doing the work requested in this CR. The decision whether or not do the work is dependent upon the cost analysis scheduled for completion by 9/28/01.

Action Items:

- Lorna Dubose (Qwest) to create cost analysis based upon vendor time and costs by 9/28/01 - Lorna Dubose (Qwest) to develop Qwest response based upon cost analysis (tentative target: 10/5/01)

###

Monday, August 27, 2001 1 p.m. Attendees: Terry Bahner (AT&T), Sharon Van Meter (AT&T), Lorna Dubose (Qwest), Michael Buck (Qwest), Todd Mead (Qwest) Terry confirmed that the goal of this CR is to have Qwest provide a response regarding AT&T’s desire that LNP disconnects not be released until a corresponding activate transaction is received from NPAC indicating that AT&T service is operational.

Terry indicated that previous action taken by Qwest (i.e. delayed posting of disconnects until due date plus 1 day) is helpful, but does not address the core of this request. Lorna reiterated that Qwest is still seeking vendor time and cost estimates to provide the functionality requested by AT&T.

Lorna expects to develop a cost analysis based upon vendor responses by the end of September. At that time Qwest will make a decision whether or not to pursue the vendor proposals.

Lorna does expect to be able to provide an interim status update at the September CMP meeting. As of August 29, 2001 time and cost bids have been received from both vendors involved in this CR.

Action Items: - Lorna Dubose (Qwest) to create cost analysis based upon vendor time and costs by 9/28/01 - Lorna Dubose (Qwest) to develop Qwest response based upon cost analysis (tentative target: 10/5/01)

###

LNP Meeting Notes - 8/13/01

Attendees: Lorna Dubose Matt Rossi Terry Bahner Donna Osborne-Miller

- Qwest looking at long term solution - Price bid expected from Telcordia by 8/27 - Price bid expected from another vendor 08/30 - Cost analysis and internal analysis to be conducted by Qwest 09/28 - Estimated implementation date set for no earlier than Q1 2002


CenturyLink Response

November 9, 2001

Ms. Terry Bahner Ms. Donna Osborne-Miller

AT&T

This letter is in response to your CLEC Change Request Form, number 5582099 dated June 6, 2001 – LNP Switch Disconnect Timing.

Request: Change current switch disconnect process to where disconnect occurs immediately after AT&T Broadband activates the number.

Response: Qwest understands the goal is to eliminate disconnection of customers in error. Qwest has agreed to Performance Measurement OP-17 - Timeliness of Disconnects Associated with LNP Orders with a standard of 98.25%. Qwest is in full support of this measure and has committed to this standard.

In August, Qwest completed the mechanization of the solution to hold the switch translations and the service orders until 11:59 P.M. of the next business day after the port due date. Initial analysis of internal data from before and after the implementation indicates a 73% reduction in loss of dial tone and an 84% reduction in workbacks.

Qwest did evaluate several vendor proposals outlining a system solution to time the switch disconnect with the port activation. Qwest believes that our current process and recent system mechanization has provided a reliable and stable platform for the completion of port orders. As a result of the analysis of the vendor proposals, and the service improvements from our own internal system changes; we will not be pursuing any additional system enhancements. No further action is planned. Sincerely,

Maureen Callan Group Product Manager


Open Product/Process CR 5582212 Detail

 
Title: 3 day LNP LSR interval for Megabit Line
CR Number Current Status
Date
Area Impacted Products Impacted

5582212 Completed
11/14/2001
Billing LNP
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Wells, Joan
Director:
CR PM:

Description Of Change

Qwest considers a megabit line as a complex and requires a 5 day interval. Since LNP is porting number only and does not need the special facilities, it should be treated as a ported number and have a 3 day interval


Status History

06/06/01 – CR received from Donna Osborne Miller of AT&T 6/07/01 – Status changed to New – to be evaluated

07/09/01 – LNP product team to discuss on 7/17/01 – will report status during the July 18th Monthly CICMP Meeting (LD) 7/18/01 - New to be

08/09/01 – This CR pending further investigation with Complex Services (Megabit). (LD)

08/27/01 -- alignment clarification meeting held; Lorna Dubose indicated that she was working with appropriate product and process groups to address this request.(MJB)

09/7/01 -- Response walkthrough meeting conducted with AT&T (MJB)

09/14/01 -- AT&T letter responding to Qwest position received; response revision underway (MJB)

09/19/01 -- Status update provided at CMP

10/04/01 - Draft Response added to database

10/17/01 - CMP Meeting: Qwest presented draft response to CLEC Community and made status change to CLEC Test .

10/24/01 - Qwest Response issued to CLEC Community

11/06/01 - received AT&T's reply to Qwest Final Response. AT&T will move to close CR at November 14, 2001 CMP Meeting.

11/14/01 - CMP Meeting: AT&T moved to Close CR.


Project Meetings

November 6, 2001

Joan Wells Process Manager Local Number Portability

RE: CR Form #5582212 AT&T has submitted LSRs requesting the new 3-day service interval for Megabit service established after April 4th, 2001. At this point in time, only a small number of orders have been pushed out to the previous 5-day interval. AT&T considers this a coaching issue within Qwest and has socialized it with the typing centers and the Denver Interconnect center during our weekly conference calls. We will close this CR at the November 14th, 2001 Process and Product CMP meeting. Thank you for providing AT&T Broadband the tools to identify the appropriate USOCS. Sincerely, Terry Bahner AT&T Local Services – LSAM Western Region

CC: Sharon Van Meter Tim Boykin Donna Osborne-Miller Mitch Menezes

September 14, 2001

Lorna Dubose LNP Wholesale Product Manager Qwest Communications 1801 California Street Denver, Colorado 80202

RE: Your letter dated September 5, 2001 regarding change request 5582212 – 3-day interval Megabit Line

Dear Lorna:

AT&T believes Qwest has, in part, addressed CR 5582212. Going forward, any local service request to port an end-user’s telephone number that Qwest currently lists as a Megabit service qualifies for the 3-day interval if the Megabit service was installed with Qwest after April 4, 2001. AT&T would prefer this 3-day interval apply to all Megabit services regardless of the April 4th date.

Qwest has indicated AT&T Broadband can determine this date by reviewing the customer service record. AT&T Broadband has yet to determine if a Qwest install timestamp is present next to the USOC. AT&T would like Qwest to issue a unique USOC to help identify Megabit services installed after April 4th to assist in acquiring the 3-day interval. Your consideration to this request would be appreciated.

Sincerely,

Terry Bahner Supervisor Local Services Access Management Western Region

CC: Tim Boykin Sharon Van Meter Mitchell Menezes

###

September 7, 2001 2:15 p.m.

Attendees:

Terry Bahner (AT&T), Donna Osborne-Miller (AT&T), Sharon Van Meter (AT&T), Lorna Dubose (Qwest), Joan Wells (Qwest), Michael Buck (Qwest), Todd Mead (Qwest)

The Qwest response to this CR was presented; multiple clarification questions were asked and answered:

Q: Why is April 4, 2001 date important? A: This is the date when the process change for engineering megabit requests as non-design took place

Q: So the service offered did not change after April 4? A: Correct. Only an internal process was changed. The megabit service offered did not change.

Q: How should CLEC determine the customers’ install date? A: The necessary information should be available in the CSR (Customer Service Record). In Qwest internal systems both the USOC and the date are visible. Also, another option is to ask the customer when their service began.

Action Items:

- Terry Bahner (AT&T) to confirm that necessary information is available in the CSR visible to AT&T (9/13) - Terry Bahner (AT&T) to take Qwest response to AT&T stakeholders (9/13)

###

Monday, August 27, 2001 1 p.m. Attendees: Terry Bahner (AT&T), Sharon Van Meter(AT&T), Lorna Dubose (Qwest), Michael Buck (Qwest), Todd Mead (Qwest)

Terry clarified that the request for a reduced interval for LNP of megabit lines applies only to the ported number NOT the facilities. Terry indicated that AT&T had put in place procedures to inform customers of the impact to megabit facilities when AT&T ports only the number. Lorna indicated that she was working with appropriate product and process groups to address this request.

Action Items: - Lorna Dubose (Qwest) to formulate Qwest response by 9/5/01 - Michael Buck (Qwest) to organize a walk-through meeting with AT&T during late week of 9/3/01.

###

LNP Meeting Notes – 8/13/01

Attendees: Lorna Dubose Matt Rossi Terry Bahner Donna Osborne-Miller

- Lorna scheduled meeting with Megabit Product Manager on 8/16 - Status update will be given to Terry Bahner after that meeting


CenturyLink Response

October 04, 2001 Ms.Terry Bahner, AT&T

This letter is in response to CLEC Change Request Form, number 5582212 – 3 day LNP LSR interval for Megabit Line, dated June 6, 2001.

Request: Qwest considers a megabit line as a complex and requires a 5-day interval. Since LNP is porting a number only and does not need the special facilities, it should be treated as a ported number and have a 3 day interval.

Response: After meeting with the Megabit Product Manager and the Interconnect Service Centers, it has been determined that as of April 4, 2001, Qwest implemented a new process for engineering Megabit service and it is now considered a non-design/simple service. Therefore, end-user customers that ordered Megabit service after April 4, 2001 had their service installed as non-design/simple service. This type of Megabit service can have a 3-day interval, which is the same as simple LNP orders today. However, if the Megabit end-user service was installed prior to April 4, 2001, the service is still considered a design/complex service. This requires service interval timeframes that allow Qwest systems to accurately remove the switch translations and process the order completion. Appropriate intervals for the Complex Product type will continue to apply. These intervals are shown in the LNP Product Catalog under Standard Intervals for LNP or the Service Intervals for Interconnection & Resale located at Qwest.com.

New USOC’s were developed for this network platform change. Effective 04-04-01, the Basic and Pro Services using the HRL++ USOCs will be grandparented and may not be used for ordering new services. The new Qwest DSL basic line 1FB/1FR, AFK/AFH Usoc’s are GRL++ and will be used after the 04-01-01 date.

The Select Service using HRC++ USOCs also, are no longer available for use.

Grandparented USOC’s are as follows: HRCA1, HRCA3, HRCA5, HRCWM & HRL51, HRL53, HRL55, HRL5M, HRLA1, HRLA3, HRLA5, HRLAM, HRLB3, HRLB5, HRLBM, HRLC1, HRLC3, HRLC5, HRLCM, HRLD1, HRLD3, HRLD5, HRLDM, HRLE1, HRLE3, HRLE5, HRLEM, HRLF1, HRLF3, HRLF5, HRLFM, HRLG1, HRLG3, HRLG5, HRLGM, HRLW1, HRLW3, HRLW5, HRLWM

New USOC’s are as follows: GRLA1, GRLA3, GRLA5, GRLAM, GRLB1, GRLB3, GRLB5, GRLBM, GRLC1, GRLC3, GRLC5, GRLCM, GRLD1, GRLD3, GRLD5, GRLDM, GRLE1, GRLE3, GRLE5, GRLEM, GRLF1, GRLF3,GRLF5, GRLFM, GRLG1, GRLG3, GRLG5, GRLGM, GRLSM, GRLW1, GRLW3, GRLW5, GRLWM, GRLYM.

This list in not inclusive of all products provisioned with DSL. If further information is needed, please consult your Service Manager or a USOC guide.

In conclusion: In order to qualify for the 3-day interval, it will be necessary for the CLEC to know when Qwest installed the end-user’s Megabit service (before or after April 4, 2001) and whether the account meets the required criteria for requesting a 3-day interval. If the CLEC is unable to obtain the date of the installation information from the CSR or is unable to determine by the USOC, then additional consultation with the end user by the CLEC may be needed to find out when their Megabit service was installed, prior to or after the April 4th, 2001 date. Should the CLEC submit an LSR with a 3-day interval request and Qwest determines that the Megabit service does not qualify for the simple interval, then the FOC would be sent to the CLEC with the appropriate Design/Complex interval due date.

Discussion has occurred with the Interconnect Service Centers to reinforce this change that was previously documented, and sent out to the Centers, when the change occurred in April. Qwest will continue to follow the service interval guidelines for simple and complex services as outlined in the Product Catalog (PCAT).

Sincerely, Joan Wells Process Manager Local Number Portability


Open Product/Process CR 5582288 Detail

 
Title: Qwest counts Saturday as a business day
CR Number Current Status
Date
Area Impacted Products Impacted

5582288 Denied
11/14/2001
Billing LNP
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Dubose, Lorna
Director:
CR PM:

Description Of Change

Qwest’s current process is to count Monday-Friday as business days. Would like it to be Monday-Saturday so Saturday will count as one of the three day intervals for LNP

Description changed resulting from 8/27/01 meeting.

The app date calculation for all LNP requests will reflect a 7 p.m. daily cut-off time rather than the 3 p.m. cut-off currently in place. Any LNP request received prior to 7 p.m. will receive an app date of the current date. Any LNP request received after 7 p.m. will receive an app date of the next business day.


Status History

06/06/01 - CR received from Donna Osborne Miller of AT&T

06/07/01 - Status changed to New – to be evaluated

07/09/01 - Reviewed under consideration

07/09/01 - LNP product team to discuss on 7/17/01 – will report status during the July 18th Monthly CICMP Meeting (LD)

08/09/01 - Currently Qwest is adhering to the NPAC standard business hours which do not include Saturday as a regular business day. NPAC business hours are included in the Qwest LNP Product catalog. (LD)

08/23/01 - UR# 2491 has been initiated to update the APP date calculation to incorporate a 7 p.m. cut-off as opposed to the currently used 3 p.m. cut-off (MJB)

08/27/01 - alignment clarification meeting held; altered scope for this CR reconfirmed by Terry and Lorna; Lorna indicated that a new Qwest User Request (UR # 2491) has been created to support the requested change. Work is underway to prioritize the request and determine when it will be implemented. This information will be provided in the Qwest response for this CR. (MJB)

09/05/01 - Qwest response provided.

09/07/01 - Walk Through meeting held with AT&T

09/14/01 - AT&T letter responding to Qwest position received; response revision underway (MJB)

09/19/01 - Status update provided at CMP; Qwest re-evaluating position.

09/20/01 - UR 2491 implemented in production

10/10/01 - Qwest draft response posted to database.

10/17/01 - CMP Meeting: Qwest presented its draft response. AT&T requested that the CR status be left as presented, AT&T to review internally

11/06/01 - AT&T reply to Qwest response dated 10-10-01. AT&T recognizes the CR is denied by Qwest but is disappointed at the restriction placed on Saturday ports which Qwest had previously honored under the 3-day SIG (submissions of LSRs on Wednesday). Any additional action concerning this change request will be handled in a different venue when prudent.

11/14/01 - CMP Meeting - Qwest presented its response. AT&T requested that the status be changed to "Denied."

12/06/01 - Qwest formal response (dated 10/10/01) transmitted to CLEC community.

03/20/02 - CR Open/Closed Status changed to Closed per agreement at 03/20/02 Monthly CMP Meeting that CRs having Denied status should also reflect Closed Status


Project Meetings

November 6, 2001 AT&T reply to Qwest response dated 10-10-01 Lorna Dubose Qwest LNP Product Manager

RE: CR Form #5582288 AT&T understands Qwest is denying our request to include Saturday as a business day in the SIG. In addition, Qwest is denying our request to manually change orders submitted prior to 7 p.m. MST on Wednesday to reflect a Saturday install date in lieu of a system change.

AT&T appreciates Qwest expanding the LSR submission deadline from 3 p.m. to 7 p.m. MST with the IMA 8.0 release. We are disappointed at the restriction placed on Saturday ports which Qwest had previously honored under the 3-day SIG (submissions of LSRs on Wednesday). Any additional action concerning this change request will be handled in a different venue when prudent. Sincerely, Terry Bahner AT&T Local Services – LSAM Western Region

CC: Sharon Van Meter Tim Boykin Donna Osborne-Miller Mitch Menezes

September 14, 2001

Lorna Dubose LNP Wholesale Product Manager Qwest Communications 1801 California Street Denver, Colorado 80202

RE: Your letter dated September 5, 2001 regarding change request 5582288 - Saturday as a business date

Dear Lorna:

It was not the intention of AT&T to worsen the service delivery to our customers by accepting the LNP Service Intervals in the State 271 Workshops. Section 10.2.5.2 LNP Standard Intervals has been reviewed and AT&T does not believe this section prevents Qwest from processing the change request to include Saturday as a business date for the LNP product. In fact, AT&T can find no dialogue from the 271 workshops which addressed omitting Saturday as a business day when determining LNP intervals.

Before the IMA 8.0 upgrade the weekend of August 18th, Qwest honored a 3-day interval for a Saturday install as long as AT&T Broadband submitted the LSR prior to 3 p.m. MST on Wednesday. Qwest’s typing center set expectations that AT&T passed on to its customers by providing a FOC with the 3-day interval.

Qwest has stated Saturday cannot be counted in the standard interval. Per Qwest, all local service requests must be submitted prior to 3pm MST on Tuesday to receive the Saturday install date. While AT&T understands Qwest has implemented and updated their systems to reflect its intervals, AT&T believes changes to the same system including Saturday as a business day can also be accomplished in an upcoming release. Though AT&T realizes Qwest is extending its business day from 3:00 p.m. to 7:00 p.m. MST, it does not satisfy the CR5582288 AT&T submitted. Saturday is a critical install day for AT&T Broadband. Qwest’s shift in process and the failure to inform AT&T of this change created an undue and sudden burden for AT&T Broadband’s customers.

Therefore, AT&T would like to partner with Qwest to implement a change as previously practiced by Qwest which includes Saturday. In the interim, AT&T is requesting Qwest to manually change orders submitted prior to 3:00 p.m. MST on Wednesday to reflect a Saturday install date. Thank you for your consideration.

Sincerely,

Terry Bahner Supervisor Local Services Access Management Western Region

CC: Tim Boykin Sharon Van Meter Mitchell Menezes

###

September 7, 2001 2:15 p.m. Attendees:Terry Bahner (AT&T), Donna Osborne-Miller (AT&T), Sharon Van Meter (AT&T), Lorna Dubose (Qwest), Joan Wells (Qwest), Michael Buck (Qwest), Todd Mead (Qwest) The Qwest response to this CR was presented. AT&T reiterated concerns presented in an e-mail from August 30, 2001. The concerns centered on the fact that from June 1 until August 20 Qwest had used a process that allowed for a 3-day interval. After August 20 Qwest adjusted its process, requiring that requests be received by 3 p.m. Tuesday to qualify for a Saturday install. AT&T understands Qwest’s position that the process in place from June 1 through August 20 was incorrect. Furthermore, AT&T understands Qwest’s position that a reversion of process is necessary to remain compliant with guidelines decided in 271 Workshops. However, AT&T believes that Qwest should have been more effective in communicating the process change which resulted in an increase in the necessary interval to support a Saturday install. Qwest indicated that effective communication is a key element to implementing changes that affect CLECs.

Action Items: - Terry Bahner (AT&T) to provide confirmation of response acceptance (9/13)

### E-Mail from Terry Bahner (AT&T) to Qwest Thursday, August 30, 2001 12:15 p.m.

It's clear from the Qwest-Broadband call I facilitated this morning that Qwest has changed their process regarding the 3 day interval proces+U3when it pertains to a Saturday install date. From June 1st (PCNRN051601-1) to August 18, Qwest FOC'd a Saturday install date using the 3 day interval guide. As long as the LSR was sent prior to 3pm mst on Wednesday, Qwest gave the Saturday install date. On August 20th, Qwest changed its process. The LSR must be submitted on Tuesday before 3pm to have a Saturday install date. Qwest now states the due date interval guidelines do not include Saturday. Qwest has indicated the process was always in place and it was incorrectly interpreted by Qwest Escalations and typists and was therefore granted in error. AT&T reviewed the RN on multiple conference calls with Qwest and was told the requested Saturday date would be met. Further more AT&T was never informed the RN was a test/trial subject to change and/or interpretation by Qwest. AT&T considered the notification sent by Qwest on June 1st as a product and process change not a temporary fix as so indicated on this morning's call. While I welcome the extension of 3pm mst to the tentative 7pm mst, it no longer meets the intent of the CR. Therefore, please pursue with AT&T's request to include Saturday in Qwest's due date interval guidelines.

Thank you. Terry L. Bahner AT&T LSAM

###

Monday, August 27, 2001 1 p.m. Attendees: Terry Bahner (AT&T), Sharon Van Meter (AT&T), Lorna Dubose (Qwest), Michael Buck (Qwest), Todd Mead (Qwest) Terry re-confirmed AT&T understands CR scope resulting from 8/14/01 meeting. To wit, the app date calculation for all LNP requests will reflect a 7 p.m. daily cut-off time rather than the 3 p.m. cut-off currently in place. Any LNP request received prior to 7 p.m. will receive an app date of the current date. Any LNP request received after 7 p.m. will receive an app date of the next business day.

In follow-up, Terry clarified: This is separate from agreeing to the current app date calculation Qwest has adopted August 20 (IMA 8.0 release) for LNP orders which now negatively impacts AT&T Broadband’s provisioning process and directly affects our market entry. AT&T will submit a separate change request to Qwest to resolve the additional day added to the LNP service interval if Qwest continues the new app date calculation process. This change request’s intent was to further extend the timeframe in submitting LSRs to facilitate a 3-day install; however, Qwest’s new app date calculation has negated this. Lorna indicated that a new Qwest User Request (UR # 2491) has been created to support the requested change. Work is underway to prioritize the request and determine when it will be implemented. This information will be provided in the Qwest response for this CR.

Lorna indicated that efforts had been underway to (piggyback) this CR on an existing user request in an attempt to complete the change sooner. However, that effort failed and new UR (2491) was issued.

Action Items: - Lorna Dubose (Qwest) to formulate Qwest response by 8/31/01 - Michael Buck (Qwest) to organize a walk-through meeting with AT&T during week of 9/3/01.

###

LNP Meeting Notes 08/13/01 Attendees: Lorna Dubaose Matt Rossi Terry Bahner Donna Osborne-Miller

NPAC does not currently consider Saturday as a business day AT&T gave an example: if LSR submitted 3:01 pm on Friday - Monday is day 1, AT&T would like Saturday as day 1 Joan Wells mentioned at last CICMP that hours might be expanded to 7pm MST AT&T said that 7pm wold be sufficient and CR could be closed


CenturyLink Response

October 10, 2001

Wholesale Product Marketing Ms. Terry Bahner and Ms. Donna Osborne, AT&T

This letter is in response to your letter dated September 14, 2001, regarding Change Request 5582288 – Saturday as a business day.

Qwest acknowledges AT&T’s acceptance of the agreed upon 271 Workshop LNP Service Intervals.

As stated in your letter, before the IMA 8.0 release, Qwest would honor a three day interval for a Saturday install for LSR’s submitted prior to 3:00 p.m. Mountain Time on Wednesdays. However, after the IMA 8.0 release each CLEC, will need to submit its LSR for flow-through LNP orders on Tuesday by 7:00 p.m., Mountain Time, in order to have a Saturday due date.

Qwest identified the need to implement system logic to obtain parity between our manual and mechanized processes, company policies, as well as documentation. As a result, IMA was upgraded to support the company Service Interval Guide (SIG), which excludes the calculation of Saturdays, Sundays, and Holidays.

Qwest recognizes Saturday is a critical install day for AT&T Broadband and will continue to offer Saturdays, Sundays, and Holidays as due dates in our switches where the 10-digit unconditional LNP trigger can be set automatically. However, the CLEC will need to submit the LSR within the appropriate interval timeframe as far as business days.

At this time, Qwest appreciates AT&T offer to partner with us to include Saturday as a business day, however, Qwest declines, and will continue to support the agreed upon 271 Workshop intervals and existing company practice for the use of Business days. Thank you for your request.

Sincerely,

Lorna Dubose LNP Product Manager


Open Product/Process CR 5582295 Detail

 
Title: Qwest does not cancel LSR after confirming FOC via pending “C” order. (reference Systems CR # SCR092601 1)
CR Number Current Status
Date
Area Impacted Products Impacted

5582295 Completed
4/17/2002
Billing LNP
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Wells, Joan
Director:
CR PM: Thomte, Kit

Description Of Change

Qwest’s current process is to cancel LSR after FOC has been sent because of a pending “C” order. AT&T Broadband wants no cancel of FOC once sent by Qwest. FOC should stand.


Status History

06/06/01 - CR received from Donna Osborne Miller of AT&T 6/07/01 – Status changed to New – to be evaluated

07/09/01 - LNP product team to discuss on 7/17/01 – will report status during the July 18th Monthly CICMP Meeting (LD)

07/18/01 - New to be clarified

08/09/01 - This functionality is included in the IMA 8.0 release scheduled for deployment on August 19th 2001 (LD)

08/19/01 - IMA 8.0 was implemented with requested change; if an FOC has been issued for an LSR, the LSR will no longer be cancelled by Qwest because of pending orders (MJB)

08/27/01 - Alignment clarification meeting held; Terry Bahner indicated that initial results from IMA change look promising; AT&T will continue to monitor for next 30 days and then CR will be closed if no new issues arise (MJB)

09/07/01 - Walk through meeting held with AT&T

09/10/01 - Qwest internal meeting to review CR response along with process under development by Loretta Huff (MJB)

09/14/01 - Response received from AT&T

09/19/01 - Status update provided at CMP

09/28/01 - Draft response posted to database

10/17/01 - CMP Meeting: Qwest presented draft response. AT&T requested clarification on JEP process. Joan Wells explained JEP's don't apply to LNP. No status change to CR.

10/24/01 - Qwest Response finalized and issued to CLEC Community.

11/06/01 - AT&T Reply to Final Response dated 10-24-01. AT&T expects Qwest to adhere to its commitment to allow a jeopardy notification after a FOC instead of a non-fatal error after an FOC as submitted under SCR092601-1.

11/14/01 - CMP Meeting - AT&T request CR remain in CLEC Test until after discussion at the Systems CR meeting

11/15/01 - Discussed at Systems CMP meeting. There are interim process solutions available for SCR092601-1 Qwest will discuss at the December CMP meeting. This CR should be closed on agreement from CLEC community.

12/12/01 - CMP Meeting: Jill Martain (Qwest) presented the interim process solution for SCR092601-1 to the CLECs. After Jill's presentation AT&T requested this CR to remain in CLEC Test.

01/16/02 - January CMP meeting: Qwest presented timing interval proposal. CLECs requested further dialogue on this issue. CR Status changed to "Development"

01/23/02 - Meeting arranged for 01/31/02 with AT&T to investigate the top reasons that cause error conditions after an FOC has been issued

01/31/02 - Meeting held with AT&T to investigate the top reasons that cause error conditions after an FOC has been issued

02/07/02 - Meeting minutes for 01/31/02 meeting sent to AT&T

02/08/02 - Followup meeting to 01/31/02 meeting with AT&T. Top reasons that cause error conditions after an FOC has been issued were presented.

02/11/02 - Meeting minutes for 02/08/02 meeting sent to AT&T

02/12/02 - Meeting minutes for 02/08/02 meeting added to CMP database

02/20/02 - February CMP meeting: Qwest presented the latest agreements as outlined in the meeting minutes. Qwest and AT&T agreed to continue to work together to resolve the effect on due dates when a jeopardy condition is identified after the App date. Manual process for sending a jeopardy notice after an FOC has been issued, was implemented 02/18/02. CR status changed to "CLEC Test" Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

02/21/02 - E-mail from T.Bahner AT&T, reporting system issue and asking for clarification on jeopardy and DD process for LNP

02/22/02 - Response e-mail from Qwest clarifying AT&T question on jeopardy and DD process for LNP

03/06/02 - Letter from AT&T offering a counter proposal to the matrix Qwest has presented for CR5582295

03/08/02 - Revised response from Qwest with updated matrix (supplemental information)

03/20/02 - March CMP Meeting. Revised matrix presented and agreed to by the CLECs. CR to remain in CLEC Test for one more month. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

03/22/02 - Revised response dated 03/21/02 issued to CLECs. Notification CMPR.03.22.02.F.01240.CR_Responses

04/08/02 - Qwest e-mail asking if revised matrix is meeting CLEC needs

04/08/02 - Reply e-mail from AT&T agreeing that revised matrix is working, but seeking clarification on PCAT update

04/11/02 - Reply e-mail from Qwest with response to PCAT question

04/17/02 - April CMP Meeting: CLECs agreed to close CR. Status changed to "Completed." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site


Project Meetings

04/11/02 - Reply e-mail from Qwest with response to PCAT question

Subject: CR # 5582295 Update Date: Thu, 11 Apr 2002 09:15:41 -0600 From: "Todd Mead" Organization: Qwest Communications International, Inc. To: Terry Bahner

Terry, Please see below in response to your question about PCAT update:

"The LEFV fid alone is not necessarily cause for the CLEC to be sent a jeopardy notification. Only if the FOC has been sent to the CLEC would we send a jeopardy notification. And the current process of jeopardy after FOC states that in all conditions where an FOC is sent and Qwest has found a problem with the request, we will follow the jeopardy after FOC process. No matter what, if it has been FOC'd and Qwest finds a problem with the LSR, we will follow the jeopardy after FOC process.

Thanks

Todd

03/06/02 Letter from AT&T offering a counter proposal to the matrix Qwest has presented for CR5582295

1875 Lawrence St. Denver, CO 80202-1847

March 6, 2002

Todd Mead CMP Manager Qwest Communications 1801 California Street Denver, Colorado 80202

RE: CR5582295, SCR092601, & Matrix

Dear Todd:

AT&T still has concerns surrounding the interim manual process of how and when Qwest issues a jeopardy after sending the CLEC a FOC for an LSR. We have two specific concerns. This first is the introduction of the Application Date (APP) as a tool to determine AT&T Broadband’s due date when orders are issued a jeopardy condition. And the second is the subjective use of the term "renegotiated".

AT&T believes Qwest could proactively minimize disruption to the customer if Qwest would maintain the CLEC ordered due date more frequently than is possible with the Qwest proposal.

AT&T proposes the following changes to achieve this objective:

1. Jeopardy Condition identified within 24 hours then original FOC’d due date will be maintained - Identified within 24 hours after LSR submission by CLEC - CLEC notified within 24 hours after LSR submission by CLEC - Jeopardy cleared within 4 business hours

Jeopardy Condition identified within 24 hours then original FOC’d due date will be renegotiated - Jeopardy not cleared within 4 business hours

2. Jeopardy Condition identified more than 24 hours then original FOC’d due date will be maintained - Identified more than 24 hours after LSR submission by CLEC but before the due date - CLEC notified more than 24 hours after LSR submission by CLEC but before the due date - Jeopardy condition is Qwest’s fault and CLEC clears the condition within 4 business hours

Jeopardy Condition identified more than 24 hours then original FOC’d due date will be renegotiated - Jeopardy condition is CLEC’s fault and CLEC clears the condition within 4 business hours - Jeopardy condition is not cleared within 4 business hours

3. Jeopardy condition identified on or after the due date - Qwest will immediately work with CLEC to resolve end user customer impact. No negotiated due date

AT&T would like written rules about the meaning of “renegotiated”. AT&T believes the renegotiated interval should have minimal customer impact and never exceed the standard service interval for LNP.

AT&T believes Qwest has reasonable time to identify all errors during the first 24 hours. If an error is discovered and the error is related to a Qwest CSR, a pending retail order or any error Qwest fails to identify, AT&T believes the FOC’d due date should be maintained. Our proposed changes define and clarify the process. We believe this will reduce misinterpretation of the process and provide a consistent response from Qwest during the escalation process.

AT&T appreciates Qwest extending the courtesy call to a third week. This allowed sufficient time for AT&T to verify the jeopardy was being received via EDI. It also provided sufficient time for AT&T to provide Qwest examples of when the process broke.

Sincerely,

Terry Bahner Supervisor AT&T Local Services Access Management Western Region 303-298-6149

Cc: Tim Boykin Sharon Van Meter Donna Osborne-Miller

02/22/02 Response e-mail from Qwest clarifying AT&T question on jeopardy and DD process for LNP

Subject: Re: CMP 2/20/2002: Action Item & Clarification Date: Fri, 22 Feb 2002 16:45:31 -0700 From: "Joan Wells" To: "Bahner, Teresa L (Terry), NCAM" CC: "Jill Martain" , Jill"

02:00 p.m. (MDT) / Friday 08 February 2002

Followup meeting to Investigate top reasons for error condition after FOC

Terry Bahner, AT&T Jonathan Spangler, AT&T Sharon Van Meter, AT&T Donna Osborne-Miller, AT&T Jill Martain, Qwest Joan Wells, Qwest Ric Martin, Qwest Michael Keegan, Qwest Christine Quinn-Struck, Qwest

Jill Martain presented the following historical values : Total LSRs submitted for AT&T in December for LNP was 15,121. Total Non-Fatal errors issued after FOC , 28. Of those 28, 13 were identified on the same day, 7 next day but within 24-hours, 8 after 24-hours.

Joan Wells discussed: The Service Interval Guide for Resale and Interconnection Services The Matrix for resolving Jeopardy Conditions and Effect on the DDD. The Qwest Ordering Screening Process The root cause for PON ZXDNV25275001 TN 303 463-0715 See attached PDF file "CR5582295 Interval Guide & jep matrix" which documents the above.

Joan Wells will revise the Qwest response to reference the discussion outlined in 2.2. The Qwest response will also indicate the desire by Qwest to work with AT&T to minimize changes to the AT&T FOC’d DD.

-

02:00 p.m. (MDT) / Thursday 31 January 2002

Investigate top reasons for error condition after FOC

Terry Bahner, AT&T Jonathan Spangler, AT&T Sharon Van Meter, AT&T Donna Osborne-Miller, AT&T Tim Boykin, AT&T Vernise York, AT&T Cynthia Linenberger, AT&T Ed Longstreet, AT&T Kerri Burke, AT&T Cheryl Moilanen, AT&T Scott Eicher, AT&T Jill Martain, Qwest Joan Wells, Qwest Ric Martin, Qwest Michael Keegan, Qwest Brandi Bentley, AT&T

Jill Martain provided a recap on the progress of CR 5582295 and Systems CR SCR 092601-1 stating we are still moving forward with a February 18 implementation. The process change will discontinue sending a non-fatal error notice after a FOC if an error condition is identified, and will send a jeopardy notice instead. If the error condition is identified within 24-hours, only a jeopardy notice will be sent. If it is after the 24th hour, a courtesy call (for LNP only) will also be made to notify the CLEC of the error condition. Clarification was made it is a courtesy call and the jeopardy notice is the official notification of the jeopardy condition. Jill further explained that if the jeopardy condition was responded to within 4-hours the orders would remain in the system and if no response was received the service orders would be canceled but the LSR would remain in a jeopardy condition for 30-business days. If at the end of 30-business days the LSR is still in a jeopardy status, the LSR would be rejected back to the CLEC..

Jill explained that the error report indentified several types of rejects. AT&T asked if Qwest had an idea of what the numbers were. Jill advised that she did not have time to review the details. AT&T asked for a listing of the areas of the error and the numbers. Jill explained that some problems came about when the order was pending disconnect then the Quality Checkers would notice a retail dissconnect that came through. She also indicated that some problems occur when there is a dfferent address then the one on the LSR.

AT&T asked if Qwest would honor the due date if AT&T issued their Sup. Qwest indicated that it was dependent on the time the Sup came in. Qwest clarified the process advising that when an error condition occurs after an FOC, Qwest will send a Jep notice, not a non-fatal error. The Jep would be sent back the same way the request was received (i.e. EDI, fax, etc.). Qwest explained that the LSR Order will stay in Jep status for 30 days. Qwest will only Jep the order in the first 24 hrs. On the 25th hour, Qwest will send the Jep and place a call. Qwest needs the Sup turnaround within 4 hrs and Qwest will respond in 24 hours after receipt of Sup. Qwest would issue an FOC, which would start the calculation over. AT&T advised that Qwest should still honor the due date if the Sup was issued within the time interval, especially if the Jep was due to a Qwest error. AT&T suggested that we have another meeting to address this question.

Joan Wells discussed the quality check process. A quality check typically takes place within the first day after the FOC. Qwest cannot commit to this timeframe due to potential volume and resource issues.

A question was raised on whether AT&T could have the Due Date. It was clarified that this would be only for LNP. Joan Wells indicated that she would have to go back to the team.

Qwest provided the root cause for the TN example that AT&T provided . The initial reject was due to a wrong address; however, that was corrected by AT&T Broadband. All following actions were the result of a Qwest agent mishandling this order after that FOC was sent. Joan Wells said this person was individually coached.

Action Plan Qwest will review the due date issue and revise its response to CR 5582295 as required. Qwest will pull historical data to identify the percentage of AT&T LSRs that are receiving an error condition after a FOC.. Qwest will set-up another meeting for Friday, February 8, 2002, from 2:00 PM to 4:00 PM. The manual process for all products associated with SCR 092601-1 is scheduled for implementation on 2/18

--

November 6, 2001 AT&T Reply to Final Response dated 10-24-01 Joan Wells Qwest LNP Process Manager

RE: CR Form #5582295

AT&T has stated in previous correspondence to Qwest and at the monthly CMP Product and Process forum the seriousness surrounding Qwest’s process to send a FOC then fatal reject it without notification to the CLECS. AT&T understands Qwest’s current process providing a 4-hour window for response to a non-fatal error notice. However, examples have been shared with Qwest on weekly calls where this process continues to fail. Therefore, AT&T expects Qwest to adhere to its commitment to allow a jeopardy notification after a FOC instead of a non-fatal error after a FOC as submitted under SCR092601-1. This was presented as a walk on at the October 18 Systems CMP meeting by Jill Martain as a candidate for the IMA 10.0 release scheduled for 2002. The CLEC community unanimously agreed to include the LNP product for this CR. Jill Martain concurred.

In regards to AT&T system changes, AT&T anticipated the need to update their IBICS system only after Qwest discounted the use of jeopardy codes on previous calls. When Qwest announced they would pursue using jeopardy codes (Loretta Huff calls August 31, 2001 and September 5th respectively) and informed AT&T that system changes were not required, AT&T did not pursue modifying IBICS since it is currently capable of handling jeopardy codes. AT&T OSS anticipates the upgrade to IMA 10.0 with SCR092601-1 to resolve this issue.

In the interim, AT&T expects Qwest to continue to follow its current 4-hour window process and make every effort to call AT&T Broadband before issuing a fatal reject. AT&T also expects Qwest to socialize this process with all centers directly involved with the LNP process with special emphasis on the Sierra Vista and Phoenix Centers and the duty supervisor in any Qwest Interconnect Center which provisions AT&T Broadband LSRs.

AT&T does not believe this CR has been fully addressed until SCR092601-1 can be implemented or Qwest discontinues its process of fatal rejecting an LSR without CLEC notification.

Sincerely, Terry Bahner AT&T Local Services – LSAM Western Region

CC: Sharon Van Meter Tim Boykin Donna Osborne-Miller Mitch Menezes

September 14, 2001

Lorna Dubose LNP Wholesale Product Manager Qwest Communications 1801 California Street Denver, Colorado 80202

RE: Your letter dated September 5, 2001 regarding change request 5582295 – Cancel after the FOC

Dear Lorna:

Qwest has forwarded two proposals to AT&T. The first was discussed with Loretta Huff from Qwest on Friday, August 31st. The second proposal, Qwest letter sent September 5th, was based on Qwest changing its process and AT&T making changes to IBICS. Ms. Huff, in a conference call, indicated to the CLEC community that Qwest would utilize jeopardy codes on local service requests to alert the CLEC community when an LSR is rejected.

Qwest has taken an action item to internally review which process will be the final resolution to CR 5582295. AT&T has stopped all plans to augment its EDI system based on Ms. Huff’s proposal. AT&T believes the CR has not been sufficiently addressed. Please let me know when Qwest would like to schedule a conference call to discuss the final resolution for CR 5582295.

Sincerely,

Terry Bahner Supervisor Local Services Access Management Western Region

CC: Tim Boykin Sharon Van Meter Mitchell Menezes

Internal Response Clarification Meeting (9/10/01 3:30 p.m.)

Attendees: Joan Wells, Mark Coyne, Jill Martain, Todd Mead, Michael Buck

Mark and Jill explained the context of the Loretta Huff process. Joan provided information regarding Qwest response provided to AT&T. It was determined that the already provided Qwest response was probably accurate and not affected by the Loretta Huff response. However, Joan took an action item to review the Loretta Huff process. Following the review, Joan will update the CR response as necessary.

Action Items:

- Jill Martain to provide Joan Wells with the Loretta Huff process given to the CLECs - Joan Wells to review process and update CR response as necessary (target due date: 9/26/01)

September 7, 2001 2:15 p.m. Attendees: Terry Bahner (AT&T), Donna Osborne-Miller (AT&T), Sharon Van Meter (AT&T), Lorna Dubose (Qwest), Joan Wells (Qwest), Michael Buck (Qwest), Todd Mead (Qwest) Before the Qwest response was presented AT&T indicated that the information contained in the response was contrary to information presented in another meeting held on September 6. Because of this inconsistency, AT&T requested that Qwest clarify the response before AT&T would accept it. Terry Bahner did confirm that the incidence of this situation (i.e. rejection of LSRs after FOC) had been much reduced since installation of IMA 8.0. However, Terry indicated that she was aware of a few situations where an LSR was rejected after FOC. Joan Wells and Lorna Dubose both reiterated that according to guidelines in the PCAT there were some situations in which rejects might occur after an FOC. To rule out system bugs or non-compliance with process Terry will provide examples to Lorna for investigation

Action Items: - Mike Buck (Qwest) to gather additional data from Judy Schultz (9/7) -- completed 9/7/01 - Mike Buck (Qwest) to schedule meeting with Loretta Huff (Qwest), Mark Coyne (Qwest), Joan Wells, and Lorna Dubose (9/10) -- completed 9/10/01 - Qwest to formalize single consistent response to this request (9/12) - Terry Bahner (Qwest) to provide Lorna Dubose (Qwest) examples of rejected requests after FOC (9/14)

Monday, August 27, 2001 1 p.m. Attendees: Terry Bahner (AT&T), Sharon Van Meter (AT&T), Lorna Dubose (Qwest), Michael Buck (Qwest), Todd Mead (Qwest) Terry confirmed that initial indications are that IMA 8.0 fix seems to be working; original problem has occurred only once since IMA 8.0 release. Further testing is still required, but Terry is please with the results. Terry will continue her efforts to confirm/test recent change and report to Lorna as necessary. Terry also provided further information on a second aspect for this CR. Concurrent with the change to IMA, another change was made to AT&T’s IBICS system. The IBICS system change required some coordination with Qwest systems that resulted in the involvement of Cim Chambers (among others). At this point, AT&T recognizes a system change is required in order to receive the final reject from Qwest. AT&T has asked its vendor to supply the patch. The estimated time the patch will be ready is within 30 days. No systems changes have been made at this point in time to recognize a final reject after a FOC. Evaluation will begin once the patch has been installed. Like the changes to IMA 8.0, AT&T needs to evaluate the fix for its efficacy. Terry does not anticipate any further action needed by Qwest to support either the Qwest IMA changes or the AT&T IBICS changes. But until AT&T installs patch and completes confirmation testing Terry would like this CR to remain open. The time frame for observation is dependent on the system patch and Qwest’s newly adopted process to consistently call the Broadband centers prior to the final reject. Allowing AT&T Broadband a four hour window to change or cancel the LSR. Terry also expressed concern that AT&T’s new system, Launch Now, might have the same limitation that resulted in the changes to IBICS. However, Terry agreed that should problems be identified with Launch Now, she would open a new CR to address any Qwest involvement that might be required to support AT&T’s modifications to their system. Action Items: - Terry Bahner (AT&T) to provide Michael Buck with e-mail of Qwest contacts involved with IBICS issue (completed 8/28/2001) - Michael Buck (Qwest) to contact Qwest contacts involved with IBICS issue to confirm no further Qwest involvement needed (completed 8/30/01) - Terry Bahner (AT&T) to provide Lorna with any additional feedback on the results of AT&T confirmation testing for recent IMA changes. Terry to provide confirmation testing results feedback based on when the patch has been installed by AT&T’s vendor. The estimate is 30 days. Terry will provide Qwest a tentative date no later than September 19th CMP if patch has not already been installed. If no issues are identified as part of AT&T confirmation testing, CR to be subsequently closed.

LNP Meeting Notes - 8/13/01

Attendees: Lorna Dubose Matt Rossi Terry Bahner Donna Osborne-Miller

- AT&T getting rejects after FOC - They are not seeing the cancel notification/no phone call – cannot act on 4 hr interval for action - AT&T report that they are still receiving rejects - Terry to get examples of rejected LSRs from the Denver Center (PON numbers) to Lorna and Joan


CenturyLink Response

See revised response dated 03/21/02 with updated matrix (listed as supplemental information)

October 24, 2001 Wholesale Product/Process Ms. Terry Bahner AT&T Communications

This letter is in response to CLEC Change Request Form #5582295, dated June 6, 2001, title of change: Qwest does not cancel LSR after confirming FOC via pending “C’ order. This Change Request pertains to CLEC receipt of an order request cancellation, after having already received a Firm Order Confirmation (FOC). One resolution of this Change Request is specific to LNP Port Out and involved an update to a Qwest internal system. Qwest business process in the IMA 8.0 release was deployed effective August 20th, 2001. A check for pending orders on LNP Port Out requests will now be made, before the FOC is issued. If a pending order exists, the order is placed for manual review.

Additionally, Qwest examined our exception handling processes, including the notifications issued by Qwest in exception situations. The analysis revealed that current Qwest processes sometimes resulted in a non-standard series of notifications, such as an FOC after a reject notice or an FOC after an LSR completion.

To address concerns about exception handling processes, a call was held with a small number of CLEC’s on 8/31/01 to solicit their input on Qwest’s current process. After considering the input that was provided, Qwest is taking the following current actions:

In those cases where an error is discovered after an FOC is sent, Qwest will continue to follow its current process of following the non-fatal reject process. This process was documented in a notice issued on 7/26/01. The process was also documented in IMA EDI 7.0 Disclosure, Addendum #6, released on 8/30/01 and in IMA EDI 8.0 Disclosure, Addendum #1, released on 9/04/01. The current versions of the disclosure documentation states that the CLEC has 2 hours to respond to the non-fatal error notice.

A documentation notice will be sent 9/24/01 indicating that in the situation where an FOC has been sent in error, a 4-hour window will be given for responding to the non-fatal error notice. The EDI Disclosure document will be updated following resolution of the Change Management Process (CMP) Change Request (CR) described below. (Product Specific to LNP, Qwest will allow a 4-hour window for response to a non-fatal error notice, whether or not the FOC has been previously sent.)

Due to CLEC input during the 8/31/01 call requesting a different process be followed, Qwest has opened a CR through the Change Management Process (CMP) for CLEC consideration. The purpose of SCR092601-1 will be to address the process of sending jeopardy notifications instead of following the non-fatal reject process, once the FOC has been sent to the CLEC.

Currently there are internal system limitation’s involving the inability to send jeopardy notification’s in association with Local Number Portability service order requests. This system change is being looked into with completion of the change request SCR092601-1. There is no time frame available for this system change at this time.

Local Number Portability Service Order requests will continue to follow the non-fatal reject process until such time that a system change can be implemented.

Related to this Change Request, AT&T had anticipated the need to update their IBICS system. In response to this perceived need Qwest previously provided systems expertise and answers to questions in support of AT&T planning efforts for intended modifications to their IBICS system. In a status update meeting held on August 27, 2001 AT&T indicated that no further Qwest support was likely to be needed in support of AT&T’s IBICS system modifications. Furthermore, in a letter dated September 14, 2001, AT&T has indicated that all plans to augment its EDI systems have been halted. Should AT&T elect to make IBICS system modifications, Qwest believes that the necessary information has already been provided. The change to Qwest process (via IMA) and the potential change to AT&T’s IBICS system will need to be evaluated to ensure their effectiveness. This confirmation testing effort is the responsibility of AT&T. Qwest understands that AT&T will notify Qwest of any issues that arise during testing of these changes, should they occur. However, it is noted that upon implementation of the new jeopardy process after FOC, that AT&T system changes may no longer be necessary.

It is anticipated that no further Qwest involvement is necessary with regard to this Change Request and that further involvement will center around SCR092601-1.

Sincerely,

Joan Wells Process Manager Local Number Portability

CC: Mark Coyne Loretta Huff Michael Belt Jill Martain Lorna Dubose Margaret Bumgarner Michael Buck Todd Mead


Open Product/Process CR 5582318 Detail

 
Title: Decommission process
CR Number Current Status
Date
Area Impacted Products Impacted

5582318 Completed
11/14/2001
Pre-Ordering Collocation
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Nelson, Steve
Director:
CR PM:

Description Of Change

Qwest has recently changed their Collocation Decommission Policy. AT&T objects to the fact that Qwest made this process change unilaterally – without the input of AT&T. Objections that AT&T has regarding the new policy are:

·1: A certified letter - stating that either no customers were ever installed in the collo or if customers were installed, AT&T has notified them their service will be disconnected or moved - and a copy of the decommission application must to be sent to the Account Team Representative. Prior to this process change, AT&T was not required to do this. We have processed approximately 10 decommission applications so far this year and have not sent a certified letter for any of them.

Resolution: AT&T wants to send the application via email only as before.

2. The decommission process reads "The completion of a decommission request and 100% payment of any outstanding financial obligation, will terminate the billing of recurring charges for the site." What this means to AT&T is that we should be current on any bills for the collocation we are decommissioning. What this means to Qwest is that if there is any outstanding bills - either non recurring or recurring - due for any collocation in Qwest territory, they will NOT process the decommission application until all bills for all sites are paid. AT&T may incur additional monthly charges for the collocation being decommissioned since the application is on hold.

Resolution: It is AT&T’s request that only the non recurring and recurring bills for the collocation being decommissioned be subject to scrutiny.

3. Since Qwest charges AT&T a flat fee to decommission a site, AT&T has inquired about the possibility of conducting a site visit to ensure that Qwest has completed the decommissioning of the site. Qwest has denied AT&T this final site visit. Although Qwest may disconnect power cables, conduct a site visit and complete database work, they do not actually tear down the actual site. Qwest is hoping to lease the space to another CLEC and will not have to rebuild the space. Qwest assures AT&T that if the space is leased within a year of the decommissioning, AT&T will reimbursed some monies for the collo space.

Resolution: AT&T would like proof that the work has been completed.


Status History

06/06/01 - CR received by Donna Osborne Miller of AT&T

06/07/01 - Status changed to New – to be evaluated

06/25/01 - Status changed to Reviewed – Under consideration

06/25/01 - Revised CR submitted by AT&T

07/09/01 - Completed Draft Response

07/12/01 - Drafted Response sent to CICMP team via email (MR)

07/27/01 - 90 day review process for Joint Planning process for Cancel ,Decom and change of Responsibility Offering letter distributed.

08/09/01 - Proposed meetings for a collaborative re-design of the Collocation Cancellation, Decommission, and Change of Responsibility product offerings began. Meeting notice sent on July 27th with a reminder sent August 6th.

09/12/01 - Joint planning meeting held, chaired by Steve Nelson

09/14/01 - AT&T verbal notice received from Sharon Van Meter to not close this CR as the Decommission process is still being worked on.

09/19/01 - CMP Meeting - Qwest provided status of CLEC meetings to develop the process.

10/10/01 - Template agreement to be finalized with AT&T, chaired by Steve Nelson.

10/17/01 - CMP Meeting: Steve Nelson to finalize decommission policies and procedures with CLEC community. No status change.

10/31/01 - Qwest response submitted to database CLEC Community.

11/14/01 - CMP Meeting - AT&T moved to "Close" CR.


Project Meetings

New Interim Procedures to Terminate or Decommission An Existing Collocation Site

As a result of your feedback concerning Qwest’s recently issued Decommission procedures for existing Collocation sites, Qwest is adopting an interim plan for 90 days. During this interim 90-day period, Qwest will hold a series of meetings and conference calls with the industry to develop mutually acceptable procedures to follow concerning this issue. Please review the interim changes and the calendar of meetings below. We sincerely hope that you will participate.

Interim Changes Effective August 9, 2001 • Qwest will no longer issue a Quote of $3455 for each decommission before monthly recurring billing stops.

Qwest is waiving the Decommission Quote charges effective immediately with issuance of this announcement. Future pricing will be reviewed as part of the “Future Procedures Modifications Process” as described below.

• Qwest will credit past decommission quotes paid and any monthly charges paid past the date of acceptance of the valid application. CLECs can contact their Wholesale Project Manager regarding past decommissions processed or currently being processed.

• The vacating CLEC submitting the “Collocation Application for Cancel, Decommission, or Change of Responsibility” will no longer be required to be current on all billing for all collocation sites, including both monthly and non-recurring quotes before Qwest will process a decommission request.

• The interim requirement will state that a CLEC must be current on “all billing for the specific site for which the decommission application is submitted” for Qwest to decommission a site.

• Qwest will no longer require receipt of the quote charges to stop billing. Monthly billing will stop effective with the valid receipt of a decommission application.

• Applications will no longer need to be sent via certified mail for processing. “Electronic submission of requests to decommission a site can be sent to colo@qwest.com”

Future Procedures Modifications Process Qwest intends to issue future procedures that are acceptable to those parties concerned. For Qwest to implement satisfactory procedures, CLEC feedback is needed and valued. At the completion of this joint 90-day effort, the revised product procedures will be priced, and if appropriate, a template offered by Qwest for an amendment to the CLEC/Qwest

Interconnection Agreements. Please join Qwest in participating in the following calendar of meetings. These meetings will be chaired by Steve Nelson, Group Product Manager Collocation. He can be reached on 303-896-6357. Interested CLECs are encouraged to participate.

Kick-off meeting

August 9th, from 9am to 3pm, 1801 California, Executive Conference room, 23rd floor. Conference bridge: 877-542-1778, pass code 6904985.

1. Review existing product offerings and proposed changes, gather information on additional proposed changes, understand all concerns. Here is a brief outline of the discussion: 2. Agree to as many items as possible initially, table for future review those items requiring detailed response, and respond to disputed items by next meeting for resolution. 3. Capture voting record of participants on each issue, and dissenting opinion as agreed to by the team. 4. Prioritization of changes and timelines. 5. Review costing of current products. Items included in the costing model. 6. Discuss how other ILECs handle cancellation, decommission, change of responsibility or network transfer.


CenturyLink Response

"The below response does not include the attachments referenced in the response. Please see the CMP Web Site for complete response to include Cancellation and Decommissioning Procedures"

October 31, 2001 Sharon Van Meter Manager, AT&T 1875 Lawrence St., 10th floor Denver, Colorado 80202

CC: William Campbell Steve Nelson Jane Lacy

This letter is in response to CLEC Change Request Form #5582318, dated June 25, 2001. This Change Request pertains to several issues regarding the Decommission product offering. On July 9th Qwest committed to partnering with the CLEC industry to resolve the issues identified in the Change Request Form specifically referring to decommission procedures. In addition, Qwest expanded this effort to review the product offerings for Cancellation, and Change of Responsibility. Throughout the month of August, September and October representatives from Qwest and the CLEC industry met to review the procedures for administering a Cancellation and Decommission request. The Qwest/CLEC Forum meetings will continue as we work together to revamp the Change of Responsibility product offering procedures. Successful resolution was achieved for those items addressed in the Decommission Change Request Form. Your efforts were instrumental in this partnership effort.

The following is a summary of the issues identified in the Decommission Change Request Form and the resolution for each: AT&T objected to process changes unilaterally without input from AT&T. Qwest committed to participate in a joint effort to review the Cancel, Decommission, and Change of Responsibility product offerings with CLEC industry and met that commitment. AT&T objected to the requirement to submit a certified letter stating that AT&T customers were notified of the disconnect or move. Qwest agreed to modify the process and allow both the application and confirmation notice to be sent electronically to the rfsmet@qwest.com mailbox. AT&T objected to the requirement that 100% payment of any outstanding financial obligation must be met in order to terminate billing of recurring charges. Qwest modified the procedures to state that financial obligations must be met with respect to the collocation site that is being decommissioned only. We further defined the financial obligations to include all non-recurring and monthly recurring charges must not be greater than thirty (30) days past due. AT&T objected to when the monthly recurring charges would cease. Qwest agreed that the billing end date will coincide with the date of a valid Decommission Application submit date. AT&T felt that they should be entitled to some monies for reimbursable elements at the Decommission site. Qwest agreed that a CLEC would be eligible for reimbursement on the re-usable elements for up to one (1) year from the Decommission Application submit date.

The following is the implementation schedule for the revised Cancellation and Decommission procedures: 11/15/01 - CMP Notification 12/01/01 - CLEC Review Period 12/15/01 - Revised Cancellation and Decommission procedures posted on the Collocation PCAT 01/01/02 - Effective date for the revised Cancellation and Decommission procedures

In summary, Qwest believes that we have satisfied your concerns regarding the Decommission and Cancellation procedures and therefore are considering this Change Request closed.

Sincerely,

Steve Nelson Group Collocation Product Manager


Open Product/Process CR PC021903-1CM Detail

 
Title: Change to Section 8.0 of the CMP Document
CR Number Current Status
Date
Area Impacted Products Impacted

PC021903-1CM Completed
4/15/2009
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Buhler, Dean
Director:
CR PM: White, Matt

Description Of Change

AT&T believes that in Section 8.0, under the heading, "Application to Application OSS Interface", the language should read as follows: In the event that IMA EDI major releases are implemented more than six months apart, any CLEC desiring to delay retirement of the previous release should submit a CR requesting the delay. Qwest will review and grant the retirement delay up until the required test window for the next Major Release. The second sentence should be changed to read as follows: Qwest will review and grant the retirement delay up until sixty days after the Release Production Date for trhe next Major Release.


Status History

02-20-03 - CP presented at the CMP Systems Meeting

02-25-03 - AT&T submitted redlined language illustrating requested change

03-11-03 - Ad Hoc Meeting

03-16-03 - Discussed at CMP Meeting

04-19-03 - Discussed at CMP Meeting

04-28-03 - Vote Meeting

05-16-03 - Ad Hoc Meeting

05-20-03 - Vote Notification distributed

05/21/03 - Discussed at CMP Meeting

05-27-03 - Passed by unanimous vote at Ad Hoc Meeting


Project Meetings

CMP Meeting 06-18-03

White-Qwest stated that the change was implemented on 5/30. Quintana-CPUC asked if the new language was in the PCAT. White-Qwest stated that he would find out and send Quintana an e-mail. ======================================= 05-21-03 CMP Meeting

White-Qwest provided a status.

======================================== Ad Hoc – Vote Meeting Minutes 05-27-03

Attendees Matt White – Qwest Rene Albersheim – Qwest Wendy Green – Qwest Lori Mendoza - Allegiance Liz Balvin – MCI Mike Zulevic - Covad Sharon Van Meter – AT&T

White-Qwest described the purpose of the meeting, explained that the standard for quorum was 6 carriers and stated that the voting standard was unanimity. He stated that Qwest had received Eschelon’s vote ahead of time and that with it, quorum had been established. He asked if there were any questions. There were none.

White-Qwest opened the balloting. The carriers on the line all cast their vote by voice as follows:

Qwest – Yes Allegiance – Yes Covad – Yes MCI – Yes AT&T – Yes

White-Qwest stated that Eschelon’s e-mail vote was ‘Yes’ the CR had passed by unanimous vote. He asked how the change should be implemented. Van Meter-AT&T stated that AT&T would like it implemented with a Level 1 Notification. There were no objections. White-Qwest thanked the attendees and adjourned the call.

=====================================================

Ad Hoc Meeting Minutes 05-15-03

Attendees Wendy Green – Qwest Matt White – Qwest John Finnegan – AT&T Lori Mendoza – Allegiance Liz Balvin – MCI Stephanie Prull – McLeod Bonnie Johnson – Eschelon Monica Avila – Vartec

White-Qwest welcomed the attendees and describes the purpose of the meeting. He asked if any of the participants had comments about the proposed language.

Balvin-MCI stated that her concern is that the way the language is written, Qwest can mess up the migration immediately before the sunset date and the CLEC can be left high and dry. Green-Qwest stated that by the time the release sunsets, Qwest will have migrated many CLECs. Similarly, Qwest tries not to schedule any migratations on the last weekend to allow for a week of cushion. Balvin-MCI stated that the possibility still exists for Qwest to require a CLEC to use the GUI. Finnegan-AT&T stated that MCI’s issue is that they may not be up and running on the new release in time. He stated that the language that was added addresses the possibility of stopping earlier than the 60th day. Balvin-MCI stated that her biggest concern is that there is nothing in the language that covers the CLECs if Qwest has any fault in the reason that the CLEC hasn’t successfully migrated. She asked what would happen if MCI realizes that, after migration, there are issues that are Qwest’s fault. She asked what the CLEC’s recourse was at that time. White-Qwest stated that Balvin’s concern was not within the scope of this CR. He stated that this CR was originated by AT&T to allow CLECs to skip releases, not to discuss the finer points of migration difficulties. Balvin-MCI stated that this doesn’t get to the point of telling the CLECs that they would need to get the GUI if they failed to migrate to the new release. Finnegan-AT&T stated that it sounded like MCI’s preference would be to extend the release a little further. Balvin-MCI stated that was what she was after if it is a Qwest issue that has fouled up the migration. Finnegan-AT&T asked if MCI was concerned about not being able to get onto the newest release. Balvin-MCI stated that the language as it stands has a hole in it. There is no guarantee that the CLECs will not get high and dry if Qwest messes up the migration. White-Qwest stated that this problem would apply to all situations when a release is sunsetting. He explained that was why it is necessary to do a new CR to address this issue. Finnegan-AT&T stated that the proposed language was originally set up to allow CLECs to skip releases. He stated that MCI is bringing up an additional issue to address what happens if a CLEC cannot get on a release. Balvin-MCI asked if AT&T was comfortable with the language as it sits. Finnegan-AT&T stated that he was comfortable that the language allows AT&T to skip releases. He explained that he shared the concern about the successful migration, but could see that being in a new CR. Balvin-MCI stated that her issue is outside the scope of this CR. She stated that she would want to add new language for normal and extended sunsets. Finnegan-AT&T asked if the team could include language that allowed the release to be extended further. Green-Qwest asked what happened when Qwest technically cannot extend the release any further, because Qwest can technically only support three releases. Balvin-MCI stated that was a good point. She stated that the 60 day retirement delay is usually bumping up against the forth version. She asked if there were ever periods when Qwest intends to do a migration, and has to postpone it. Green-Qwest stated that she has never seen that happen. Balvin-MCI asked if there had ever been a migration that Qwest has messed up. Green-Qwest stated that there had not. Balvin-MCI stated that she recognized that this would be a rare occurrence. She stated that she felt like this language is to cover Qwest and there is a chance for CLECs to be left high and dry. She stated that she did not want to upset the AT&T change request but did not know how to get around covering CLECs in this instance. She stated that language could read “If Qwest is unable to migrate a company, the 60 day retirement extension will be extended to allow the CLEC to successfully migrate.” Finnegan-AT&T stated that he did not know how to address MCI’s concern and move forward with this CR. Balvin-MCI stated that the language as proposed gets to what the CLECs are after. She stated that the other issue will be a separate CR.

Balvin-MCI stated that she would need to get with her internal contacts to develop a new CR. She stated that she was fine if the group voted on this one as it stands.

White-Qwest stated that Qwest would propose a date to vote on the change and distribute the appropriate notification.

========================================

Ad Hoc – Vote Meeting Minutes 04-28-03

Attendees Matt White – Qwest Dean Buhler – Qwest Wendy Green - Qwest Bonnie Johnson – Eschelon Liz Balvin – MCI Lori Mendoza – Allegiance Stephanie Prull – McLeod Donna Osborne-Miller – AT&T

White-Qwest described the purpose of the meeting, explained that the standard for quorum was 5 carriers, and that the voting standard was unanimous. He stated that quorum had been established and asked if there were any questions.

Johnson-Eschelon asked how Qwest kept track of who migrated. Green-Qwest stated that Qwest tracked conversions very quickly. She stated that Qwest wouldn’t retire the release until Qwest knew that all CLECs had successfully converted. Balvin-MCI stated that the language permitted Qwest to retire a release after all CLECs had converted without verifying that the conversions had been successful. She recommended that the language include “If all CLECs have successfully converted from the release.” Johnson-Eschelon recommended that the language include the phrase “successfully converted.” White-Qwest stated that Qwest would take the language back and attempt to address the concern. He explained that Qwest would then schedule another Ad Hoc meeting to discuss the additional proposed language. He stated that following that Ad Hoc meeting, Qwest could schedule a second vote meeting. He asked if there were any questions about the next steps. There were none. White-Qwest thanked the attendees and adjourned the meeting.

=================================================

04-16-03 - CMP Meeting

White-Qwest described the CR and noted that the CMP community needed to vote on the proposed language. Menezes-AT&T stated that this proposed language ensured that a CLEC could skip a release. He also noted that the second timeline would be included in the CMP Document. White-Qwest proposed that the vote be held on 4/28.

====================================================

03/19/03 CMP Meeting

Menezes-AT&T stated that because Buhler was not able to join the call AT&T and Qwest would have an off-line conversation about the Qwest proposed language. White-Qwest stated that he would schedule an Ah Hoc meeting to discuss the agreed-to language with the CMP community.

=====================================================

Ad Hoc CMP Meeting March 10, 2003

Attendees: Matt White – Qwest Wendy Green – Qwest Beth Foster – Qwest Dean Buhler – Qwest Renee Albersheim - Qwest Sue Stott – Qwest Donna Osborne-Miller – AT&T Mitch Menezes – AT&T John Finnegan – AT&T Carla Pardee – AT&T John Berard – Covad Mike Zulevic - Covad Bonnie Johnson – Eschelon Kim Isaacs – Eschelon Lori Mendoza – Allegiance Becky Quintana – CPUC

White-Qwest started the meeting by welcoming the attendees, explaining the purpose of the meeting, and asking AT&T to describe their CR.

Finnegan-AT&T stated that this CR was submitted so the language in the document allowed CLECs to skip on release if they wished. Quintana-CPUC asked if this impacted PO18 or PO19. Finnegan-AT&T stated that he would investigate if the PID description needed to be changed.

Buhler-Qwest stated that having to extend the old release would cause Qwest additional resource requirements and cost. He continued that Qwest did not disagree with the nature of the request but that Qwest was developing additional language to propose to minimize some of the effects of the change. He stated that Qwest would present these proposed changes at the March 19, 2003, CMP Monthly Meeting. Finnegan-AT&T stated that AT&T had no problem with that.

White-Qwest stated that the vote would not be held at the March 19, 2003, CMP Meeting, but the attendees at that meeting would decide when to hold a vote. Menezes-AT&T asked if the vote could be held between monthly meetings. White-Qwest stated that it could.

The meeting was adjourned.


Open Product/Process CR PC022703-5 Detail

 
Title: Subject line for PTA email notification changed.
CR Number Current Status
Date
Area Impacted Products Impacted

PC022703-5 Completed
7/9/2003
Provisioning UNE-L
Originator: Van Meter, Sharon
Originator Company Name: AT&T
Owner: Toye, Deni
Director:
CR PM: Harlan, Cindy

Description Of Change

The subject of the email notification for PTA only reads "PTA". AT&T would like the subject line to include the Qwest contact name, phone number and the PON. Qwest has limited each company to one (1) email mailbox. AT&T has multiple centers using this notification. Today, AT&T has to open each message and read the information contained in the body of the notification. By adding the Qwest contact name, phone number and PON in the subject line, different centers will be able to easily identify which orders are theirs.

Expected deliverable: Change the PTA email notification to include the Qwest contact name, phone number and the PON


Status History

02/27/03 - CR Submitted by ATT

02/27/03 - CR acknowledged by System CMP Manager

3/3/03: Changed from System to Product Process CR and reacknowledged to ATT

3/5/03: Scheduled Clarification call with customer for 3/10 2:30 - 3:30 mst

3/10/03: Held Clarification call with ATT

3/17/03: Emailed Clarification notes and posted to the database

3/19/03: March CMP Meeting Minutes will beposted to the database

4/8/03 - Posted response to database

4/16/03 - April CMP Meeting minutes will be posted to the database

5/9/03 - Notification to advise of change in PTA email subject line

5/21/03 - May CMP Meeting minutes posted to the database

6/18/03 - June CMP Meeting minutes will be posted to the database

7/1/03 - QCCC did another test with ATT and Deni advised the test worked. Sharon-ATT will notify me that it is okay to close.

7/9/03 - Sharon ATT advised it is okay to close this CR as the test worked fine


Project Meetings

06/18/03 June CMP Meeting Minutes Deni Toye-Qwest advised CR currently in CLEC Test and all seems to be working okay. Deni asked if Qwest could close the CR. Sharon-ATT advised that ATT has not received any PTA email notifications yet. Deni checked and saw that ATT is set up, so ATT has not needed to be notified of any NDT PTA emails. Sharon agreed she would verify with her ATT contacts and contact Cindy to advise it is okay to close or request another test and then close the CR. LaiLani-MCI asked Deni to clarify when the process is used. Deni advised on LX- - types of service that have signed up for the PTA NDT Notifications.

05/21/03 May CMP Meeting Minutes Cindy Macy – Qwest advised this change was made on May 12, 2003. Deni – Qwest has reviewed the change and no problems have been found. Sharon – ATT will check with her team and potentially close in June. This CR will move to CLEC Test.

04/16/03 April CMP Meeting Minutes PC022703-5 Subject Line for PTA email notification changed

Deni Toye – Qwest advised we will accommodate this Request. Deni reviewed the response and advised Qwest will make this change targeting the middle of May. The NDT PTA email subject line will be changed to include PTA, Initiator Name, Initiator Phone Number and the PON. This will be made as a Level 1 change. This CR will move to Development status.

- 03/19/03 March CMP Meeting Minutes Sharon Van Meter – ATT reviewed and clarified the CR with the CLEC Community. She explained this request will impact all CLEC PTA emails. McLeod advised they support the change and would sign up for PTA notification if the subject line contained the tester name, number and PON. This CR will move to Presented status.

Clarification Meeting PC022703-5 2:30- 3:30 March 10, 2003 1-877-572-8687 3393947#

Attendees Deni Toye Qwest Denny Graham Qwest Brett Fesler Qwest Sharon Van Meter ATT Cindy Macy Qwest

Meeting Agenda:

1.0 Introduction of Attendees Attendance notes

2.0 Review Requested (Description of) Change Sharon ATT reviewed the Change Request with the team. Sharon and Deni discussed what information was requested to be in the Subject Line. Sharon advised the Qwest tester contact name and number and the PON from the LSR. Sharon advised this information would help ATT identify who needs to work the email notification at ATT. This will allow ATT to not have to open each email and determine who to assign it to.

Deni explained that the QCCC center does not divide their testing functions between their testers. Each tester can be assigned any testing job. Deni clarified this as Qwest didn’t understand the purpose of having the Qwest tester name and number on the PTA email subject line. Sharon agreed she would verify this information with her peers. (Sharon did reply after the clarification call that ATT would like the ‘ATT Initiator of the PON and his/her phone number).

Sharon advised that Verizon and Southwestern Bell provides this information on their test verification emails.

Deni asked if ATT wanted this change on just the PTA email or also the Test Results email. Sharon advised she would check on that and let us know. (Sharon replied this applies to just the PTA email)

Deni also asked if the words ‘PTA’ could remain on the email subject line. Sharon advised yes, PTA should remain on the subject line. The request would be to add to the PTA email subject line the ATT Initiator name and number and PON. Example: PTA – Initiator name/number/PON.

Deni confirmed if this change is made it would impact all CLECs.

3.0 Confirm Areas & Products Impacted Provisioning area impacted Unbundled Loop 2/4 wire is the product line that is impacted by this request

4.0 Confirm Right Personnel Involved Attendees are the correct personnel

5.0 Identify/Confirm CLEC’s Expectation PTA should remain on the subject line. The request would be to add to the PTA email subject line the ATT Initiator name and number and PON. Example: PTA – Initiator name/number/PON.

6.0 Identify any Dependent Systems Change Requests None

7.0 Establish Action Plan (Resolution Time Frame) Sharon will present this CR at the March CMP Meeting to the CLEC Community Qwest will investigate the request and reply at the April CMP Meeting


CenturyLink Response

For Review by CLEC Community and Discussion at April 16, 2003 CMP Meeting

April 8, 2003

Sharon Van Meter ATT

SUBJECT: Qwest’s Change Request Response – CR # PC022703-5 AT&T Subject Line Change PTA

This is in response to AT&T’s Change Request CR PC022703-5. This CR requests that Qwest change the subject line of the NDT PTA email notification to include the Initiator Name, Initiator Phone Number and the PON.

Qwest accepts this CR. Qwest will have the subject line contain PTA, Initiator Name, Initiator Phone Number and the PON, in that order. Qwest anticipates this change will be made in the early part of May.

Sincerely,

Deni Toye Process Specialist Qwest


Open Product/Process CR PC022703-1 Detail

 
Title: Seeking to reduce the interval of a FOC for the ASR associated with Dark Fiber from day thirteen (13) to day two (2) where Dark Fiber is reserved through the IRI process.
CR Number Current Status
Date
Area Impacted Products Impacted

PC022703-1 Completed
8/14/2003
Ordering Unbundled Dark Fiber
Originator: Van Meter, Sharon
Originator Company Name: AT&T
Owner: Rein, Kathy
Director:
CR PM: Harlan, Cindy

Description Of Change

When requesting Dark Fiber, the CLEC first must submit an IRI (Initial Record Inquiry) order for Qwest to determine if Dark Fiber is available in a specific location and can ask that the fiber be reserved at that time. If Qwest comes back with an answer of "yes" - the fiber is reserved for a specific amount of days. Further along in the process, the CLEC issues an ASR to complete the Dark Fiber ordering process. The interval for completion of the ASR is twenty (20) business days with a FOC being delivered at day thirteen (13). Since the fiber is already reserved and there shouldn't be any facilities issues, AT&T is asking that the FOC be delivered on day two (2) and not on day thirteen (13).

Expected Deliverable:

Reduce the FOC interval for a Dark Fiber order from day thirteen (13) to day two(2)


Status History

02/27/03 - CR Submitted by ATT

02/27/03 - CR acknowledged by P/P CMP Manager

3/5/03 - Contacted ATT and scheduled Clarification Meeting for 3/13/03 3:00 -4:00

3/13/03 - Held Clarification Meeting

3/19/03 - March CMP meeting minutes will be posted to the project meeting section of the data base

4/8/03 - Entered response in database

4/16/03 - April CMP Meeting minutes will be posted to the database

4/29/03 - Notification of SIG changes sent out effective 6/12/03, comment cycle ends 5/13/03

5/21/03 - May CMP Meeting minutes will be posted to the database

6/18/03 - June CMP Meeting minutes will be posted to the database

7/16/03 - July CMP Meeting minutes posted to the database

8/4/03 - Left message for Sharon - ATT to verify okay to close

8/14/03 - Sharon advised it is okay to close this CR


Project Meetings

July 16, 2003 CMP Meeting Minutes Kathy Rein-Qwest advised ATT has submitted LSRs and the FOC has been provided. Sharon Van Meter – ATT advised she will check and let Cindy know if it is okay to close this item. She would like to validate internally that the LSRs are processing correctly.

June 18, 2003 CMP Meeting Minutes Kathy Rein advised we implemented the new FOC interval on May 30, 2003. We have processed ASRs using the new 5-day interval. Per Sharon’s request at the May CMP meeting, we did look again at publishing the interval but Qwest has determined this product will follow the existing guidelines in place for OCN products. Kathy Rein asked to move this to CLEC Test and Sharon advised yes. ATT is okay with the response and they have submitted some orders for this product. They will monitor the orders to make sure they get the 5-day interval.

May 21, 2003 CMP Meeting Kathy Rein - Qwest provided status that the interval for UDF was updated in the SIG to reflect 'Individual case basis'. ICB was used because UDF falls into the OCN product line and also matchs the OCN interval. Sharon Van Meter - ATT asked if the FOC would mean that Qwest could provide the service? Kathy explained the FOC does not guarantee service. Sharon asked why is the FOC not published? Qwest replied UDF matches the OCN product line. Sharon requested Qwest to look into publishing an interval in the SIG. Kathy Rein-Qwest agreed she would discuss this with the Product Manager and report back at the June CMP Meeting.

April 16, 2003 CMP Meeting PC022703-1 Seeking to reduce the interval of a FOC for the ASR associated with Dark Fiber from day thirteen (13) to day two (2) where Dark Fiber is reserved through the IRI process

Kathy Rein – Qwest reviewed our response. Sharon Van Meter – ATT asked what the FOC would mean to ATT. Does it mean Qwest will be able to provide the service? Kathy explained the FOC does not guarantee service. The IRI process is a ‘paper process’ and identifies on paper that facilities are available. The way to ensure facilities are available if by performing a field visit. Sharon asked if there is a charge for a field visit and Qwest replied yes. Sharon asked why the FOC would not be published. Qwest replied UDF is on the line of OCN products and OCN has an unpublished date. Qwest advised we will move this CR to Development and provide a target implementation date at the May meeting.

March 19, 2003 CMP Meeting Sharon Van Meter ATT reviewed and clarified the CR with the CLEC community. Sharon said that during the Clarification call Qwest asked if the interval was published by other RBOCs. Sharon advised Verizon and SBC’s interval is not published. SBC verbally gives a 20 day interval with a FOC on day 5. This CR will move to Presented.

Clarification Meeting Thursday March 13, 2003 1-877-572-8687 3393947# CR PC022703-1 Reduce FOC interval UDF

Attendees Sharon Van Meter – ATT Pat Finley – Qwest Kathy Rein – Qwest Janet Leonard – Qwest Cindy Macy - Qwest Title:

Meeting Agenda: 1.0 Introduction of Attendees Attendees Introduced

2.0 Review Requested (Description of) Change Sharon Van Meter reviewed and clarified the CR. Sharon explained the process, as she understands it. The IRI process occurs first. This determines if resources are available and reserves them if available. The CLEC has to have a Collocation in place and this is an augment to the Collocation. Then the ASR gets processed to link to the Collocation. Sharon was given a 20-day interval and the FOC back on day 13.

Janet Leonard – Qwest asked who gave ATT the 13-day interval. Sharon advised the Des Moines person provided the interval (Debbie Mayhan). Janet advised in Minnesota we have 15 orders where we have reserved the dark fiber, we are working on the Collocation piece and then the ASR will be issued.

Pat Finley – Qwest asked what are the FOC intervals for other RBOCs? Sharon agreed to check on. Pat explained her research of other RBOCs finds no one has a published FOC.

Sharon advised Qwest has done a good job, Deb Mayhan has been very helpful.

ATT doesn’t want to get into the order and find out Qwest can’t deliver. The entire up front work is done in the Collocation so why does ATT have to wait for the FOC? ATT wants to make sure they are able to get service especially because they are spending money augmenting the Collocation site.

Pat Finley – Qwest explained when you reserve Dark Fiber it is not a guarantee the fiber is available. This is all based on paper records, which should be accurate, but are not guaranteed. Janet Leonard – Qwest explained the reservations are based on records and ICA language advises the customer they may want to do a field visit to make sure the fiber is available. SGAT 9.7.3.5.

Janet asked what does the CLEC want on Day 2? Sharon advised Confirmation that facilities are available so we do not get down the road and find out facilities is not available. Janet advised a field verification is recommended to guaranteed the reservation and charge associated with this. Pat said the DF request is usually reliable without the Field Verification but not guaranteed. The FOC is issued the day after the Design (DLR) is issued. This still doesn’t guarantee the order won’t go held. Janet recapped the FOC doesn’t guarantee the order won’t go held and we do not have a published FOC on DF in the SGAT.

Sharon – ATT clarified she would like to see a published FOC date which is less than 13 days. ATT doesn’t want to do the work to the Collocation site (add risers etc.) for no reason if they do not get the service.

Janet advised the APOT information is needed for Dark Fiber. There has to be a fiber termination. A copper termination does not work. The Service Interval Guide (SIG) has an ICB interval for OCN services. Dark Fiber does not have an interval and various products do not have a FOC date.

3.0 Confirm Areas & Products Impacted Okay

4.0 Confirm Right Personnel Involved Yes

5.0 Identify/Confirm CLEC’s Expectation Sharon – ATT clarified she would like to see a published FOC date which is less than 13 days.

6.0 Identify any Dependent Systems Change Requests None

7.0 Establish Action Plan (Resolution Time Frame) ATT will clarify / present this CR at the March CMP meeting on 3/19/03. Qwest will meet to review the CR and determine our response.


CenturyLink Response

For Review by CLEC Community and Discussion at the June 16, 2003 CMP Meeting

June 11, 2003

AT&T Sharon Van Meter

SUBJECT: Qwest’s Change Request Response - CR # PC0220703-1 Request to reduce the FOC interval associated with Unbundled Dark Fiber.

This letter is in response to AT&T’s Change Request (CR) PC0220703-1. This CR requests that Qwest reduce the interval of a FOC for the ASR associated with Dark Fiber from day thirteen (13) to day two (2) where Dark Fiber is reserved through the IRI process.

Qwest provided the following response at the April Product Process CMP Meeting and Qwest has implemented the following change:

-Qwest will reduce the design due date to business day four (4) for Unbundled Dark Fiber (UDF) ASRs, thereby reducing the expected FOC delivery return date to business day five (5) - The UDF FOC delivery response date will remain unpublished - The Service Interval Guide will be updated to reflect a ICB FOC interval for UDF

During the May 21, 2003 Product Process CMP meeting ATT asked whether Qwest could publish the interval in the SIG. Qwest maintains our position that all fiber based OCN products have an ICB interval at this time. UDF will continue to have an ICB interval. Product volumes do not support a standard interval at this time.

Sincerely,

Kathy Rein Qwest – Senior Process Analyst

For Review by CLEC Community and Discussion at the April 16, 2003 CMP Meeting

April 8, 2003

AT&T Sharon Van Meter

SUBJECT: Qwest’s Change Request Response - CR # PC0220703-1 Request to reduce the FOC interval associated with Unbundled Dark Fiber.

This letter is in response to AT&T’s Change Request (CR) PC0220703-1. This CR requests that Qwest reduce the interval of a FOC for the ASR associated with Dark Fiber from day thirteen (13) to day two (2) where Dark Fiber is reserved through the IRI process.

Qwest accepts this Change Request with the conditions identified below: * Qwest will reduce the design due date to business day four (4) for Unbundled Dark Fiber (UDF) ASRs, thereby reducing the expected FOC delivery return date to business day five (5) * The UDF FOC delivery response date will remain unpublished * The Service Interval Guide will be updated to reflect a ICB FOC interval for UDF

Reducing the design due date will effectively reduce the expected FOC return by half. Qwest is presently addressing the internal impacts to implement these changes and anticipates implementation by end of second quarter. Qwest requests that this CR move to “development ” status.

Sincerely,

Kathy Rein Qwest – Senior Process Analyst


Open Product/Process CR PC022703-2 Detail

 
Title: Training or Infobuddy or the RPD Database.
CR Number Current Status
Date
Area Impacted Products Impacted

PC022703-2 Withdrawn
4/15/2009
Product & Process Research
Originator: Pardee, Carla
Originator Company Name: AT&T
Owner: Orman, Susan
Director:
CR PM: Harlan, Cindy

Description Of Change

Currently Qwest provides a product database known as RPD or Infobuddy. This database is not very user friendly when it comes to finding some products or processes. AT&T requests training, preferably web based or via a conference call, to train CLECs how to better locate information in this database. Such training would be equally beneficial for Qwest and CLECs .

Expected Deliverable

AT&T requests training, preferably web based or via a conference call, to train CLECs how to better locate information in this database


Status History

02/27/03 - CR Submitted by ATT

02/28/03 - CR acknowledged by P/P CMP Manager

3/5/03 - Contacted customer to schedule Clarification Meeting for 3/10 1:00

3/10/03 - Held Clarification Meeting with ATT. ATT advised they will withdraw this CR as during the clarification call Qwest provided helpful information on InfoBuddy/RDB. ATT will try to use the information first and then if need by they will issue another CR or discuss with their Service Managers. I advised Carla she needs to present this CR as withdrawn at the March CMP meeting and then we will change the status if other CLECs agree.

3/17/03 - Emailed and posted the Clarification Meeting Notes

3/19/03 - March CMP Meeting minutes will be posted to the Project Meeting section


Project Meetings

March 19, 2003 - CMP Meeting Minutes Carla Pardee ATT said we had the Clarification meeting and as a result of that meeting she agreed to Withdraw the CR. Carla explained she was having difficulty using RPD. When she would do a search and the Service Manager would do the same search different results would display. Qwest expained during the Clarification call that the CLECs choose their own search engine and this can alter the search results. Carla also clarified that Product terms are different based on what RBOC you are working with, so sometimes you have to search on different terms based on what RBOC you are working with. Bonnie, Liz and Stephanie (Eschelon, World Comm and McLeod) all agreed they have difficulty using RPD. Comments were made stating RPD is not logically arranged. When you use the Table of Contents you can’t figure out where to go. Bonnie explained if you want to find information on Listings you should be able to go to Listings. The categories of Residential and Business are too large.

Sue McNa – Qwest explained that RPD is the Redacted Retail Methods and Procedures. Sue asked what are the CLECs using RPD for. McLeod advised they have been referred to RPD for order examples. Eschelon said for CF variables. Sue advised the Business Procedures, LSOG, and PCATs are the correct document to use for Wholesale information. Sue agreed it seems as if we need to make our PCAT, LSOG and Business Procedures more complete. It was agreed this CR would be closed and an AI would be opened to look at how and why RPD is being used and try to incorporate information CLECs need from RPD but is missing from our PCATs, business procedures and/or LSOG. We will work to direct our customers to our Wholesale Documentation, rather than the redacted retail M&Ps. Additional information provided after the CMP Meeting: Qwest has training in place called ‘Wholesale Web Tour’. This training takes customers through the various documentation contained on the web. This training is currently available to the CLEC Community.

Clarification Meeting 1:00 – 2:00 March 10, 2003

1-877-572-8687 3393947#

PC022703-2 Attendees Susan Orman- Qwest Diane Morrel – Qwest Michael Thompson – Qwest Cindy Macy – Qwest Carla Pardee - ATT Title:

Meeting Agenda:

1.0 Introduction of Attendees Attendance noted

2.0Review Requested (Description of) Change Carla Pardee – ATT reviewed the change request and also advised she is planning on withdrawing this CR but wanted to still talk to us about this so Qwest understands her concern. Carla explained ATT has been referred by their Service Managers to Infobuddy / RPD to find out information about certain subjects/questions they have. When ATT searches the RPD what they see is different that what the Service Manager views. This makes it difficult to discuss the information found as a result of a search in RPD. Carla requested if there was any training on RPD that would help them find the information they are looking for.

Susan Orman – Qwest explained that the ‘search engine’ is not something that Qwest provides. Each CLEC provides their own search engine, which is why the searches sometime deliver different results. There isn’t any training on how to enter search criteria, as this is a standard, yet individual way to query the web.

Carla advised sometimes the product name is different based on what RBOC you are dealing with and this also causes confusion on how to search for product information. The Qwest attendees advised Carla that the CLECs should be able to describe the product and the Service Manager may be able to suggest a few names to search by.

Carla asked about the Table of Contents and said it was not very logical. Michael Thompson explained the TOC was developed by the Retail organization and may not match the Wholesale organization order/view. The Redacted database does not have a sort except by date. The search engine determines how data is sorted/displayed. Diane suggested you look at the data by Product. If the lower level details that you are looking for are offered for more than one product, the data will be available by each product. You could search by many different products and then search again and find the lower level data you need. Diane suggested you filter by Wholesale first, as that will eliminate the Retail data that you may not be interested in.

Carla agreed she would try the suggestions we offered and withdraw her CR. Qwest agreed we would send an internal email to our Service Management team providing them with this concern and clarifications around the RPD, with the intent of them being better able to answer CLEC questions around RPD and Infobuddy.

Cindy advised Carla after the Clarification Meeting that she should present the CR at the March CMP Meeting and move to withdraw it.

3.0 Confirm Areas & Products Impacted Training / RPD

4.0 Confirm Right Personnel Involved Agreed

5.0 Identify/Confirm CLEC’s Expectation Carla will withdraw CR

6.0 Identify any Dependent Systems Change Requests None

7.0 Establish Action Plan (Resolution Time Frame) Carla will withdraw the CR at the March CMP meeting


Open Product/Process CR PC022703-3 Detail

 
Title: Request for Medical Expedite Process
CR Number Current Status
Date
Area Impacted Products Impacted

PC022703-3 Completed
2/27/2003
Pre-Order, Ordering, Provisioning, Maint. & Rep UNE-P
Originator: Pardee, Carla
Originator Company Name: AT&T
Owner: Sunins, Phyllis
Director:
CR PM: White, Matt

Description Of Change

Currently, Qwest does not provide a process for expediting service requests for medical purposes, see Qwest website at http://www.qwest.com/wholesale/clecs/execscover.html/. The requested process would allow a CLEC to request service expedites when an end user has a medial condition that would require telephone service due to the probability of a medical emergency. This process would greatly benefit all CLECs and end users in need. AT&T does not believe providing this process would require an expensive development process by Qwest. This process is provided in all other ILEC regions nationwide.

Expected Deliverable:

May 2003


Status History

02/27/03 - CR Submitted by ATT

02/28/03 - CR acknowledged by P/P CMP Manager

03/14/03 - Clarification Meeting

03/19/03 - CR Presented at CMP Meeting

04/09/03 - Initial Response sent

04/16/03 - Qwest initial response presented at CMP Meeting

05/21/03 - Discussed at CMP Meeting

06/18/03 - Discussed at CMP Meeting

07/16/03 - CR Discussed at CMP Monthly Meeting


Project Meetings

CMP Meeting 07-16-03

Pardee-AT&T stated that the CR could be closed.

=================================================== CMP Meeting 06-18-03

Sunins-Qwest stated that the change was implemented on 6/5. She asked that the change be moved to CLEC Test. Pardee-AT&T agreed.

========================================================== CMP Meeting 05-21-03

White-Qwest stated that the response to comments was sent 5/20. He recommended keeping the CR in Development until the CLECs had an opportunity to review the final documentation. ==========================================

04-16-03 - CMP Meeting

Sunins-Qwest presented the response. She stated Qwest already had a process in place but that it was not yet documented externally. She explained that Qwest would report on the progress of documenting the policy at the May CMP Meeting. Pardee-AT&T asked what the externally undocumented process was. Sunins-Qwest stated that she would verify the current requirements. (In an e-mail on April 22, Sunins-Qwest communicated to Pardee-AT&T that, on the LSR, there needed to be a “Y” in the EXP field, the LSR needed to be marked for manual, and the Remarks need to be populated with “Medical Emergency.”) The CR was moved into development status.

=============================================

03-19-03 CMP Meeting

Pardee-AT&T presented the CR. White-Qwest asked if there were other CLECs who were interested in expanding this CR to products other than UNE-P. Prull-McLeod stated that she would like to see it expanded to all resale products. Johnson-Eschelon stated that she would like to see it expanded to all unbundled products. Sechser-US Link asked if there was a Qwest department where CLECs can register emergency numbers that would automatically receive priority if there were maintenance and repair orders opened for them. White-Qwest stated that he would find out.

============================================

Clarification Meeting 10:00 AM (Mountain Time) / Friday, March 14, 2003

1-877-550-8686 2213337#

Attendees Matt White – CRPM Phyllis Sunnis – Qwest Michael Whitt – Qwest Joy McConnell-Couch – Qwest Carla Pardee – AT&T Kevin Battin – AT&T

Introduction of Attendees White-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Pardee-AT&T reviewed the description change. Battin-AT&T stated that Qwest has expedite reasons, but they are directed at business customers. He stated that AT&T needed this option for consumers with medical conditions. He stated that AT&T understands that is not currently available through Qwest.

Sunins-Qwest asked if the only product AT&T was requesting this service for was UNE-P. Pardee-AT&T stated that UNE-P is only one that AT&T was looking for, but she felt that other CLECs would probably request this for additional products at the CMP Meeting.

Confirm Areas and Products Impacted White-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted. Confirm Right Personnel Involved White-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation White-Qwest reviewed the request to confirm AT&T’s expectation. Pardee-AT&T stated that the other ILECs around the country have a process similar to the one AT&T is requesting.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for AT&T to present the CR at the March Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

April 9, 2003

INITIAL RESPONSE For Review by CLEC Community and Discussion at the April 16, 2003, CMP Product/Process Meeting

Carla Pardee AT&T

SUBJECT: Qwest’s Change Request Response - CR #PC022703-3

This memo is in response to AT&T CR PC022703-3. This CR requests a Medical Expedite Process for all resale products. Qwest Response: Accepted

Qwest currently allows CLECs to request medical expedites for both designed (Complex/Resale, Unbundled, etc.) and non-designed products offered by Qwest Interconnection services.

The "medical" expedite reason is not currently contained in external documentation. Qwest is researching the appropriate manner in which to communicate this additional expedite reason and will update the CMP community on the progress of this research at the May 2003 CMP Meeting.

Sincerely, Phyllis Sunins Sr Process


Open Product/Process CR PC022703-4 Detail

 
Title: System solution for the Collocation Transfer of Responsibility process.
CR Number Current Status
Date
Area Impacted Products Impacted

PC022703-4 Denied
2/27/2003
Ordering Collocation: Physical, Virtual, Adjacent, ICDF Collocation
Originator: Van Meter, Sharon
Originator Company Name: AT&T
Owner: Lacy, Jane
Director:
CR PM: White, Matt

Description Of Change

When a CLEC issues an application for the Transfer of Responsibility of a Collocation from one CLEC to another, the assuming CLEC can issue LSRs at any time during the transfer process. However, the assuming CLEC cannot issue any ASR orders; i.e. to augment trunk groups, for fifty (50) calendar days. While AT&T recognizes the fact that Qwest needs to "freeze" its databases and ensure that all circuits are transferred correctly, fifty (50) days is too long and limits the assuming CLEC from augmenting the services in the collocation space. Qwest states that the fifty (50) days "freeze" allows all circuit order changes to be done. Many of these changes are system changes; however, there is also manual work to be done. AT&T is requesting this process to be automated and is looking for a system solution to reduce the interval for the ASR restriction.

Expected Deliverable:

AT&T is requesting that the Transfer of Responsibility for Collocation be automated and a system solution be implemented to reduce the interval for the ASR restriction.


Status History

02/27/03 - CR Submitted by ATT

02/27/03 - CR Acknowledged by PP CMP Manager

03/07/03 - Clarification Meeting

03/19/03 - Presentation at CMP Meeting

04/09/03 - Initial Response Sent

04/16/03 - Qwest initial response presented at CMP Meeting

05/21/03 - Qwest response presented at CMP Meeting


Project Meetings

05-21-03 - CMP Meeting

Lacy-Qwest presented the Qwest denial. Van Meter-AT&T asked if any of the manual work could be mechanized or any of the current mechanized processes done in parallel. Lacy-Qwest stated that she had researched every process and that there was no way to further streamline the system. The CR was closed as denied.

=============================================

04-16-03 - CMP Meeting

Nelson-Qwest presented the Qwest response. Van Meter-AT&T asked if there was no moratorium on LSRs as the minutes indicated. Nelson-Qwest stated that the minutes were incorrect and that there was a 5 day freeze. The CR was moved to evaluation status.

============================================================

03-19-03 - CMP Meeting

Van Meter-AT&T presented the CR. The CR was moved to presented.

=================================================================

Clarification Meeting 3:00 PM (Mountain Time) / Friday, March 7, 2003

1-877-550-8686 2213337#

Attendees Matt White – CRPM Jeff Cook – Qwest Jane Lacy – Qwest Lillian Robertson – Qwest Peggy Englert - Qwest Cindy Kalakis - Qwest Sharon Van Meter – AT&T

Introduction of Attendees White-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Van Meter-AT&T reviewed the description change.

Lacy-Qwest what is an acceptable timeframe? Van Meter-AT&T was recently in interconnection agreement negotiations with Qwest and had proposed 30 days. She continued that she’d be happy with 21 days.

Robertson-Qwest asked if AT&T had any ideas for ways for Qwest to improve this process. Van Meter-AT&T stated that she’d like to see a script run that automatically updated all the collocation information.

Lacy-Qwest stated that during the 50 day freeze there was no moratorium on LSRs. Qwest agreed that the CLECs wouldn’t have to write ASRs, instead Qwest would write them manually. She stated that this is one step in a long sequential process. Van Meter-AT&T stated that the CLEC was put in a difficult position if it didn’t have enough trunks during this period. She stated the in such a case issuing LSRs didn’t do the CLEC any good.

Lacy-Qwest asked if AT&T would rather issue the ASRs for the DS3s and trunks? Van Meter-AT&T stated that the 50 day freeze had only happened to AT&T once, and that at that time AT&T didn’t have many ASRs to issue. She explained that she was concerned that 50 days is a long time for a company not to be able to issue orders.

Confirm Areas and Products Impacted White-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted. Confirm Right Personnel Involved White-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation White-Qwest reviewed the request to confirm AT&T’s expectation.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for AT&T to present the CR at the March Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

May 14, 2003

RESPONSE For Review by CLEC Community and Discussion at the May 21, 2003, CMP Product/Process Meeting

Sharon Van Meter AT&T Communications

SUBJECT: Qwest’s Change Request Response - CR #PC022703-4

This letter is in response to CLEC Change Request PC022703-4. This CR is a request by AT&T to automate the process to transfer ASR circuits from a vacating CLEC to an assuming CLEC in order to reduce the moratorium interval to submit ASR orders.

Qwest’s current process that enables the transfer of ASR type circuits from a vacating CLEC to an assuming CLEC requires coordination between several internal organizations that have responsibility for overseeing the updates to the affected databases. The record activity that occurs in the affected databases must be done sequentially and can only progress to the next downstream system once the step has been completed and any errors that were detected have been corrected. ASR orders received during the transfer process could cause the existing circuits that are in the process of being transferred to reject. Additionally, if change orders were processed prior to the completion of the transfer, it could obscure the correct CLEC to be notified in cases of maintenance, blockage, and/or overflow issues. It is a regulatory requirement that Qwest notify the carrier of capacity issues related to blocking.

Responding to a request to transfer ASR type circuits from a vacating CLEC to an assuming CLEC involves the following activities: - Update the billing system with the new ACNA, CIC, BAN, contact information, etc. - Update the TIRKS database with the new ACNA, MCN, BTN. - Update to the call record detail database with the new ACNA. - Update to the trunk record database with the new ACNA. Consideration is also given in the coordination of these database updates so as to avoid usage fallout at the time the bill is generated.

The moratorium imposed on the placement of the circuits is necessary in order to allow time for each impacted database to be updated. In addition there are timing requirements that must be taken into consideration when coordinating the updates to each database. Careful evaluation was given to determine if there were any processes that could be automated, which could reduce the moratorium time frame. Unfortunately an automated solution was not identified. Due to the nature of this type of request, the complexity and coordination involved among multiple systems prohibit Qwest from being able to remove the moratorium on placing ASR orders until the transfer is complete. Qwest respectfully declines this change request for the following reason: Technologically not feasible – automation opportunities, to reduce the moratorium on ASR orders, are not available.

Sincerely, Jane Lacy Product Manager

=========================================================

April 9, 2003

INITIAL RESPONSE For Review by CLEC Community and Discussion at the April 16, 2003, CMP Product/Process Meeting

Sharon Van Meter AT&T

SUBJECT: Qwest’s Change Request Response - CR #PC022703-4

This is a preliminary response regarding AT&T CR PC022703-4.

There are a number of issues to be analyzed in answering this request. For this reason, Qwest would like to move this Change Request into the Evaluation Status to provide a complete answer to this request.

Qwest will provide a status update at the May CMP meeting and will outline their response at that time.

Sincerely,

Jane Lacy


Open Product/Process CR PC022703-6 Detail

 
Title: UNE P to UNE L Bulk Conversion
CR Number Current Status
Date
Area Impacted Products Impacted

PC022703-6 Completed
4/15/2009
Ordering, provisioning, Billing Unbundled Loop, UNE-P
Originator: Pardee, Carla
Originator Company Name: AT&T
Owner: Urevig, Russell
Director:
CR PM: Harlan, Cindy

Description Of Change

1. PROVIDE ELECTRONIC ACCESS TO AT&T TO CHECK ILEC CFA INVENTORY PER EXISTING CFA PROCESS.

2. PARTNER TO RESOLVE CFA INVENTORY DISCREPANCIES PRIOR TO BULK CONVERSION PROJECT PLAN DEFNITION.

3. AGREE ON FORMAT/PROCESS TO TRANSMIT PROJECT TRACKING PLAN (WHEN AND WHAT).

4. ESTABLISH PROJECT TEAM AND DEDICATE RESOURCES (AT&T AND ILEC).

5. DEFINE "BULK CONVERSION SCOPE" (I.E., LINES PER LSO, LSO’S PER NIGHT).

6. ESTABLISH PROJECT TRACKING NUMBER AND KEY MILESTONES.

7. STANDARD WINDOW OF TIME TO DO BULK CONVERSIONS (POST 5:00 PM LOCAL TIME).

8. ESTABLISH COORDINATION OF BULK CONVERSIONS VIA OPEN CONFERENCE BRIDGE AT TIMES OF CONVERSION.

9. DEDICATED TEAM IDENTIFIED AND CONTRACT DETAIL SHARED (INCLUDE ESCALATION DETAIL - WHO/HOW).

- TECHNICIAN.

- PROJECT MANAGER.

- ESCALATION CHAIN.

10. DEFINE ANY SPECIAL ORDERING INSTRUCTIONS.

11. PROCESS ORDERS VIA SPREADSHEET IDENTIFYING ALL PERTINENT CUSTOMER/LINE DETAIL. NOTE: AT&T WILL PROVIDE ONE LSR PER CUSTOMER LOCATION FOR CONVERSION.

12. ACKNOWLEDGEMENT OF RECEIPT OF SPREADSHEET AND COMMITMENT TO SCHEDULED BULK CONVERSION DATE.

13. IDENTIFY ALL POTENTIAL CUSTOMER/LINE REJECTS IN TIME TO RESOLVE PRIOR TO THE BULK CONVERSIONS.

- BUSY CFA.

- DATA MISMATCH.

- FACILITY QUALIFICATIONS, INTEGRATED SLCs - TIMEFRAME TO AVOID FOC REJECTS?

14. DETERMINE/AGREE UPON LAST DATE TO FREEZE TARGET BULK CONVERSION LIST - 5 DAYS (NO MORE CUSTOMER/LINES ADDED).

15. 24-48 HOURS PRIOR TO CONVERSION PERFORM READINESS TESTS AND RESOLVE ANY IDENTIFIED ISSUES.

- ANI VERIFICATION AT MDF OF NEW CIRCUIT AND EXISTING ILEC CIRCUIT.

- PRE-WIRE.

- LOOP QUALIFICATION TEST.

- DIAL TONE CHECK.

16. AT NIGHT OF CONVERSION:

- PARTICIPATE IN PRE-CUT CALL

- MAINTAIN AVAILABILITY DURING CUTS

- CUT ONE LINE AT A TIME.

- COMPLETE ALL SCHEDULED CUTS AND ACKNIOWLEDGE PROJECT COMPLETION

- RESPOND TO ALL SERVICES OUTAGE CONDITIONS THAT RESULT FROM CONVERSION (WILL ROLL BACK TO UNE-P IF NO RESOLUTION).

17. PROCESS TO RESTORE ALL SERVICE OUTAGE CONDITIONS IDENTIFIED POST-CONVERSIONS.

18. DO NOT INCLUDE P TO L BULK CONVERSION LINES AT ILEC LOSS AND COMPLETION REPORT.

Expected Deliverable:

Modify CR # PC090401-2 with expected process in place with documentation by June 2003.


Status History

02/27/03: CR Received

03/03/03: Acknowledgement sent to ATT

03/05/03: Contacted customer. Discussed proprietary questions and agreed to schedule Clarification Call for March 17, 2003.

03/17/03: Held Clarification Meeting. CR was resubmitted without any proprietary reference.

03/19/03: March CMP Meeting notes will be posted to the database

4/8/03: Posted response to database

4/16/03 - April CMP Meeting minutes will be posted to the database

5/21/03 - May CMP Meeting minutes will be posted to the database

6/18/03 - June CMP Meeting minutes will be posted to the database. Agreed to move this CR to Development.

7/8/03 - See PC061803-1 for denial response for items that Qwest will not be implementing from this CR

7/16/03 - July CMP Meeting minutes posted to the database

8/20/03 - August CMP Meeting minutes - see project meetings section

9/17/03 - Sep CMP meeting notes will be posted to the database

10/15/03 - Oct CMP meeting minutes will be posted to the database

11/19/03 - Nov CMP meeting minutes will be posted to the database

12/17/03 - Dec CMP Meeting minutes will be posted to the database


Project Meetings

12/17/03 December CMP Meeting Russ Urevig – Qwest provided status and the dates that this process was implemented. Russ asked if it was okay to close this CR. Carla Pardee – ATT advised it is okay to close. Bonnie Johnson – Eschelon asked if the regional Batch Hot Cut process will replace this process? Russ advised yes. John Berard – Covad asked if Line Splitting is also being reviewed by the TRO? Russ advised yes. Carla Pardee – ATT advised they are aware that the TRO will address this process so that is why they are okay with closing this CR. The status will move to Closed.

11/19/03 November CMP Meeting Russ Urevig – Qwest advised the PCAT change was submitted and the comments cycle has ended. This CR will move to CLEC test.

10/15/03 October CMP Meeting minutes Russ Urevig – Qwest advised on September 22 updates were made to the UBL General section. The Notification went out October 2, 2003. The comment cycle ends October 23, 2003. No comments have come in as of yet. Russ asked if we could move this to CLEC Test. ATT requested we leave in Development until the comment cycle ends. The notification dates were reviewed after the October Meeting and it was determined the correct date that the comment cycle ended was October 9, 2003. Carla Pardee – ATT was advised and Carla agreed to issue an informal comment. The status of this project will move to CLEC Test.

9/17/03 September CMP meeting minutes Cindy Macy – Qwest advised the documentation team is currently reviewing the document and they hope to have this out for review by the end of the month.

8/20/03 August CMP meeting mintues Russ Urevig-Qwest advised the document should be available at the end of the month for CLEC review. This CR will stay in Development. Carla Pardee-ATT advised this is okay.

7/16/03 July CMP Meeting Minutes Russ Urevig-Qwest advised that Qwest is continuing to work on all items on this CR except 3, 4, 9, 11, 12 and 18. Qwest is in progress of updating the Migrations and Conversion PCAT to include the Bulk Conversion process and links to existing procedures that support the Bulk Conversion process. Russ advised PC061803-1 was opened to track the denial items of 3, 4, 9, 11, and 12. Item 18 is a system change and if ATT wants to pursue this item they should issue a systems CR. Carla – ATT advised she is okay with this response. This CR will stay in Development status.

6/18/03 June CMP Meeting Minutes Russ Urevig – Qwest explained there are 18 items on this CR and we want to accept the CR and document the bulk conversion process and work together on performing bulk conversions. There are some items that we can’t provide within our process; such as accepting LSRs with a spreadsheet and provided a dedicated team. Other items we will implement. The response provides details for each item. Carla Pardee advised ATT is disappointed with Qwest’s response but we do not choose to pursue it any further. Carla advised the spirit of the request was to process conversions in a bulk manner via a spreadsheet, after hours, with a dedicated team. Qwest is not providing a bulk conversion. Carla advised she will submit a systems CR for the Loss and Completions report. Russ advised we will move forward on the items that we agreed to. Bonnie asked if this is a denial or not. ATT advised they will not pursue this any longer. Kit advised we can open a CR and deny the items we will not provide and move these items into Development. Bonnie advised we need to add language into CMP for a partial denial or change in CR description or create a new status. Bonnie will open a new CR.

5/21/03 May CMP Meeting Minutes Russ Urevig – Qwest advised we have looked at this process and believe we can provide documentation updates and links in the Migrations and Conversion PCAT. There were 18 items listed on this CR. Some of the items requested we can provide and some items we will not be able to provide. A systems CR needs to be issued for item #18. ATT agreed they would look at this. Qwest is still evaluating this CR. Cindy Macy – Qwest will schedule another meeting to review the CR.

4/16/03 April CMP Meeting PC022703-1 UNE P to UNE L Bulk Conversions Russ Urevig – Qwest reviewed the response and advised we are currently investigating what it will take to implement some of the process steps identified in the CR. As a result of our internal meetings Qwest will be able to determine what can be supported and review that process with ATT. Qwest will move this CR to Evaluation status.

03/19/03 March CMP Meeting Carla Pardee ATT reviewed and clarified the CR as a Walk On. This CR is similar to another CR that ATT submitted 1 ½ years ago. We now want to modify the CR and make sure the process is documented as a package for UNE P to UNE L Conversions.

Clarification Meeting March 17, 2003 1:00 – 2:00 PM MST 1-877-572-8687 3393947# PC022703-6

Attendees Carla Pardee – ATT Mitch Menendez – ATT Ervin Rea – ATT Vicki Faber – ATT Lisa Tyler – ATT Lydell Peterson – Qwest Kit Thomte – Qwest Russell Urevig – Qwest Cindy Macy – Qwest

Meeting Agenda: 1.0 Introduction of Attendees Attendees Introduced

2.0 Review Requested (Description of) Change Carla Pardee – ATT reviewed and clarified the CR. Carla advised ATT does not need this CR to be proprietary and would like to Walk On the CR at the March CMP Meeting. Qwest – Cindy Macy advised that the Service Management team as a Project can handle this CR and does not need to go through the CMP Process. It was agreed we would review the CR and then make the determination on how to handle it.

ATT advised they would prefer to leave the CR in the CMP Process, as they would like the process formally documented. Mitch – ATT asked if Qwest sees this as something unique for ATT? Qwest replied no, most of the items are standard process. We have not done bulk LSO conversion out of hours. Carla asked about #11 – Process orders on a spreadsheet and Qwest agreed that was not a standard item either.

Carla reviewed the CR in detail. #1 – Russ advised today the CLEC has the ability to validate the CFA in the Pre-Order overview – Loop Qual, Appendix F.

#2 – Russ advised the process for resolving a discrepancy of a busy CFA assignment is via Escalations. Mitch asked if this process is documented and Russ advised he would check.

ATT advised they would like to cut down the number of transactions. This is why Bulk Activity is requested.

3-6 no comments

#7 – Window of time to do bulk conversions (post 5pm). Russ advised this might be handled as a CHC – OOH conversions. Ervin advised ATT is not interested in having each one a CHC or paying for CHC. They would want to negotiated this item. Russ advised we do not have a Bulk Rate for cuts. We would have to look into this.

8-10 no comments

#11 Russ advised Qwest would expect an LSR per customer. Ervin advised they would like to process via a spreadsheet. Russ advised our systems would need individual LSRs but the spreadsheet could be used as a backup / tracking document.

12 – 17 no comment

#18 – Do not include lines in the Loss and Completion report. Russ advised the SOPS generate a report today. Any activity triggers items to this report. Ervin explained they do not want to have these accounts show up on the report, as we are not loosing them. Mitch asked if the SOPS would generate a loss and completion report. Russ advised yes, we would have to match the RSID/ZCID, the loss on the UNE P side would occur, and the completion on the UNE L side would occur. Ervin asked if we could use a Project number and identify these on the report. Russ advised this would be a SOP system change. Vicky said she would check on, as they would prefer this not to show on the report. Ervin said we are creating activity but not creating revenue for anyone. It is really a wash in actual customer impacts. Lisa advised ATT is concerned about the message CLECs get from this data showing up on the Loss and Completion report. Russ confirmed the IMA notification would provide enough to show the LSR is complete. ATT asked if the cycle time for the Loss versus the Completion is the same. Russ advised both reports are run at the end of the day. He is not sure if the cycle times are exact to each other.

Ervin advised ATT would like a ‘New Process’ documented to pull this process all together, instead of reviewing multiple piece part processes.

Russ asked if a dispatch to the Demarc would be required – Ervin advised no.

Qwest asked when are the cuts planned? ATT advised most likely Monday – Friday, as Saturday or Sunday would impact cost and resources and overtime rates.

ATT explained they would like one document to use that tells them: How to do this Where to go (what systems to use) Identifies contacts

Cindy Macy Qwest advised ATT that other CLECs may want to provide input to this process. ATT advised that is okay.

3.0 Confirm Areas & Products Impacted UNE P

4.0 Confirm Right Personnel Involved May need to include Monica Manning

5.0 Identify/Confirm CLEC’s Expectation Single Process documented

6.0 Identify any Dependent Systems Change Requests None

7.0 Establish Action Plan (Resolution Time Frame) ATT will walk this on to the March CMP Meeting Qwest will meet to determine our response


CenturyLink Response

June 11, 2003

For Review by CLEC Community and Discussion at the June 18, 2003 CMP Product Process Meeting

AT&T Ervin Rea Manager

SUBJECT: Qwest’s Change Request Response - CR PC022703-6 UNE-P to UNE-L Bulk Conversion

This letter is in response to ATT Change Request PC022703-6 UNE P to UNE L Bulk conversion. This CR requests that Qwest provide a process to perform UNE P to UNE L Bulk Conversions within a single LSO for a single CLEC, and document the process on the Wholesale Web site.

This CR has prompted several internal department meetings to discuss the 18 items listed. Qwest agrees with the basic context of the CR and accepts the CR request to create an informational guide section in the PCAT for Bulk Conversion.

This information would be best located in the Migrations/Conversion PCAT, providing direction for both normal hour and out of hour conversion. The information provided will be general rules to follow for planning, scheduling, escalating, monitoring and completing a Bulk Conversion. Product specific information or process specific information on creating requests will be available through links to those respective PCATs.

We have included the 18 separate requests that were made on this CR and we have responded to each item separately. (See below)

Change Description Request: Qwest Response: 1. PROVIDE ELECTRONIC ACCESS TO AT&T TO CHECK ILEC CFA INVENTORY PER EXISTING CFA PROCESS. This functionality currently exists in IMA as a pre-order tool: Validate CFA. Additional information about this pre-order functionality can be found in the Pre-Order Overview PCAT. 2. PARTNER TO RESOLVE CFA INVENTORY DISCREPANCIES PRIOR TO BULK CONVERSION PROJECT PLAN DEFNITION. There is a process for Busy CFA, this process was developed in response to a previous CR 5464735 to handle CFA discrepancies via the escalations desk. This process is called Confirming Busy CFA, links can be found in the Pre-Order Overview PCAT. These links will place you in the Loop Qualification and Raw Loop Data Job CLEC Job Aid. This section will provide step by step information on who to call and the required information to resolve the issues.

3. AGREE ON FORMAT/PROCESS TO TRANSMIT PROJECT TRACKING PLAN (WHEN AND WHAT).

The Qwest process for conversion requires individual LSRs for each end user address. Additional fields on the LSR enable project tracking by the CLEC (e.g., LSR field number 22 PROJECT - Project Identification).

4. ESTABLISH PROJECT TEAM AND DEDICATE RESOURCES (AT&T AND ILEC). Qwest will utilize the current work force trained to handle conversions of this kind.

5. DEFINE "BULK CONVERSION SCOPE" (I.E., LINES PER LSO, LSO’S PER NIGHT). Because Qwest will use the standard process for conversions, no scope definition is required.

6. ESTABLISH PROJECT TRACKING NUMBER AND KEY MILESTONES. The Project Identification field on the LSR is used to keep the requests associated together. The CLEC can populate the project identification field and use this information for their tracking.

7. STANDARD WINDOW OF TIME TO DO BULK CONVERSIONS (POST 5:00 PM LOCAL TIME). This is negotiated based on resources available for out of hour cuts. Normal business hour cuts are based on product type. (e.g. UBL hours of business are 8am to 5pm, for out of hours cut times are 5:01pm to 7:59 am.) The type of installation determines the specific cut time.

8. ESTABLISH COORDINATION OF BULK CONVERSIONS VIA OPEN CONFERENCE BRIDGE AT TIMES OF CONVERSION. Qwest will participate on a CLEC provided conference bridge to advise acceptance of loop, testing requirements, etc. The conference bridge number would be required as the number for the IMPCON contact number. This contact number will flow to the tester as part of the CLEC contact information.

9. DEDICATED TEAM IDENTIFIED AND CONTACT DETAIL SHARED (INCLUDE ESCALATION DETAIL - WHO/HOW). - TECHNICIAN. - PROJECT MANAGER. - ESCALATION CHAIN. Qwest will utilize the current work force trained to handle conversions of this kind. If there is a need to contact the escalation desk, Qwest has defined contacts for each type of escalation. Additional information is located in the Expedites & Escalations Overview PCAT

10. DEFINE ANY SPECIAL ORDERING INSTRUCTIONS. No special ordering instructions are required, as the CLEC will use existing order instructions. These LSRs will follow the normal process by product, with project identification optionally included by the CLEC.

11. PROCESS ORDERS VIA SPREADSHEET IDENTIFYING ALL PERTINENT CUSTOMER/LINE DETAIL. NOTE: AT&T WILL PROVIDE ONE LSR PER CUSTOMER LOCATION FOR CONVERSION. The Qwest process for conversion requires individual LSRs for each end user location. Additional fields on the LSR enable project tracking by the CLEC (e.g., LSR field number 22 PROJECT - Project Identification).

12. ACKNOWLEDGEMENT OF RECEIPT OF SPREADSHEET AND COMMITMENT TO SCHEDULED BULK CONVERSION DATE. The Qwest process for conversion requires individual LSRs for each end user location. Additional fields on the LSR enable project tracking by the CLEC (e.g., LSR field number 22 PROJECT - Project Identification).

13. IDENTIFY ALL POTENTIAL CUSTOMER/LINE REJECTS IN TIME TO RESOLVE PRIOR TO THE BULK CONVERSIONS. - BUSY CFA. - DATA MISMATCH. - FACILITY QUALIFICATIONS, INTEGRATED SLCs - TIMEFRAME TO AVOID FOC REJECTS CLEC’s have the pre-order tools to do this today. We will provide links in the to these existing procedures e.g., Pre-Order Overview PCAT, Loop Qualification and Raw Loop Data CLEC Job Aid, etc. These activities should be done during pre-order to make sure the request meets the requirements for the product ordered.

14. DETERMINE/AGREE UPON LAST DATE TO FREEZE TARGET BULK CONVERSION LIST - 5 DAYS (NO MORE CUSTOMER/LINES ADDED). Conversion interval dates are based upon standard intervals for the product the CLEC is converting to. Refer to the SIG (standard intervals guide) for the product you are converting to.

15. 24-48 HOURS PRIOR TO CONVERSION PERFORM READINESS TESTS AND RESOLVE ANY IDENTIFIED ISSUES. - ANI VERIFICATION AT MDF OF NEW CIRCUIT AND EXISTING ILEC CIRCUIT. - PRE-WIRE. - LOOP QUALIFICATION TEST.

- DIAL TONE CHECK. Existing procedures located in the Unbundled Local Loop - 2-Wire or 4-Wire Analog (Voice Grade) Loop - V15.0 PCAT states: Conversion or Change request with new CFA: Qwest verifies for dial tone at your CFA 48 hours after Qwest's APP (application) date. If Qwest finds No Dial Tone (NDT), Qwest will retest 48 hours prior to due date. If dial tone is still not present, Qwest will email the NDT results to you through Qwest's Provider Test Access (PTA) email system. You will receive the NDT PTA email notification approximately 24 to 36 hours prior to the due date. Qwest will email only when there is No Dial Tone. You will need to supply the dial tone by the due date or supplement the LSR, changing the due date. Performance testing available on 2-Wire or 4-Wire Analog (Voice Grade) Loops is also defined with this PCAT.

ANI – The testing capability is not available 24-48 hours in advance as the line is not available until cut time. .

Pre Wire = Yes Loop Qual = Qwest performs all standard testing to qualify the loop; additional testing will only be performed if requested and would result in additional charges. Dial Tone = Yes

16. AT NIGHT OF CONVERSION: - PARTICIPATE IN PRE-CUT CALL

- MAINTAIN AVAILABILITY DURING CUTS

- CUT ONE LINE AT A TIME.

- COMPLETE ALL SCHEDULED CUTS AND ACKNIOWLEDGE PROJECT COMPLETION

- RESPOND TO ALL SERVICES OUTAGE CONDITIONS THAT RESULT FROM CONVERSION (WILL ROLL BACK TO UNE-P IF NO RESOLUTION). -Qwest always performs a pre-cut call to validate the CLEC is ready for the lift and lay to happen.

-If the CLEC provides a continuous conference bridge number on the LSR, Qwest can provide staff at the start and completion of each cut. Qwest will not stay on the call for 24 hours but will be available when needed.

-Coordinated Hot Cuts (CHC=Y) provide for a specific time if the CLEC would like to request that capability. CHC=N or blank allows the cut to start during normal hours or out of hour conversions.

Roll Back to UNE-P is not an option if the circuit has been accepted by the CLEC. Qwest works with the CLEC in normal lift and lays, until the circuit is accepted. The CLEC needs to make sure the correct translation path is selected to the co-location point prior to conversion. This is normal business operation.

17. PROCESS TO RESTORE ALL SERVICE OUTAGE CONDITIONS IDENTIFIED POST-CONVERSIONS. If there is a need to contact the escalation desk, Qwest has defined contacts for each type of escalation. Additional information is located in the Expedites & Escalations Overview PCAT.

18. DO NOT INCLUDE P TO L BULK CONVERSION LINES AT ILEC LOSS AND COMPLETION REPORT. This item needs to be re-submitted through a system CR; there would be coding changes required on the Loss/Completion reports generated by the service order processors.

Sincerely,

Russell Urevig Sr Process Analyst Wholesale Service Delivery

April 8, 2003

For Review by CLEC Community and Discussion at the April 16, 2003 CMP Product Process Meeting

AT&T Ervin Rea Manager

SUBJECT: Qwest’s Change Request Response - CR PC022703-6 UNE-P to UNE-L Bulk Conversion

This letter is in response to ATT Change Request PC022703-6 UNE P to UNE L Bulk conversion. This CR requests that Qwest provide a specific process to perform UNE P to UNE L bulk Conversions within a single LSO for a single CLEC, and document the process on the Wholesale Web site.

Qwest held a clarification meeting with AT&T on Monday March 17 to discuss the individual items on CR PC022703-6 UNE-P to UNE-L Bulk Conversion. Further clarification of the CR identified this method would include but not be limited to: inventory discrepancy corrections per conversion, test requirements, dedicated resources, conference bridges, conversion volume size, hours of conversions, outage conditions, and Loss and Completion reports.

During our discussion several items were found to be duplicates from a previous CR PC090401-2 which was moved to complete status on March 20, 2002. Qwest identified several items that required additional discussion with several key departments within Qwest, such as Test and Turn-up, Central office Technician, Circuit Design and Product Management.

Qwest has schedule internal meetings to discuss the following items:

*Availability to provide dedicated people to coordinate out of hour cuts for specific LSO’s. (Loop/Local Service/Switching Office )

* Ability to perform pre-cut readiness testing to identify and resolve installation issues.

* Determine quantities per LSO, which can be cut during out of normal hour operations.

* Can cuts occur on a one line at a time basis to minimize problems?

* Can the Loss/Completion reports be stopped, when a CLEC is changing an end user from UNE-P to UNE-L and the CLEC is not changing?

* Installation options and or associated rates with out of normal hours cuts.

These are all items which need to be discussed interactively with departments as re-scheduling of personnel may be require to meet the needs of these conversions. Qwest would like to place this CR in Evaluation Status until we finish our investigation of the items identified above.

Sincerely,

Russell Urevig Sr Process Analyst Wholesale Service Delivery


Open Product/Process CR PC032603-1 Detail

 
Title: Standardization of USOCs across regions
CR Number Current Status
Date
Area Impacted Products Impacted

PC032603-1 Crossover
7/27/2009
Ordering UNE-P
Originator: Pardee, Carla
Originator Company Name: AT&T
Owner: Paxton, Mallory
Director:
CR PM: Harlan, Cindy

Description Of Change

Today Qwest requires CLECs to use different USOCs for ordering certain features depending on the territory in which the features are ordered. For example, Qwest requires different USOCs for ordering hunt,ing, speed dial 8 and speed dial 30 depending on whether they are ordered in the western or central regions. AT&T requests that Qwest simplify this ordering process by requiring use of only one standard USOC for features ordered across all regions. By simplifying this process, Qwest would streamline the process and eliminate various opportunities for error, which would benefit both Qwest and the CLEC community.

Expected Deliverable:

3rd quarter 2003.


Status History

3/26/03 CR Received

3/27/03 CR Acknowledged and entered in database

4/1/03 LWTC to schedule Clarification Meeting for 4/3/03

4/3/03 Carla requested to reschedule Clarification Meeting for week of 4/7/03. I have reserved tentative dates of 4/10 and 4/11 for clarification meeting. Carla and I will confirm date on 4/8/03

4/8/03 Carla confirmed to hold Clarification meeting on 4/10/03.

4/10/03 Held CLEC Clarification Call

4/16/03 - April CMP Minutes will be posted to the Project Meeting section of the database

5/14/03 - Sent response to CLEC via email and posted to database on 5/13

5/21/03 - May CMP Meeting Minutes posted to database. CLEC community agreed to not deny this CR but to cross over to Systems for the Hunting / IMA part and open an Action Item to gather additional usocs to have reviewed.

6/5/03 - Changed to closed as AI052103-2 is open to gather additional usoc information to potentially streamline. Agreed to not open a Systems CR until we gather additional information on usocs to potentially streamline.


Project Meetings

05/21/03 May CMP Meeting - Mallory Paxton – Qwest reviewed the analysis that was done on both speed dial and hunting usocs. Mallory advised Qwest is denying this request due to it being economically infeasible. Qwest does suggest a systems CR be opened to request the changes to the hunting usocs be done in IMA. Mallory explained the LSR forms provide enough detail that the system could determine what hunting usoc is needed based on how you fill out the forms. Some products have been standardized by OBF and the LSR forms reflect the details necessary. Carla- ATT thanked Mallory for her investigation and explaination.

The CLECs requested that instead of denying this request we cross it over to systems to work the hunting request as a Systems CR. An Action Item will also be opened to gather and track other products / usocs that could be streamlined. A notification will go out requesting the CLECs to send ‘usocs in need of streamlining’ and ‘top problem usocs’ to cmacy@qwest.com. A meeting will then be scheduled to review the list and determine next steps. Additional CRs may be opened to address items on the list. Bonnie Johnson suggested that Qwest also make a recommendation identifying which usocs could be combined. Call Forwarding / Busy / DA is one example.

4/16/03 April CMP Meeting - PC032603-1 Standardization of USOCs across regions

Carla Pardee – ATT presented this CR to the CLEC Community. Carla explained that on the Clarification Call discussion took place how it may be helpful to identify specific USOCs that ATT would like standardized. She provided Hunting and Speed dial 8 and 30 as the USOCs she would like included in the scope of this CR. Lynn Powers – Tel West added that many CLECs support this CR. Having multiple USOCs is an expense for the CLECs.

Clarification Meeting 9:00 – 10:00 a.m. April 10, 2003 1-877-572-8687 3393947#

PC032603-1 Standardization of USOCs across regions Attendees Anthony Washington – Qwest Carla Pardee – ATT Dusti Bastian – Qwest Anne Robberson – Qwest Laurel Neher – Qwest Cindy Macy – Qwest

Meeting Agenda:

1.0 Introduction of Attendees Attendees introduced

2.0 Review Requested (Description of) Change Carla reviewed the CR. Carla explained today there are several features that required different USOCs to be used based on what region and/or switch you are ordering out of. Carla provided examples for Hunting and Speed Dial. The hunting requires HTG for Central and HSO for Western. The Speed Dial requires E8C for Central and ESL for Western. The LSR form / IMA asks you to put the USOC on the LSR. Carla explained this CR is similar to the Call Forwarding Simplification CR. Qwest asked Carla if this request is just for Feature USOCs or Class of Service and Line USOCs also? Discussion took place regarding the USOCs are assigned and provided by Telcordia. Qwest has multiple systems by Region and those systems are set up to require different USOCs. This is driven from when there was a Pacific Northwester Bell, Mountain Bell and Northwestern Bell. Qwest also explained that this request is very large and it may be helpful if Carla was able to identify a set of USOCs that are causing ATT the most trouble. Carla advised she would provide the most critical USOCs and limit the scope of the CR. Carla will provide at the April CMP meeting examples of specific USOCs that she would like to have 1 USOC per feature across the Region.

3.0 Confirm Areas & Products Impacted Qwest asked about the products impacted and Carla advised UNE P. Qwest explained that these USOCs are also used in other product lines such as Retail and Resale. If a change was made to these USOCs it may impact other product lines also.

4.0 Confirm Right Personnel Involved Yes

5.0 Identify/Confirm CLEC’s Expectation Carla would like specific USOCs to have 1 USOC per feature across the Region. USOCs include (as provided at the April CMP Meeting): Hunting, Speed Dial 8, Speed Dial 30

6.0 Identify any Dependent Systems Change Requests None

7.0 Establish Action Plan (Resolution Time Frame) Carla will present this CR at the April CMP Meeting Qwest will provide our response at the May CMP Meeting


CenturyLink Response

May 14, 2003

For Review by CLEC Community and Discussion at the May 21, 2003 CMP Meeting

Carla Pardee AT&T

SUBJECT: Qwest’s Change Request Response – CR # PC032603-1 Standardization of USOCs Across Regions

This is Qwest’s response to AT&T’s Change Request CR PC032603-1 requesting the standardization of the following six USOCs across regions: 1. E8C and ESL (8-Number Speed Calling) 2. E3D and ESF (30-Number Speed Calling) 3. HSO and HTG (Series Hunting)

In evaluating this request, Qwest considered both the technological and the financial impacts of the requested change, and we looked at the two products, Hunting and Speed Calling separately.

The Hunting USOCs are used for billing only—not for provisioning—so Qwest’s network systems would not be impacted by the standardization of these USOCs. The Level of Effort to implement this change for Hunting would be approximately 16,000 hours.

The Speed Calling USOCs are provisioning USOCs and would require changes to Qwest’s network systems as well as the product and process changes needed to implement the Hunting change. The Level of Effort to implement the change for Speed Calling, which reflects the additional costs of network changes, would be approximately 17,000 hours.

This request is denied because it is economically not feasible.

However, Qwest would like to address the difficulty CLECs have in ordering Hunting. Qwest respectfully recommends that AT&T open a Systems CR to have Qwest use the hunting fields on the LSOG 7 HGI form to populate the USOCs on the service order, rather than requiring the CLECs to provide these USOCs in the FEATURE field of the product-specific form. (This would be a solution similar to the solution currently under development for IMA Release 14.0 for blocking USOCs). If AT&T prefers, Qwest can open this CR on their behalf.

Sincerely,

Mallory Paxton Senior Process Analyst Qwest Services Corporation


Open Product/Process CR PC022703-9X Detail

 
Title: Support Production Defect Report (crossed over from SCR022703 09)
CR Number Current Status
Date
Area Impacted Products Impacted

PC022703-9X Denied
2/18/2004
All
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Winston, Connie
Director:
CR PM: Harlan, Cindy

Description Of Change

Revised Description of Change - Submitted 08-13-03

AT&T is requesting a report for all known IMA EDI & IMA GUI problems.

This report will be a list of IMA EDI and GUI problems currently

identified either internally identified by QWEST or reported by a CLEC

thru the ISC Help Desk or Service/Account Manager. The report will

identify all open issues that are pending investigations. Once an issue

has been reported and determined to be a problem/clarification/defect

issue it should be noted on the report with the appropriate QWEST

Trouble Ticket # as it goes through the phases within QWEST well before

it makes it to the Event Notification process. Once an event

notification issued for the problem, the notification number would be

referenced on this report. This gives CLEC one central point of

reference for all IMA EDI & GUI problems. The CLECs can use this report

to:

(1) find out the current status of their IMA EDI or GUI problem

(2) determine if a new problem has already been identified and the

current status

(3) proactively address problems that have been identified by other

CLECs that have potential impacts to their business

Similar to the SBC's Defect Report, the QWEST report should include

the:(1)Trouble Ticket(TT) Number, (2) IMA Version(s) Impacted, (3)

Indicator whether problem impacts IMA GUI, EDI or both (4)Indicator

whether the defect is impacting production code or code only in the SATE

environment, (5) Date the TT was opened, (6) Short Description used to

identify the Problem - for example the actual message being returned

from QWEST, (7) REQTYP and ACT values impacted,(8) Event notification

Number (9) Status of the Fix(Pending Analysis, In Analysis, Pending

Development, IN Development, Pending Testing, In Testing, Pending Prod

Migration, Pending Prod Validation, CLOSED), (10) Status Comments,

(11)Target Implementation/Resolution Date

All Closed Issues should be moved to a separate document or EXCEL Tab

(similar to SBC's Defect Documentation) and retained for 3 months.

Any IMA problems that are currently in analysis and haven't been

reported via event notification should be placed on this report is

activated.

Description of Change - Submitted 02-27-03

QWEST currently support a Manual Indicator, which is used to indicate that the Remarks field contains information that needs manual attention and this field will also be used on occasion as part of a workaround. However a centralized list doesn’t seem to exist to indicate the known workarounds in place in which the Manual Indicator and Remarks are used.

AT&T is requesting that a Production Defect Issues List separate from the CR log be created and maintained. This reported would indicated:

- States impacted

- Products (REQTYP/ACT) impacted

- QWEST assigned Severity Level

- Current Workaround in Place

- Manual Indicator value for workaround

- Remarks required to identify this specific workaround

- Pending Long Term Solution with CR reference

- Target Implementation


Status History

2/27/03 CR Submitted

3/3/03 CR Acknowledged

3/3/03 CR Posted to web

3/3/03 Info Requested from CLEC: Email sent to AT&T requesting Clarification Call Availability

3/6/03 Clarification Meeting Scheduled: Clarification Meeting Scheduled for March 12, 2003, based on AT&Ts Availability.

3/12/03 Clarification Meeting Held: See Project Meetings Section for notes.

04/16/03 Discussed at CMP Meeting

05/21/03 - Qwest response presented at CMP Meeting

06/18/03 - Discussed at CMP Meeting

07/16/03 - CR Discussed at CMP Monthly Meeting

7/24/03 - Ad hoc meeting held with ATT

8/4/03 - Scheduled CLEC review ad hoc meeting to review report and further define CR description

8/21/03 - Discussed at CMP Meeting

9/9/03 - Posted response to database

9/17/03 - Sep CMP meeting notes will be posted to the database

10/15/03 - Oct CMP meeting minutes will be posted to the database

11/12/03: Updated CR with new description

11/19/03 - Nov CMP meeting minutes will be posted to the database

12/8/03 - Removed CR description related to the updated CR that ATT sent in. That CR became PC111903-1 - Please see that CR# for the description. CR PC022703-9X description will remain in place.

12/17/03 - Dec CMP meeting notes will be posted to the database

1/21/03 - Jan CMP meeting minutes will be posted to the database

2/10/04 - emailed response to CLEC

2/18/04 -Feb CMP Meeting notes will be posted to the project meeting section

3/30/04 - Added supplimental information to database under open project PC111903-1 - emailed difference between PC022703-9x and PC111903-1 to Donna Osborne Miller - ATT March 16, 2004.


Project Meetings

February 18, 2004 CMP Meeting Connie Winston – Qwest advised that this CR is the one ATT originally issued. This was discussed during the Global Action Item meetings. IT looked at specific data elements on the request and we are planning on providing these via PC111903-1. Donna Osborne Miller – ATT advised we understood when Carla submitted the other CR, Qwest would deny this CR. Donna said she thought that Qwest would identify the parts of this original CR that would not be met but the new CR PC111903-1. Qwest agreed that we would identify the data elements that are not being met by the new CR and send this information to ATT and populate it in the database. This CR will change to Denied Status.

January 21, 2004 This is the original CR that was written with more depth and was reviewed as part of the Global Action Item meeting. The CLECs requested that Qwest create PC111903-1 Web site Notifier to replace this CR. Connie advised we are still evaluating if any piece parts of this CR can be incorporated. Otherwise, we will deny this CR. We hope to finish this in February. This CR will remain in Evaluation Status.

- December 17, 2003 Connie Winston – Qwest reported that this CR is part of the Global Action Item discussion. We anticipate for those meetings to wrap up in January. We will determine if we have met the intent of this CR or should be closed, withdrawn or crossed over. We will then finalize the action needed. This CR will stay in Evaluation Status.

November 19, 2003 Kit Thomte – Qwest advised that this CR was talked about Tuesday during the Global Action Item meeting. This CR was updated with the new title and description. Carla Pardee – ATT advised they would like to keep the old CR open and use the new CR description and title to open a different/new CR. Cindy Macy – Qwest asked if ATT would like to have the new CR clarified or had this happened during the Global Action Item meeting. Carla advised she would like Qwest to hold a Clarification Call for the new CR.

October 15, 2003 Judy Schultz – Qwest advised this is being addressed as part of the Global Action item that was discussed Tuesday October 14. Qwest is currently developing a hybrid Event Notification report as a resolution. The report would be downloadable and available via a url. The status will be changed to Evaluation.

September 17, 2003 Connie Winston – Qwest reviewed the response to this CR. Donna Osborne-Miller ATT advised that Phyllis Burt-ATT redlined the response and that she would like to review this with the group. Donna explained that ATT Consumer disagrees with the statement that Qwest’s Event Notification process is triggered immediately. An example of this is portrayed by PC032803-1. Clear resolution, timelines and work arounds, specifically for Alphabetical Blocking did not occur. This was first reported on July 11, 2003 and the Event Notification was issued 1 month later. The existing process at Qwest determines what information goes into the Event Notification. Not all issues are captured, Qwest decides what to publish. The CLECs want to be able to share their system issue and work arounds with each other. Connie Winston explained some information on Event Notifications is proprietary. Connie agreed we would include a discussion around Event Notifications in the lock up meeting. Connie suggested we look at the CMP guidelines on timeframes as those guidelines are requiring notification to go out, sometimes before we have completed our investigation, thus making the notification not as conclusive as it would be at a later date. Approximately 1300 tickets are taken in one month. Not all of these fit the Event Notification guidelines. We do not want to send notifications out on all 1300 tickets as that would overwhelm the CLECs and Qwest. We would need to develop criteria around what Event Notification to include. Liz advised they have issued trouble reports that could impact other CLECs that have not been turned into an Event Notification. The CLECs advised there is not an Event Notification tracking mechanism. This report would provide a wide view of Event Notifications. Phyllis Burt-ATT advised she does not feel comfortable that Qwest is tracking and managing trouble tickets. It doesn’t seem as if Qwest has a view of total number of open, closed, severity levels and priorities. Qwest advised this CR will be discussed during the lock up session, held the Tuesday before the next CMP meeting. This date is Tuesday October 14, 2003.

CMP Meeting 08-20-03

White-Qwest stated that there was an ad hoc call on 8/11. Following that call AT&T issued a new description of change. Winston-Qwest stated that Qwest was evaluating the new description and the documents AT&T provided. The CR was moved to Evaluation.

===================================

Ad Hoc Meeting – 08-11-03

Attendees Matt White-Qwest Beth Foster-Qwest Kyle Kirves-Qwest Randy Owens-Qwest Liz Balvin–MCI Donna Osborne-Miller-AT&T Carla Pardee-AT&T Phyllis Burt-AT&T

White-Qwest introduced the attendees and described the purpose of the meeting. He asked Foster-Qwest if she had any questions for AT&T.

Foster-Qwest asked if AT&T could update the description of change for the CR with the information that Burt-AT&T had provided in her 7/30 e-mail to Cindy Macy-Qwest. She also stated that Qwest’s practice is to distribute event notifications in accordance with the CMP document’s timelines and that this usually happened immediately. Burt-AT&T stated that her experience was that this was not always the case. She cited the alphabetical blocking issue as an example of when Qwest had received a trouble ticket from a CLEC and had taken quite a while to initiate an event notification. Foster-Qwest asked if AT&T wanted information on the report for all trouble tickets before they are captured in an event notification. Burt-AT&T stated that she wanted all the issues for IMA that came through the help desk captured on the report. Foster-Qwest and Burt-AT&T discussed the headings used in the SBC report and how they may be applicable to Qwest troubles.

White-Qwest asked if there were any additional questions. There were none. White-Qwest thanked the attendees and adjourned the call.

====================================================

Ad Hoc Meeting 07-24-03

Attendees Matt White – Qwest Mallory Paxton – Qwest Linda Sanchez-Steinke - Qwest Phyllis Bert – AT&T Sharon Van Meter – AT&T Regina Mosely – AT&T Connie Nelson- USLink Bonnie Johnson – Eschelon Kim Isaacs – Eschelon

White-Qwest described the purpose of the meeting. Bert-AT&T stated that the 5/14 Qwest response addressed part of the issue. She explained that AT&T really wanted a a central place to see production issues. She stated that she had forwarded SBC’s defect report that she would like Qwest to create a report similar to. Paxton-Qwest stated that the SBC report looked like a spreadsheet that identifies system defects. Bert-AT&T stated that it was and that Qwest would need to modify it to match Qwest’s event notification processes. Paxton-Qwest stated that it looked like the dates on the report were target dates, not release dates. She asked if the SBC reprot was on line. Bert-AT&T stated that it was. Paxton-Qwest clarified that what AT&T wants Qwest to do is take system problems and create an online tool to give CLECs a holistic view of the troubles. Bert-AT&T agreed. Paxton-Qwest stated that the report looked like a catalogue of event notification that indicates when manual activity is required.

Van Meter-AT&T asked if Qwest will include Bert’s information as additional information in the CR interactive report. White-Qwest stated that he would.

Bert-AT&T stated that she wanted the original acceptance solution as well. Paxton-Qwest suggested that she submit an additional CR requesting that change. Bert-AT&T stated that she would.

======================================= CMP Meeting 07-16-03

White-Qwest stated that AT&T had provided feedback to the Qwest 5/14 response and that he recommended that Qwest hold and Ad Hoc meeting to discuss the issues. Osborne-Miller-AT&T agreed.

============================================= CMP Meeting 06-18-03

Osborne-Miller-AT&T stated that she would send any comments from AT&T about Qwest’s proposed implementation to White-Qwest. ========================================================== CMP Meeting 05-21-03

Paxton-Qwest reviewed the Qwest response. Osborne Miller-AT&T stated that the response sounded interesting and inviting. She stated that she would take it back to her folks and let Qwest know if they had any concerns. White-Qwest stated that he would set up an Ad Hoc meeting to discuss any issues that Osborne Miller-AT&T identified. The CR was moved to Development. ==========================================

04-16-03 - CMP Meeting

White-Qwest described the CR and stated that Qwest would have a response at the May CMP Meeting.

==========================================================

March 20, 2003 Systems CMP Meeting Discussion: SCR022703-09 Support Production Defect Report (Originated by AT&T) Donna Osborne-Miller/AT&T presented the CR. John Gallegos/Qwest stated that this is for documentation and we are looking at this CR to be a crossover to Product/Process. John asked if AT&T agreed. Donna Osborne-Miller/AT&T stated to Phyllis Burt (AT&T) that there are no systems implications for this request so it will be crossed-over to the Product/Process forum. Phyllis Burt/AT&T asked how the determination is made as to whether a request is systems or product/process. John Gallegos/Qwest stated that if it is determined that there is a manual solution, the business keeps track of the CR and is a Product/Process definition. Kit Thomte/Qwest stated that these things are handled on the operation’s side of the house. Bonnie Johnson/Eschelon stated that she is in full support of this and asked for the product’s to be expanded to All products. Kit Thomte/Qwest asked if the business was agreeable to the expansion of products. Donna Osborne-Miller/AT&T asked if Qwest would revise to All products. Peggy Esquibel-Reed/Qwest stated that she would revise the CR to change Impacted Product’s to All. Stephanie Prull/McLeod stated that she would also like this for All products. Mallory Paxton/Qwest stated that she agreed that this should be for All products. Donna Osborne-Miller/AT&T asked if there was agreement and understanding that this CR gets crossed-over to Product/Process. Mallory Paxton/Qwest stated that she is in full agreement that this is Product/Process. Mallory stated that she is currently working on something similar to this and this is a documentation issue. Kit Thomte/Qwest stated that this CR would be crossed-over to Product/Process.

-

Clarification Meeting - March 12, 2003 Attendees: Donna Osborne-Miller/AT&T, Phyllis Burt/AT&T, Regina Mosley/AT&T, Carla Pardee/AT&T, Diane Burt/AT&T, John Blaszczyk/AT&T, Peggy Esquibel-Reed/Qwest, Monica Manning/Qwest, Terri Kilker/Qwest, John Gallegos/Qwest, Berkley Loggie/Qwest, Lynn Stecklein/Qwest, Wendy Green/Qwest, Jan Martin/Qwest, Denise Martinez/Qwest, Shelley Mason/Qwest, Rob Mitchell/Qwest, Laurel Nolan/Qwest, Shonna Pasionek/Qwest, Mallory Paxton/Qwest, Joan Pfeffer/Qwest, Deb Roth/Qwest, Carl Sear/Qwest, Kerri Waldner/Qwest, Scott Carne/Qwest

Reviewed CR Description: QWEST currently support a Manual Indicator, which is used to indicate that the Remarks field contains information that needs manual attention and this field will also be used on occasion as part of a workaround. However a centralized list doesn’t seem to exist to indicate the known workarounds in place in which the Manual Indicator and Remarks are used. AT&T is requesting that a Production Defect Issues List separate from the CR log be created and maintained. This reported would indicated: - States impacted - Products (REQTYP/ACT) impacted - QWEST assigned Severity Level - Current Workaround in Place - Manual Indicator value for workaround - Remarks required to identify this specific workaround - Pending Long Term Solution with CR reference - Target Implementation

Expected Deliverables: To be compatible with Release 14.0.

Confirmed Impacted Interface: Process & Documentation

Confirmed Products: UNE-P POTS

Discussion: There were no questions or comments.

Action Plan: This CR will be presented by AT&T at the March 20th CMP Meeting and Qwest will be providing the CR response.


CenturyLink Response

February 10, 2004

For Review by CLEC Community and Discussion at the February 2004 CMP Meeting Donna Osborne-Miller AT&T

SUBJECT: Qwest’s Change Request Revised Response - PC022703-9X-“Support Production Defect Report.”

This response is in regards to AT&T’s CR PC022703-9X. This CR was originally denied in September 2003 due to no reasonable demonstrable business benefit. Upon further discussion with AT&T and other CLECs, Qwest agreed to include this CR in the discussions that were held at the Global Action Item Meetings (held on September 12, 2003; October 14, 2003; November 4, 2003; November 18, 2003; December 16, 2003). AT&T agreed to update this CR in accordance with discussions held between Qwest and the CLEC community for updating the Event Notifications Production Support Website. Initially, AT&T updated the existing CR, PC022703-9X, only to retract their update and request that a new CR, PC111903-1 (Web Site Notifier), be issued. Qwest took the action item of reviewing the original, unchanged CR, PC022703-9X, to determine if any components of the original CR should be subject to ongoing review.

Qwest’s original denial of this request stated the following:

AT&T requests that Qwest provide a log of all IMA EDI and GUI issues identified either by Qwest or by a CLEC (via a Wholesale Systems or ISC Help Desk trouble ticket or Service/Account Manager). AT&T also requests that the report identify all open issues pending investigation.

Qwest reviewed this revised request and determined that items AT&T requested be included in a log are already identified within the Event Notifications. Qwest publishes Event Notifications, according to the CMP guidelines, for each issue identified as either a problem, or an item requiring clarification, when it is a CLEC impacting issue. Qwest's Event Notification process is triggered immediately upon identification of an item as CLEC impacting. Log updates would be produced no sooner than Qwest currently issues Notifications.

The existing process ensures a full review of the issue and prevents CLEC proprietary trouble tickets that do not result in an event notification from being shared with the entire community.

Finally, it would require additional Qwest resources to implement and maintain the AT&T request. Duplication of effort in initial publication and again as updates are made to those issues introduces additional cost and complexity into the negotiated CMP process.

Qwest's existing process of providing notifications with workarounds, business impacts, and channels for escalation works effectively and includes the information AT&T is requesting. Qwest respectfully denies this change request because the change does not result in a reasonably demonstrable business benefit.

Based on the agreements at the Global Action Item meetings, the CLECs have agreed to issue PC111903-1 to address the improvements in Qwest’s trouble ticket reporting, and ongoing discussions will be tracked against that CR. Therefore, this CR remains in a denied status, effective September 2003, for no demonstrable business benefit.

Sincerely, Connie Winston Director, Information Technology

September 9, 2003

Donna Osborne-Miller AT&T

CC: Lynn Notarianni Beth Foster Kit Thomte

SUBJECT: Qwest’s Change Request Response - PC022703-9X “Support Production Defect Report (crossed over from SCR022703-09)”

CR Description: AT&T’s revised change request states:

Qwest Response: AT&T requests that Qwest provide a log of all IMA EDI and GUI issues identified either by Qwest or by a CLEC (via a Wholesale Systems or ISC Help Desk trouble ticket or Service/Account Manager). AT&T also requests that the report identify all open issues pending investigation.

Qwest reviewed this revised request and determined that items AT&T requested be included in a log are already identified within the Event Notifications. Qwest publishes Event Notifications, according to the CMP guidelines, for each issue identified as either a problem, or an item requiring clarification, when it is a CLEC impacting issue. Qwest's Event Notification process is triggered immediately upon identification of an item as CLEC impacting. Log updates would be produced no sooner than Qwest currently issues Notifications.

The existing process ensures a full review of the issue and prevents CLEC proprietary trouble tickets that do not result in an event notification from being shared with the entire community.

Finally, it would require additional Qwest resources to implement and maintain the AT&T request. Duplication of effort in initial publication and again as updates are made to those issues introduces additional cost and complexity into the negotiated CMP process.

Qwest's existing process of providing notifications with workarounds, business impacts, and channels for escalation works effectively and includes the information AT&T is requesting. Qwest respectfully denies this change request because the change does not result in a reasonably demonstrable business benefit.

Sincerely,

Connie Winston, Director, Information Technology Qwest

* August 13, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the August 20, 2003, CMP Product/Process Meeting

Donna Osborne Miller AT&T

SUBJECT: Qwest’s Change Request Response - CR #PC022703-9X

This is an updated response regarding AT&T CR PC022703-9X (Support Production Defect Report – crossed over from SCR022703-9).

Qwest reviewed this request and provided the initial response at the May 21, 2003 Product/Process CMP Meeting. AT&T reviewed Qwest’s response and provided additional information during an Ad Hoc meeting held on July 24, 2003. The additional information that AT&T provided included an example of a report that identifies a listing of ‘Event Notifications.’ AT&T requested that Qwest hold an Ad Hoc meeting with the CLEC Community to review the report. Qwest scheduled and held this meeting on August 11, 2003. During the meeting, AT&T agreed to modify the description of change to clarify this request.

While it assess this CR, Qwest would like to move it into Evaluation Status. Qwest will provide a status update at the September CMP meeting and will outline their response at that time.

Sincerely,

Connie Winston Qwest

========================================================= May 14, 2003

REVISED RESPONSE For Review by CLEC Community and Discussion at the May 21, 2003, CMP Product/Process Meeting

Donna Osborne-Miller AT&T

SUBJECT: AT&T Change Request – CR PC022703-9X

This letter is in response to AT&T Change Request PC022703-9X. This CR is a request by AT&T for Qwest to create a centralized list of known workarounds.

Qwest accepts this CR and is currently working to create an appropriate update to the Resale and Interconnection Ordering Overview PCATs to satisfy AT&T’s request. This update will create a new section in the PCAT that will contain links to documented manual processes or workarounds in product-specific PCATs or other procedure PCATs.

For example, in the Migrations and Conversions PCAT, there is a documented manual process for Courtesy Disconnects. The new section in the Ordering Overview PCAT may read:

“Manual Requests Required” Manual handling (Manual Indicator ‘Y’) is required to process the following types of requests. - Courtesy Disconnects (This hotlink would take a reader to the Migrations PCAT.) - Other Documented Process - Etc.”

This text is a proposed example only and is subject to change. Qwest will provide an update on the documentation change at the June CMP meeting.

Sincerely,

Mallory Paxton Senior Process Analyst

============================================

DRAFT RESPONSE to SCR022703-09 March 13, 2003

RE: SCR022703-09 Support Production Defect Report

Qwest has reviewed the information submitted as part of Change Request SCR022703-09. Based upon the scope of this CR as agreed to in the Clarification Meeting (held March 12, 2003) Qwest is able to provide an estimated Level of Effort (LOE) of 1050 to 1750 hours for this Change Request.

At the March Systems CMP Meeting, CMP participants will be given the opportunity to comment on this Change Request and provide additional clarifications. Any clarifications and/or modifications identified at that time will be incorporated into Qwest’s further evaluation of this Change Request.

Sincerely, Qwest


Open Product/Process CR PC042303-1 Detail

 
Title: AT&T requests that Vendor Meet (coordinated dispatch) requests for non design POTS service be at specific times.
CR Number Current Status
Date
Area Impacted Products Impacted

PC042303-1 Crossover
7/29/2009
Maintenance Repair UNE-P
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Suellentrop, Craig
Director:
CR PM: Harlan, Cindy

Description Of Change

Currently Qwest provides a four hour window for the vendor meet at the customer premise. This four hour window places undue buden on AT&T and AT&T vendors on coordinated dispatches. The current process used is to contact the CLEC center thirty minutes in advance of dispatch arrival. This is not enough lead time for AT&T or it's vendors to ensure that the actual meet takes place, since the Qwest tech will not wait for AT&T's vendor. AT&T had established with Verizon, Bell South and with SBC, a Memorandum of Understanding (MOU) around coordinated dispatches. Under these agreements, all AM-scheduled vendor meets are to occur at 9AM(local time) and all PM vendor meets are to occur at 1PM (local time). Wait time for either tech is limited to 30 minutes. Development and implementation of this process reduced "missed" vendor meets by 73% withing the first two months.

Expected Deliverable:

ATT requests a similar process as described above. (MOU) This would include any system changes necessary by Qwest to be implemented to support this type of process. Implementation of this process/system change would allow both AT&T and QWEST to better manage situations requiring a coordinated dispatch, resulting in fewer "no access" or "vendor meet ,no show" and would reduce missed commitments for these reasons.


Status History

4/23/03 CR Received

4/24/03 CR Acknowledged

05/09/03 Clarification Meeting

05/21/03 - Presented at CMP Meeting

06/11/03 - Qwest response posted and distributed

06/18/03 - Discussed at CMP Meeting

07/09/03 - Revised response posted and distributed

07/16/03 - CR Discussed at CMP Monthly Meeting

8/21/03 - Discussed at CMP Meeting

9/17/03 - Sep CMP meeting minutes will be posted to the database

10/15/03 - Oct CMP meeting minutes will be posted to the database - agreed to cross over this CR. See SCR042303-01X for continuing project status

10/28/03 - Changed status to closed as this was crossed over to systems


Project Meetings

October 15, 2003 CMP Meeting Craig Sullentrop – Qwest advised it has been determined that this CR has impacts to RBE, which are visable to CEMR. As a result of this, the CR needs to be crossed over to Systems. ATT uses Mediacc, and there are not changes to Mediacc, however other CLECs use RCE. Donna Osborne Miller advised okay to cross over to Systems.

September 17, 2003 CMP Meeting Craig Suellentrop – Qwest reported that an internal status meeting is scheduled for next week. The development is on track and estimated time frame is December 2003. Liz asked Craig to refresh her memory and Craig advised this is for the joint meet which has to be requested.

CMP Meeting 08-20-03

Suellentrop-Qwest stated that the CR should stay in development because there were a number of internal systems that had to move through the 90 day development cycle. Osborne-Miller-AT&T asked when she could expect delivery. Suellentrop-Qwest stated that he estimated implementation would come in December 2003.

=================================

CMP Meeting 07-16-03

Sullentrop-Qwest presented the Qwest acceptance. He stated that when Qwest developed the full solution it would follow the appropriate notification process. He stated that this might entail systems changes, but he wasn’t sure if they would be CLEC facing changes. Zimmerman-AT&T asked for Qwest’s tentative implementation date. Sullentrop-Qwest stated that he thought it would take at lease a couple of months. Osborne-Miller-AT&T asked if the systems changes would involve IMA. Suellentrop-Qwest stated that he didn’t think they would involve prioritized systems. He stated that he would have much more information at the August CMP Meeting. He stated that Qwest was looking at a 30 minute meeting window. Zimmerman-AT&T stated that was good. Suellentrop-Qwest stated that this new process would be available for systems other than electronic bonding. Johnson-Eschelon stated that Eschelon had submitted a CR in 2001 (PC092801-2) for the same thing and Qwest denied it. She asked why Qwest was accepting AT&T’s. White-Qwest stated that he would research the reason and correspond directly with Johnson.

=================================== CMP Meeting 06-18-03

Suellentrop-Qwest asked that the CR be moved into Evaluation status. Osborne-Miller-AT&T stated that AT&T would forward their contacts in the other ILECs to Qwest. ========================================================== CMP Meeting 05-21-03

Osborne Miller-AT&T presented the CR. Suellentrop-Qwest stated that UNE-P and resale products are affected by this. Stichter-Eschelon stated that she had opened a similar CR that was denied. Johnson-Eschelon asked if there should be a CMP process to review previously denied CRs. Osborne Miller-AT&T stated that Verizon, SBC and Bellsouth have all converted to a similar process after AT&T presented them with the data. Suellentrop-Qwest asked AT&T to send the appropriate data to White-Qwest. ========================================== Clarification Meeting Friday, May 09, 2003

1-877-550-8686 2213337#

Attendees Matt White – Qwest Craig Suellentrop – Qwest Anthony Washington – Qwest Donna Osborne-Miller – AT&T Craig Zimmerman – AT&T Lydia Braze – AT&T Paulita Moore – AT&T

Introduction of Attendees White-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Osborne-Miller-AT&T reviewed the CR. Suellentrop-Qwest verified that this CR was for UNE-P and resale and that the request was for 24 hours advance notification. Zimmerman-AT&T stated that he envisioned a 24 to 48 hour notification. He explained that AT&T submitted the initial dispatch request via electronic bonding system and then followed up with a call. Zimmerman-AT&T asked if any other CLECs have approached Qwest with similar requests. Suellentrop-Qwest stated that he seemed to remember a similar request around 2 years ago. Zimmerman-AT&T stated that this request only applies to only 1-2% of total dispatches in any area.

Confirm Areas and Products Impacted White-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted.

Confirm Right Personnel Involved White-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation White-Qwest reviewed the request to confirm AT&T’s expectation.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for AT&T to present the CR at the May Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

July 9, 2003

REVISED RESPONSE For Review by CLEC Community and Discussion at the July 16, 2003, CMP Product/Process Meeting

Donna Osborne-Miller AT&T

SUBJECT: Qwest’s Change Request Response - CR PC042303-1

This CR requests that vendor meets for non-designed products be made at a specific date and time. AT&T has suggested that all AM vendor meets could take place at 9:00 am and all PM vendor meets take place at 1:00 pm.

A Joint Meet involves Qwest, CLECs, and possibly third party vendors, meeting at a designated location to isolate hard-to-find faults, verify existing trouble and diagnosis, and resolve chronic and repeat problems. Qwest accepts this change request to allow CLECs to request a joint meet at a specific time. Qwest proposes this CR be moved into development status. Qwest needs to finalize the mechanics of this process, including how far in advance a joint meet request must be made and any system changes that will be required.

Sincerely,

Craig Suellentrop Staff Advocate, Policy & Law Qwest

Cc: Mary Retka, Director-Legal Issues, Qwest Cathy Augustson, Lead Process Analyst, Qwest

========================================== June 11, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the June 18, 2003, Monthly CMP Product/Process Meeting

Donna Osborne-Miller AT&T

SUBJECT: Qwest’s Change Request Response - CR PC042303-1 “AT&T requests that Vendor Meet (coordinated dispatch) requests for non-design POTS service be at specific times.”

This CR requests that vendor meets for non-designed products be made at a specific date and time. AT&T has suggested that all AM vendor meets could take place at 9:00 am and all PM vendor meets take place at 1:00 pm.

The current vendor meet process for non-designed products gives the customer a 4-hour window for the vendor meet. Because of the complexity in evaluating this request, including possible systems changes that may be required, Qwest requests that this CR be moved into Evaluation Status. Qwest will provide an updated response at the July CMP meeting.

Sincerely,

Craig Suellentrop Staff Advocate, Policy & Law Qwest

Cc: Mary Retka, Director-Legal Issues, Qwest


Open Product/Process CR PC042303-2 Detail

 
Title: AT&T requests that pre dispatch calls be limited to specific scenarios, primarily address mismatches, no access situations and/or vendor meets requests.
CR Number Current Status
Date
Area Impacted Products Impacted

PC042303-2 Completed
4/15/2009
Maintenance Repair UNE-P
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Suellentrop, Craig
Director:
CR PM: Harlan, Cindy

Description Of Change

Qwest performs pre-dispatch calls throughout the day to CLECs prior to dispatching out to customers premise. AT&T believes pre dispatch calls on ALL dispatches places an undue burden on their call centers. Due to previous volumes of calls from other ILECs, AT&T utilized Electronic Bonding for repair. AT&T does not see value in pre-dispatch calls except under very limited conditions as noted in the title of change. The JIA clearly states that "dispatch authorization implied when item referred". Since authorization for the dispatch is already implied, AT&T does not want to incur the addtiional supplier call volume to simply inform us that dispatch is now occurring. The information whould be transmitted electronically through EB.

Expected Deliverable:

Do not call to dispacth on any other that specific scenarios noted in Title of change. Utilize EBTA for "other" dispatch situations.


Status History

4/23/03: CR Received

4/24/03: CR Acknowledged

05/09/03 Clarification Meeting

05/21/03 - Presented at CMP Meeting

06/11/03 - Qwest response posted and distributed

06/18/03 - Discussed at CMP Meeting

07/09/03 - Revised response posted and distributed

07/16/03 - CR Discussed at CMP Monthly Meeting

8/21/03 - Discussed at CMP Meeting

9/17/03 - Sep CMP meeting minutes will be posted to the database

10/15/03 - Oct CMP meeting minutes will be posted to the database

10/17/03 - Notification distributed PROS.10.17.03.F.03633.Maintenance_V19

11/13/03: Notification distributed PROS.11.13.03.F.001050.FNL_Maintenance_V19

11/19/03 - Nov CMP meeting minutes will be posted to the database

12/17/03 - Dec CMP meeting minutes will be posted to the database


Project Meetings

CMP Meeting 12/17/03 - Jamal Boudhaouia – Qwest advised the document notification number and dates. The comment cycle closed and no comments were received. Jamal asked if we could close this CR. Carla Pardee – ATT advised it is okay to close this CR.

CMP Meeting 11/19/03 Craig Suellentrop – Qwest advised the PCAT has been updated and no comments have been received. Implementation is scheduled for December 1, 2003. This CR will remain in CLEC Test.

CMP Meeting 10/15/03 Craig Suellentrop –Qwest advised pre-dispatch calls will only occur when the CLEC requests them. The notification will go out October 17. This CR will move to CLEC Test Status.

CMP Meeting 9/17/03 Craig advised the notification is almost ready. The documentation team is currently reviewing the documentation. This is a Level 3 change.

CMP Meeting 08-20-03

Suellentrop-Qwest stated that Qwest was finalizing the training and the documentation. He stated that the documentation should be in the review site within the next two weeks. Zulevic-Qwest asked if the change was UNE-P specific. Suellentrop-Qwest stated that the change was for all non-design products.

================================================

CMP Meeting 07-16-03

Osborne-Miller-AT&T described the Qwest acceptance and asked if the response would apply to MEDIACC. Suellentrop-Qwest stated that MEDIACC users would use the comments field. While CEMR users would have a button to select. Zimmerman-AT&T stated that this sounded good. Osborne-Miller-AT&T and Johnson-Eschelon stated that they were very pleased with Qwest’s acceptance of this CR. CR moved to Development.

================================================= CMP Meeting 06-18-03

Suellentrop-Qwest presented the Qwest response. Johnson-Eschelon stated that she thought Qwest was going to check to see if Qwest could use the Call Before Dispatch option in CEMR and only perform the pre-dispatch call for those CLECs. Suellentrop-Qwest stated that it was Qwest’s policy to call regardless of whether the CLEC checks “Call Before Dispatch” in CEMR. He stated that he will check to see if this was an option. Osborne-Miller stated that AT&T was split on the proposed solution in the response. ========================================================== CMP Meeting 05-21-03

Osborne Miller-AT&T presented the CR. Suellentrop-Qwest asked what the other CLECs thought about this request. Johnson-Eschelon stated that Eschelon wanted the calls to continue. She suggested that there might be a systems solution to determine which CLECs wanted the call. Balvin-MCI stated that she would like to see a list of all calls the AT&T would not want. Zimmerman-AT&T stated that AT&T wanted only the CRs denoted in the CR. Johnson-Eschelon stated that there was a field in CEMR for a call before dispatch. She stated that Eschelon wanted the calls. She stated that this should be the CLEC’s option regardless of the reporting medium. ========================================== CLEC Change Request – PC042303-2 Clarification Meeting Friday, May 09, 2003

1-877-550-8686 2213337#

Attendees Matt White – Qwest Craig Suellentrop – Qwest Anthony Washington – Qwest Donna Osborne-Miller – AT&T Craig Zimmerman – AT&T Lydia Braze – AT&T Paulita Moore – AT&T

Introduction of Attendees White-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Osborne-Miller-AT&T reviewed the CR. Suellentrop-Qwest asked if AT&T was asking for this change to apply to all trouble tickets. Zimmerman-AT&T stated that most of the tickets are electronically submitted, but that the intent would be for the change to apply to all. He explained that AT&T has a separate line for LEC technicians to call in to. That line does not get a higher priority than customer calls. As a result, because Qwest calls in status reports that do not require AT&T action the supplier line is flooded with unnecessary calls. This call volume and causes AT&T to miss the important action-required calls. Suellentrop-Qwest stated that he understood the request. He stated that he would also be interested to hear other CLEC opinions of this request. Osborne-Miller-AT&T asked if there was any way Qwest would implement this process only for AT&T. Suellentrop-Qwest stated that Qwest would prefer an universal policy.

Confirm Areas and Products Impacted White-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted.

Confirm Right Personnel Involved White-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation White-Qwest reviewed the request to confirm AT&T’s expectation.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for AT&T to present the CR at the May Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

July 9, 2003

REVISED RESPONSE For Review by CLEC Community and Discussion at the July 16, 2003, CMP Product/Process Meeting

Donna Osborne-Miller AT&T

SUBJECT: Qwest’s Change Request Response - CR PC042303-2 “AT&T Requests that pre-dispatch calls be limited to specific scenarios, primarily address mismatches, no access situations, and/or vendor meet requests”

This CR requests that the pre-dispatch call made by the Qwest repair technician prior to leaving to the end-user location is only made when there are address mismatches, no access situations, and/or vendor meet requests. AT&T believes that making the pre-dispatch call on all dispatches places an undue burden on their call centers.

The current non-designed repair process for outside technicians requires a courtesy call to the customer of record (both wholesale and retail) prior to leaving to the end-user location. At the May 21 CMP meeting other CLECs requested that this process not be changed and that they want Qwest to make the pre-dispatch call. Therefore, this request was denied at the June CMP meeting.

However, the question was raised about using a box titled, “Call Before Dispatch” in the CEMR application. This function is also available to Qwest’s repair agents on manually reported trouble. The CLEC community was agreeable to the idea of Qwest only performing the pre-dispatch calls when requested via the above mentioned methods. If this is still the case, Qwest accepts this request and will issue a Level 3 notification to implement the modified process.

Sincerely,

Craig Suellentrop Staff Advocate, Policy & Law Qwest

Cc: Mary Retka, Director-Legal Issues, Qwest Cathy Augustson, Lead Process Analyst, Qwest Catherine R. Garcia, Lead Process Analyst, Qwest

====================================== June 11, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the June 18, 2003, Monthly CMP Product/Process Meeting

Donna Osborne-Miller AT&T

SUBJECT: Qwest’s Change Request Response - CR PC042303-2 “AT&T Requests that pre-dispatch calls be limited to specific scenarios, primarily address mismatches, no access situations, and/or vendor meet requests”

This CR requests that the pre-dispatch call made by the Qwest repair technician prior to leaving to the end-user location is only made when there are address mismatches, no access situations, and/or vendor meet requests. AT&T believes that making the pre-dispatch call on all dispatches places an undue burden on their call centers.

The current non-designed repair process for outside technicians requires a courtesy call to the customer of record (both wholesale and retail) prior to leaving to the end-user location. At the May 21 CMP meeting other CLECs requested that this process not be changed and that they want Qwest to make the pre-dispatch call.

Therefore, Qwest respectfully denies this change request because the requested change does not result in a reasonably demonstrable business benefit; this request will negatively impact other CLECs.

However, Qwest would like to address AT&T’s concern regarding placing an undue burden on their call center. As Qwest understands, AT&T has a supplier line and the hold times could be quite lengthy. Qwest would like to propose a process that on the courtesy pre-dispatch calls, the technician would wait in a Voice Response Unit (VRU) for at least a set period of time (say 90 seconds). After this time the technician would drop the call. This would relieve most of the volume into the call center. When there are address mismatches, no access situations, and/or vendor meet requests, the technician would wait on the line until someone is reached. If someone answers the phone, or if the call is routed to voice mail, the process in place today would not change.

Sincerely,

Craig Suellentrop Staff Advocate, Policy & Law Qwest

Cc: Mary Retka, Director-Legal Issues, Qwest Cathy Augustson, Senior Process Analyst, Qwest


Open Product/Process CR PC042303-3 Detail

 
Title: Clarification of Service Interval Guide Installation Instructions for UNE P Conversion as Specified.
CR Number Current Status
Date
Area Impacted Products Impacted

PC042303-3 Withdrawn
5/21/2003
Preordering, Ordering UNE-P
Originator: Pardee, Carla
Originator Company Name: AT&T
Owner: Rein, Kathy
Director:
CR PM: Harlan, Cindy

Description Of Change

The Qwest Service Interval Guide (“SIG”) currently states the following for “Activity/Feature – Conversion as Specified for Retail, Resale or UNE-P POTS to UNE-P POTS: “Orders are submitted for two main purposes: 1) To convert an existing resale/retail lines to UNE-P with changes, and 2) To request an additional line. Depends on changes requested. For instance, addition of another line would follow New Installs Guidelines”. This guideline is confusing to AT&T, as well as other CLECs. The guidelines distinguishes and clarifies the request for an additional line, however the interval for requesting conversion as specified to convert an existing resale/retail line to UNE-P with a change is not clear. Does this mean that a CLEC follows the addition or change of CO features listed later in the SIG, or some other interval ? AT&T requests that Qwest clearly identify this interval in its published SIG for each type of conversion as specified change. The clarification requested by AT&T is a minor change involving very few resources by Qwest.

Expected Deliverable:

July 2003


Status History

4/23/03: CR Received

4/24/03: CR Acknowledged

4/28/03: Contacted Carla-ATT to schedule clarification call

4/29/03: Scheduled Clarification call for 5/2/03

5/02/03: Held clarification meeting. Rec'd e-mail from Carla Pardee at AT&T they have decided to withdraw change request as it is duplicate of AI041603-1 submitted by Liz Balvin.

5/06/03: Status of CR changed to pending withdrawal.

5/21/03: May CMP Meeting minutes will be posted to the database


Project Meetings

May CMP Meeting - An Action Item is open for this same request (see AI041603-1). This request will be Withdrawn. Carla-ATT agreed this was okay.

Fri 5/2/03 9:49 AM From: Pardee, Carla D, CSLSM [cdickinson@att.com] To: ljsanch@qwest.com; cmacy@qwest.com Linda - Based on our Clarification call today, and the representations from Michael Whitt, AT&T is withdrawing this CR. Thank you for your assistance in this matter.

Carla Dickinson Pardee AT&T Local Services & Access Management 1875 Lawrence Street, Suite 8-38 Denver, Colorado 80202 Phone: 303-298-6101

CLEC Change Request Clarification Meeting 9:00 a.m. (MDT) / 5/2/03 1-877-562-8687, 3393947 PC042303-3 Clarification of Service Interval Guide Installation Instructions for UNE-P Conversion as Specified.

Attendees Carla Pardee, AT&T, LSAM Manager Laurel Neher, Qwest, Staff Advocate Policy & Law Kathy Rein, Qwest, Process Specialist Michael Whitt, Qwest, Product Manager UNE-P Linda Sanchez-Steinke, Qwest, Change Request Project Manager

Introduction of Attendees Introductions of the participants on the Conference Call was made and the purpose of the call discussed.

Review Requested (Description of) Change The description of change requested in the CR was reviewed. Carla indicated that AT&T would like to have the Service Interval Guide clearly specify UNE-P conversion installation guidelines.

Confirm Areas & Products Impacted UNE-P Conversions

Confirm Right Personnel Involved Qwest confirmed that the right personnel were involved in the conference call.

Identify/Confirm CLEC’s Expectation Michael Whitt explained that there are changes planned to this section of the SIG that will make the language more clear. These changes will be sent out on or around 5/23/03. The language proposed to change is the conversions as specified for existing retail or resale to UNE-P POTS 3 business days. In Colorado and Minnesota only 2 business days. When adding additional lines, new installation guidelines apply. Carla said that AT&T may withdraw this CR because of the already existing action item open for MCI/Worldcom. Identify any Dependent Systems Change Requests

Establish Action Plan (Resolution Time Frame) Carla will send Linda Sanchez-Steinke an e-mail to withdraw this change request.


Open Product/Process CR PC050503-4CM Detail

 
Title: Allow Originating CLEC to invite other CLECs to its Clarification Meeting for a System CR
CR Number Current Status
Date
Area Impacted Products Impacted

PC050503-4CM Completed
8/20/2003
CMP Operations
Originator: Van Meter, Sharon
Originator Company Name: AT&T
Owner: Harlan, Cindy
Director:
CR PM: Harlan, Cindy

Description Of Change

Add language from Section 5 of the Product/Process CMP Document to System section of the CMP Document. Language states:

"Within eight (8) business days after receipt of a complete CR, the CRPM coordinates and holds a clarification meeting with the Originating CLEC and Qwest’s SMEs. If the originating CLEC is not available within the above specified time frame, then the clarification meeting will be held at a mutually agreed upon time. Qwest will not provide a response to a CR until a clarification meeting has been held. The CR originator may invite representatives from other companies to participate on the clarification call. Such participation is not intended to replace the presentation of the CR at the Monthly CMP Meeting."

Expected Deliverable

Allow Originating CLEC to invite other CLECs to its Clarification Meeting for a System CR


Status History

05/05/03 - CR Submitted

05/07/03 - Acknowledged CR

5/9/03 - Scheduled Clarification Call

5/13/03 - Held Clarification Call

5/14/03 - Sent Clarification Notes and Red Line to CLEC

5/21/03 - May CMP Meeting Minutes will be posted to the database

5/27/03 - Vote Notification and Vote Ballot sent to CLEC community advising vote will take place during June CMP Meeting

6/18;/03 - June CMP Meeting Minutes will be posted to the database and Vote results will be posted to the minutes and the website

7/7/03 - Updated CMP Document posted to database

7/16/03 - July CMP Meeting Minutes will be posted to the database

8/20/03 - August CMP Meeting Minutes will be psoted to the database


Project Meetings

August 20, 2003 CMP Meeting Minutes Kit Thomte-Qwest explained the language was reviewed and it was agreed that it was okay as written. Sharon VanMeter-ATT agreed it was okay to close this CR.

July 16, 2003 CMP Meeting Minutes Cindy Macy – Qwest advised the CMP document was updated and published on July 7, 2003. This CR will move to CLEC Test. Conversation took place regarding making additional updates to this section of the CMP document to further clarify the intent. See AI052103-1 for more information.

June 18, 2003 CMP Meeting Minutes Cindy Macy – Qwest read the requested language change to the CMP document and explained what a vote of ‘yes’ and a vote of ‘no’ means. The quorum was 6 CLECs and the voting standard was unanimity. The quorum was established as there were 12 CLECs available to vote. The CLECs included Cox Communications, Eschelon, Tel West, US Link, McLeod, Covad, NcTelcom, North Star Access, AT&T, Allegiance, Qwest and MCI. A vote was taken on this CR and the vote passed with 12 ‘yes’ votes and 0 ‘no’ votes. Matt White-Qwest asked if it was okay to implement this change with a Level 1 Notification. The CLECs agreed. The language identified in the CR will be incorporated into CMP Process Section 5.1.4.

May 21, 2003 CMP Meeting Minutes Sharon Van Meter – ATT presented this CR and reviewed the Red lined changes. The CLECs do not believe they need an input meeting as they understand the request. The Vote for this CR will be scheduled during the June CMP meeting.

Clarification Meeting

May 13, 2003

1-877-572-8687 3393947#

PC050505-5CM Allow originating CLEC to invite other CLECs to its Clarification Meeting for a system CR Attendees Sharon Van Meter – ATT Cindy Macy – Qwest

Meeting Agenda: 1.0 Introduction of Attendees Attendees introduced

2.0 Review Requested (Description of) Change ATT reviewed the CR. Sharon explained ATT wants to be able to invite other CLECs to Systems Clarification Meetings. ATT is hoping this will allow the CR to be resolved faster. Cindy – Qwest asked how would this make the CR be resolved faster. Sharon explained that the scope would get clarified earlier and Qwest would not have to wait until the Monthly CMP meeting to start working on the CR. I advised Sharon that the P/P side begins working on the CR as soon as the initial clarification meeting is held. Qwest does not wait until after the Monthly CMP Meeting. Sharon explained that this was talked about in Redesign and it got voted down as some CLECs thought it would be mandatory to invite other CLECs. This is not mandatory; it is options if the originating CLEC wants to invite others. Sharon explained she has talked to the other CLECs and she believes she has their support at this time. Cindy advised Sharon that we need to identify in the CMP Process the section to update and then redline it. Cindy agreed she would do that for Sharon and send it to Sharon. Cindy also suggested that we make the paragraph in P/P section 5.3 match the Systems section 5.1.4. This will involve adding 2 sentences to Section 5.1.4 to make it match Section 5.3. Sharon agreed and will review the red lined paragraph when Cindy sends it. (See Below).

The new Section 5.1.4 would read as below, with the changes identified in Red: Within eight (8) business days after receipt of a complete CR, the CRPM coordinates and holds a clarification meeting with the CR originator and Qwest’s SME(s). If the originator is not available within the above specified time frame, then the clarification meeting will be held at a mutually agreed upon time. Qwest may not provide a response to a CR until a clarification meeting has been held. The CR originator may invite representatives from other companies to participate on the clarification call. Such participation is not intended to replace the presentation of the CR at the Monthly CMP Meeting.

3.0 Confirm Areas & Products Impacted All CR Clarification Meetings

4.0 Confirm Right Personnel Involved Cindy advised she would check with the Systems CMP team to see if we are missing anything.

5.0 Identify/Confirm CLEC’s Expectation Sharon would like the paragraph referenced in the redline document in the Systems section 5.1.4 to match the same paragraph in section 5.3.

6.0 Identify any Dependent Systems Change Requests none

7.0 Establish Action Plan (Resolution Time Frame) ATT will present the CR at the May CMP Meeting Qwest will review the Vote process and set this CR up for a vote. Voting involves sending out a vote notification, offering 3 meetings times to hold the vote, establishing a quorum, ballot, unanimous vote, and vote disposition. This will be discussed at the May CMP meeting.


Open Product/Process CR PC050703-1 Detail

 
Title: Change Qwest Wholesale CMP Website to make it easier to search, retrieve and view CRs.
CR Number Current Status
Date
Area Impacted Products Impacted

PC050703-1 Completed
5/3/2004
Operations
Originator: Van Meter, Sharon
Originator Company Name: AT&T
Owner: Thomte, Kit
Director:
CR PM: Andreen, Doug

Description Of Change

AT&T is asking Qwest to make it easier to search, retrieve, and view a specific CR document on the Qwest Wholesale CMP Website. Although anyone can sort by CR, Originator Company, Current Status, Most Recently Updated, CR Project Manager, and CR Title - once the sort is completed, the CR cannot be accessed to read the document. AT&T is requesting that once the sort is completed, we can click on the CR number and it will bring up that specific CR. Another option might be to have a "search" field and by typing in the CR number, the CR would be retrieved and the document could be read. If these are not viable options, AT&T is asking Qwest to come up with suggestions/solutions.


Status History

05/07/03 - CR Submitted

05/07/03 - Acknowledged CR

05/12/03 - Clarification Meeting

05/21/03 - Presented at CMP Meeting

06/11/03 - Qwest response posted and distributed

06/18/03 - Discussed at CMP Meeting

07/16/03 - CR Discussed at CMP Monthly Meeting

09/17/18 - CMP Meeting Thomte indicated that Qwest is continuing to pursue improvements to this web site.

02/25/04 - Qwest originated notice PROS.02.25.04.F.01418.CMP_WEBSite_ProcessOpt

3/18/03 - Status changed to CLEC Test

3/17/04 - Notes will be posted from March CMP meeting

3/25/04 - Qwest originated notice PROS.03.25.04.F.01508.WebCR_InteractiveReports

4/7/04 - Qwest initiated notice PROS.04.08.04.F.01559.FNL_WebCR_InteractiveRepo


Project Meetings

04/21/04 CMP Meeting Doug Andreen, Qwest said that two comments were received during the comment cycle. One coment asked for a find capability covering the entire database. In order to make that capability available the effective date was moved from April 15 to April 23. Notice was sent that it is Qwest’s intention to remove the old Interactive Reports and remove the Prototype designation from the new reports on the 23rd.. The CR was moved to Completed. - 03/17/04 March CMP Meeting Kit Thomte, Qwest said that it was agreed last month to put this CR in CLEC Test status. The Interactive Report prototype is now on the web and comments internally have been positive. The CLECs agreed to review. The CR will remain in CLEC Test Status.

-- 2/18/04 CMP Meeting Kit Thomte and Doug Andreen, Qwest said the prototype will be available 3/25 and will be located next to the existing Interactive Report on the Qwest Web Site. It will contain six different sorts for the data. The format is somewhat changed although the content remains the same. Kit asked if the CLECs would agree to move this CR to test since the prototype will be available in a week. The CLECs agreed to move the CR to test.

- CMP Meeting 1-21-04 Thomte Qwest indicated that hopefully we might have a prototype for the meeting next month. The issue is continuing to be worked. The CR will remain in Development status.

-- CMP Meeting 12-17-03

Thomte Qwest indicated that hopefully we might have a prototype for the meeting in January. The issue is continuing to be worked. The CR will remain in Development status.

- CMP Meeting 10-15-03 Thomte Qwest indicated that this CR is still being worked. Qwest is trying to find the appropriate vendor to handle these updates. This CR will reamin in Development status.

CMP Meeting 09-17-03 Thomte indicated that Qwest is continuing to pursue improvements to this web site. CMP Meeting 08-20-03

Van Meter-AT&T stated that she liked the new report format but she would still like to be able to search by CR number. Balvin-MCI stated that she would like the ability to copy from the report and paste into other applications. White-Qwest stated that Qwest was still working on developing a more robust report format.

==============================================

CMP Meeting 07-16-03

White-Qwest stated that the new report format would be posted on 7/16. He recommended that the CR be left in Development status because Qwest was developing a more robust solution. Van Meter-AT&T agreed.

================================================== CMP Meeting 06-18-03

White-Qwest presented the response. Van Meter-AT&T and Hines-MCI stated that they were fine with the proposed change. Van Meter-AT&T asked that Qwest distribute a notice when the change became effective. White-Qwest agreed and asked to move the CR into Development. ========================================================== CMP Meeting 05-21-03

Van Meter-AT&T presented the CR. White-Qwest confirmed that the CLECs used the “sort by originator” option in the interactive report the most. All attendees agreed. ============================================

Clarification Meeting Monday, May 12, 2003

1-877-550-8686 2213337#

Attendees Matt White – Qwest Sharon Van Meter – AT&T Liz Balvin – MCI Bonnie Johnson – Eschelon Mike Zulevic – Covad

Introduction of Attendees White-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Osborne-Miller-AT&T reviewed the CR. She stated that she most frequently used the Sort by Originator button to find a CR when she didn’t know the number. She stated that it would be helpful if the buttons to link to the CR details were contained within that report. White-Qwest asked the other CLEC representatives if they also used the Sort by Originator function most frequently. All attendees responded that the most frequently used sort was the Sort by Originator. Van Meter-AT&T suggested that Qwest implement some sort of GUI front end that allows users to find a specific CR by inputting the number or to sort the CRs by originator/CRMP/status/title/etc. White-Qwest stated that he would query the attendees at the upcoming meeting to find out if all the CLECs used Sort by Originator most frequently.

Confirm Areas and Products Impacted White-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted.

Confirm Right Personnel Involved White-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation White-Qwest reviewed the request to confirm AT&T’s expectation.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for AT&T to present the CR at the May Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

June 11, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the June 18, 2003, CMP Product/Process Meeting

Sharon Van Meter AT&T

SUBJECT: Qwest’s Change Request Response - CR #PC050703-1

This is an initial response to AT&T CR PC050703-1. This CR requests that Qwest Change Qwest Wholesale CMP Website to make it easier to search, retrieve and view CRs.

Qwest accepts this Change Request. Qwest recommends that the changes to implement this request be implemented in with a phased approach. Qwest is still researching an appropriate means of providing more comprehensive linking in the current report and the possibility of providing a GUI front-end to the report. However, to meet the CLECs’ stated need, Qwest is prepared to immediately modify the existing Interactive Report as attached.

Sincerely,

Matt White Qwest


Open Product/Process CR PC061103-1ES Detail

 
Title: Intercept CLEC customer calls to Qwest Repair Center
CR Number Current Status
Date
Area Impacted Products Impacted

PC061103-1ES Completed
8/18/2004
Maintenance repair UNE-P
Originator: Pardee, Carla
Originator Company Name: AT&T
Owner: Boudhaouia, Jamal
Director:
CR PM: Andreen, Doug

Description Of Change

Currently, when an AT&T UNE-P end-user customer calls the Qwest repair line (800-573-1311), the call is routed to a Qwest representative, who then provides the customer with an AT&T 800 number. AT&T requests that Qwest change this procedure so that the call is intercepted when the customer enters their TN, and the customer should hear a branded message to the AT&T 1-800 repair number (800-288-2747).

There are several reasons for this request: AT&T customers should not be speaking to a Qwest representative; it would be much more efficient to route the call directly to AT&T; it eliminates potential representative errors, and; it reduces the number of calls to the Qwest center.

Expected Deliverable:

August 2003


Status History

06/11/03 - CR Received

06/12/03 - CR Acknowledged

06/18/03 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

06/24/03 - Held Clarification Meeting

07/16/03 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

08/20/03 - August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/21/03 - Qwest received escalation from AT&T

10/21/03 - Qwest issued notificaiton, CMPR.10.21.03.F.01597.EscalationNotification

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

02/18/04 - February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

03/17/04 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/21/04 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

05/19/04 - May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

06/16/04 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

7/21/04 -July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

7/28/04 - Qwest generated notice PROS.07.28.04.F.01932.InterceptCLEC_CustCalls

8/18/04 -August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

9/16/04 -September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

9/16/04 CMP Meeting Minutes Doug Andreen requested the CR be moved to Completed Status. Donna Osborne-Miller said that Joyce Atwell had been doing some follow-up and Donna had not heard from her as yet. She requested that the CR stay open and that she would have the information to Doug by the end of the week. If AT&T has no objections it was agreed to close out of cycle. The CR will remain in Test until Donna gets back with Doug.

8/18/04 CMP Meeting Mark Gonzales reported that the work was complete and that a notice was sent on July 28 effective July 29. The CR will be moved to Test status.

7/21/04 July CMP Meeting Denny Graham – Qwest reviewed the response and advised that Qwest is looking at the process and products impacted. Qwest will move this CR to Evaluation status. We will provide an updated status in August.

-- 06/16/04 June CMP Meeting Jamal Boudhaouia with Qwest said that the changes are on track for implementation in third quarter. Carla Pardee with AT&T said that after looking over the changes being made to the VRU, it is not clear how this is different from what is currently done. Jamal said that we want to identify the CLEC end user as not a Qwest customer when a CLEC end user calls the VRU unintentionally. Upfront checks will be done to determine if the end user is Qwest’s or a CLEC’s and convey the message that they are not Qwest’s customer if they are a CLEC end user. Carla asked Jamal to explain the series of checks. Jamal said that the number input by the end user is checked to determine if Qwest, AT&T, Sprint, other CLEC, etc., is the service provider for the end user and then provide the CLEC number if we have it. Carla Pardee with AT&T agreed to the changes being made after the explanations given by Jamal. This CR will remain in Development status.

05/19/04 May CMP Meeting Jamal Boudhaouia with Qwest said that we are in the process of starting to code and implementation is tentatively scheduled for third quarter 2004. The VRU response for Option 2 will be changed. Jamal summarized the VRU changes that will be made and a document summarizing the changes will be attached to this CR. Carla Pardee with AT&T said we thought the call would be intercepted and go to the CLEC serving the account, but since we agreed in September to what Jamal explained it will be accepted. We would like commitment that the implementation will take place during July, August or September 2004. Jamal said the implementation is scheduled for third quarter 2004. Liz Balvin with MCI said it should be taken into consideration the number of times Qwest is used in the VRU because we would not want a CLEC end user customer to talk with a Qwest representative. Bonnie Johnson with Eschelon suggested that the VRU options be written and attached to this CR and Jamal agreed to provide. This CR will remain in Development status.

04/21/04 April CMP Meeting Jamal Boudhaouia with Qwest said that implementation is scheduled for third quarter 2004 and that he will give an update at the May meeting. This CR will remain in Development status.

03/17/04 March CMP Meetng Ev Montez with Qwest said the funding for the project has been approved and that a firm date for implementation has not been provided because IT has not prioritized projects. Carla Pardee with AT&T said that the CR has been out there for a long time and AT&T wants to get the implementation date. Ev said she would provide an update at the April meeting or before if available. This CR will remain in Development status.

-- 02/18/04 February CMP Meeting Jamal Boudhaouia with Qwest said that funding for the project has been approved and will provide a date for implementation as soon as available. Bonnie Johnson said that she has asked several times and has not received an answer about the Qwest retail VRU project and when that is scheduled for implementation or has it been implemented. Jamal said that the project hasn’t been implemented and all changes will be incorporated and will include the CR requested changes. Bonnie said that Qwest hasn’t made clear what the implementation date will be. Carla Pardee with AT&T said that the changes were supposed to be effective in April. Jamal said there is currently no date for implementation. Carla said that the CR is important to AT&T and would like to see solid dates next month adding that the CR was escalated previously and did not do any good. Judy Schultz with Qwest said that we had just received word that funding was approved on Friday and IT will determine the dates as soon as possible. The dates will be provided, if available, before the March meeting. Bonnie said that Qwest had already provided the implementation date of April, (comment begin from Eschelon) 2004 but now states that this was just approved. Judy said all changes had to be reevaluated by Noteabart. (comment end from Eschelon). This CR will remain in Development status.

01/21/04 January CMP Meeting Jamal Boudhaouia with Qwest provided an update that there is no date for implementation. Bonnie Johnson with Eschelon thought this was going to be worked in conjunction with a Qwest retail project. Judy Schultz with Qwest said that this is one of the projects subject to the funding approval process. Even projects that had previously been approved are subject to the new approval process. Qwest will find out when the internal project for the VRU will be worked and how these two projects are connected. This CR will remain in Development status. (Begin comment from Bonnie Johnson - Eschelon) Qwest took an action to review this CR. Bonnie said this CR was waiting for an update already underway for the VRU. That was the delay after this was opened in June 2003. (end comment).

12/17/03 December CMP Meeting Jamal Boudhaouia with Qwest said that the CR is in development status and have no update on timeframe for implementation. Carla Pardee with AT&T said they would like to see progress on this CR by next month or AT&T will escalate the CR. This CR will remain in Development status.

11/19/03 November CMP Meeting Craig Suellentrop said that Qwest has accepted this CR and will make changes to the VRU. Work will be going on in the Qwest VRU and will provide implementation dates as soon as available. Carla Pardee with AT&T said that this CR has been open since June and AT&T would like a formal commitment on the timeframe. This CR will remain in Development Status.

10/15/03 October CMP Meeting Craig Suellentrop said that Qwest is looking at redesigning the repair VRU and plan to include changes for this CR at the same time. Carla Pardee with AT&T said AT&T is anxious to get the changes in place and asked for the implementation date. Craig said he hopes to have implementation dates for the November CMP meeting. Carla asked if the changes Qwest is looking at to make to the VRU should be included in a Qwest initiated CMP CR. Craig said it is still being looked at and determination has not been made if a CR will be required. This CR will remain in Development Status.

09/17/03 September CMP Meeting Craig Suellentrop said that Qwest accepts this CR with an implementation expected in 90 - 120 days. When a customer calls into the repair VRU between 11:30 p.m. - 5 a.m. the system accessed by the VRU to perform the ownership check may be down and the caller will automatically be transferred to a repair agent. However, during this time the system used by Qwest’s repair agents can still identify if a line is owned by a CLEC and will be able to direct the end-user to their local carrier. This CR will be moved to Development status.

08/20/03 August CMP Meeting Craig Suellentrop with Qwest reviewed the draft response to this CR. Craig said that Qwest has mapped the different ways that end users can get into repair VRU and now need the LOE. Qwest will have an update at the September meeting. This CR will be moved to Evaluation status.

07/16/03 July CMP Meeting Carla Pardee with AT&T presented this CR. Craig Suellentrop with Qwest explained the current repair VRU process. When an end user calls into repair they enter the telephone number they are calling about. If the end user presses 1 for a repair agent the VRU does no ownership check and the repair agent inputs the telephone and if the telephone number is CLEC owned the repair agent refers the end user to their alternate provider. If the end user presses 2 for automatic ticket entry and the number is CLEC owned, the VRU will respond that the number is not serviced by Qwest. Then the end user can press 1, if they are the customer for the account. If it is a TN owned by an alternate service provider, the VRU reads the repair number for end user to call for repair services. If the VRU does not recognize the TN, it reads contact your service provider for assistance. Carla with AT&T would like the VRU to respond when the end user enters a telephone number owned by alternate provider, by intercepting the call and routing it to the correct company. Craig will provide the VRU process to the CLEC Community for input on changes.

CLEC Change Request Clarification Meeting

2:00 p.m. (MT) / Tuesday, June 24, 2003

1-877-572-8687 PIN 3393947 # PC061103-1 Intercept CLEC customer calls to Qwest Repair Center

Name/Company: Donna Osborne-Miller, AT&T Dave Fane, AT&T Lydia Braze, AT&T Cathy Garcia, Qwest Craig Suellentrop, Qwest Michael Whitt, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change The description of the change requested in the CR was reviewed. Currently, when an AT&T UNE-P end-user customer calls the Qwest repair line (800-573-1311), the call is routed to a Qwest representative, who then provides the customer with an AT&T 800 number. AT&T requests that Qwest change this procedure so that the call is intercepted when the customer enters their TN, and the customer should hear a branded message to the AT&T 1-800 repair number (800-288-2747). There are several reasons for this request: AT&T customers should not be speaking to a Qwest representative; it would be much more efficient to route the call directly to AT&T; it eliminates potential representative errors, and; it reduces the number of calls to the Qwest center. Dave Fane clarified that the intercept should be implemented for all CLEC customers, not just AT&T customers, and that the end user should be routed to the correct CLEC branding. In the testing, Dave used an AT&T test number and called into repair 6 or 8 times with different results.

Confirm Areas & Products Impacted Product impacted UNE-P

Confirm Right Personnel Involved Qwest confirmed that Craig Suellentrop & Cathy Garcia are correct personnel to resolve the CR.

Identify/Confirm CLEC’s Expectation AT&T would like this change to be effective in August 2003 .

Identify any Dependent Systems Change Requests No dependent change requests were identified.

Establish Action Plan (Resolution Time Frame) AT&T will present this CR at the July CMP Meeting and Qwest will provide response at the August CMP. Donna Osborne-Miller requested that Qwest provide a response or an update if available at the July CMP.

06/18/03 June CMP Meeting Carla Pardee, Lydia Braze and Dave Fane with AT&T reviewed the walk on CR PC061103-1. Dave said that customers within the Qwest territory without Qwest local service call Qwest repair and AT&T would like the IVR to have the ability to route customers to AT&T and identify that the TN does not belong to Qwest. Other ILECs have this ability and it reduces calls to the repair center, mistakes made by repair representatives, and reduces call time for end users, who sometimes are involved in a call taking up to 3-4 minutes before the repair representative recognizes that the customer is not a Qwest customer. Eschelon, U S Link and McLeod all said they support this change request. Lynne Powers with TelWest asked if the end user would be inputting their telephone number and Dave said that is what occurs in the PacBell region. There will be a clarification call on this change request.


CenturyLink Response

September 9, 2003

For Review by the CLEC community and discussion at the September 17, 2003 CMP Meeting

Carla Pardee AT&T

SUBJECT: Qwest’s Change Request Response - CR PC061103-1 "Intercept CLEC customer calls to the Qwest Repair Center"

This CR requests that when a CLEC end-user calls into Qwest repair “the call is intercepted when the end-user enters their TN, and the customer should hear a branded message to the [CLEC] 1-800 repair number.

The August response illustrated Qwest’s current Voice Response Unit (VRU) scripting when an end-user calls into Qwest repair. For this CR Qwest investigated the possibility of performing the ownership check and replaying the same scripts for Option 2 as are performed for Option 1.

Qwest accepts this CR and will make the changes indicated above. The systems accessed for this ownership check may be down for maintenance nightly between 11:30 pm and 5:00 am Mountain Time. Therefore, during this period, it may not be possible to perform the ownership check. However, the system used by Qwest’s repair agents will still detect if a line is owned by a CLEC and the agent will direct the end-user to call his or her local carrier.

Sincerely,

Craig Suellentrop Staff Advocate, Policy & Law Qwest

Cc: Mary Retka, Director-Legal Issues, Qwest Catherine R. Garcia, Lead Process Analyst, Qwest Cheryl Rock, Senior Process Analyst, Qwest

August 13, 2003

DRAFT RESPONSE For Review by the CLEC Community and Discussion at the August 20, 2003 CMP Meeting

Carla Pardee AT&T

SUBJECT: Qwest’s Change Request Response - PC061103-1 "Intercept CLEC customer calls to the Qwest Repair Center"

AT&T’s CR requests that when a CLEC end-user calls into Qwest repair "the call is intercepted when the end-user enters their TN, and the customer should hear a branded message to the [CLEC] 1-800 repair number."

The attached document illustrates Qwest’s current Voice Response Unit (VRU) scripting when an end-user calls into Qwest repair. For this CR, Qwest investigated the possibility of performing the ownership check and replaying the same scripts for Option 2 as are performed for Option 1.

The direct number to get into repair for all 14 states in Qwest’s local service region is 1-800-573-1311. However, other Qwest VRU systems have options allowing the caller to transfer to Local Network repair. Callers coming from these other systems do not always input their TN into the repair VRU. Because of this, Qwest has to map all of the various methods of getting into the repair VRU and determine how/if an ownership check can be conducted. Qwest is now in the process of getting an estimate for feasibility to perform the ownership check.

Qwest will provide a revised response at the September CMP meeting with the findings of this research.

Sincerely,

Craig Suellentrop Staff Advocate, Policy & Law Qwest

Cc: Mary Retka, Director-Legal Issues, Qwest Catherine R. Garcia, Lead Process Analyst, Qwest Cheryl Rock, Senior Process Analyst, Qwest


Open Product/Process CR PC062603-03 Detail

 
Title: Business Rules Clarificaiton calls and event notification updates through the Addendum processs
CR Number Current Status
Date
Area Impacted Products Impacted

PC062603-03 Completed
7/12/2004
All All
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Owen, Randy
Director:
CR PM: Harlan, Cindy

Description Of Change

AT&T requests that the Business Rules be opened up for clarification and that event notification updates be incorporated into the Addendum process. We seek Qwest adoption of SBC's process of a standard conference be established to address issues or concerns with the event notification and addendum updates. This SBC process includes conference call logistics: date, time and bridge number. They also send out a notification capturing the questions and answers provided durig the conference call.

Expected deliverable: Adoption of SBC process relative to Business Rules Clarification and event notificattionupdates through the Addendum process


Status History

06/26/03 - CR Submitted

06/30/03 - CR Acknowledged

07/02/03 - CR Posted to Web

07/11/03 - Held Clarification Meeting

07/16/03 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

07/31/03 - Held Ad Hoc Meeting with CLEC community

08/20/03 - August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

09/09/03 - Held Ad Hoc Meeting with CLEC community

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

02/18/04 - February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

03/05/04 - Qwest sent SYST.03.05.04.F.01458.15.0_Comb_CLEC_QuestLog Combined Question Log for 15.0

03/17/04 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/21/04 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/23/04 - Qwest sent Level 3 PROS.04.23.04.F.01600.Addendum_Process_Update, proposed effective date 6/7/04

05/19/04 - May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

05/21/04 - Qwest sent final notice PROS.05.21.04.F.01679.FNL_AddendumProcessUpdate, effective date 6/7/04

06/16/04 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

07/21/04 - July CMP Meeting minutes will be posted to the database


Project Meetings

07/21/04 July CMP Meeting Randy Owen – Qwest advised that all items on this CR have been met. The process is in place and working. The CLECs agreed to close this CR. This CR will move to Completed status.

06/16/04 June CMP Meeting Donna Osborne-Miller with AT&T said that AT&T is migrating to 15.0 and the business partners submitted questions to the Q&A process and responses were received. The Qwest responses asked that the questions be submitted through the external documentation process and the response was sent within 14 days. Regina Mosley is not on the call today and is available tomorrow to discuss during the systems meeting. Randy Owen with Qwest said that the questions submitted were not determined to be related to EDI. Liz Balvin with MCI said there were USOC driven questions and the business rules are not in the EDI disclosure. This CR will remain in CLEC Test status.

05/19/04 May CMP Meeting Randy Owen with Qwest said that the CR is in CLEC test with 15.0 and that we are waiting for feedback. Carla Pardee from AT&T said they would start 15.0 in June. Randy asked if they could look at other CLECs information. Amanda Silva with VCI said there was a business rule for conversion on TN and the business rule is there but got rejected. There was supposed to be an event notification regarding the work around. Randy took the two trouble ticket numbers and will provide information at Thursday’s meeting. Liz Balvin with MCI said she attended one of the conference calls and has recommendations for improvement: 1) Highlight in the ticket that a conference call will be taking place. Put in bold type. 2) On the call Qwest should bring forth what the changes were, what it is changing from and what is it changing to. Unless you have the event notification during the call it is hard to understand what is changing. Add what interface is impacted by this change. Randy said he would take this back and can probably accommodate the request. Bonnie Johnson with Eschelon said this is AT&T’s CR and they could be viewing the CR differently than Qwest. This CR should be allowed to go into a different status. Eschelon had submitted a CR to change the CMP document to add a re-open status and Qwest voted no. (Begin Bonnie’s comment) Bonnie said that Eschelon will not be closing CR’s until we go into the release that the CR was implemented in. Bonnie recommended that Qwest and the CLECs find a status that appropriately reflects this situation. (end Bonnie’s comment) Linda Sanchez-Steinke said that the CR is not ready to be closed. This CR will remain in CLEC Test status

04/21/04 April CMP Meeting Randy Owen with Qwest advised that we have held conference calls with the release as a trial and we are drafting the implementation notification that will include a comment cycle and plan to have the notification out at the end of this week. Donna Osborne-Miller asked for an update on the action item opened for the escalation process. Randy said that this was related to the question log and he was still researching the action item on the system side. This CR will remain in CLEC Test status.

03/17/04 March CMP Meeting Randy Owen with Qwest said that the combined question log will be provided with 15.0 and two or three event calls have taken place. Donna Osborne-Miller said that discussion on the wrap-up of the global action items would take place during the Systems meeting tomorrow. Phyllis Burt with AT&T said she would provide feedback on the question and answer log and the event log. This CR will move to CLEC Test status. -- Thu 2/19/04 3:59 PM From: Sanchez Steinke, Linda To: 'Osborne-Miller, Donna, NKLAM' Subject; RE: Phyllis's items for documentation

Thank you Donna, I forwarded to Beth Foster, Kyle Kirves, and Randy Owen.

Linda Sanchez-Steinke 303-382-5768

Thu 2/19/04 2:55 PM From; Osborne-Miller, Donna, NKLAM [dosborne@att.com] To: Sanchez Steinke, Linda cc: New Cr, Cmp Subject; Phyllis's items for documentation

Hi Linda, Can you be sure to give this list to Beth Foster? It pertains to our conversation pertaining to PCO62603-03 and the Q&A log breakout of categories.

thank you, Donna

Attachment Category breakdown based on IMA Appendix Categories for Collective Q&A Migration

A.1 ADDRESS VALIDATION A.2 APPOINTMENT RESERVATION A.3 TN APPOINTMENT CANCELLATION A.4 CONNECTING FACILITY ASSIGNMENT A.5 CUSTOMER SERVICE RECORDS A.6 DESIGN LAYOUT RECORD (DLR) RETURN A.7 FACILITY AVAILABILITY QUERY A.8 LISTINGS RECONCILIATION A.9 LOOP QUALIFICATION A.10 MEET POINT A.11 RAW LOOP A.12 SERVICE AVAILABILITY A.13 TELEPHONE NUMBER ASSIGNMENT B.1 END USER B.2 LOCAL SERVICE REQUEST C.1 CENTREX RESALE SERVICES C.2 DIRECTORY LISTING C.3 DID RESALE SERVICE C.4 HUNT GROUP INFORMATION C.5 LOOP SERVICE C.6 LOOP SERVICE WITH NUMBER PORTABILITY C.7 NUMBER PORTABILITY C.8 PORT SERVICE C.9 RESALE C.10 RESALE FRAME RELAY C.11 RESALE PRIVATE LINE C.12 RESALE SPLIT C.13 UNE CENTREX 21 (P OR STAR) SPLIT D.1 BILLING COMPLETION NOTICE D.2 COMPLETION RESPONSE D.3 DIRECTORY SERVICE CONFIRMATION AND ERROR DETAIL (DSRED) RESPONSE D.4 LOCAL RESPONSE D.5 PROVIDER NOTIFICATION D.6 SERVICE ORDER STATUS INQUIRY D.7 STATUS UPDATES D.8 PENDING SERVICE ORDER NOTIFICATION GENERAL/OTHER

02/18/04 February CMP Meeting Beth Foster with Qwest said that this CR has been discussed at the global action item meetings and last week Qwest met with AT&T and Liz Balvin with MCI. Qwest took action items from that meeting and determined that meeting minutes will be provided and posted on the production support page along side the trouble ticket information which is currently populated on the Wholesale Web site. There was discussion regarding the timeframe of posting meeting minutes. Connie Winston with Qwest said they would post the minutes within 3 days and would strive to get completed as soon as possible. Connie also said that Qwest would capture necessary information, necessary action items and a general re-cap of the meeting intent. Phyllis Burt mentioned that issues of importance to Qwest might not be the same as those that are important to the CLEC. Connie suggested that the CLEC could provide a red-line of meeting minutes back to Qwest.

Donna Osborne-Miller with AT&T said that we could put this CR into CLEC test and see how the process works.

Beth said that another action item was to look at how to handle the business rules clarification piece of the request, and noted that AT&T had initially asked that the Disclosure documentation be updated when CLECs ask for clarification. Qwest would like to start a single Q&A log with 15.0 release and provide the log on the wholesale website out where the EDI Documentation FAQ pages currently resides. This single Q&A log will provide needed clarification to documentation, a way to see documentation before the addendum is posted, and, will allow everyone to see what questions other CLECs have had and how Qwest has responded. Beth explained that the process for EDI will be covered by the CLECs EDI Implementation Teams, and included in the body of the Q&A document that will be posted.

Randy Owen with Qwest said an e-mail address would be set up for CLECs to send questions.

Phyllis Burt requested the Q&A log be categorized by topic, such as Appointment Scheduling. Randy Owen will take that action item to see if this is feasible. Donna Osborne-Miller said the Q&A log would be cumbersome if not broken out by fields.

Beth asked if everyone agreed that the process trial could begin with 15.0, and once the documentation was posted the CR could move into CLEC test for AT&T feedback. All agreed and Beth said that a Systems Notification will be sent stating that the Q&A log will be located on the Wholesale Web Site, under OSS, IMA, EDI Documentation under the FAQ link. This CR will move to Development Status.

Fri 2/13/04 8:38 AM From; Linda Sanchez-Steinke To; 'dosborne@att.com' Subject; Updated Draft Response PC062603-03

Hi Donna -

As a follow up to yesterday's meeting regarding PC062603-03, attached is the updated draft response.

As we discussed, Qwest took the following action items; documentation addendum notification meeting minutes, question and answer log. We will give an update at the CMP meeting.

Thank you

Linda Sanchez-Steinke CRPM Qwest 303-382-5768

Meeting Minutes PC062603-03 Business Rules Clarification calls and event notification update through the Addendum process CMP Product & Process February 12, 2004 1-877-572-8687, Conference ID 3393947# 2:00 p.m. - 2:30 p.m. Mountain Time

PURPOSE

This meeting was held to discuss CR PC062603-03. The following is the write-up of the discussions, action items, and decisions made in the working session.

List of Attendees: Liz Balvin - MCI Regina Mosley - AT&T Phyllis Burt - AT&T Donna Osborne-Miller - AT&T Beth Foster - Qwest Randy Owen - Qwest Kyle Kirves - Qwest Lynn Stecklein - Qwest Linda Sanchez-Steinke - Qwest

MEETING MINUTES

Linda Sanchez-Steinke with Qwest welcomed all attendees and explained that Qwest scheduled this meeting to discuss changes that have been implemented to address this CR.

Kyle Kirves said that Qwest has made progress in the following areas; providing clearer information in the event notifications, revisited the event notification template, provide additional reasons behind severity issues, schedule conference calls on major impacts, and have initiated a CR to change the CMP document Section 12. A good example of Qwest’s effort to improve is the 2/13 conference call clarifying Event Notification 674340. AT&T said they appreciated these efforts.

Phyllis Burt with AT&T asked when clarification calls would take place. Kyle said they would take place for addendum changes. Phyllis Burt and Donna Osborne-Miller asked about meeting minutes from the clarification calls and Kyle said that minutes would be recapped in disclosure. Phyllis added AT&T prefers to get minutes as soon as possible because of the impacts to production. Randy Owen and Kyle Kirves agreed to address this action item and respond at Product Process CMP.

Phyllis Burt asked about the question and answer log and said that with IMA 11 AT&T had lots of questions. Kyle said that in the addendum there will be a "change from" and a "change to" identification. Beth Foster added that the event notification would be in disclosure. Donna asked what the timing would be and Kyle answered that it may be two weeks after notification.

Phyllis Burt said that when working with Wendy Green last year they wanted to have the ability to have clarifications added to the document about how the system behaves and didn’t want to wait until the next IMA release to get clarification updated.

Beth Foster suggested that documentation changes could be made via the documentation request website. Kyle stated the website is for everything but disclosure document changes. Randy added that many times documentation changes have coding changes and is concerned about that. Kyle said that documentation rejects are not representative of what the system is doing, for simple clarification that represents enhancement to documentation. Phyllis said that AT&T builds systems from the documentation and then it will become a production problem. Beth said a trouble ticket should be opened for production problems. Phyllis said that AT&T asks questions and looks at the question log and gives them a good clarification and this is not in the Qwest disclosure document. Liz Balvin with MCI said we would want to assure that clarifications don’t get lost in the flow of the next release. Phyllis will provide examples of clarification questions and answers. Randy Owen said that Qwest had been considering a single Q&A log with all CLEC questions and clarifications. Liz added that the while Qwest might think clarification, it may be CLEC code impacting to have the update in the addendum especially from the EDI standpoint.

Qwest will provide an update to the open action items at the Product Process CMP.

01/21/04 January CMP Meeting Connie Winston with Qwest said that this issue has been worked through oversight and in the emergency meetings. Qwest can initiate a quick meeting and CLECs are also able to initiate meetings. Carla Pardee with AT&T said that there had been a meeting held on loss and completion. Connie also said there are potential CMP language changes being proposed. Qwest will have an updated response in February. This CR will remain in Evaluation status.

12/17/03 December CMP Meeting Connie Winston with Qwest said this CR has been discussed in the Global Action Item meetings and expects that the Global Action Item meetings will be wrapping up in the January timeframe. This was also discussed at the Oversight meeting and whether the new process will meet the intent of this CR.

11/19/03 November CMP Meeting Kit Thomte with Qwest said that this CR was being discussed with the Global Action Item meeting 11/18/03. This CR will remain in Evaluation status.

10/15/03 October CMP Meeting Kit Thomte with Qwest said that this CR was discussed at the 10/14/03 Global Action item meeting. It was agreed this CR would remain in Evaluation status.

09/17/03 September CMP Meeting Connie Winston with Qwest provided an update and said that Qwest is reviewing what we can do better. Qwest has implemented calls to appropriate CLECs. When faxing becomes only solution Qwest is raising the severity level because there is no way for the CLEC to Communicate with Qwest. Liz Balvin said that a severity level 1 or 2 is fine and that 3 or 4 is not acceptable. Bonnie Johnson said there is a difference in the definition of immediately. Connie said that at Event Notification closure Qwest is providing clearer information about what we did and what we are doing. Monica Avila with VarTec provided an example that when Qwest end user fields went from optional to conditional, it required coding outside of the release. Liz Balvin said that because the fields were optional, had Qwest lifted the edits as emergency patch, then CLEC coding wouldn’t have to change. Connie said there was concern not knowing documentation was wrong CLECs didn’t know the CR made it into the release. Liz said by TN and SANO didn’t know back end changes were taking place. Liz said that address information needs to match SAV response. SAV needs to be in disclosure and in addendum for optional to conditional. Connie said that we are reviewing when it makes sense to reference the PCAT. Liz said that if it impacts coding then is should be in disclosure. Connie would like to roll this CR into the discussion of the Global Action item. It was determined that 10/14 from 10 a.m. –5 p.m. would be a good timeframe to discuss the CRs. This CR will remain in Evaluation Status.

Ad Hoc Meeting Minutes PC062603-03 Business Rules Clarification calls and event notification updates through the Addendum processs CMP Product & Process September 9, 2003 1-877-572-8687, Conference ID 3393947# 8:00 a.m. - 8:45 a.m. Mountain Time

PURPOSE

At the August CMP Meeting, participants agreed to hold a conference call to provide additional clarity and explain Phyllis Burt’s series of questions and statements about intent and meaning of the change request. The following is the write-up of the discussion.

List of Attendees: Julie Pikar - U S Link Jen Arnold - U S Link Kim Issaacs - Eschelon Donna Osborne-Miller - AT&T Phyllis Burt - AT&T Regina Mosley - AT&T Tom Hyde - Cbeyond Byron Dowding - Alltel Stephanie Prull - McLeod Randy Owen - Qwest Kyle Kirves - Qwest Linda Sanchez-Steinke - Qwest

MEETING MINUTES

The meeting began with Qwest making introductions and welcoming all attendees.

Linda Sanchez-Steinke with Qwest explained that the purpose of the meeting was to discuss and get further clarification about the AT&T CR PC062603-03. At the August CMP meeting, Qwest provided the draft denial response and Phyllis Burt with AT&T provided a counter proposal at the CMP meeting and asked that Qwest provide an updated response at the September meeting.

Donna Osborne-Miller with AT&T provided the denial response red-lined with a series of questions and statements written by Phyllis Burt. Kyle Kirves with Qwest had received the questions/statements. Phyllis Burt with AT&T said that the purpose of the CR was to provide clearer information in event notifications. Phyllis said that when event notifications are not clear, AT&T goes to their implementation manager and then calls the help desk and try to get answers, but production problems are not clear. Phyllis said that with the SBC process there is a clarification call where questions can be asked. The issue is, if workarounds conflict with other business rules, then something else can fail. When AT&T Consumer converts from IMA 12 to 13 Phyllis will have to go back through the event notifications for the 13.0 release and look at to see if there is anything they would need to consider.

Phyllis said that the purpose behind the CR is to make sure there are not long gaps in time on production impacts. AT&T suggests that there is a need for good clarification and AT&T has hundreds of questions in their Q&A log, and weeks go by and questions linger and wait. AT&T wants to find other avenues to head off production problems.

Stephanie Prull with McLeod will not go back and look at Event Notifications for releases. McLeod will only do what is documented in the Disclosure and try to code to the business rules. McLeod stated that they should not have to implement to anything other than the business rules. If McLeod has a CR or UR when going in then will code to it.

Phyllis reiterated that there are two big things in the red-lined response: 1) AT&T wants to make sure that they understand the work around and that it is not conflicting with other rules so they don’t have to re-word the workaround. 2) AT&T would like clarification around the current impact and if they will receive rejects or jeopardies based on that impact.

Kim Issacs said that Eschelon uses EDI and GUI (used for resale & UNE-P) and if they receive a work around notice and it conflicts with business rules Kim will call the help desk. Kim sometimes can wait up to two days to get an answer on what the product impact and issues are. In addition, they get communication of workarounds and then get rejects from the centers.

Phyllis and Stephanie both have concerns with the PCRM ticket 167601 (LNUM) and still can’t explain what the impacts are to their companies. Randy Owen with Qwest said that he didn’t have specifics, and knows that the issue is discussed every day trying to get to a solution.

U S Link said they are not on EDI, but share frustrations with process and support the AT&T CR. Randy said that we would take this information back and look at it further. Randy said that the CLECs should call the technical escalations if they are waiting too long on open trouble tickets that are severity level 3 and should escalate to severity level 2.

Phyllis said that she suggests Qwest look at the proposal of having CLEC calls because questions and problems will be brought up as a group and would trigger discussions. With the technical escalation process, McLeod may raise an issue and AT&T may raise another issue, but discussion as a group would help.

Randy said that he would like to know the rules and timing of the potential CLEC call. Kim said that having all CLECs on a call (for LNUM issue) would have helped. Stephanie Prull said that a call would not be needed on every event notice, but suggested that on event notices that the CLECs send an e-mail saying they want a call and if several CLECs sent an e-mail then Qwest should have a call.

Phyllis said that AT&T just requests calls on workarounds event notifications that change a business rules and documentation appears not to be working the way Qwest says it is working.

Phyllis also said that the second part of the red-lined document that with IMA 11 have Q&A log with major gaps. The next major release these will be worked into the addendum process.

Randy said that we will take that back also and that if there is a bug identified or is this enhancement which would have to be in the next major release.

Phyllis discussed the documentation for service address validation when look at Qwest Documentation it appears copied from pre-order, order and SANO populated. Phyllis said that what needs to be done is a documentation change.

Linda asked if there were any other questions or additional information to provide. There were no additional comments or questions.

08/20/03 - August CMP Meeting Connie Winston with Qwest reviewed the draft response for this CR. Connie said that the information provided in the Event Notification Closure should include additional information that identifies the change, what was changed and what it was changed to. CLECs can also use the Technical Escalations to get more clarity in Event Notification. Donna Osborne-Miller with AT&T said that Phyllis Burt has provided documentation to the CLEC Community on Event Notifications and Donna will e-mail to Linda Sanchez-Steinke. Discussion continued when Connie Winston came into the CMP meeting. What AT&T would like is to hold an Ad Hoc meeting and provide additional clarity and explain Phyllis Burt’s counter proposal’s intent and meaning. Liz said that CLECs see the addendum as changes to EDI / GUI and want the ability to comment on the addendum. This CR will be moved to Evaluation status and Qwest will provide a revised response at the September meeting.

8/20/03 4:53 p.m. Sent by: "Osborne-Miller, Donna, NKLAM" To: Linda.Sanchezsteinke@qwest.com> cc: cmpcr@qwest.com> Subject: Phyllis's counterproposal to documentation CR Linda,

Here is the redline document Phyllis composed that I spoke with Connie about this morning.

Thank you, Donna

ATTACHMENT - PC062603-03 Response - FEEBACK.doc

AT&T is seeking a clear understanding of the problem via a clarification call so all CLECs have a clear understanding of the problem/issue and the impact to their business so that they can make the appropriate business decisions. Currently, the event notification issued today are very vague as to the actually QWEST problem and the impact to the CLEC business. How can I identify this problem in production today? Is QWEST currently rejecting these orders, sending jeopardies or are the orders completing successfully but not being provisioned correctly?

AT&T is requesting whenever a workaround is document that a clarification call to clearly communicate (1) the workaround in detail (2) the current impact to the CLECs order or service in production Example: (a) A notification for PCRM Ticket Number: 167601 has been issued several times. Initially it was not clear which Products were impacted. The extent of the change required and what happens to our orders when this occurs is still unknown. I’ve personally tried getting an answer via the contact number provided on the notification. A QWEST TT has been open since Friday August 15.

AT&T is not requesting that the entire CLEC Q&A log be provided. QWEST has requested that AT&T provide the exact disclosure document update in the Q&A log. AT&T is requesting that CLECs that request documentation of clarifications provided in the Q&A and provide the exact wording required for the update to the Disclosure Document should be able to get these worked into the next Addendum update issued.

AT&T Consumer disagrees that the current process is working effectively. If this were the case, I would not be making this request. The current notification process only provides confusion due to the lack of in depth analysis

Ad Hoc Meeting Minutes PC062603-03 Business Rules Clarification calls and event notification update through the Addendum process CMP Product & Process July 31, 2003 1-877-572-8687, Conference ID 3393947# 9:00 a.m. - 9:30 a.m. Mountain Time

PURPOSE

At the July CMP Meeting, participants agreed to hold a conference call to discuss and gain input from CLECs on this CR. The following is the write-up of the discussions, action items, and decisions made in the working session.

List of Attendees: Liz Balvin - MCI Stephanie Prull - McLeod USA Regina Mosley - AT&T Phyllis Burt - AT&T Donna Osborne-Miller - AT&T Kyle Kirves - Qwest Linda Sanchez-Steinke - Qwest

MEETING MINUTES

Linda Sanchez-Steinke with Qwest read the change request description: AT&T requests that the Business Rules be opened up for clarification and that event notification updates be incorporated into the Addendum process. We seek Qwest adoption of SBC's process of a standard conference be established to address issues or concerns with the event notification and addendum updates. This SBC process includes conference call logistics: date, time and bridge number. They also send out a notification capturing the questions and answers provided during the conference call.

Donna Osborne-Miller with AT&T said there were copies of the e-mail handout provided at the July CMP meeting and asked if CLECs on the call had the opportunity to look at the documentation. Liz Balvin asked if AT&T would give an overview. Linda Sanchez-Steinke with Qwest said the handout is also included in the body of the CR in the interactive report.

Phyllis Burt with AT&T provided an overview of the handout. Phyllis explained how the SBC process of event notification is different from the Qwest process. In the Qwest event notifications there is an e-mail address to send questions to. SBC’s process for appending business rules documentation includes a set conference call within 3-5 days of the notification. This set conference call time is convenient because it allows everyone to have an hour free on their calendar and the opportunity, during event notification, to discuss issues or questions and understand how business rules are impacted. The meeting minutes from the conference calls are included in the final notification and that allows everyone unable to attend the conference call ability to read the minutes for additional information. AT&T is looking for Qwest to provide this type of process. Phyllis also said that if Qwest had this type of conference call it would provide the opportunity to discuss the change and the impact. That way everyone would understand how to communicate and what the business rule is. In addition, sometimes CLECs get different answers from different people at Qwest and we are all trying to understand and seek clarity to the blocking issues.

Liz Balvin with MCI said the SBC process seems to be a more expeditious approach.

Kyle Kirves with Qwest asked if CLECs were talking about providing PCAT and LSOG updates or addendum and disclosure document impacts. Phyllis Burt with AT&T said the Qwest notification explains that something is happening but there is no addendum. Kyle Kirves asked if CLECs were looking for information in the disclosure notification and if they want the notification to provide what the documentation change will be. Phyllis said yes.

Linda Sanchez-Steinke with Qwest asked if there were any additional questions. There were no questions.

07/16/03 July CMP Meeting Donna Osborne-Miller with AT&T presented this CR. Donna stated that AT&T would like Qwest to adopt the SBC process to address issues and concerns with event notifications and addendum updates. Donna said that they receive many event notifications from Qwest and the SBC process includes a clarification call 1-3 days after the notification to understand impacts. In addition, meeting notes are posted with a question and answer log. With EDI implementation 250-300 questions have been asked and some of the questions are not answered. Today, CLECs share their logs with other CLECs, MCI shares their log and McLeod shares their log. Judy Schultz with Qwest asked if the clarification call would take place during the production support timeframe. Donna said she is not sure if there is commonality between this CR and the CR for System Defects. Liz Balvin with MCI commented that if the Q& A logs were made public then they may not have to go to EDI teams which would be less work for Qwest. The CLEC community agreed to hold an ad hoc meeting to discuss this CR and Donna Osborne-Miller will provide the dates available for AT&T SMEs to Linda Sanchez-Steinke.

CLEC Change Request Clarification Meeting

2:00 p.m. (MDT) / Friday, July 11, 2003

1-877-260-8255 7616533# PC062603-03 Business Rules Clarification calls and event notification updates through the Addendum processs

Name/Company: Donna Osborne-Miller, AT&T Carla Pardee, AT&T Phyllis Burt, AT&T Regina Mosley, AT&T Kyle Kirves, Qwest Dan Busetti, Qwest Wendy Thurnau, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change AT&T’s CR requests that Qwest adopt SBC’s process of a standard conference to address issues or concerns with event notification and addendum updates. Phyllis Burt with AT&T read the e-mail below at the Clarification Meeting for participants on the call:

(1) Several Event Notifications have come out that required discussion (see below). This CR is requesting that QWEST provide a clarification call for notifications that impact CLECS. The call should be held within 1-3 business days after the announcement at a set standard time for example (11am Mountain/12pm Central/1pm Eastern). (a) The initial notification should include the addendum summary if impacts the disclosure documents. (b) The appropriate SMEs should attend the clarification call to answer any issues/concerns and a walkthrough of the appropriate documentation should be completed. (c) The closure notifications should include meeting minutes from the clarification call and the new addendum version should be posted on the Disclosure document website with a reference to the closure notification #.

Event Notification: 85434 IMA EDI GUI Initial Closure 061803 "Description of Trouble: CLECs may be experiencing difficulty processing POTS and UNE-P POTS orders on the Resale form when attempting to change a line level USOC and a non-line level USOC on the same order. Business Impact: CLECs may not be able to process POTS or UNE-P POTS orders on a single form when a line level and a non-line level USOC is changing. Qwest Proposed Work Around: CLECs should send the requests for line and non-line level USOCs separately. Alternatively, CLECs may submit their orders, mark the request for manual handling, and provide instructions in the REMARKS."

Event Notification: 75800 IMA EDI GUI 060503 Initial-Closure Description of Trouble: CLECs may be experiencing difficulty processing conversion LSRs with a Block Activity (BA) = N (no change to existing blocking). Business Impact: CLECs may be experiencing difficulties retaining existing blocks during conversion. Qwest Proposed Work Around: CLECs should use the Feature Activity (FA) = V to recap blocking USOCs.

(2) QWEST/CLEC Q&A log clarification should be captured in the Addendum. There should be a monthly process to submit clarification updates. Followed by a standard monthly event notification and review as discussed above.

Phyllis also said that MCI had quite a few questions when migrations were done and it would have been helpful to have Q & A logs for other CLECs to refer to. SBC identifies a timeline when the answers to questions will be given and includes center personnel and OSS personnel in their clarification calls for notifications that impact CLECS.

Phyllis said that it would have been helpful for the April release to have included a Qwest/CLEC Q&A log because code wasn’t in the business rules. In addition, Phyllis has a concern that if IMA 10 or 11 had a clarification log then they could refer back to it for IMA 12 and 13. Whatever other CLECS have learned has not been documented in the disclosure document.

Donna asked Kyle to provide an overview of the addendum process Qwest currently practices. Using the example above ( event 85434), Kyle described how this notification would justify an addendum. Specifically, he stated that, in this case, if the system were not functioning as documented, and the issue compromised the CLEC’s ability to process transactions, then a notification would be issued, and an addendum published. Situations that Qwest finds worthy of an addendum are those instances where the system is not functioning as documented. Clarification types of issues do not necessitate an addendum.

Confirm Areas & Products Impacted The area of this Change Request impacts addendum notifications.

Confirm Right Personnel Involved Qwest confirmed the correct personnel were on the call to resolve the CR.

Identify/Confirm CLEC’s Expectation AT&T’s expectation is that Qwest adopt the SBC process relative to Business Rules Clarification and even notification updates through the addendum process.

Identify any Dependent Systems Change Requests No systems change requests.

Establish Action Plan (Resolution Time Frame) AT&T will present this CR at the July CMP meeting.

To: Sanchez Steinke, Linda, Donna Osborne-Miller From: Burt, Phyllis S, CSCIO [phyllissburt@att.com] Sent: Fri 7/11/03 1:56 PM Subject: RE: Clarification call for the documentation CR Here's some additional information for our call today.

(1) Several Event Notifications have come out that required discussion (see below). This CR is requesting that QWEST provide a clarification call for notifications that impact CLECS. The call should be held within 1-3 business days after the announcement at a set standard time for example (11am Mountain/12pm Central/1pm Eastern). (a) The initial notification should include the addendum summary if impacts the disclosure documents. (b) The appropriate SMEs should attend the clarification call to answer any issues/concerns and a walkthrough of the appropriate documentation should be completed. (c) The closure notifications should include meeting minutes from the clarification call and the new addendum version should be posted on the Disclosure document website with a reference to the closure notification #.

Event Notification: 85434 IMA EDI GUI Initial Closure 061803 "Description of Trouble: CLECs may be experiencing difficulty processing POTS and UNE-P POTS orders on the Resale form when attempting to change a line level USOC and a non-line level USOC on the same order. Business Impact: CLECs may not be able to process POTS or UNE-P POTS orders on a single form when a line level and a non-line level USOC is changing. Qwest Proposed Work Around: CLECs should send the requests for line and non-line level USOCs separately. Alternatively, CLECs may submit their orders, mark the request for manual handling, and provide instructions in the REMARKS."

Event Notification: 75800 IMA EDI GUI 060503 Initial-Closure Description of Trouble: CLECs may be experiencing difficulty processing conversion LSRs with a Block Activity (BA) = N (no change to existing blocking). Business Impact: CLECs may be experiencing difficulties retaining existing blocks during conversion. Qwest Proposed Work Around: CLECs should use the Feature Activity (FA) = V to recap blocking USOCs.

(2) QWEST/CLEC Q&A log clarification should be captured in the Addendum. There should be a monthly process to submit clarification updates. Followed by a standard monthly event notification and review as discussed above.

Thanks,

Phyllis


CenturyLink Response

March 9, 2004

DRAFT RESPONSE For Review by CLEC Community and Discussion at the March 2004 CMP Meeting

Donna Osborne-Miller AT&T

SUBJECT: Qwest’s Change Request Revised Response - PC062603-03 "Business Rules Clarification calls and event notification updates through the Addendum process"

This response is a supplementary response to AT&T’s CR PC062603-03. Originally, Qwest denied this CR at the August CMP meeting. In response to a series of questions and statements provided by AT&T, and as a result of an ad hoc call held on 09/09/03, Qwest reviewed the points raised by the CLECs.

As a result of the discussions held at the Global Action Items Meetings (held on September 12, 2003; October 14, 2003; November 4, 2003; November 18, 2003; December 16, 2003), Qwest believes that the spirit of the original request has been met.

Qwest is using this document to supplement its response to the request dated February 11, 2004. Subsequent to the February 11 response, a meeting was held to discuss any gaps between Qwest’s understanding of the request, and the request’s intent. During that meeting, two gaps were discussed. They were:

- AT&T requested that meeting minutes from any discussion around “Addendum to Disclosure Documentation” notifications be provided to the CLECs. Qwest committed to provide meeting minutes for these sessions no later than three (3) business days after the meeting. As the notification form itself is not designed to capture meeting minutes from the discussion, Qwest will record minutes from the meetings and publish them to the Production Support web site under the notification number. CLECs will have an opportunity to provide redlined edits to the minutes back to Qwest. - If any updates to the notification itself are required, Qwest will make those changes and republish the notification within one (1) day. - Regarding clarification to business rules, Qwest stated that it will continue to observe its established process for addendums and clarifications. Where “bugs” are identified, Qwest will publish a notification, documenting the bug, to be followed up by an addendum. For clarifications that do not constitute bugs, Qwest will capture the clarification in its Question/Answer log. Further, Qwest will start a single Q&A log with the15.0 release and provide the log on the wholesale website where the EDI Documentation FAQ pages currently reside. This single Q&A log will provide needed clarification to documentation, a way to see documentation before the addendum is posted, and, will allow everyone to see what questions other CLECs have had and how Qwest has responded.

It was agreed that the process trial could begin with 15.0, and once the documentation was posted, the CR could move into CLEC test for AT&T feedback.

Qwest maintains that the original request has been satisfied.

Sincerely,

Connie Winston Director, Information Technology Qwest

February 11, 2004

DRAFT RESPONSE For Review by CLEC Community and Discussion at the February 2004 CMP Meeting

Donna Osborne-Miller AT&T

SUBJECT: Qwest’s Change Request Revised Response - PC062603-03 "Business Rules Clarification calls and event notification updates through the Addendum process"

This response is a supplementary response to AT&T’s CR PC062603-03. Originally, Qwest denied this CR at the August CMP meeting. In response to a series of questions and statements provided by AT&T, and as a result of an ad hoc call held on 09/09/03, Qwest reviewed the points raised by the CLECs.

As a result of the discussions held at the Global Action Items Meetings (held on September 12, 2003; October 14, 2003; November 4, 2003; November 18, 2003; December 16, 2003), Qwest believes that the spirit of the original request has been met.

Qwest responds to these items by stating that, since the implementation of IMA EDI Release 14.0 on December 8, 2003, Qwest has made best efforts to invigorate the notification process. Qwest maintains that by revisiting its process, providing training to notifications authors, and revising the notification template itself. Qwest itemizes its actions taken to address this CR as follows:

- Qwest is endeavoring to provide clearer information in the event notifications; and positive feedback from the CLECs indicates that Qwest has made significant progress on this front. - Qwest has a contingency plan in place to initiate calls with CLECs for high-profile, major impact event notifications and announce the conference calls in the body of the event notification. Qwest does not recognize the feasibility of initiating calls for every event, but will comply with major impact events, as stated. - As always, Qwest has worked to mitigate issues quickly; however, some production gaps will always exist due to prioritization of issues for resolution. - Qwest’s new internal process allows for event notification authors to work with the Interconnect Service Centers to generate appropriate, working workarounds that are approved by both Qwest and the CLEC. - Qwest now provides complete descriptions of impacts and error messages resultant from the issue, and has a separate place on the event notification form for capturing the error message verbatim. - Qwest now captures changes in documentation resulting in the body of the notification itself, in a “Change From:” and “Change To:” format. - As part of change request PC010704-1CM, Qwest is working toward language changes in the CMP document. The language change describes process improvements regarding notifications and documentation changes that cover some of the requests in this CR. Specifically, Qwest has updated the CMP document to demonstrate the following commitment regarding notifications, workarounds, and conference calls to CLECs:

Qwest will attempt to make a software patch when the system is not working as defined in the technical specifications and/or the GUI systems documentation, and issue an event notification clearly defining the change.

If Qwest determines that a software patch is not feasible, and/or Qwest or any CLEC identifies a Patch Release of software or related systems documentation changes that may impact CLEC production coding, Qwest will issue an event notification, initiate a Technical Escalation, and request a joint meeting between Qwest and the CLECs in order to discuss the particular Patch Release. Qwest will notify CLECs of the joint meeting in which Qwest will review the Patch Release, the proposed solution, and the variables which affect the resolution. In all instances, these joint meetings are exempt from the five (5) business day advance notification requirement described in Section 3.0. At this joint meeting, Qwest and the impacted CLECs will discuss how the pending Patch Release will affect their code. Qwest and the impacted CLECs will discuss any potential resolution options and implementation timeframes. In the event that agreement cannot be reached between Qwest and the impacted CLECs regarding the type of Patch Release to be implemented, the parties will attempt to negotiate an appropriate workaround.

Qwest maintains that the original request has been satisfied.

Sincerely,

Connie Winston Director, Information Technology Qwest

September 10, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the September 2003 CMP Meeting

Donna Osborne-Miller AT&T

CC: Lynn Notarianni Beth Foster Kit Thomte

SUBJECT: Qwest’s Change Request Response - PC062603-03

This response is a supplementary response to AT&T’s CR PC 062603-03. Originally, Qwest denied this CR at the August CMP meeting. In response to a series of questions and statements provide by AT&T, and as a result of an ad hoc call held on 09/09/03, Qwest is currently reviewing the points raised by the CLECs.

Qwest proposes moving this Change Request into Evaluation Status while we continue to investigate to provide workable solutions. Qwest would like to add this item as a topic for discussion for the meeting on September 19th. Qwest will then provide an updated response no later than the October CMP Meeting.

Sincerely,

Connie Winston Director, Information Technology Qwest

August 12, 2003

DRAFT RESPONSE For Review by the CLEC Community and Discussion at the August 20, 2003 CMP Meeting

Donna Osborne-Miller AT&T

CC: Lynn Notarianni Beth Foster Kit Thomte

SUBJECT: Qwest’s Change Request Response - PC062603-03

CR Description: AT&T’s original change request states:

AT&T requests that the Business Rules be opened up for clarification and that event notification updates be incorporated into the Addendum process. We seek Qwest adoption of SBC's process of a standard conference be established to address issues or concerns with the event notification and addendum updates. This SBC process includes conference call logistics: date, time and bridge number. They also send out a notification capturing the questions and answers provided during the conference call.

Qwest Response: AT&T requests that Qwest adopt a regular call to address notifications issues that pertain to documentation changes or addenda to the Disclosure Documentation, and provide SMEs to answer the questions on the calls. In many cases, Qwest has not identified specific, word-for-word documentation impacts with the publication of the initial notification. Nor is that information available with the publication of the closure in all cases (in some cases, we are able to insert the Disclosure Documentation change into the closure, but this is typically a “documentation only” change notification). This is due to the fact that all documentation changes are reviewed by our System Requirements team. This System Requirements review is thorough and time consuming and would not be able to be completed during the timelines required by the notifications process in the CMP Document, Section 12.7. It involves research into field impacts, review of every instance to the field, cross-document impacts, systems and code impacts, and more. It is conducted over a period of time far greater than those involved in the notifications process.

Qwest maintains that both a.) the initial notification cannot include the documentation impacts and b.) the clarification call would not be able to clarify the documentation changes, as there would be insufficient detail available at the time of the proposed call. Moreover, the Qwest resources who would be needed on the calls are those who would be working to remedy the issue. Having them on the calls removes them from working to effectively solve the problem, and would lengthen the time to resolve.

If AT&T is requesting that all, or individual CLEC QA logs be provided as a part of the addendum process, this is not a logistically feasible business practice, because publishing these logs would require edits to every QA log for confidentiality.

Qwest's existing process of providing notifications with workarounds, business impacts, and channels for escalation works effectively, and allows for targeted responses to customer concerns. Publishing the clarifications made to each individual CLEC to all other CLECs does not add a demonstrable business benefit to the process, to the CLECs, and would require Qwest to assume an additional two to three resources to implement the solution AT&T is proposing. Qwest will, however, endeavor to enhance its notifications pertaining to Disclosure Documentation by including the change in the body of the closure notification. For Disclosure Documentation changes that would constitute an addendum, Qwest will include the documentation change in a “Change From—Change To” format similar to the change summaries in the addenda themselves.

Qwest respectfully denies this change request because the change does not result in a reasonably demonstrable business benefit and is economically not feasible.

Sincerely,

Connie Winston, Director, Information Technology Qwest


Open Product/Process CR PC062603-1 Detail

 
Title: Industry Compliance Request LX N 02QB9.00H Loop
CR Number Current Status
Date
Area Impacted Products Impacted

PC062603-1 Denied
8/20/2003
Preordering, Ordering Unbundled Loop, UNE, Loop,
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Buckmaster, Cindy
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

AT&T requests that Qwest retain and enhance the LX-N 02QB9.00H unbundled loop facility.

Other CLECs have no plans to discontinue this facility. In fact many are making enhancements with parameters, making this a viable facility for AT&T needs.

AT&T request that this facility be metallic only, unloaded and have a maximum distance of 12,000 feet using 24 gauge copper, or 9,000 feet using 26 gauge equivalent copper. In addition, it is requested that this facility have a maximum total bridge tap of no more than 2,500 feet, with no single bridge tap being longer than 2,000 feet.

Expected Deliverable:

Qwest to retain and enhance this facility


Status History

06/26/03 - CR Received

07/02/03 - CR Acknowledged

07/02/03 - Contacted customer to advised CR received

07/11/03 - Held Clarification Meeting

07/15/03 - Updated CR in CMP database with changes received from AT&T

07/16/03 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

08/20/03 - August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

08/20/03 August CMP Meeting Bob Mohr with Qwest reviewed the draft response for this CR. When evaluating this CR, Qwest determined that aggregation of inventory and assignment systems would require a system enhancement and the manual process would be too costly. The LX-N can continue to be ordered. This CR will be moved to Denied status.

07/16/03 July CMP Meeting Donna Osborne-Miller with AT&T presented this CR. AT&T would like Qwest to maintain the NCI code for this facility. Kate Pedersen with AT&T said that in a conversation with Bill Wycoff with Qwest he had stated the facility offering would be eliminated. Cindy Buckmaster with Qwest said that her understanding was that in the migration to Industry Spectrum Management Standards, those services would not be eliminated but would be merged into a specific spectrum class. Kate indicated that analysis matched her understanding.

CLEC Change Request Clarification Meeting

10:00 a.m. (MDT) / Friday, July 11, 2003

1-877-562-8687 3393947# PC062603-1 Industry Compliance Request LX-N 02QB9.00H Loop

Name/Company: Donna Osborne-Miller, AT&T Sharon Van Meter, AT&T Kate Pedersen, AT&T Lydia Braze, AT&T Phil Law, AT&T Jen Arnold, U S Link Cindy Buckmaster, Qwest Denny Graham, Qwest Bill Wycoff, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change AT&T’s CR requests that Qwest not eliminate the LX-N 02QB9.00H loop. Many other ILECs offer this loop as an option and this option works well for AT&T. AT&T had heard that Qwest may be eliminating the option and would like to have the option continued.

Cindy Buckmaster with Qwest said that the designation of the HDSL facility (provided by the NCI code) defines the capability of a non-loaded loop, and further clarified that an HDSL capable loop is not a product offering. This is important to understand in determining if AT&T would like a new product announced or the maintenance going forward of the availability of the specified HDSL facility. AT&T said that they are fine with the continuation of the availability of the facility offering with the changes that would contain the following loop limiting parameters; 12,000 ft. maximum loop length for 24 gauge cable that includes Bridged Tap (BT), 9,000 ft. maximum length for 26 gauge cable that also includes BT. BT would be limited to 2,000 ft. maximum length for an individual BT, and a total bridge tap limit of 2,500 ft.

Cindy Buckmaster further explained that the NCI code identifies the facility and the NC is the classification of the product. The designation of LX-N tells Qwest that the customer wants a non-loaded loop. Prior to widespread availability of HDSL, Qwest selected the facility for the CLEC, and now, the CLEC has the ability to choose the facility by specifying the 02QB9.00H NCI code. Neither of these parameters limits the loop length or amount of bridged tap.

Phil Law with AT&T asked Bill Wycoff with Qwest if the .00H designator means that Qwest applies spectrum for HDSL so they know how to manage. Bill Wycoff said the LX-N triggers the facility and the .00H is the electrical interface. The interface code is informational to Qwest for possible spectrum management purposes and does not affect loop design or performance.

Bill Wycoff with Qwest asked Phil if AT&T orders a facility to a premises and there are no loops that meet the limitations set by AT&T above, if they want to receive a reject. Phil answered yes, AT&T would prefer a reject rather than get a loop with 5,000 feet of bridged tap.

Confirm Areas & Products Impacted The area of this Change Request impacts Unbundled loop, and UNE

Confirm Right Personnel Involved Qwest confirmed the correct personnel were on the call to resolve the CR.

Identify/Confirm CLEC’s Expectation AT&T’s expectation is that Qwest keep and enhance the LX-N 02QB9.00H facility.

Identify any Dependent Systems Change Requests No systems change requests.

Establish Action Plan (Resolution Time Frame) AT&T will present this CR at the July CMP meeting.


CenturyLink Response

August 13, 2003

DRAFT RESPONSE For Review by the CLEC Community and Discussion at the August 20, 2003 CMP Meeting

Donna Osborne-Miller AT&T

SUBJECT: Qwest’s Change Request Response - PC062603-1 "Industry Compliance Request LX-N 02QB9.00H Loop"

This CR requests that Qwest retain and enhance the LX-N 02QB9.00H unbundled loop facility.

In the interpretation of NC/NCI (Network Channel/Network Channel Interface) codes as provided by AT&T (LX-N 02QB9.00H), CLECs must refer to the UBL Technical Publication 77384. As indicated in Section 3 of this publication, the primary point of reference is the NC Code, which tells Qwest what facility type the CLEC is requesting. In the case of an NC Code equal to LX-N, the CLEC is requesting a metallic facility free of Load Coils. Where that facility is available in the Qwest inventory, or where incremental facility work can be accomplished to create such a facility, the non-loaded loop will be provisioned for the CLEC.

The secondary point of reference is the NCI Code, which provides operational information ONLY regarding the number of conductors the CLEC will be connecting at the interface (ICDF). Contrary to the proposal of AT&T, Qwest does not assign the facility for the NCI Code specified based on Loop Length or Bridged Tap. Rather, the loss parameter, of the facility requested, is measured at the interface and can be influenced by a number of elements, including Loop length and Bridged Tap length. Qwest processes are in place to ensure that the loss limits of the facility requested are in compliance with the specifications of the Technical Publication.

The Protocol Option part of the NCI, i.e., 00H, is informative to Qwest of the CLEC applied, electrical signal. This is used for spectrum management information.

None of these elements provide the limitations defined by AT&T (loop length, segment gauge, bridged tap limits). Therefore, these NC/NCI codes alone will not provide AT&T the specific facility they desire.

Qwest reviewed current assignment and inventory systems to determine if the necessary information can be gleaned and aggregated to accommodate this request. As Qwest systems currently consider only segment information and can’t aggregate the segments, this is not a viable option. Qwest would require System modifications that are expected to cost in excess of $1M to accommodate this request. Once the capability was installed, the system would logically need to be enhanced to accommodate specifications of each CLEC as their equipment may have facility needs different than the HDSL equipment in focus.

Qwest reviewed the manual process required to fill in where the system modification would be too costly. This manual process is likely to include expenses associated with: - Development of a means to identify a CLECs technical specifications - Additional assignment personnel to research potential facilities matching restrictions identified by the CLEC - Engineering time to review unqualified loops and create jobs to qualify the loops - Construction jobs may be required involving more construction personnel. - Additional network involvement to condition the loop (remove Load Coils and Bridged Taps) where applicable - A process to identify the required work on the customer’s records (perhaps on the CLECs bill)

A conservative estimate of the annual cost of providing this loop would be in excess of $250,000. Again, the identification of unique technical specifications, due to CLEC specific equipment and services requested, would only exaggerate this cost as well.

It is recommended instead that CLECs can use the Raw Loop Data Tool to provide the visibility to the likelihood that facilities are available to meet their request.

Although the CLEC can continue to order the LX-N Unbundled Loop, the technical specifications indicated by the CLEC, (maximum distance of 12,000 feet using 24 gauge copper or 9,000 feet using 26 gauge copper and a maximum total bridged tap of no more than 2,500 feet, with no single bridged tap being longer than 2,000 feet), cannot be guaranteed by Qwest. Therefore, Qwest respectfully denies the request because it is economically not feasible due to the cost to implement the request as identified above.

Sincerely,

Cindy Buckmaster Manager Product Management


Open Product/Process CR PC061803-1 Detail

 
Title: UNE P to UNE L Bulk Conversion
CR Number Current Status
Date
Area Impacted Products Impacted

PC061803-1 Denied
6/18/2003
Provisioning, Ordering, Billing Unbundled Loop, UNE P
Originator: Pardee, Carla
Originator Company Name: AT&T
Owner: Urevig, Russell
Director:
CR PM: Harlan, Cindy

Description Of Change

This CR was opened to track the denial items from the original CR PC022703-6 UNE P to UNE L Bulk Conversion. See PC022703-6 for more details.


Status History

6/18/03: Opened CR to track denial per discussion from the June CMP meeting

7/8/03: Input response in database

7/16/03: July CMP Meeting minutes posted to the database


Project Meetings

June P/P CMP Meeting - It was agreed to open a new CR for the items that Qwest will deny on PC022703-6. See PC022703-6 for more information.

July P/P CMP Meeting: Russ Urevig – Qwest reviewed the response to this CR. This CR was opened to track the denial items from PC022703-2. Qwest is unable to support items 3, 4, 9, 11, and 12. ATT advised they do not have any further questions. This CR will move to Denied status.


CenturyLink Response

July 9, 2003

For Review by CLEC Community and Discussion at the July 16, 2003 CMP Product Process Meeting

AT&T Ervin Rea Manager

SUBJECT: Qwest’s Change Request Response - CR PC061803-1 (PC022703-6) UNE-P to UNE-L Bulk Conversion

Qwest’s response to this CR was presented to the CLEC Community at the June 18, 2003 Product Process CMP Meeting. This CR requested 18 different functions in the Bulk Conversion process. Qwest’s response was to accept the CR and most of the functions identified, but not all 18 items.

After Qwest presented the response at the June CMP meeting, AT&T advised they do not wish to pursue the functions that Qwest will not support. Qwest recommended splitting the CR and putting the denial items on a separate CR.

Qwest opened CR PC061803-1 to track the denial. Qwest is unable to support items 3, 4, 9, 11 and 12 due to economically not feasible reasons.

Items 3, 11 and 12 pertain to processing requests via a spreadsheet. This would be a manual process for Qwest as we have mechanized systems in place that require each LSR to be entered individually. This type of request currently flows through without manual handling. Items 4 and 9 pertain to having a dedicated team assigned to work Bulk Conversions. Qwest will use our current employees as required to maintain our dialy work schedules, all employees have been trained on UNE-P and pots conversions to Unbundled loop. Qwest feels that creating a dedicated force for these conversions may impact our overall installation preformance. At the June Product Process CMP Meeting Qwest advised item 18 would be a systems change and a system CR should be opened by AT&T. Carla Pardee - AT&T advised she will open a systems CR if they wish to pursue.

Qwest will implement the other changes requested on this CR. Those items include 1, 2, 5, 6, 7, 8, 10, 13, 14, 15, 16 and 17. Please see PC022703-6 for status and response information.

Sincerely,

Russell Urevig Sr Process Analyst Wholesale Service Delivery


Open Product/Process CR PC071103-1 Detail

 
Title: Histogram of cleared troubles UNE P New Circuit Failure
CR Number Current Status
Date
Area Impacted Products Impacted

PC071103-1 Withdrawn
8/20/2003
Provisioning, Maintenance & Repair UNE-P, UNE
Originator: Rea, Ervin
Originator Company Name: AT&T
Owner: Suellentrop, Craig
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Request a report be developed that will provide the number of trouble tickets, for service established during the previous 30 days, closed by trouble cleared code.

Expected Deliverable:

Monthly report of trouble codes by frequency


Status History

07/11/03 - CR Submitted

07/14/03 - CR Acknowledged

07/16/03 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

08/14/03 - Received voice mail from Donna Osborne-Miller will be withdrawing this CR at August CMP

08/20/03 - August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

08/20/03 August CMP Meeting Donna Osborne-Miller with AT&T said she would like to withdraw this CR. This CR will be moved to withdrawn status.

CLEC Change Request Clarification Meeting

1:00 p.m. (MDT) / Tuesday, July 22, 2003

1-877-572-8687 3393947# PC071103-1 Histogram of cleared troubles UNE-P New Circuit Failure

Name/Company: Sharon Van Meter, AT&T John Blaszczyk, AT&T Jeanne Whisenant, Qwest Kit Thomte, Qwest Dan Busetti, Qwest Danelle Haynes, Qwest Kathy McBride, Qwest Doug Slominski, Qwest Craig Suellentrop, Qwest Michelle Thacker, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change Linda read the title and description of the change request. In summary AT&T’s CR requests that Qwest provide a report that will provide the number of trouble tickets for service established during the previous 30 days, closed by trouble cleared code.

John Blaszczyk with AT&T said that he wasn’t sure that a CR is needed and explained that AT&T and the Qwest Service Management Team had a Service Improvement meeting two weeks ago. AT&T would like to see new circuit failure improvement. Qwest new circuit failure is 4-6% compared to 1-2% for other ILECs. John said that AT&T would like to understand the root cause of the failure and looking at data in a histogram is the beginning of analyzing the data. AT&T would like to understand if the failures are associated with something AT&T is doing in the ordering and provisioning process, or translations. Kathy McBride with Qwest asked if the definition of new circuit failure is the same for other ILECs. John answered yes the definition is the same.

John also said that AT&T receives analysis from Qwest on Access products and the purpose of this request for UNE-P is to derive initiatives to lower circuit failure and get numbers down to a reasonable level. Danelle Haynes with Qwest said the service management team was providing an analysis of 35 UNE-P failures per month and understood that Ervin submitted the CR because the report would be required monthly going forward. John said the report would not be needed going forward, but may take data for 3-5 months. Doug Slominski with Qwest said that Ervin wanted all closed codes for every new circuit failure by trouble codes and the underlying data is located in the OP5 PID. Doug has provided this type of report for one month to AT&T utilizing underlying PID data and information in CEMR by trouble ticket. This effort took approximately 2 days. John said that it would be less time consuming to have a mechanized report on a monthly basis to monitor what is causing failures.

Kit, Linda, John and Sharon discussed whether AT&T needed to submit a CR for this request, if AT&T would withdraw the CR, or if AT&T would provide revisions to the CR. Linda will provide Sharon a copy of the submitted CR for updates.

Confirm Areas & Products Impacted Area impacted is repair.

Confirm Right Personnel Involved Qwest confirmed the correct personnel were on the call to resolve the CR.

Identify/Confirm CLEC’s Expectation AT&T’s would like information on new circuit failures trouble cleared codes .

Identify any Dependent Systems Change Requests No systems change requests.

Establish Action Plan (Resolution Time Frame) AT&T will present this CR at the August CMP meeting.

-- 07/16/03 July CMP Meeting Donna Osborne-Miller with AT&T reviewed the walk on CR PC071103-1. There will be a clarification call on this change request.


Open Product/Process CR PC092203-1 Detail

 
Title: UNE P migration testing
CR Number Current Status
Date
Area Impacted Products Impacted

PC092203-1 Denied
12/17/2003
Testing UNE-P
Originator: Rea, Ervin
Originator Company Name: AT&T
Owner: Suellentrop, Craig
Director:
CR PM: Harlan, Cindy

Description Of Change

It is requested that Qwest perform testing of UNE-P loops at 48 hours prior to migration to a CLEC. Any degradation of service noted will Jep the order and Qwest will perform work necessary to bring service to optimal level.


Status History

09/22/03 - CR Submitted

09/23/03 - CR Acknowledged

9/26/03 - Contacted ATT to schedule Clarification call

10/2/03 - Clarification call scheduled for 10-2 10:00 - 11:00 am

10/2/03 - Conference call problems-needed to reschedule for October 6

10/6/03 - Held Clarification Call - changed product impacted to UNE-P and area to Testing as a result of the clarification call

10/10/03- Posted clarification notes

10/15/03 - Oct CMP meeting minutes will be posted to the database

11/19/03 - Nov CMP meeting minutes will be posted to the database

12/10/03 - Emailed response to CLEC

12/17/03 - Dec CMP notes will be posted to the database

1/5/04 - There is a MCI systems CR that is requesting similar changes. This CR was denied at the December meeting.


Project Meetings

December 17, 2003 CMP Meeting Jamal Boudhaouia – Qwest read the CR request and reviewed Qwest’s response. Jamal advised this CR is being denied for economically not feasible reasons. Ervin Rea – ATT advised he understands Qwest’s issues but he had hoped that Qwest would identify a way to automate this function. For example, when the order is completed, a MLT test should automatically run, and if an issue is found then a repair ticket would be created and fixed. After the line is repaired the order would complete. Ervin advised he would like to have a system CR issued. Liz Balvin – MCI said she has a systems CR opened for a similar change and would be okay with having her CR updated to reflect Ervin’s request. Discussion also took place about whether or not the CR should be crossed over to systems. Ervin advised the goal is to deliver a working line to end users. Liz advised test results could be delivered via CEMR and IMA could kick off the test when the order completes. Kit advised we will determine the correct way to handle this request.

November 19, 2003 CMP meeting Craig Suellentrop – Qwest reviewed the response. Craig advised Qwest will be placing this CR in Evaluation as there are similar CRs in progress and Qwest wants to review these CRs together. Liz Balvin – MCI said MCIs CR is a systems CR requesting MLT and results to be published via CEMR or IMA. Ervin Rea-ATT made additional comments regarding this CR and the similarity to MCI’s CR. Ervin advised he is okay if we perform the test after migration and before the Service Order Completion (SOC) notice is distributed. Ervin would like to see test results if possible also. The test results could be made available either on the SOC, in CEMR or IMA. The CLECs advised they would like the process change implemented first, and if the process change creates positive results, the system change could then be implemented. The CLECs suggested we look at this CR in phases if we need to. Qwest agreed to schedule another CLEC review to discuss the similarities of the CRs. Bonnie Johnson – Eschelon verified that she requested for Qwest to look at all UNE P products.

October 15, 2003 CMP meeting Ervin Rae – ATT presented the CR. Ervin recapped that this request is for Qwest to perform a test on the line prior to migrating the customer to the CLEC. This is for UNE-P. ATT has a circuit failure of 4-5% on LSRs submitted to Qwest, which is 2 times more than other LECs. Other LECs have implemented migration testing and the failure rate has decreased 4% (down to 1%). Bonnie Johnson – Eschelon asked if we can add additional products to this CR. Cindy Macy – Qwest advised it would increase the scope of the CR as additional representatives would need to be involved. We may need to have another clarification meeting. Bonnie advised she would like to include Resale POTS/Centrex 21 and Centrex Plus, and UNE P POTS/Centrex 21 and Centrex Plus. Liz Balvin – MCI advised MCI has asked for DSL test results. Liz asked is this what ATT is asking for? Ervin advised no, they are just requesting a test be perfomed prior to migration. Ervin advise Qwest can determine what type of test but he would like to make sure dial tone is on the line and noise is not on the line. This is a preventative measure test. Bonnie advised this testing is currently done on UBL, and asked why it wouldn’t be done on other products? Cindy agreed to discuss the additional products with the internal team to identify impacts to the scope of this CR. This CR will move to Presented Status.

Clarification Call October 6

Bob Mohr Qwest Russ Urevig Qwest Terri Kilker Qwest Monica Manning Qwest Joy McConnell Couch Qwest Craig Suellentrop Qwest Deni Toye Qwest Ervin Rea ATT

Ervin reviewed the CR and explained the new circuit failure rate is 2 times higher than any other ILEC. Bell South had the same problem and they impemented a process to test their line before they migrated it over to the CLEC. Ervin said this would be done on a migration from POTS to UNE P. Ervin said we should determine the type of test, but basically the request would be to run a MLT test to make sure equipment is okay, the line is not noisy and that the line has dial tone.

Terri Kilker Qwest asked if this is on any type of migration - such as conversion as specified or conversion as is or moves. This would normally be on non design and a C order, possibly a T order. Ervin agreed this would be on UNE-P migrations. Ervin advised this should improve our maintenance and repair as repair tickets would go down.

The team discussed on UNE P we usually do the same day turn up, so the timing of the test could not be 48 hours in advance in most cases. Ervin advised he doesn't care when the test is done, just as long as the line it tested before Qwest does the migration to the CLEC.

Cindy Macy-Qwest advised that ATT will present the CR at the October CMP meeting.


CenturyLink Response

December 9, 2003

For Review by the CLEC community and discussion at the December 17, 2003 CMP Meeting

Ervin Rae AT&T

SUBJECT: Qwest’s Change Request Response - CR PC092203-1 "UNE-P Migration Testing"

This CR requests that Qwest perform testing of UNE-P loops prior to migration to a CLEC. It also requests that any degradation of service noted cause a JEP in the order and for Qwest to repair the line. Other CLECs requested that other non-designed products be included in this CR. This would include Resale POTS, Centrex 21 and Centrex Plus, and UNE-P POTS, Centrex 21 and Centrex Plus. The test that Qwest would perform would be an MLT test.

Currently, the large majority of UNE-P orders are conversions, most of which flow through our systems today. There is not a center for non-designed services that performs testing on non-dispatched orders. Qwest receives about 20,000 UNE-P orders per week for conversions. All of these orders would need to be dropped out and manually handled to run an MLT test. Performing these MLT tests is estimated to require over 1600 hours of work per week for UNE-P orders alone. Therefore, Qwest is denying this request because it is economically infeasible.

Sincerely,

Craig Suellentrop Staff Advocate, Policy & Law Qwest

Cc: Mary Retka, Director-Legal Issues, Qwest Terri Kilker, Senior Process Analyst, Qwest

November 11, 2003

For Review by the CLEC community and discussion at the November 19, 2003 CMP Meeting

Ervin Rae AT&T

SUBJECT: Qwest’s Change Request Response - CR PC092203-1 “UNE-P Migration Testing”

This CR requests that Qwest perform testing of UNE-P loops prior to migration to a CLEC. It also requests that any degradation of service noted cause a JEP in the order and for Qwest to repair the line. Other CLECs requested that other non-designed products be included in this CR. This would include Resale POTS, Centrex 21 and Centrex Plus, and UNE-P POTS, Centrex 21 and Centrex Plus. The test that Qwest would perform would most likely be an MLT test.

Currently, the large majority of UNE-P orders are conversions, which flow through. There is not a center for non-designed services that performs testing on orders. This is a major change to process and Qwest requests additional time to fully evaluate the impacts. In addition, MCI change request SCR102803-1: Qwest to perform MLT testing and provide CLEC results for DSL provisioned services appears to be asking for a very similar outcome. Qwest proposes that these two CR’s be evaluated to determine if they can be combined.

Sincerely, Craig Suellentrop Staff Advocate, Policy & Law Qwest

Cc: Mary Retka, Director-Legal Issues, Qwest Terri Kilker, Senior Process Analyst, Qwest


Open Product/Process CR PC092903-1 Detail

 
Title: Joint Inventory Process (previous name: New Collocation Process)
CR Number Current Status
Date
Area Impacted Products Impacted

PC092903-1 Completed
6/16/2004
Collocation
Originator: Pardee, Carla
Originator Company Name: AT&T
Owner: Nelson, Steve
Director:
CR PM: Harlan, Cindy

Description Of Change

AT&T requests that Qwest, with the input of AT&T and other CLECs, develop a process where Qwest dispatches a person to verify information related to a Collocation site. For example, if AT&T needs information related to the APOT/CFA or power terminations or any other element associated with the Collocation site, Qwest will dispatch an employee to the specific Collocation site and verify existing information or provide additional information back to AT&T. The new process should include the application, intervals, RFS (ready for service date) and any other components relevant to the new process.

Expected Deliverable

Qwest and CLECs develop a process to verify existing information or provide additional information associated with a specific Collocation site. This new process should be available by the end of 2003.


Status History

09/29/03 - CR Submitted

10/01/03 - CR Acknowledged

10/3/03 - Contacted customer to schedule clarification call

10/9/03 - Held Clarification call

10/15/03 - Oct CMP meeting minutes will be posted to the project meeting section

11/19/03 - Nov CMP meeting minutes will be posted to the database

12/1/03 - Scheduled CLEC input meeting on 12-9 to review process

12/9/03 - Reviewed the process with CLEC community

12/16/03 - Posted meeting notes

12/17/03 - Dec CMP Meeting notes will be posted to the database

12/19/03 - Held ad hoc meeting

1/21/03 - Jan CMP meeting minutes will be posted to the database

2/4/04 - Held Ad Hoc Meeting to review process udpates

2/18/04 -Feb CMP Meeting notes will be posted to the project meeting section

3/17/04 - March CMP meeting notes will be posted to the project meeting section

3/23/04 - Notification PROD.03.23.04.F.01498.COLLOGENERALV21

4/21/04 - April CMP meeting notes will be posted to the project meeting section

4/30/04 - PROC.04.20.04.F.01581.FNL_ColloGeneralV21

5/19/04 - May CMP Meeting notes will be posted to the project meeting section

6/16/04 - June CMP Meeting notes will be posted to the project meeting section


Project Meetings

June 16, 2004 CMP Meeting notes: Steve Nelson – Qwest advised this process was effective May 7. Qwest developed and tested the process with 5 CLECs in 10 locations. The Amendment and PCAT posted May 7. Qwest would like to close this CR. Carla Pardee – ATT advised it is okay to close the CR. This CR will move to Completed Status.

May 19, 2004 CMP Meeting notes: Cindy Macy – Qwest reported status for Steve Nelson. This CR was effective May 7. This CR will move to CLEC Test Status.

April 21, 2004 CMP Meeting notes: Cindy Macy – Qwest provided the status for Steve Nelson. The documentation for this process was distributed March 23. The process should be effective May 7. Qwest has been conducting trials with some of the CLECs to test out this process. Bonnie Johnson – Eschelon wanted to mention a potential gap in the testing process. Eschelon has a point of contact designated and Qwest was working with some one other than the point of contact. Qwest was working with their normal switching contacts at Eschelon, but we prefer for them to work with the dedicated person assigned to the test. Cindy advised that she would provide this feedback. This CR will remain in Development Status.

March 17, 2004 CMP Meeting notes: Steve Nelson – Qwest reported that this CR is in progress and we are working on a Beta trail. We are performing Joint Inventory tests with ATT, TCG, MCI, Eschelon, 180 Communications and Sprint. We have completed the Inventory with 180 Communications in Montana. The CR is in development and moving along quite nicely. This CR will remain in Development Status.

February 18, 2004 CMP Meeting Cindy Macy – Qwest provided status for Steve Nelson. Cindy advised that the team met with the CLECs on February 4, 2004. The process and forms were reviewed. Qwest advised a Joint Inventory process trial would be held with some of the CLECs. Qwest will use the trial to work out any gaps in the process. This CR will remain in Development Status.

Joint Inventory Process February 4, 2004 - 1:00 – 2:30 p.m. MST

In attendance: Steve Nelson – Qwest Steve Kast – Qwest Bill Fellman – Qwest Rene Lerma – Eschelon Mary Ann Wiborg – Qwest Cindy Macy – Qwest Lillian Robertson – Qwest Teresa McKenzie – Qwest John Waltrip – Qwest Kathy Battles – Qwest Cheryl McCombe – ATT Peggy Englert – Qwest

Cindy Macy – Qwest opened the call and reviewed the agenda. Steve Nelson – Qwest reviewed the four documents at a high level and asked if there were any questions or concerns with the forms or process. Eschelon and ATT advised they are okay with the forms and process.

Steve Nelson – Qwest explained we would like to start the trial and perform a joint inventory on 2 sites per CLEC. Qwest would like to do this on a mix of locations and a mix of types of collocation sites (virtual, cageless, caged, etc). The trial will be done at no cost, as it will help Qwest with our cost pricing study. Our draft cost estimate is approximately 19.25 hours at $1500.00.

Steve reviewed each section of the Joint Inventory form; service level, virtual equipment, grounding, synchronization, power, administrative lines, space, and notes. Rene – Eschelon asked if we included CLEC to CLEC direct collocation sites? Qwest advised no, we don’t keep records of CLEC to CLEC facilities.

Steve reviewed the process flow diagram. This process is a 60-day process. Qwest has tried to be responsive to the CLECs needs. The CLECs advised they are okay with the flow and intervals and the process looks good. Steve Nelson advised that we would update the process if needed after the trial.

Steve reviewed the PCAT. Steve advised an amendment would be required. Steve reminded the team that there is not any time to repair or test during the inventory. Steve reviewed the description, terms, ordering , and procedures. Steve advised that if the CLECs have more than one site per location and they want them both inventoried, it would be best to schedule them together, however each site would require a separate application.

Steve advised that Qwest will be using Telric based pricing, instead of market based pricing. This allows Qwest to bill a set amount and get the process completed faster and at the lowest cost to the CLEC customer.

Bill Fellman – Qwest asked Steve to clarify what the ‘maximum of two scheduled visits’ means. The team advised this is regarding the reschedule / cancellation / charge policy if the CLEC has to reschedules a joint inventory two times. The CLECs on the call stated this seemed fair.

Steve Nelson – Qwest advised if there are discrepancies between billing and actual equipment located at the site, the billing will be corrected.

Steve Nelson and Peggy Englert – Qwest discussed the trial. Peggy’s team will contact the four CLECs that expressed and interest (180, ATT, Sprint, Eschelon) to obtain a proposed and prioritized list of sites to inventory. Qwest would like a mix of locations and types of sites to inventory.

Next Steps: Collocation Service Managers will contact and work with CLECs to obtain a proposed and prioritized list of sites to inventory CLECs will have a target date of February 13 to submit an application form to Qwest (this would start the process) Steve Nelson will prepare Amendment by February 20 Steve Nelson will start the documentation process by February 20 Qwest will work with the CLECs during the trial The team will get back together after the trial to discuss results Final pricing studies will be prepared.

January 21, 2004 CMP Meeting Steve Nelson – Qwest advised they have developed the preliminary price structure. Qwest will do a trial with four CLECs and two Collocation sites each to help determine the correct pricing. The Amendment is in progress and it will be posted to the web site soon. The Application form, Inventory form, processes, and Product description will be available for the meeting that is scheduled next week on January 30. This CR will remain in Development Status.

December 19, 2003 Ad Hoc Meeting PC092903-1 Joint Inventory Process

In Attendance: Bob Alex – Qwest John Waltrip – Qwest Steve Nelson – Qwest Stacy Meisenhiemer – Sprint Bonnie Johnson – Eschelon Lillian Robertson – Qwest Kathy Battles – Qwest Rene Lerma – Eschelon Cindy Macy – Qwest Peggy Englert – Qwest Mary Simon – 180 Communications

Cindy Macy – Qwest opened the call and reviewed the agenda for the meeting. We will be reviewing the Application form, the Inventory form, and the high level flow and critical intervals.

Steve Nelson – Qwest began by reviewing the draft intervals: Day 2 Quote Day 20 Identify Inventory participants Day 35 Perform Joint Inventory Day 55 Distribute the results of the Joint Inventory Day 60 Hold follow up call to review the results

Steve advised the pricing study is not completed as of yet. The preliminary cost is $1250.00. Steve would like to conduct Beta tests with CLECs to get a better judge of time and effort. Steve advised next steps are to finalize the forms and cost. The team will meet again the 3rd week in January.

John Waltrip – Qwest reviewed the Inventory and Application forms. John explained the engineer fills out the Inventory form and gives it to the SICM. Rene – Eschelon asked if Qwest could mirror what is on the APOT sheets. John advised Qwest will review the APOT form, if inventory differs than what is on the current APOT, we will then update the APOT. Kathy Battles – Qwest advised for ATT some jobs are old or they bought out another customer, so ATT may not have current APOT forms.

Rene – Eschelon asked if this process applies to a CLEC to CLEC connection. John advised no, as Qwest does not inventory that equipment.

Rene – Eschelon commented about the price and asked why managers will be gathering all the information. If managers are gathering the information the cost would be higher, and that is basically administrative work. Steve Nelson reviewed how the work is broken out between groups and explained that is how we have the work assigned. Steve would like to do a Beta trial for free with 3-4 of the CLECs, on 1-2 Collocation sites each. The trial will allow us to refine our time, cost and forms. Steve would like to do the trial in the January time frame. Steve advised he would work with Peggy Englert’s team to contact the CLECs to arrange the Beta trial. The CLECs participating in the calls advised they would be interested in the Beta test. That would include ATT, Eschelon, 180 and Sprint.

Cindy Macy – Qwest asked Steve to consider that the timing of the trial and the release of the documented process can occur at the same time. Steve advised they would target publishing the document so it can be reviewed in the February time frame.

December 17, 2003 CMP Meeting Steve Nelson – Qwest reported that the team held a meeting on December 9 to review the process. There was a lot of participation and good discussion took place. The team agreed to meet again on December 19 to review the Application form and Inventory form. Steve explained the process will include a joint inventory of collocation sites that look at everything that is at the site. Liz Balvin – MCI asked if we made any progress on the cost analysis? Steve reported that the cost estimate is available but the final cost study will take 3-4 weeks to complete. The team will meet again in January to discuss the cost study more. This CR will stay in Development status.

PC092903-1 Joint Inventory Process Ad Hoc Meeting December 9, 2003

In attendance: Eric Yohe – Qwest Peggy Englert – Qwest Carla Pardee – ATT Cindy Roni – Eschelon Rene Lerma – Eschelon Bonnie Johnson – Eschelon Liz Balvin – MCI Cheryl McCombs – ATT Michelle Brandt – ATT John Waltrip – Qwest John Lawrence – Qwest Bob Alex – Qwest Kim Isaacs – Eschelon Steve Nelson – Qwest Kathy Battles – Qwest Louis Ruiloba – ATG Paul Hansen - Eschelon

Cindy Macy – Qwest opened the call and advised the purpose of today’s meeting is to review the draft Joint Inventory Process and gather input from the CLECS and make sure we are on track with expectations.

Steve Nelson – Qwest reviewed in detail the Process Flow, which was distributed as part of the notification of the meeting. Steve advised the Application and Inventory form are under development and will be reviewed at our next meeting. Steve advised Qwest would offer a Joint Inventory application for virtual sites also.

Steve Nelson – Qwest asked if the CLECs would like to identify what inventory they think they have at each site, or if the CLECs would like Qwest to identify what is actually at the site. Rene Lerma – Eschelon advised Qwest should identify what inventory is at each site. The CLECs agreed.

Rene Lerma – Eschelon asked for timeframes and intervals to accomplish the different steps in the process. Steve Nelson – Qwest advised the draft timelines are expected to be as follows:

Application submitted by CLEC Up front work that Qwest needs to do to schedule the Joint Visit: 15–20 days after receipt of application Schedule and conduct the Joint Visit: 20-45 days Review results: 55-60 days Schedule and hold wrap up call: 7-10 days

Other actions based on results of visit: Billing changes Database changes Augment work (if needed)

Steve Nelson – Qwest discussed pricing. The plan is that pricing will not include a QPF. An amendment will be done. Steve will look at a Telric Pricing study to determine price and present this to the team. Qwest would like to charge one rate to have a Joint Inventory done. This simplifies the process and pricing and allows the CLECs to budget appropriately for the work. Billing would be done in BART.

Rene Lerma – Eschelon asked what would the results of the inventory look like, what would be sent to the CLECs? Steve Nelson – Qwest advised there is an Inventory Form that will be used. We will review this at the next meeting. It is a 3-page form, that would include items such as termination feeds, power feeds, fused locations, BDFB locations, frame id, block locations, DSC bay panel, etc.

Steve Nelson – Qwest advised that Qwest would not do testing at the same time of the Joint Inventory. No additional work would be done at the same time. This is to keep costs low for performing a Joint Inventory.

The team also discussed that Qwest could accept the application form to begin the inventory process without advance payment. The request would be irrevocable. Payment should be made by good faith. If the process is requested, then the payment will be made.

Liz Balvin – MCI asked if there would be time for additional questions. Cindy Macy – Qwest advised the team will meet again, and after the process is documented it will go out for review and comment.

Next Steps: Meet again on December 19, 2003 Review forms (application and inventory form)

November 19, 2003 CMP Meeting Steve Nelson – Qwest recapped the CR request from ATT. ATT would like Qwest to develop a process where Qwest dispatches a person to verify and inventory information related to a Collocation site. Steve reviewed Qwest’s response. Qwest accepts this CR and is working to develop the process to perform a comprehensive inventory of an existing Collocation site. SICMs will be involved with performing the comprehensive inventory. Steve is calling this process a ‘Joint Inventory Process’. As a result of this process billing corrections may be needed. Steve advised he will work with Cindy to schedule another CLEC review meeting. Topics of discussion at the meeting include high-level process flow, deliverables, costing model and ordering process. The CLECs agreed that Qwest could change the title of the CR to ‘Joint Inventory Visit’.

October 15, 2003 CMP Meeting Michelle Brandt – ATT reviewed the CR and explaind ATT is looking for a joint survey process where Qwest would dispatch a person to a Collocation site to help provide information about the Collocation site, such as power information. Steve Nelson – Qwest advised a good clarification call was held and the Qwest team will be meeting internally to work out the details. The status will be moved to Presented.

October 9, 2003 1-877-552-8688 7146042# PC092903-1 New Collocation Process

Attendees Steve Nelson – Qwest Lillian Robertson – Qwest Denise Martinez – Qwest Cheryl McCombs-ATT Rich Powers – ATT Peggy Englert – Qwest Janet Leonard – Qwest Ben Campbell – Qwest Bob Alex – Qwest Doug Andreen – Qwest Cindy Macy – Qwest

Meeting Agenda: 1.0 Introduction of Attendees Attendees introduced 2.0 Review Requested (Description of) Change Rich Powers – ATT reviewed the Change Request. Rich explained ATT is looking for a mechanism to have a joint site survey done on particular Collocation sites. ATT needs to inventory some of their Collocation sites to determine type of space, size of space, and especially the power arrangement. ATT needs to update their inventory so they are ordering correctly, and to improve access planning. Rich explained there is a gap in their power inventory, at the assignment level. They are interested in the BDFB inventory, relay rack, fuse, etc. Cindy Macy – Qwest asked Rich if they need this on all Collocations or only certain sites and certain situations. Rich said they would like to be able to request this ‘as needed’. Steve Nelson – Qwest asked what level of detail is needed? Is this the circuit working level? Rich advised no, the total number of terminations is good. Lillian Robertson – Qwest asked Rich to clarify what was meant by ‘the new process should include the application intervals, RFS and any other components relevant to the new process’. Rich explained they would want to understand the intervals for ordering a site survey, for completing a site survey. Specifically, ATT is requesting A Joint Site Survey –1. The Terminations, 2 – Power Assignment of feeds needed and 3. How the Power is fused. Qwest asked what additional information is needed: Rich explained that for DS0 terminations, Qwest provides entire picture of CFA. If ATT orders power, Qwest only sends information about the power ordered, not the entire power inventory at the collocation. Cindy Macy-Qwest asked if the site survey would be requested before an order is placed? Rich advised normally yes, as they would like to have the records correct before an order is placed. Rich explained if he wanted to do a joint survey with Qwest, how would he go about ordering that? ATT would like Qwest to develop a process to perform a joint survey. Identify such things as intervals related to this request. Kathy Battles – Qwest advised that ATT bought several sites from another company that they do not have complete records on. The SICMs have done some survey of sites but additional help is needed. Ben Campbell – Qwest clarified that ATT is looking for power data first, and then other features are helpful, but the power components are critical. Rich advised power, then cross connects and then space information is needed. (In that order). Rich – ATT explained they are building a database to store this information; power inventory system. 3.0 Confirm Areas & Products Impacted Collocation Site Survey 4.0 Confirm Right Personnel Involved Team agreed the right personnel are involved. Ben Campbell / Steve Nelson would be the lead on this CR. 5.0 Identify/Confirm CLEC’s Expectation Process to request a Joint Sight Survey of Collocation Sites Intervals for this process 6.0 Identify any Dependent Systems Change Requests None 7.0 Establish Action Plan (Resolution Time Frame) ATT will present the CR at the October CMP Meeting Qwest will provide our Response at the November CMP Meeting


CenturyLink Response

November 11, 2003 For Review by the CLEC community and discussion at the November 19, 2003 CMP Meeting

Lydia Braze AT&T

SUBJECT: Qwest’s Change Request Response - CR PC092903-1

“New Collocation Process”

This CR requests “Qwest, with the input of AT&T and other CLECs, develop a process where Qwest dispatches a person to verify information related to a Collocation site. For example, if AT&T needs information related to the APOT/CFA or power terminations or any other element associated with the Collocation site, Qwest will dispatch an employee to the specific Collocation site and verify existing information or provide additional information back to AT&T. The new process should include the application intervals, RFS and any other components relevant to the new process.”

We have many collocation processes and procedures today which meet some of these needs. Qwest currently offers a comprehensive walk-through by a State Interconnect Manager (SICM) with the customer when the final 50% of the non recurring quote is paid. This procedure will still be offered. We provide APOT/CFA which includes a cumulative listing of all CLEC termination cables and entrance facilities. This will continue. Qwest offers a site visit associated with an Available Inventory request before order submission. Qwest offers up to three site visits after payment of the initial 50% on a collocation application. We plan to continue to provide these services. As per the CR, however, it was understood that AT&T wants a comprehensive process to ensure all aspects of the collocation site are accurate including terminations, power, space, type of collocation, APOT/CFA, and billing rate elements and quantities. This process relates to previously completed sites. Qwest accepts this CR and will work with the CLEC community to offer a new comprehensive process which can be submitted at the CLEC’s request. It will be priced out and offered as an amendment. The following is a high level overview of what services Qwest is prepared to offer to meet the CR request. A clarification call was held with AT&T on October 9, 2003. Subsequent to that call a cross-functional team was put together to start to frame what this added process would look like. The process being proposed looks like this in Qwest’s vision: · A separate application will be developed for these requests. · Every effort will be made to minimize the costs for this process. · Inventoried items will include space, power, and terminations. · A knowledgeable Qwest employee will be selected to conduct the joint visit such as a SICM or delegated employee. · Appointments will be jointly scheduled. · The timeframe from application to completion of the joint visit will be discussed and determined as part of the joint planning development of this CR. · Records and billing will be corrected upon completion of the joint visit. Any prior monthly recurring adjustments will be based on the CLEC’s ICA. · Detailed planning prior to the visit will include review of all engineering records. · CPMC will coordinate the overall end to end process. We will schedule calls to jointly develop this process as requested. Qwest will provide a format of the newly proposed process, intervals, deliverables, and pricing. The CLEC community will have the opportunity to partner with Qwest in the development and finalization of the process. An amendment will be prepared for CLEC to participate in this new process offering.

Sincerely, Stephen C. Nelson Product Management Qwest

Cc: Ben Campbell Bill Campbell


Open Product/Process CR PC101303-1 Detail

 
Title: Blocking Feature Request
CR Number Current Status
Date
Area Impacted Products Impacted

PC101303-1 Withdrawn
11/24/2003
Provisioning UNE-P
Originator: Pardee, Carla
Originator Company Name: AT&T
Owner: Paxton, Mallory
Director:
CR PM: Andreen, Doug

Description Of Change

AT&T is requesting a feature that would allow it to block customers from making long distance calls by using operator assistance. This feature would allow CLECs to protect itself against customers from continuing to make long distance calls when the customer is in arrears.

Expected Deliverable:

February 2004


Status History

10/13/03 - CR Submitted

10/14/03 - CR Acknowledged

10/20/03 - Held Clarification Meeting

10/27/03 Sent Clarification Meeting Minutes

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/24/03 - Status Changed to Withdrawn


Project Meetings

11/19/03 Nov. CMP Meeting Carla Pardee AT&T presented the CR requesting blocking customers from making long distance calls by using operator assistance. She had intended to withdraw the CR but wants to test some existing features a bit more before she does so. She said the remaining problem is that Long Distance Toll Restriction does not block 411 or 555-1212 calls. AT&T is still researching. Bonnie Johnson Eschelon added that she believes that Custom Net Blocking is the only way to block these calls and Eschelon is very interested in a block to block only DA calls. This CR will remain in Pending Withdrawal status.

- Clarification Meeting 3:30 (Mountain Time) / Tuesday October 20, 2003

1-877-521-8688 1456160# PC101303-1; Blocking Feature Request

Attendees Jo Ann Samonek, AT&T Carla Pardee, AT&T Anthony Washington, Qwest Mallory Paxton, Qwest Terri Kilker, Qwest Doug Andreen, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change Doug read and reviewed the CR. The CR requests a feature that would allow AT&T to block customers from making long distance calls by using operator assistance. This feature would allow CLECs to protect itself against customers from continuing to make long distance calls when the customer is in arrears. Carla stated that in discussions with others at AT&T since she had submitted the CR she was given to believe there might be an existing product that would meet the needs of AT&T. AT&T felt that Billed Number Screening combined with CustomNet and Long Distance Restriction could be a solution. She confirmed that UNE-P is the only impacted product. Terri and Mallory explained that Billed Number Screening combined with Long Distance Restriction might provide the needed capabilities. Long Distance Restriction prevents calls being dialed that begin with a 0 or 1. Billed Number Screening covers 3rd number billed calls made from a different phone. The consensus was that CustomNet capabilities would not be needed. The PCAT now reflects which types of call apply to each service. AT&T will test Billed Number Screening and Long Distance Restriction as a possible solution in the next few days and let Doug know of the results. Doug will then advise the group on what further direction this CR will take, AT&T may withdraw the CR after testing or an additional clarification meeting may be scheduled.

Confirm Areas and Products Impacted UNE-P

Confirm Right Personnel Involved Correct personnel were involved in the meeting.

Identify/Confirm CLEC’s Expectation AT&T would like this feature available by February 2004.

Identify any Dependant Systems Change Requests TBD pending AT&T testing

Establish Action Plan Carla Pardee with AT&T will get information on testing Billed Number Screening and Long Distance Restriction to Doug Andreen within the next few days. If testing is not successful an additional clarification meeting will be held. If testing is successful Carla may withdraw this CR at the November CMP meeting.


Open Product/Process CR PC103003-1CM Detail

 
Title: Language Changes to Qwest Wholesale Change Management Process Document re: Notification of Planned Outages
CR Number Current Status
Date
Area Impacted Products Impacted

PC103003-1CM Withdrawn
2/18/2004
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Maher, Jim
Director:
CR PM: Harlan, Cindy

Description Of Change

AT&T seeks to change the language of the last sentence in section 12.1 It states: Planned Outage Notification will be sent to CLECs and appropriate Qwest personnel no later than two (2) calendar days after the scheduling of the OSS Interface maintenance activity.

AT&T Proposed language: At the beginning of each month Qwest posts the forecast of the current month and two (2)months of system availability. The three (3) months system availability forecast notes planned changes to standard system availability. This forecast will be posted electronically in a calendar format.


Status History

10/30/03 - CR Submitted

11/03/03 - CR Acknowledged

11/4/03 - Contacted ATT to schedule clarification call - offered 3 times for call. ATT will call me back to advise.

11/6/03 - ATT called back and confirmed clarification meeting for 11/11 12-1:00

11/11/03 - Held clarification call

11/20/03 - Nov CMP meeting minutes will be posted to the database

12/5/03 - Contact ATT to schedule ad hoc meeting to discuss process and language

12/10/03 - Held ad hoc meeting with ATT to discuss CR in more detail and to ensure Qwest understands ATT issues

12/17/03 - Dec CMP notes will be posted to the database

1/21/03 - Jan CMP meeting minutes will be posted to the database

2/17/04 - Held ad hoc meeting with ATT

3/5/04: CMPR.03.05.04.F.01460.CalPostPlannedOutageFore


Project Meetings

February 18, 2004 CMP Meeting Jim Maher-Qwest advised we held several CLEC meetings to discuss this CR. In those meetings, Qwest had agreed to monitor the Planned Outage process during January and February. During this time the three Planned Outage notices had a 19-day advance time frame. Qwest has developed a forecast document ‘Potential Planned Outages’. This was modeled after the example that ATT provided from Verizon. The intent of this document is that Qwest would post the outage dates that they believe are potentially going to occur. The final communication would occur as defined in the current CMP Process. There was a language change requested by ATT, but ATT agreed that was not necessary. Qwest will meet a 15-day advance notification for most of the potential planned outages identified in the CMP document. There may be some emergency outages that will meet the minimum requirements identified in the CMP process. Additionally Qwest will update and post the Planned Outage Forecast calendar to the web site quarterly. Qwest requested for ATT to withdraw the CR. ATT advised they are happy with the document / calendar. Carla Pardee – ATT said she didn’t get a chance to share the final document with other CLECs due to schedule issues. ATT stated they would withdraw the CR and that they believed the other CLECs will be happy with the forecast calendar.

February 17, 2004 Ad hoc meeting PC103003-1CM Planned Outage Notification

In attendance: Pat Moran - ATT Jim Maher- Qwest Carla Pardee – ATT Cindy Macy – Qwest

Cindy Macy – Qwest advised that we wanted to meet again to see how the process is working, to review the draft ‘Potential Planned Outage’ document, and determine if we should withdraw the CR as there would not be a language change, if the Potential Planned Outage calendar is acceptable.

Pat Moran – ATT reviewed the calendar and clarified her expectations. Pat reviewed the March 19, 20 and 21 date scenario. Jim explained that the Friday March 19 outage is less likely to occur, than the Saturday March 20 and Sunday March 21 outage. Pat suggested that we identify this on the calendar.

Jim reviewed that the January notices all provided 19 days of advance notification. IT is working on being more proactive with this process. Pat thanked Qwest for their efforts.

Pat advised that she would like Qwest to provide notification on the items identified on this calendar 15 days in advance. Pat explained that Qwest should be able to do this, as we are already aware of the potential and we should know if the release would impact system availability within 15 days. Jim agreed that this should be possible for items identified on the ‘Potential Planned Outage calendar’. Jim advised that there would not be a change to the language in the CMP, and this was agreed to by ATT. Jim clarified that there could be situations when Planned Outages required a shorter notification interval, and that these would be the exception based on the work Qwest had done. Pat stated she understood those exceptions could take place, but wanted as much advance notification as possible.

The group discussed whether we could withdraw the CR at the February CMP meeting. Carla and Pat Moran – ATT discussed the proposed solution and agreed that if Qwest published this calendar and updates it quarterly, and we provide 15 days advance notification for outages identified on this calendar, than they would agree to withdraw the CR.

Carla and Pat – ATT asked when we would identify 2005 dates. Jim advised this would be a rolling calendar so by the end of the 3rd quarter 2004 we should have a start on 2005 dates.

The team agreed to discuss at the February CMP meeting and withdraw the CR.

January 21, 2004 CMP Meeting Carla Pardee- ATT advised the last Planned Outage Notifications were sent out with much more advance notice and ATT is glad about this. Carla would like to have another meeting scheduled so we can discuss this with her internal representatives that are impacted by this process. Jim Maher – Qwest advised we have had 3 planned outages in January and all three notifications provided 19 days advance notice. Cindy Macy – Qwest will schedule another review meeting to discuss the CR and determine next steps.

December 17, 2003 CMP Meeting Cindy Macy – Qwest reported that we held a CLEC meeting on December 10 to discuss the Planned Outage Notification process. Qwest has met internally and we are reviewing the reasons why Planned Outage Notifications are occurring. Planned Outage Notification are at times related to issues that are uncovered during system releases. Qwest is reviewing the possibility of whether we could provide a quarterly notification that identifies when we think possible Planned Outages would be needed. We could publish that notification and then if the Planned Outage is truly needed we could use the existing Planned Outage Notification process to notify again. Qwest and the CLECs in attendance agreed to meet again in January. This CR will move to Development Status.

November 19, 2003 CMP Meeting Carla Pardee – ATT presented this CR. Pat Moran – ATT recapped the issues ATT has experienced due to short notice of planned outages. Carla advised that ATT would like Qwest to forecast out 90 days and publish their planned outages. This will give ATT advance notice and time to respond to system availability. ATT is looking for a list of scheduled down time 90 days in advance, and 60 days advance notice if there is any changes to that schedule. In mid-October ATT was given 2 days notice on additional downtime.

Clarification Meeting November11, 2003 1-877-552-8688 7146042#

PC103003-1CM Notification of Planned Outage Attendees Par Moran – ATT Liz Balvin – MCI Kim Isaacs – Eschelon Kyle Kirves – Qwest Carla Pardee – ATT Jim Maher – Qwest Randy Owen – Qwest Bonnie Johnson – Eschelon Cindy Macy – Qwest

Meeting Agenda: Action 1.0 Introduction of Attendees Attendees introduced 2.0 Review Requested (Description of) Change Cindy Macy – Qwest explained this CR is a request to change the Change Management Process document. This CR will require a vote at a monthly CMP meeting. Carla Pardee – ATT reviewed the change request. Carla explained she will be representing all Product Proces CRs. Donna will represent all System CRs. Carla explained they need to have the notification time increased when ever Qwest does planned outage notfications. Carla advised other ILECs provide 30-90 days notice. Qwest provides 2 days notice and this is not enough time to respond and prepare out centers. This causes problems. Jim Maher – Qwest attempted to explain the difference between what Qwest calls Scheduled Maintenance/Scheduled Outages, the OSS Release Calendar, Event Notifications and Planned Outage Notifications. Scheduled Maintenance is what takes place during regular scheduled downtime (night time down time). System Availability time is published on the OSS Hours of Availability document. System Release information is available on the Release Calendar and Release Notification documents. Planned outages are used for correcting system behaviors that are not causing immediate impacts to CLECs but they do need to be corrected quickly. Event Notification are used to notify the CLECs of system issues that impact the CLECs. The CLECs advised they believe Qwest has to know about scheduled downtime more than 2 days in advance. Jim explained part of the confusion is terminology as our scheduled downtime is down in the hours the system is not available. We do not notify about scheduled downtime as that is identified in the OSS Hours of Availability document. Planned Notifications are used to extend regular system downtime. Qwest uses the Planned Notifications to fix system issues that need to be addresses and cannot be accommodated in the regular system downtime. Pat Moran – ATT explained they receive hourly notifications from other ILECs on scheduled downtime. Carla – ATT advised she gets pre-notifications from Qwest and filters them to her people. Carla and Pat can review these notification to see if Pat needs to get additional ones.

ATT advised 2 days is not enough time to react to an extended downtime schedule. More detail on the functions impacted would be helpful as that would save us time in determining the impacts. Carla – ATT advised she would send the schedule that Verizon publishes as they publish downtime several months in advance. Bonnie Johnson – Eschelon asked if Qwest should really be using Event Notifications for these outages. Jim Maher – Qwest explained that these are not CLEC impacting so they are not really Event Notifications. They are correcting system behavior issues that are not currently visible to the CLECs. Qwest agreed we would meet internally to discuss and review data. Qwest would schedule an additional CLEC ad hoc meeting after we do some preliminary investigation. ATT will present this CR at the November CMP meeting. 3.0 Confirm Areas & Products Impacted Planned System Outage Notifications 4.0 Confirm Right Personnel Involved Correct people involved 5.0 Identify/Confirm CLEC’s Expectation For Qwest to provide additional time on Planned Outage Notifcations 6.0 Identify any Dependent Systems Change Requests none 7.0 Establish Action Plan (Resolution Time Frame) ATT will present the CR at the November CMP Meeting Qwest will schedule another ad hoc meeting after we complete our investigation.


Open Product/Process CR PC110303-1 Detail

 
Title: UNE P Standard Interval Guide
CR Number Current Status
Date
Area Impacted Products Impacted

PC110303-1 Denied
1/21/2004
UNE-P
Originator: Rea, Ervin
Originator Company Name: AT&T
Owner: Washington, Anthony
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

The current standard interval guide (SIG) provides that an order for UNE-P POTS service that is a flow through order, without dispatch, will be delivered in =< 3 days, except for Colorado and Minnesota which will be =<2 days. The requested change is that this service should be delivered =<.5 days. This service is a migration of the customer and primarily a records change only. There is no installation required for these orders and they should not have the same SIG as new installation orders.

Expected Deliverable:

Service for UNE-P will be delivered on the same day as the order is received, if received prior to 3:00pm.


Status History

11/03/03 - CR Submitted

11/04/03 - CR Acknowledged

11/12/03 - Held Clarification Meeting

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

01/21/04 January CMP Meeting Anthony Washington with Qwest reviewed the Qwest response. Carla Pardee with AT&T said they appreciated the detail provided in the denial response. Bonnie Johnson said that even though changes were made in the SIG, there would not be much customer impact because non-dispatch orders were already being completed in the morning. Terri Kilker with Qwest (Begin comment from Bonnie Johnson - Eschelon) agreed and said that additional network resources were added to meet the changed timeframe for the non-dispatch orders. (Begin comment from Bonnie Johnson - Eschelon) Bonnie said she was happy to hear about the additional resources because orders dropping or erroring out of the Qwest switch, the orders not being addressed by network and leaving the customer out of service has always been problematic. (end comment). Joyce Perry with AT&T asked about the cut off time for orders to be sent. Carla Pardee said that this information is in the SIG. This CR will be moved to Denied status.

Wed 1/14/04 10:18 AM From: Rea, Ervin E, NKLAM [eerea@att.com] To: Sanchez Steinke, Linda Subject: RE: Qwest Revised Draft Response PC110303-1 Linda

Can the final letter be more specific on the below statement?

"Contrary to their assumption, Qwest finds that even though a billing name change is part of the migration, a complex set of systems and resources must interact to ensure orders are completed properly. If an interval of 12 hours or less were attempted, significant system and headcount impacts would put an undue economic burden on Qwest."

Perhaps a list of systems, resources and activities would be helpful.

Ervin Rea Voice mail: 303.298.6306 VO: 303.657.2937 PCS: 720.530.7381 Text messages: 7205307381@mobile.att.net

Tue 1/20/04 4:34 PM From: Sanchez Steinke, Linda To: Rea, Ervin E, NKLAM [eerea@att.com] Subject: RE: Qwest Revised Draft Response PC110303-1 Ervin -

In speaking with Anthony Washington the systems impacted are those identified in the Qwest response.

Thank you

Linda Sanchez-Steinke CRPM Qwest 303-382-5768

12/17/03 December CMP Meeting Linda Sanchez-Steinke with Qwest read the Qwest response and asked that the CR be moved to Evaluation status and Qwest will provide an update at the January meeting. This CR will be moved to Evaluation status.

11/19/03 November CMP Meeting Ervin Rea with AT&T presented this CR and said that currently the SIG relates that UNE-P conversions interval is less than or equal to 3 days and in Colorado and Minnesota is less than or equal to 2 days. Since the UNE-P conversion is a records change and doesn’t require a technician visit it should be accomplished in a .5 day interval. Bonnie Johnson with Eschelon asked if this interval change would apply to conversions with switch changes. Ervin said the CR applies when no technician is dispatched to the customer site. Liz Balvin with MCI said they would like to include "migrate as is" and "migrate as specified". Anthony Washington with Qwest asked if this would include technicians in the central office being dispatched. Ervin said that the central office technicians are not being dispatched to the customer site and the .5 day due would apply on these orders. This CR will be moved to presented status.

CLEC Change Request Clarification Meeting

11:00 a.m. (MDT) / November 12, 2003

1-877-572-8687 3393947# PC110303-1 UNE P SIG

Name/Company: Ervin Rea ATT Ann Adkinson ATT Kim Isaacs Eschelon Carla Pardee ATT Anthony Washington Qwest Craig Suellentrop Qwest Danielle Haynes Qwest Cindy Macy Qwest Liz Balvin MCI Lydell Peterson ATT

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change Cindy Macy Qwest opened the call and reviewed the agenda.

Ervin Rea ATT reviewed the CR with the team. Ervin advised that ATT would like the UNE – P standard interval to be changed to 12 hours. Currently in Colorado and Minnesota it is less than 2 days, and in all other states it is less than 3 days. Ervin advised these are generally billing only changes as they are just migrating the service from Qwest to a CLEC.

Cindy Macy Qwest asked if this request is for all UNE- P products, such as DSL, Centrex etc. Ervin advised it is for all conversions as is, not for new installs.

Anthony Washington Qwest advised we usually migrate the service in one day. If it doesn’t happen in one day, it is normally because there is some kind of problem, either with the order or the service that needs to be corrected first.

Liz Balvin MCI advised she would like the CR to include Conversion as specified also. MCI’s orders are done as ‘Conversion as Specified’ as they usually are disconnecting a feature. Liz advised they don’t usually add features. These are currently 3 days and Liz would like ‘Conversion as specified’ changed to the 12 hours standard interval.

Ervin Rae ATT asked for Qwest to determine if we can change both types of conversions; ‘Conversion as is’ and ‘Conversion as specified’. If each type of conversion requires a different SIG, than Qwest should proceed in that manner.

Ervin Rea ATT advised UNE-P has been in the market for 2 + years so he believes it is time for the interval to be improved.

Confirm Areas & Products Impacted Provisioning

Confirm Right Personnel Involved Correct personnel were involved in the meeting.

Identify/Confirm CLEC’s Expectation AT&T is requesting Service for UNE-P will be delivered on the same day as the order is received, if received prior to 3:00pm.

Identify any Dependent Systems Change Requests No systems change requests.

Establish Action Plan (Resolution Time Frame) Next steps are for ATT to present this CR at the November meeting. Qwest will prepare a response for the December meeting.


CenturyLink Response

January 13, 2004

DRAFT RESPONSE For Review by the CLEC Community and Discussion at the January 2004 CMP Meeting

Ervin Rea AT&T

SUBJECT: "Qwest’s Change Request Revised Response - PC110303-1 "UNE-P Standard Interval Guide"

This letter is in response to CLEC Change Request PC110303-1. This CR is a request by AT&T asking Qwest to change the standard interval for non-dispatch UNE-P "As-Is", and "As-Specified" conversions from the current 3 days (2 in CO & MN) to less than or equal to 12 hours.

By way of background, it is important to note that Qwest has already made a change that reduces the interval for UNE-P POTS. As of December 23, 2003 Qwest updated the Service Interval Guide (SIG) to reflect the reduction in the service interval for UNE-P POTS and Resale POTS (Residence and Business) for non-dispatch orders. The change takes effect on January 15, 2004. All non-dispatch UNE-P POTS and Resale POTS (Residence and Business) orders will be completed by 8 a.m. on the due date. Current operational documentation for these products or business procedures are found on the Qwest Wholesale Web Site at this URL: http://www.qwest.com/wholesale/guides/sig/index.html

While there have been changes made to the service interval for UNE-P POTS, Qwest is denying the request for a further reduction to a 12 hour or less service interval guideline for this CR due to it being economically not feasible. The following information supports this decision.

AT&T has stated that the current migration interval for all non-dispatch UNE-P orders, whether they are "As Is" or "As Specified", should be changed to 12 hours or less. AT&T contends that these orders are, for the most part, just billing name changes and shouldn’t require 2 to 3 days for completion. Contrary to their assumption, Qwest finds that even though a billing name change is part of the migration, a complex set of systems and resources must interact to ensure orders are completed properly. If an interval of 12 hours or less were attempted, significant system and headcount impacts would put an undue economic burden on Qwest.

After an analysis of the impact to Qwest systems and workforce, Qwest has determined that a minimum of 1,100 hrs/week in ISC staff support would be required. This 15% increase in headcount represents the SDCs necessary to extract "As-Is" or "As Specified" requests, as IMA does not have the ability to do so today, and watch the work queue to ensure that the FOC is received by the customer by the desired due date.

The systems/process modifications would include:

? Significant changes to IMA to identify "As-Is" or "As Specified" requests, and the creation of an external work queue designed to accept the request. Changes to IMA would not diminish the need for an increase in headcount.

? FTS modifications would include service interval table updates.

? The FOC interval for a mechanized "As-Is" request is 24 hours, and the FOC interval for a manual request is 48 hours. These intervals would also have to be shortened in conjunction with the service conversion interval.

Although Qwest is declining this request, Qwest continues to evaluate service intervals associated with UNE-P products.

Sincerely,

Anthony Washington Product Management Qwest

December 5, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the December 2003 CMP Meeting

Ervin Rea AT&T

SUBJECT: Qwest’s Change Request Response PC110303-1 UNE-P Standard Interval Guide

This letter is in response to AT&T’s Change Request (CR) PC110303-1. This CR requests that Qwest Service for UNE-P be delivered on the same day as the order is received, if received prior to 3:00 pm.

Qwest is currently evaluating this request and proposes moving this Change Request into Evaluation Status while we continue to investigate. Qwest will provide an updated response at the January 2004 CMP meeting.

Sincerely,

Anthony Washington Product Manager


Open Product/Process CR PC110403-1ES Detail

 
Title: Update accuracy of FAM records
CR Number Current Status
Date
Area Impacted Products Impacted

PC110403-1ES Completed
8/18/2004
Pre-ordering, Ordering UNE-P
Originator: Pardee, Carla
Originator Company Name: AT&T
Owner: Owen, Randy
Director:
CR PM: Harlan, Cindy

Description Of Change

Currently AT&T is experiencing difficulties with Qwest maintained FAM “Feature Availability Matrix” file being up to date. AT&T has been experiencing problems with the FAM file showing inaccurate USOCs or feature availability within NPA/NXX’s when a CSR shows that an existing Qwest customer has the features. AT&T believes this FAM file should be updated, at a minimum, weekly and that CLECs should be aware of updates to the FAM. This information must be readily available to Qwest as its own customers have the availability to obtain some features that CLECs are shown, via the FAM File, are unavailable. All CLECs will obtain valuable data from current, accurate and thoroughly updated information within the FAM file. AT&T therefore requests that these updates be made immediately and continually.

Expected Deliverable:

December 2003


Status History

11/04/03 - CR Submitted

11/05/03 - CR Acknowledged

11/10/03 - Contacted CLEC to schedule clarification call

11/10/03 - Scheduled clarification call for 11/14

11/14/03 - Held Clarification Call

11/19/03 - Nov meeting minutes will be posted to the database

12/10/03 - Emailed response to CLEC

12/15/03 - Held CLEC ad hoc call to further discuss the FAM file

12/17/03 - Dec meeting notes will be posted to the database

12/22/03 - Emailed notes to CLECs

1/21/03 - Jan CMP meeting minutes will be posted to the database

2/18/04 -Feb CMP Meeting notes will be posted to the project meeting section

2/27/04 - Jean Novak advised she communicated with Bonnie regarding the ICONN database. The ICONN database is different than the FAM file.

3/17/04 - March CMP meeting notes will be posted to the project meeting section

3/22/04 - Added ES to CR number as CR was escalated

4/21/04 - April CMP meeting notes will be posted to the project meeting section

5/5/04 - ATT Escalated this CR a second time

5/6/04 - CMPR.05.06.04.F.01652.CMPEscalationNotification

5/12/04 - Escalation letter sent to ATT

5/19/04 - May CMP Meeting notes will be posted to the project meeting section

6/16/04 - June CMP Meeting notes will be posted to the project meeting section

7/21/04 - July CMP Meeting notes will be posted to the project meeting section

8/9/04 - MCI reported issue on FAM file. Randy Owen working with MCI on correcting the file transmission

8/16/04 - August CMP meeting mintues will be posted to the database


Project Meetings

8/16/04 CMP Meeting Mintues Randy Owen – Qwest advised that last month we asked the CLECs to review the file and identify any questions or issues. Randy advised that Qwest does not have any open issues and would like to close this CR. Carla Pardee – ATT advised she has checked with her centers and it is okay to close the CR. This CR will move to Completed Status.

July 21, 2004 CMP Meeting notes: Randy Owen – Qwest advised MCI did open a ticket on the FAM file as they identified missing USOCs. A trouble report was called in and Qwest has fixed the problem. Liz Balvin – MCI asked the CLECs to try and review the FAM file to make sure there are not other issues. The CLECs would like to leave this in CLEC Test one more month.

June 16, 2004 CMP Meeting notes: Randy Owen – Qwest advised this CR was implemented and is being updated weekly. Randy asked the CLECs if they have any questions or have reviewed the updated FAM file. Carla Pardee – ATT advised the updates look accurate and current. This CR will move to CLEC Test Status.

May 19, 2004 CMP Meeting notes: Randy Owen – Qwest advised that we are on schedule with a target date of May 31 to update the FAM file on a weekly basis. Carla Pardee – ATT advised that we are pleased that this is happening. Liz Balvin – MCI clarified that we started the clean up on May 6. Randy Owen advised that the data was updated on May 6, there wasn’t a clean up, but the data is now current as of May 6. We are targeting to start the weekly update in the May 31 time frame. Liz asked what day of the week will the file be updated? Randy advised that we have not determined that yet. It is dependant upon the day the legacy system updates. Qwest needs to confirm the schedule before we can provide the day of the week that the file will be updated. Cindy Macy – Qwest asked the CLEC community if it is okay to release this update with a Level 1 change since this CR was escalated. The CLECs agreed that is okay. This CR will move to Development status.

April 21, 2004 CMP Meeting notes: Randy Owen – Qwest advised that we are moving forward on this CR. We are scheduling with our development team. We do not have a target date as of yet. Liz Balvin – MCI advised that they are looking to develop against this file. We are looking forward to having it updated weekly. This CR will stay in Evaluation Status.

March 17, 2004 CMP Meeting notes: Randy Owen – Qwest reported that he does not have any additional updates for this project. Qwest is still waiting for funding approval. Carla Pardee – ATT advised that she is upset and doesn’t understand why this is not funded. This CR requires minimal resources. She has expressed her concern for the past few months. ATT has a real need for this file to be updated and she would like to escalate the CR. Susie advised that ATT should go ahead and escalate the CR. This CR will stay in Evaluation Status.

February 18, 2004 CMP Meeting Connie Winston – Qwest advised that we have not gotten approval as of yet for this CR. We are still waiting for approval. Carla Pardee – ATT advised that ATT is disappointed that this did not get approved as it is a critical issue and it doesn’t seem as if this CR requires a lot of resources, so we do not understand the lack of approval. Bonnie Johnson – Eschelon asked is this one is like the ICON database? Connie advised she is not sure. Bonnie advised that her Service Manager (Jean Novak) told her that the fix would take place on March 1, 2004. Connie advised that maybe an update is scheduled but not the entire fix. Cindy Macy – Qwest agreed to check with Jean Novak. This CR will remain in Evaluation Status.

Janaury 21, 2004 CMP Meeting Connie Winston – Qwest advised that this CR is in the same situation as some of the others. We are waiting to schedule and we hope to have a date in February. Carla Pardee – ATT asked what is the current process for updating the FAM file? Connie advised it is not being updated in a timely fashion. It has to be done manually and it is a huge manual effort. The way that we update FAM is that SONAR tracks availability by switch via tables in SONAR. This information is downloaded to a server and it becomes available to Qwest. This data should be published to FAM. We are working to get this update done in a mechanized fashion and looking at SONAR going away. Liz Balvin – MCI asked about the BPL edit that will reject the LSR if the feature is not available, that is part of 15.0. Connie Winston said this edit goes against the SAQ, not the FAM. Bonnie Johnson asked is there a need for the FAM file? Connie advised her understanding is that ATT wants to use it as a sales tool up front. Bonnie asked can it be used just from IMA so we don’t have to maintain two sources. Connie advised FAM is downloadable and in a bulk format, while IMA is an individual selection. The intent is both tools will use the same source in the future. Bonnie advised this is critical to our business as we use this information to offer products. Bonnie advised this is so critical that we will take another route if we don’t get it from CMP.

December 17, 2003 CMP Meeting Connie Winston – Qwest reported that we are still evaluating this CR. We are having a difficult time getting a process built for the updates and determining what that looks like. We are still looking at this CR and will change the status to Evaluation.

December 15, 2003 Ad hoc meeting PC110403-1 FAM File Ad Hoc Meeting

In attendance: Nicole James – Qwest Dave Fane - ATT Liz Balvin – MCI Phyllis Burt – ATT John Gallegos – Qwest Lydell Peterson – Qwest Carla Pardee – ATT Cindy Macy – Qwest Randy Owen – Qwest Kim Chambers – Qwest

Cindy Macy – Qwest opened the call and explained that the purpose of the call is to review the issues associated with the FAM file and how the CLEC community uses the file. ATT requested this additional meeting with Qwest.

Carla – ATT advised that ATT uses the file to figure out which features are available prior to submitting orders. Qwest doesn’t hard reject the LSRs when the data is not accurate. We may or may not get the feature provisioned. We do not know until our customer calls and tells us the feature is not working. Dave Fane – ATT advised that every other ILEC they work with sends and error report back that identifies the feature is not available. Then we update our file and don’t request the feature again. ATT would like Qwest to reject the order when we don’t detect the feature.

John Gallegos – Qwest explained that this feature will be available in 15.0 EDI. This functionality is available today via SAQ in EDI. The CLECs said they do not have that EDI transaction built and they were told to use the FAM file as an alternative until 15.0 is available.

ATT advised they assumed they would get rejects if the feature was not available. Qwest advised we are not billing the CLECs for features they are not getting. ATT advised we are billing our end users as we believed the feature did get provisioned.

John Gallegos – Qwest advised he understands there is a gap in the FAM file data, and that the feature is available via the SAQ in EDI and that 15.0 will reject upfront if features are not available.

Liz Balvin – MCI asked if out of sync conditions are identified in the file so the CLECs can avoid those areas. John Gallegos- Qwest advised the file is too large as there are many switches and features and NPAs available in each state.

Liz Balvin – MCI asked if Qwest is eliminating the FAM file after 15.0. John Gallegos – Qwest advised we are looking at all options. The concern that Qwest has is being able to support the FAM file going forward. We are doing everything we can to update the file. Qwest has manually updated the file. The last update was the end of September. This takes a considerable amount of time and manual effort.

Carla – ATT advised they just wanted to reconfirm their need to access the FAM file. Liz Balvin – MCI advised that it is important to make sure the FAM file is updated. Phyllis Burt – ATT asked what is the correct process if we have trouble using the FAM file? Do we submit a trouble ticket to the Help Desk? John Gallegos advised it would probably be considered a Sev 3 ticket. John advised he can not give a timeframe as to when the trouble ticket / problem would be corrected. John assured the CLECs that Qwest is working on this issue and trying to determine the best action to take.

November 19, 2003 CMP Meeting Carla Pardee – ATT reviewed and presented this CR. Carla advised that ATT uses the FAM file to look at usoc availability by switch. Carla advised the data is not always accurate and ATT attempts to provide these features to their customers. ATT does not find out the feature is not available until their customer contacts them to report the feature is not working. This creates billing errors also. Bonnie Johnson – Eschelon asked if this was the ICON database. Carla advised you can access ICON and FAM on the web. Liz Balvin – MCI advised that MCI has also experienced situations when the SOC notice says the feature was provisioned, when it really isn’t available.

PC110403-1 Clarification Call Update Accuracy of FAM file November 14, 2003

In attendance: Monica Manning – Qwest Gary Berroa – Qwest Leo Demitriadis – ATT Nicole James – Qwest Doug Andrean – Qwest Cindy Macy – Qwest Carla Pardee – ATT Michael Whitt – Qwest

Cindy Macy – Qwest opened the call, introduced attendees and reviewed the agenda.

Carla Pardee – ATT reviewed the CR. Carla advised ATT has had problems with the FAM file not being up to date. The file shows inaccurate USOC feature availability information. ATT uses this file often. We order a feature and if Qwest doesn’t support the feature we don’t receive a reject on the LSR. Qwest continues to provision service. The order completion occurs and billing occurs but we don’t really provision the feature as it is not available. This causes billing errors to our end users. Leo Demitriadis – ATT explained ATT would like to have a change control log file we they know what has changed, or to have the file updated when ever the data changes, or to have it updated on a regular schedule.

The team reviewed how to access the file to make sure we are all talking about the same file. The URL for instructions on how to access the file is;

Doug Andrean – Qwest asked how often is the file updated. ATT advised they do not know.

Micheal Whitt – Qwest asked if UNE –P was the product that ATT is concerned with. ATT advised yes.

Nicole James – Qwest asked if ATT has an example of errors that you have found? Carla advised she will send Qwest an example. She believes she has an example in Minnesota.

Mallory Paxton – Qwest asked how does ATT know when it is not accurate. Carla advised they do not know until their customer calls them back to advise they did not get the feature provisioned.

The team agreed they understand the request. Cindy Macy – Qwest advised this CR will be on the agenda for the November CMP meeting and ATT will present the CR. Qwest will provide a response at the December meeting.


CenturyLink Response

For Review by the CLEC Community and Discussion at the December 17, 2003 CMP Meeting

December 9, 2003

AT&T Carla Dickinson Pardee LSAM Manager

SUBJECT: CR # PC110403-1 Update accuracy of FAM records

This letter is in response to AT&T’s Change Request (CR) PC110403-1. This CR requests that: - Qwest update the accuracy of FAM records

Qwest is currently reviewing the processing and functionality provided by the FAM file. Qwest requests that this CR be placed in Evaluation status. AT&T has also requested an additional meeting be held to discuss the FAM file in more detail. Qwest will schedule the additional meeting.

Sincerely,

Connie Winston Qwest Communications


Open Product/Process CR PC111103-1 Detail

 
Title: Snap Back Process
CR Number Current Status
Date
Area Impacted Products Impacted

PC111103-1 Withdrawn
12/17/2003
Maintenance Repair, Provisioning LNP, UNE - P
Originator: Rea, Ervin
Originator Company Name: AT&T
Owner: To Be Determined
Director:
CR PM: Harlan, Cindy

Description Of Change

When performing a UNE-P migration and a CLEC determines that one or more numbers is experiencing a no dial tone (NDT) situation it is requested that the following happen: The CLEC be able to make a phone call to the Qwest provisioning center and request that the migration stop and Qwest would establish the customer's service on the Qwest network. If the migration has completed Qwest would take the customer back and bring the customer's service up to an active status with dial tone. CLEC would issue a supp to their LSR indicating that the due date would change because of a facility issue and provide a new due date. It is further requested that when a customer is being provisioned through the LNP process and the CLEC determines that there is an NDT situation that the same process cited above take place and that the customer be physically taken back onto the Qwest network. For this process to work with the LNP process the notification to Qwest would need to take place prior to Qwest removing the customer from their switch. Consequently it is requested that the translations not be taken out of the Qwest switch until 11:59pm, switch time, the day after completion of the port.

Expected Deliverable:

Improvement of performance measures regarding OP-5 performance indicator (% trouble within 30 days). Improved customer satisfaction as a result of no loss of dial tone.


Status History

11/11/03: CR Received

11/12/03: CR Acknowledged

11/12/03: Sent similar CR to ATT to determine if this is a dup request and if we can change this CR to pending withdrawl

11/13/03: Ervin Rea ATT advised this CR is similar to PC081403-2. He is willing to withdraw this CR as long as PC081403-2 is on the November agenda and a resolution can be reached that will provide ATT the opportuntiy to ensure that our customers don't go out of service in a UNE-P conversion situation. Email forwarded to Joan Wells-Qwest to review.

11/13/03: Sent email to Ervin to advise we wil change to pending withdraw status and he will ask questions about PC081403 to make sure the Workback process meets his needs

11/19/03: Discussed the related CR PC081403 at the November CMP meeting. Ervin Rea agreed that CR seems to be meeting the needs of this CR. Qwest will present this CR at the December CMP meeting as pending withdraw.

11/20/03: Ervin Rea - ATT replied via email and agreed to withdraw this CR.

12/17/03: December CMP meeting the CLECs agreed to withdraw this CR. Notes will be posted to the database.


Project Meetings

December 17, 2003 CMP Meeting Cindy Macy – Qwest advised that this CR was submitted and it was determined that the Work Back Process CR PC081403-2 is similar to what this CR is asking for. Ervin Rea – ATT agreed to change the CR to pending withdraw status after the Clarification Call. ATT agreed to withdraw this CR at the December meeting. The status will change to Withdraw.


Open Product/Process CR PC111903-1 Detail

 
Title: Website for Event Notifiers
CR Number Current Status
Date
Area Impacted Products Impacted

PC111903-1 Completed
10/20/2004
pre-ordering provisioning ordering billing m/r
Originator: Pardee, Carla
Originator Company Name: AT&T
Owner: Owen, Randy
Director:
CR PM: Harlan, Cindy

Description Of Change

AT&T and other CLECs desire Qwest to provide a website listing all Event Notifiers that have been submitted by Qwest for the past 90 days. This website will provide, at a minimum, the event number, description of event, date submitted, system used with version number, status (i.e. pending analysis, closed, initial, etc), severity level, and region effected. AT&T further requests that the description be complete enough to enable a CLEC to search any field by product, date, and trouble type. AT&T also requests that the website would have the functionality so that CLECs could sort by column, however, internal analysis management would be up to each individual CLEC.

Expected Deliverable:

By January 2004, AT&T expects the following deliverable: A website listing all Event Notifiers sent by Qwest for the past 90 days. The website will provide, at a minimum: 1) event number; 2) complete description of event; 3) date submitted; 4) system type with Version number; 5) status; 6) severity level; and 7) region effected.


Status History

____________________________________________________

11/19/03 CMP Meeting

Kit Thomte – Qwest advised that this CR was talked about Tuesday during the Global Action Item meeting. This CR was updated with the new title and description. Carla Pardee – ATT advised they would like to keep the old CR open and use the new CR description and title to open a different/new CR. Cindy Macy – Qwest asked if ATT would like to have the new CR clarified or had this happened during the Global Action Item meeting. Carla advised she would like Qwest to hold a Clarification Call for the new CR.

_________________________________________________________________________________________

11/19/03: CR Received (CR came in on 11/12 but ATT was not sure if they wanted to update existing CR PC022703-9 or create new one. During Nov 19 CMP meeting ATT advised they would like to open new CR and agreed for Qwest to accept CR and schedule clarification call.

11/21/03: Acknowledge CR

11/24/03: Scheduled Clarification Call for 12/4

12/4/03: Held clarification call

12/17/03 - December CMP notes will be posted to the database

1/21/03 - Jan CMP meeting minutes will be posted to the database

2/18/04 -Feb CMP Meeting notes will be posted to the project meeting section

3/17/04 - March CMP meeting notes will be posted to the project meeting section

3/30/04 - Added supplimental information on project identifying the differences between PC022703-9x and PC111903-1

4/21/04 - April CMP meeting notes will be posted to the project meeting section

5/19/04 - May CMP Meeting notes will be posted to the project meeting section

6/16/04 - June CMP Meeting notes will be posted to the project meeting section

7/2.04 -CMPR.07.01.04.F.01853.Event_Notification_Rept (New tool available )

7/21/04 - July CMP Meeting notes will be posted to the project meeting section

8/16/04 - Aug CMP meeting notes will be psoted to the project meeting section

9/15/04 - September CMP Meeting minutes will be posted to the database

9/28/04 - PROS.09.28.04.F.02106.WebEventNotification effective immediately

10/7/04 -Donna - ATT advised this has been deployed and is okay to close at October Meeting

10/20/04 - October CMP Meeting minutes will be posted to the database


Project Meetings

10/20/04 CMP Meeting Minutes: Randy Owen – Qwest advised that this CR was deployed on September 28. We have not gotten any negative feedback from the CLECs. The tool is working as we expect. Donna Osborne-Miller ATT advised it is okay to close. This CR will move to Completed Status.

9/15/04 CMP Meeting Mintues: Randy Owen – Qwest advised that we are still on track for deployment September 30, 2004. This CR will remain in Development Status.

8/16/04 CMP Meeting Mintues: Randy Owen – Qwest advised that last month the CLEC Community identified some issues and changes associated to this CR. Randy advised that Qwest will be able to make changes to the following fields: Status Column, Combine GUI/EDI when both are affected, Work Around Section, Notices affecting the release, and Patch date. Qwest is targeting implementation near September 30. Cindy Macy – Qwest asked the CLEC Community if it is okay to implement these with a Level 1 Notification. The CLEC Community agreed that was okay. This CR will remain in CLEC Test Status.

July 21, 2004 CMP Meeting Notes Randy Owen – Qwest advised that this was deployed on July 2. Qwest has not received any comments as of yet. Donna Osborne-Miller ATT advised that she does have feedback from Phyllis Burt. When you export the report the status field is not available. The field needs to identify ‘common’ if the event impacts both EDI and GUI. Liz Balvin – MCI said she also identified this same issue. In addition, MCI would like the ‘Work Around Solution’ identified on the spreadsheet, also would like to know what release is impacted, and would like the Patch Date information. Stephanie Prull – Eschelon noticed on a ticket that it says ‘Qwest will initiate a call on XX date’. Steph asked if this is accurate as she thought that verbiage would only appear on tickets that warrant a call. Randy Owen – Qwest advised this is a bug that we are working on. Randy summarized the issues as Status Column, Common/EDI/GUI, work around on spreadsheet, release number, and patch date. Randy will check on these items and provide an update as to what Qwest can do. This CR will move to CLEC Test Status.

June 16, 2004 CMP Meeting notes: Randy Owen – Qwest advised we have had some challenges in the development stage of this CR. The target date is June 30. We are making progress and plan on delivering in the June 30 timeframe. This CR will remain in Development Status.

May 19, 2004 CMP Meeting notes: Randy Owen – Qwest advised that the development team has provided a target date of June 14 for this CR. Randy advised this will provide a download, with sort capability and a more complete picture of outstanding items. This CR will remain in Development Status.

April 21, 2004 CMP Meeting notes: Randy Owen – Qwest advised that we are working with our development team on this CR. We do not have a firm date as of yet, but development is targeting May. Liz Balvin and Bonnie Johnson asked if this included the downloading capability. Randy advised yes. This CR will stay in Development Status.

March 17, 2004 CMP Meeting notes: Randy Owen – Qwest advised that funding for this CR has been approved. This is an update from last month. We are waiting to schedule this CR. Carla asked for the schedule information to be sent to her as soon as possible. This CR will move to Development Status.

February 18, 2004 CMP Meeting Connie Winston – Qwest advised this CR also did not get approved as of yet. We are working on this and should have an update soon. This CR will remain in Evaluation Status.

January 21, 2004 CMP Meeting Connie Winston – Qwest advised this is the CR that was opened as part of the Global Action Item meetings. The work is not scheduled as of yet. Carla Pardee-ATT asked when is this planned for scheduling. Connie advised she does not have a definite date as of yet but hopes to have a schedule in February. Liz confirmed that this report would look like a spreadsheet of the Event Notification Report. Connie agreed. Liz asked about the additional details and root cause analysis information that was discussed. Connie advised we did not agree to provide that information. That information would be very labor intensive to provide. Liz advised it would be helpful to know what the problem was. Carla agreed that more detail is better. Bonnie said they want to know what made it break, how did we stop it (work around), and what is going to fix it going forward. Connie said that it takes a lot of over head to put together that level of detailed information on the event notification. The CLECs asked if Qwest looks at the reject code to find out if multiple CLECs are impacted. Connie advised Qwest does this, and looks at the global picture and sometimes the data does show a different perspective. This CR will move to Evaluation Status.

December 17 CMP Meeting Carla Pardee – ATT presented this CR. Connie Winston – Qwest advised that this CR is related to the Global Action Item meetings and was opened as a result of PC022703-9X. This CR will move to Presented Status.

Clarification Call PC111903-1 Website for Event Notifiers

December 4, 2003 11: 00 – 11:30 a.m. MT

Attendees: Jim Recker – Qwest Kim Isaacs – Eschelon Kyle Kirves – Qwest Steph Prull – Eschelon Bonnie Johnson – Eschelon Carla Pardee – ATT Randy Owen – Qwest

Cindy Macy – Qwest opened the call and clarified for the users that this CR was opened as a result of decisions made at the Global Action Item meeting. PC022703-9X originally requested similar functionality, but through the Global Action Item meetings agreement was reached that a new CR would be opened (PC111903-1).

Carla Pardee - ATT reviewed the CR. Carla described the functionality that ATT is looking for. A website that displays all event notification, with event number, complete description of event, date submitted, system type and version number, status, severity level and region affected.

The CR also states that this website would display event notifications that have been submitted in the past 90 days. The team clarified the better way to display event notifications is to make them available for 30 days after they have been implemented. The clock would start when they are implemented.

Kim Isaacs – Eschelon asked if the description included the work around information. Randy Owen said they should be able to include this in the description, or include it as a field on the report. The plan is to use the event notification form. There may be an issue to the amount of space available on the web site. The original event notification is always available to view the work around information.

Bonnie Johnson – Eschelon suggested we show a field work around ‘yes or no’ and then if yes is populated you could view the work around information on the original event notification.

Discussion took place regarding sorting by system. Randy Owen – Qwest advised that system is a separate field on the event notification, so you should be able to sort by that field on the report. Sort functionality would be provided so users could sort by any specific field.

The CLECs asked on average how many event notifications are there in a 30 day period? Randy estimated at less than 30 and greater than 10.

Steph Prull – Eschelon requested the ability to sort by ‘individual version’. For example, if an event impacted multiple versions, to list the versions individually so the CLECs could view events by version. If a CLECs wanted to see all events that affect V13, they could sort by individual version.

The team agreed the right personnel were involved and that Qwest understood the CLECs expectations. This CR impacts all products and any area that an event notification could be issued on.

Next steps are for this CR to be presented by ATT at the December CMP meeting. Qwest will prepare a response at the January CMP meeting.

11/19/03 CMP Meeting Kit Thomte – Qwest advised that this CR was talked about Tuesday during the Global Action Item meeting. This CR was updated with the new title and description. Carla Pardee – ATT advised they would like to keep the old CR open and use the new CR description and title to open a different/new CR. Cindy Macy – Qwest asked if ATT would like to have the new CR clarified or had this happened during the Global Action Item meeting. Carla advised she would like Qwest to hold a Clarification Call for the new CR.


CenturyLink Response

For Review by the CLEC Community and Discussion at the January 21, 2003 CMP Meeting

January 14, 2003

AT&T Carla Dickinson Pardee LSAM Manager

SUBJECT: CR # PC111903-1 Web site for Event Notifier

This letter is in response to AT&T’s Change Request (CR) PC111903-1. This CR requests that Qwest provide a web site for Event Notifiers.

Qwest understands the requested change and the enhancements are under evaluation. Qwest will move this CR to Evaluation status.

Sincerely,

Connie Winston Qwest Communications


Open Product/Process CR PC120803-1 Detail

 
Title: Associated Move Orders
CR Number Current Status
Date
Area Impacted Products Impacted

PC120803-1 Completed
7/26/2004
Billing, Maintenance/Repair, Provisioning UNE, UNE-P, Resale, Unbundled Loops, Products where T&F issued when there is a move
Originator: Adkisson, Ann B.
Originator Company Name: AT&T
Owner: Davis, Qiana
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Revised Description of Change 02-03-04

When a CLEC submits a move order (M) Qwest creates two orders, a to (T) and from (F) order. The problem resides in the fact that these orders are associated with each other but no action is taken when the T order is placed in jeopardy and the F order is not stopped. Clarification calls with Qwest has indicated that the F order is "always" worked prior to the T order. This process is a guarantee that the customer will be taken out of service prior to the T order being completed regardless of jeopardy, and the jeopardy will cause the the customer to be out of service for a longer period of time. When Qwest works the T order and the technician determines that the order cannot be completed as expected (either jeopardized for some reason or there is no access to the new site) there is no electronic/mechanical means of associating the T order to the F order. Some scenarios are:

1) customer has X number of TN's and is moving within a building and retaining the same TN's.

2) customer has X number of TN's is moving to another building within the same rate center and retaining the same TN's.

3) Customer has X number of TN's and is moving within the same rate center but does not want to keep all of the TN's.

4) customer has X number of TN's and is moving and wants to change TN's and have a forwarding message on the old TN's.

In each of these instances the customer is taken out of service with the creation of the two orders and the F order being worked, or batched, prior to the T order being completed. Since it is a Qwest process to create two orders it would be Qwest responsibility to ensure a process that would prevent taking the customer out of service.

Revised Expected Deliverable (02-03-04):

That no customer would be taken out of service on any move order.

Original Description of Change (12-08-03):

When a CLEC submits a move order (M) Qwest creates two orders, a to (T) and from (F) order. The problem resides in the fact that these orders are not associated as related orders. It is an industry standard that related orders be associated in the RORD field in an effort to ensure that service is not interrupted. When Qwest works the T order and the technician determines that the order cannot be completed as expected (either jeopardized for some reason or there is no access to the new site) there is not electronic/mechanical means of associating the T order to the F order. Since these orders are not associated as RORD the F order is completed and the customer is taken out of service resulting in a disconnect in error.

Original Expected Deliverable (12-08-03):

Expected Deliverable: Processes be changed to associate all T&F orders to each other. That systems be modified to ensure that if a related T order is jeopardized that the F order is automatically placed in a jep status and the work to disconnect the order is stopped. Expected result will reduce, if not eliminate, disconnects in error because of a jeopardized T order. In the month of November AT&T had 10 disconnects in error because of jeopardized T orders. In the event the F order is completed before the T order on the due date and the T order is jepped, Qwest should immediately re-instate the service in an effort to prevent an out of service condition .


Status History

12/08/03 - CR Submitted

12/09/03 - CR Acknowledged

12/15/03 - Held Clarification Meeting

12/17/03 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/26/03 - Changed title of CR to Associated Move Orders

01/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/28/04 - Held second Clarification Meeting

02/03/04 - Change request revised by AT&T, see description of change and expected deliverable

02/06/04 - Held Clarification Meeting

02/18/04 - February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

03/05/04 - Qwest sent PROS.03.05.04.F.01462.NetCommCallCustRec.doc, effective immediately

03/17/04 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/21/04 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/22/04 - Qwest sent PROS.04.22.04.F.01594.Ord_Overview_V50 proposed effective date 6/4/04

05/19/04 - Qwest sent final notice PROS.05.19.04.F.01686.FNL_Ord_Overview_V50 effective date 6/4/04

05/19/04 - May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

06/16/04 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

07/21/04 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

07/21/04 July CMP Meeting Linda Sanchez-Steinke with Qwest said the PCAT update was effective on 6/4/04, the CR is in CLEC Test status and we would like to close. Carla Pardee with AT&T said she would check for any open issues on this CR and e-mail whether or not this can be completed. This CR will remain in CLEC Test status and move to completed after AT&T agrees to close.

06/16/04 June CMP Meeting Linda Sanchez-Steinke with Qwest said the PCAT update was effective on 6/4/04. This CR will move to CLEC Test status.

05/19/04 May CMP Meeting Qiana Davis with Qwest said there was one comment received on the Pre-ordering PCAT. Qwest will provide a response back today. The proposed effective date is 6/4/04. This CR will remain in Development status.

04/21/04 April CMP Meeting Qiana Davis with Qwest said there will be level 3 changes made to the Pre-ordering PCAT that will include the interim manual process and the can be reached number. Tomorrow at the Systems meeting the CR for the systems solution will be presented. Bonnie Johnson with Eschelon said she was really excited that the changes were being made because recently Eschelon had a customer move and the customer was out of service for an entire day. Donna Osborne-Miller with AT&T said that she will alert Ervin Rea that the PCAT will be coming out soon and to make any comments. This CR will move to Development status.

03/17/04 March CMP Meeting Qiana Davis with Qwest said the T & F process is used for both Retail and Wholesale orders. In researching the T & F process, Qwest has initiated an MCC because in rare instances, technicians were not adhering to the process of calling the customer to find out the disposition of the F order when the T order is held. Qwest is updating the PCAT process for the can be reached number because sometimes the number forwards to voice mail. In addition, Qwest will be sending a level 3 notification for a manual interim process allowing population of the FDT field. This interim process will allow the F order to be delayed if the T order will be held. Qwest will also submit a systems CR for the 17.0 release to mechanize the manual process. Bonnie Johnson with Eschelon asked what IMA changes need to be made. Qiana said the details are still being worked out and that the DFDT field edits will be lifted to allow a value to be input and that will be used to inform the technician to hold the F order. Bonnie asked if this would give the ability to communicate if the T order is held the F should be held. Qiana said the field is currently used for a time value and the edit will be lifted to indicate hold the F order. Bonnie asked what work is being done in the backend systems to force the holding of the F order. Qiana said the technician would be informed to hold the F order until a call is received and this will be an interim manual handling process. Bonnie asked Qiana to keep everyone updated of the progress. Ervin Rea with AT&T said he was surprised and glad that Qwest had found a way to associate the T & F orders, and asked if orders would no longer be disconnected at 12:01 a.m. Qiana said yes, if the order has the DFDT field populated it will allow the F order to be held. This CR will move to Development status.

- 02/18/04 February CMP Meeting Qiana Davis with Qwest reviewed the draft response and said that AT&T had revised the CR on 2/3/04 and that Qwest is evaluating the modifications and require additional time to respond to the CR. Qiana added that Qwest would provide an update in March. Carla Pardee with AT&T said AT&T had determined that a process does exist, however AT&T has had several examples where the orders are disconnected. Carla also said they have been working with their service management team on this issue as well. Qwest will provide an update in March. This CR will be moved to Evaluation status.

CLEC Change Request Clarification Meeting

2:30 p.m. (MDT) / Friday February 6, 2004

1-877-572-8687 3393947# PC120803-1 Associated Move Orders

Name/Company: Ann Adkisson, AT&T Carla Pardee, AT&T Ervin Rea, AT&T Cheryl Peterson, AT&T David Belanger, AT&T Joyce Perry, AT&T Jim Recker, Qwest Mike Lanoue, Qwest Jerry Jenson, Qwest Qiana Davis, Qwest Pat Torkelson, Qwest Brenda DeFilippo, Qwest Doug Slominski, Qwest Lydell Peterson, Qwest Danelle Haynes, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Qwest welcomed all attendees to the meeting.

Review Requested Change Linda Sanchez-Steinke with Qwest said that we are holding this clarification call to discuss the revisions AT&T made to the CR on 2/3/04.

Linda read the description of change; When a CLEC submits a move order (M) Qwest creates two orders, a to (T) and from (F) order. The problem resides in the fact that these orders are associated with each other but no action is taken when the T order is placed in jeopardy and the F order is not stopped. Clarification calls with Qwest has indicated that the F order is "always" worked prior to the T order. This process is a guarantee that the customer will be taken out of service prior to the T order being completed regardless of jeopardy, and the jeopardy will cause the the customer to be out of service for a longer period of time. When Qwest works the T order and the technician determines that the order cannot be completed as expected (either jeopardized for some reason or there is no access to the new site) there is no electronic/mechanical means of associating the T order to the F order. Some scenarios are:

1) customer has X number of TN's and is moving within a building and retaining the same TN's.

2) customer has X number of TN's is moving to another building within the same rate center and retaining the same TN's.

3) Customer has X number of TN's and is moving within the same rate center but does not want to keep all of the TN's.

4) customer has X number of TN's and is moving and wants to change TN's and have a forwarding message on the old TN's.

In each of these instances the customer is taken out of service with the creation of the two orders and the F order being worked, or batched, prior to the T order being completed. Since it is a Qwest process to create two orders it would be Qwest responsibility to ensure a process that would prevent taking the customer out of service.

Expected Deliverable: That no customer would be taken out of service on any move order.

Ervin Rea with AT&T said that this CR was revised as a result of the CMP clarification meeting 1/28/04 and the CMP meeting 1/21/04. If Qwest always works the F order first and if the F order is in a batch that is disconnected shortly after midnight on the due date then the business customer is always going to be out of service. Additionally, if there is a jep on the T order, then the business customer will be out of service for an extended amount of time.

Cheryl Peterson with AT&T said that when she did a search on the Qwest web site, searching for “Move” she found three processes that say the F order is due the day after the due date of the T. The port within process http://www.qwest.com/wholesale/downloads/2003/030513/DNLDPortWithinProcess1005-13-03.doc

Cheryl asked if there is an existing ordering process in place, would there be a need for a CR. Linda Sanchez-Steinke with Qwest said that she was not sure if a CR would be required for adherence of the process and would take the question back.

Ervin said that he would still want to have adherence to the process through Service Management. Jim Recker with Qwest asked if we find the process is correct would that satisfy the request. Ervin said no it would not satisfy the request. The process should say that there should not be a disconnect of the F location.

Confirm Areas & Products Impacted Primarily UNE-P and POTS Residence and Business. Other products include Resale, Unbundled Loops and any products T&F orders are issued for when there is a move and there is a jeopardy situation.

Confirm Right Personnel Involved Correct Qwest personnel were involved in the clarification meeting.

Identify/Confirm CLEC’s Expectation Expected Deliverable: That no customer would be taken out of service on any move order.

Identify any Dependent Systems Change Requests None identified.

Establish Action Plan This CR will be discussed at the February 18, 2004 CMP Meeting

Tue 2/3/04 11:46 AM From: Pardee, Carla D, NKLAM [cdickinson@att.com] To: Sanchez Steinke, Linda cc: Rea, Ervin E, NKLAM, Adkisson, Ann B, NKLAM, Perry, Joyce M, NKLAM, Peterson, Cheryl J, NKLAM, Peterson, Lydell Subject: Amended PC 120803-1 Linda - per the Audix I left you a few minutes ago, please find the amended language to PC 120803-1. AT&T would like to set up another meeting to discuss this, at your earliest convenience - if possible this Friday, or early next week. I know we discussed submitting a new CR, but AT&T prefers to amend the language so that we don't lose any additional time resolving and implementing this CR. Please feel free to call me at 303-647-2234 if we need to discuss further. As usual, thanks for your assistance and help with this change request!

CLEC Change Request Clarification Meeting

8:30 a.m. (MDT) / Wednesday January 28, 2004

1-877-572-8687 3393947# PC120803-1 Associated Move Orders

Name/Company: Ann Adkisson, AT&T Carla Pardee, AT&T Irvin Rea, AT&T Sheryl Peterson, AT&T David Belanger, AT&T Joyce Perry, AT&T Jim Recker, Qwest Mike Lanoue, Qwest Jerry Jenson, Qwest Jeanette Barns, Qwest Qiana Davis, Qwest Kit Thomte, Qwest Pat Torkelson, Qwest Brenda DeFilippo, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Qwest welcomed all attendees to the meeting.

Review Requested (Description of) Change Linda Sanchez-Steinke with Qwest said that we are holding a second clarification call to discuss this CR and the CR may be amended as a result of this clarification meeting. Linda read the description of change; When a CLEC submits a move order (M) Qwest creates two orders, a to (T) and from (F) order. The problem resides in the fact that these orders are not associated as related orders. It is an industry standard that related orders be associated in the RORD field in an effort to ensure that service is not interrupted. When Qwest works the T order and the technician determines that the order cannot be completed as expected (either jeopardized for some reason or there is no access to the new site) there is not electronic/mechanical means of associating the T order to the F order. Since these orders are not associated as RORD the F order is completed and the customer is taken out of service resulting in a disconnect in error.

Expected Deliverable: Processes be changed to associate all T&F orders to each other. That systems be modified to ensure that if a related T order is jeopardized that the F order is automatically placed in a jep status and the work to disconnect the order is stopped. Expected result will reduce, if not eliminate, disconnects in error because of a jeopardized T order. In the month of November AT&T had 10 disconnects in error because of jeopardized T orders. In the event the F order is completed before the T order on the due date and the T order is jepped, Qwest should immediately re-instate the service in an effort to prevent an out of service condition.

David Belanger with AT&T said the description of change sounds like what the UNE-P group is looking for and if Qwest relates the T&F orders the issue will be resolved. Irvin Rea with AT&T said that the problem is the two orders are not related beyond creation of the orders. Joyce Perry with AT&T said the problem is that Qwest works the F order around mid-might before the T order is worked. AT&T wants the T order worked first, then if the T is jeoped the F be jeoped at the same time. Irvin clarified that AT&T doesn’t want the F order worked until the T order is completed.

Brenda DeFilippo with Qwest asked if the T & F orders have different phone numbers. AT&T said that in some cases there would be different phone numbers. David Belanger said the T order must complete when worked before the F order and then the F order should have 24 hours to complete.

Sheryl Peterson with AT&T asked her group if they really understand the process.

Mike Lanoue with Qwest gave examples of different types of orders 1) if in same central office, same telephone number same wire center 2) in different central office, different telephone number Irvin said if the CLEC issues a move order, RORD has to be filled out by Qwest

Qiana Davis with Qwest asked if the only type of orders that we would be concerned with were move orders and the activity of T. Irvin answered yes. Qiana asked if the orders are residence or business accounts and if the business is still located at the from address. Irvin said both Business and Residence. David Belanger said that the business is not always still located at the old address and sometimes someone goes back to the old address to answer phones. Qiana asked if the T order is jeoped would remote call forwarding help the situation. Irvin answered that partial remote call forwarding and David added that the disconnect recording is played.

Sheryl Peterson with AT&T asked if the normal Qwest process was to batch down stream the orders worked at night. Sheryl clarified her question and said not batch as CLEC sending volumes, but talking about on due date working in the appropriate central offices. Jim Recker said that if frame due time is not requested, the F will be worked shortly after midnight on the due date.

Brenda DeFilippo with Qwest said if T&F and the same TN, those are worked together. If T&F with different TN then the F comes through as disconnect. Irvin said that when issuing a move order with action of T, then create 2 orders, the F order should have a disconnect date of the day after the T is due. Brenda asked if same TN at different location. Jeanette Barns asked if the customer has vacated the location.

AT&T had further discussion on whether or not all the products with scenarios were captured in the CMP CR submitted; same TN, different TN, customer has already moved from location and intercept message.

As a result of this clarification meeting, AT&T will meet internally and determine what exact change they are requesting; and identify products and scenarios for this change request. AT&T will either submit revisions and scenarios to this change request or submit a new change request.

Confirm Areas & Products Impacted Currently CR reads: UNE-P, All POTS, Resale, Unbundled Loops and any products T&F orders are issued for when there is a move and there is a jeopardy situation.

Confirm Right Personnel Involved Correct Qwest personnel were involved in the clarification meeting.

Identify/Confirm CLEC’s Expectation

Identify any Dependent Systems Change Requests None identified.

Establish Action Plan (Resolution Time Frame) AT&T will meet internally meet determine what revisions are needed to the current CR or submit a new CR.

01/21/04 January CMP Meeting Ervin Rea with AT&T presented this CR and said when a CLEC submits a move order, Qwest creates two orders, an install and a disconnect. These two orders should be associated so that if something goes wrong with the install then the disconnect does not get worked. Ervin asked if the F order is worked first thing in the morning. Qiana Davis with Qwest said yes, Qwest works the disconnect order first. Ervin said that if the T is jeoped then AT&T wants to put the customer back in service. Qiana said that the F is worked to release the facilities. Ervin asked why the TN can’t be working in both locations. Qiana said that Qwest does offer Dual Service.

Bonnie Johnson with Eschelon said that she sent an e-mail concerning when a dispatch is required on T&F orders, a technician working on the T order that is jeoped and the F is worked in the switch. Bonnie’s concern is connected to this CR and her service manager had called about the question. Linda Sanchez-Steinke with Qwest said she did not understand that the question was related to the CR. Bonnie also said that Dual Service requires two different due dates (Begin comment from Bonnie Johnson – Eschelon) and that is not what we are asking for. Bonnie said that for example, if the ”F” side of the T&F is flow through the customers service would be disconnected at the old location after midnight on the due date because of the way Qwest service orders flow through the system (D’s and F’s or disconnects go first) and Qwest agreed. Then if the “T” side required a dispatch and the tech could not instal until 5PM on the due date, the customer could be out of service for serveral hours. (end comment). Jim Recker with Qwest asked if AT&T requests frame due time on their orders. Ervin said that the orders may not be designed services. Liz Balvin with MCI added that DFDT is desired, and is not guaranteed that disconnect will be completed at the desired time. Qiana asked AT&T to identify the products. Ervin said that the products are Resale, UNE-P, Unbundled Loops.

Qwest will arrange an additional clarification meeting for additional questions and the CR may need to be modified based on the clarification meeting output. Mike Zulevic with Covad said that when he worked on UNE-P orders if they resided in the same central office the same person did the work. If there was an F in another central office, the F was worked at midnight on the due date. Bonnie said there are two pieces to the CR; What should be done when the T order goes into jeopardy status and what needs to be done to relate the two orders. This CR will move to Presented status.

Wed 12/24/03 9:01 AM To: Sanchez Steinke, Linda From: Pardee, Carla D, NKLAM [cdickinson@att.com] cc: Rea, Ervin E, NKLAM Subject: RE: PC120803-1 Move Orders Associated Sorry for the delay in getting back to you Linda - been getting kicked off of my computer. I believe we agreed to change it to "Associated Move Orders." Thanks for taking care of this. Happy Holidays

From: Sanchez Steinke, Linda Sent: Tuesday, December 23, 2003 2:15 PM To: Pardee, Carla D, NKLAM Subject: PC120803-1 Move Orders Associated

Carla -

During the CMP meeting did AT&T agree to change the name of this CR to "Associated Move Orders" or something different than currently titled?

Would you let me know the title and I will change in the database.

Thank you

Linda Sanchez-Steinke CRPM Qwest 303-382-5768

Tue 12/16/03 9:24 AM From; Johnson, Bonnie J. [bjjohnson@eschelon.com] To: Sanchez Steinke, Linda cc: Subject; Question for AT&T CR

Linda, Here is my question: As it relates to a T&F order, excluding a jeopardy on the "T" order, does Qwest always keep the "F" side of the order (customers service at the old location) working until the "T" side is installed. I would like the answer for tech dispatch and flow through orders that do not require a dispatch.

It was always my understanding that the Qwest tech had the "F" order worked (switch) after he installed the new line at the prem Can you confirm and tell me how it works when there is no tech?

I am asking the question because I hear the CLECs continue to talk about their customers being impacted and out of service with moves even if a jeopardy condition does not exist. Perhaps we could address both issues if there is one.

Thanks!

Bonnie J. Johnson Director Carrier Relations Eschelon Telecom, Inc. Phone 612 436-6218 Fax 612 436-6318 Cell 612 743-6724 bjjohnson@eschelon.com

12/17/03 December CMP Meeting Ervin Rea with AT&T discussed this CR and said when a CLEC submits a move order, Qwest creates a T&F order. The T order is to install at the new location and the F order is to disconnect at the old location. If something happens to the T order, the F order completes. When the F order completes, then the CLEC has to scramble to get the service back up at one of the locations. AT&T would like the T & F orders linked so that if anything happens to the T order then the F order is jep’d at the same time. Carla thinks there are system implications and wants this addressed as soon as possible to identify. Connie Winston will work with the business to see how systems are effected. CLEC Change Request Clarification Meeting

8:30 a.m. (MDT) / Monday December 15, 2003

1-877-572-8687 3393947# PC120803-1 Move Orders Associated

Name/Company: Ann Adkisson, AT&T Patty Garnier, AT&T Carla Pardee, AT&T Colleen Forbes, AT&T Kim Isaccs, Eschelon Bonnie Johnson, Eschelon P.J. Koller, Priority One Telecommunications Shon Higer, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Qwest welcomed all attendees to the meeting.

Review Requested (Description of) Change Linda Sanchez-Steinke with Qwest read the description of change from the submitted change request; When a CLEC submits a move order (M) Qwest creates two orders, a to (T) and from (F) order. The problem resides in the fact that these orders are not associated as related orders. It is an industry standard that related orders be associated in the RORD field in an effort to ensure that service is not interrupted. When Qwest works the T order and the technician determines that the order cannot be completed as expected (either jeopardized for some reason or there is no access to the new site) there is not electronic/mechanical means of associating the T order to the F order. Since these orders are not associated as RORD the F order is completed and the customer is taken out of service resulting in a disconnect in error.

Carla Pardee with AT&T & P.J. Koller with Priority One Telecommunications, discussed the products impacted would include; UNE-P, All POTS, Resale, Unbundled Loops and, any products where T&F orders are issued when there is a move and there is a jeopardy situation.

Bonnie Johnson with Eschelon had a question regarding jeopardy conditions, related to dispatch of technician on T & F orders. Bonnie will e-mail the question to Linda Sanchez-Steinke.

Confirm Areas & Products Impacted UNE-P, All POTS, Resale, Unbundled Loops and any products T&F orders are issued for when there is a move and there is a jeopardy situation.

Confirm Right Personnel Involved Correct Qwest personnel were involved in the clarification meeting.

Identify/Confirm CLEC’s Expectation Linda Sanchez-Steinke read the Expected Deliverable; Processes be changed to associate all T&F orders to each other. That systems be modified to ensure that if a related T order is jeopardized that the F order is automatically placed in a jep status and the work to disconnect the order is stopped. Expected result will reduce, if not eliminate, disconnects in error because of a jeopardized T order. In the month of November, AT&T had 10 disconnects in error because of jeopardized T orders. In the event the F order is completed before the T order on the due date and the T order is jepped, Qwest should immediately re-instate the service in an effort to prevent an out of service condition.

Identify any Dependent Systems Change Requests Carla Pardee said there may be a systems change request and she would check on any systems change requests issued.

Establish Action Plan (Resolution Time Frame) AT&T will walk on this CR at the December CMP Meeting. Qwest will provide a response in February.


CenturyLink Response

March 9, 2004

DRAFT RESPONSE For Review by the CLEC Community and Discussion at the March 2004 CMP Meeting

Ann Adkisson AT&T

SUBJECT: Qwest’s Change Request Response - PC120803-1 Associated Move Orders

Description of request (partial): (Revised Description of Change 02-03-04) When a CLEC submits a move order (M) Qwest creates two orders, a (T) and from (F) order. The problem resides in the fact that these orders are associated with each other but no action is taken when the T order is placed in jeopardy and the F order is not stopped. Clarification calls with Qwest has indicated that the F order is "always" worked prior to the T order. This process is a guarantee that the customer will be taken out of service prior to the T order being completed regardless of jeopardy, and the jeopardy will cause the customer to be out of service for a longer period of time. When Qwest works the T order and the technician determines that the order cannot be completed as expected (either jeopardized for some reason or there is no access to the new site) there is no electronic/mechanical means of associating the T order to the F order.

Response: Qwest and CLECs acknowledge the long-standing process for outside moves is a two order process for all non-designed services (e.g., Resale and UNEP POTS) and some designed services (e.g., Unbundled Loops). For non-designed services, the association of the two orders is inherent within the process in that there is always a T order associated with an F order. Designed services utilize "critically related order" (e.g., CRO) entries to relate two orders, (e.g., N and D order types). These order and process designs are used for both Qwest Retail and Wholesale accounts and are an integral part of both Qwest systems and processes. To change these would require a complete redesign of multiple systems, internal processes/documentation and training at an extraneous cost to Qwest without real benefit. Instead, Qwest has reviewed and analyzed the existing process for outside moves and has summarized the processes and findings as follows.

T & F orders in the same central office with no change to the telephone numbers are automatically sequenced and the provisioning is coordinated in the Qwest systems for both dispatched and non dispatched orders. If the T & F are located in different wire centers with same day due date, sequencing does not occur and the F order is worked on due date after 12:01 A. M.

There are two basic reasons for "jeopardizing" the T & F orders; Qwest reasons or Customer reasons. When an order is jeopardized for Qwest reasons (e.g., CF - Qwest Facilities are not available), the T order is delayed until Qwest facilities become available. At the point Qwest determines the T order is going to be delayed, the customer of record is contacted to determine if the F order should continue through the process to disconnect the existing service. Qwest makes every attempt to contact the customer of record to determine the disposition of the "F" order. If the T portion of the order is CF'd (held for no facilities), and the customer of record is not contacted the F order will be put on hold until the customer of record is contacted.

The Designed service process generates various order types within Qwest and is dependent upon the product type. If a designed service order is jeopardized, Qwest will contact the customer to determine if the customer wants to continue forward with disconnect activity. The orders are critically related and are worked together.

Additionally, in response to Cheryl Peterson’s finding within the PortWithin process document (http://www.qwest.com/wholesale/downloads/2003/030513/DNLDPortWithinProcess1005-13-03.doc), which states "On a full conversion, Qwest will issue the disconnect of the trunks and facility at the old location, due one business day after the port order DD". This process acts as a product process guide specifically for the DID product.

Findings: In reviewing/analyzing the processes and associated examples, Qwest determined: - Qwest technicians, on rare occasions, were not adhering to the process of contacting the customer of record a jeopardy situation. - the "can be reached" information provided by the CLEC does not provide the technician with a "live person" with whom the technician can work the issue of the pending disconnect.

Conclusion: Qwest accepts this CMP CR and has identified the following activities to enable closure: - We are in the process of enhancing the CLEC documentation (PCAT) for T&F orders to reinforce the importance of supplying a can be reached number which allows Qwest to contact the customer of record. - We have issued a Communicator to selected Network groups to reinforce the process of contacting the customer in jeopardy situations to determine the disposition of the F orders (disconnect). - Qwest currently offers specific optional services to the CLECs that may remedy some of the unique requirements of some move activities, e.g., dual service, overlapping service, etc. Qwest’s PCAT(s) will be updated by 4/19/04 to provide CLECs with more detailed information about these options. - Qwest will continue to review its current processes and seek opportunities for improvement.

Sincerely,

Qiana Davis - Sr. Process Analyst, Wholesale Service and Delivery Jim Recker - Staff Advocate, Qwest

February 6, 2004

DRAFT RESPONSE For Review by CLEC Community and Discussion at the February 2004 CMP Meeting

Ann Adkisson AT&T

SUBJECT: Qwest’s Change Request Response - PC120803-1 Associated Move Orders

AT&T is requesting process and system changes related to T and F orders. "The problem resides in the fact that these orders are associated with each other but no action is taken when the T order is placed in jeopardy and the F order is not stopped".

On January 28, 2003, a second clarification meeting was held to review the description of the requested change. As a result of this meeting, AT&T decided to meet internally and amend the initial CMP CR to now include the exact change requested along with detailed scenarios.

On February 3, 2004, Qwest received the amended version of CMP CR PC-120803-1 and are currently evaluating the change request. Therefore, we require additional time to investigate and will provide a response at the March CMP meeting.

Sincerely,

Qiana M. Davis FTS Process Specialist


Open Product/Process CR PC112403-1 Detail

 
Title: Request for blocking feature for 411 and 555 1212
CR Number Current Status
Date
Area Impacted Products Impacted

PC112403-1 Withdrawn
10/17/2007
Resale, UNE-P
Originator: Pardee, Carla
Originator Company Name: AT&T
Owner: Coyne, Mark
Director:
CR PM: Stecklein, Lynn

Description Of Change

AT&T is requesting a single USOC, territory wide, that will block 411 and 555-1212.


Status History

11/24/03 - CR Submitted

11/24/03 - CR Acknowledged

12/11/03 - Held Clarification call

12/17/03 - Clarification Minutes sent

12/17/03 -December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - Status changed to Presented

01/02/04 - AT&T requests that CR be expanded to include a block on reaching (O) Operators.

01-08-04 - Held second Clarification call

01-14-04 - Response posted

01-15-04 - Sent minutes

1/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

1/21/04 - Status changed to Evaluation

2/18/04 -February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

2/18/04 - Status changed to Deferred


Project Meetings

10/17/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that Qwest contacted AT&T and they agreed to withdraw this CR. Bonnie Johnson-Eschelon asked for the description and status of this CR. Lynn Stecklein-Qwest stated that this CR is in a deferred status and is a request for a blocking feature for 411 and 555-1212. She said that AT&T completed testing and no longer needed this request. Bonnie Johnson-Eschelon stated that they would like to take a look to see if there is any interest in sponsoring this CR. She said that she may be thinking of another CR that was denied. Laurie Fredricksen-Integra stated that she could not find the CR on the agenda. Lynn Stecklein-Qwest stated that we just found out yesterday that AT&T wanted to withdraw so it is not in the package. She said that this discussion will be in the meeting minutes for their review

E-mail From AT&T

Hi Lynn, Sorry for the delay in responding to you.... it's taken awhile to find someone to provide input to this issue. Since it seems there is no longer support for this change and there is an existing solution, I would support withdrawing this CR. Thanks for your patience. Kathy

- From: Stecklein, Lynn [mailto:Lynn.Stecklein@qwest.com] Sent: Monday, September 24, 2007 11:49 AM To: LEE, KATHY T, ATTCORP Cc: Esquibel-Reed, Peggy Subject: FW: PC112403-1 Request for blocking feature for 411 and 555-1212

Hi Kathy, The attached CR is currently in a deferred status. In January of 2006, AT&T stated that they were checking internally to determine if the testing with CustomNet Option 1 would satisfy the needs of this CR. (see below) Can you let me know if that testing is complete and if you want this CR to remain in a deferred status or if the testing met the needs of the request? If it has, we can place the CR in a Pending Withdrawal status for the October CMP Meeting. Thanks for your help in advance. Lynn Stecklein Qwest Wholesale CRPM

Lynn, I've finally found a person who is interested in this. We need to keep this open for now. We are checking on the testing. I'll try to get more status in a few days - after this specific person checks on the testing. Thanks. Sharon

- From: Stecklein, Lynn [mailto:Lynn.Stecklein@qwest.com] Sent: Monday, January 23, 2006 10:09 AM To: Van Meter, Sharon K, NEO Subject: RE: PC112403-1 Request for blocking feature for 411 and 555-1212

Hi Sharon,

Have you heard anything on whether AT&T has completed their testing?

Thanks,

Lynn Stecklein

Qwest Wholesale CRPM

303 382-5770

--Original Message-- From: Van Meter, Sharon K, NEO [mailto:svanmeter@att.com] Sent: Wednesday, November 02, 2005 11:26 AM To: Stecklein, Lynn Cc: Esquibel-Reed, Peggy Subject: RE: PC112403-1 Request for blocking feature for 411 and 555-1212

Lynn,

I'm checking internally - I'll let you know as soon as I hear something.

Sharon

E-mail send to AT&T 11/2/05

Hi Sharon,

We have been researching change requests that are currently in deferred status. The attached CR PC112403-1 (Request for blocking feature for 411 and 555-1212) is currently in deferred status. The project meeting minutes dated 2/18/04 states the following:

‘Carla Pardee, Qwest said that she is waiting for AT&T to conclude their testing with CustomNet Option 1 to see if this will satisfy the needs of this CR. She would like to move the Status to Deferred until AT&T completes testing.’

Can you let me know if AT&T has concluded the testing of the Customer Net Option 1? And, is so, does it meet your needs?

Thanks,

Lynn Stecklein

Qwest Wholesale CRPM

303 382-5770

2/18/04 CMP Meeting Carla Pardee, Qwest said that she is waiting for AT&T to conclude their testing with CustomNet Option 1 to see if this will satisfy the needs of this CR. She would like to move the Status to Deferred until AT&T completes testing.

-- 1/21/04 January CMP Meeting Aaron Smith, Qwest stated a Clarification Call was held on January 8 and that Operator blocking had just been added to the CR at that time. On the call it was felt CustomNet option 1 might meet the requirements of the CR. Carla Pardee, AT&T said that AT&T had evaluated CustomNet before but wanted something simpler. AT&T is now re-evaluating. Bonnie Johnson, Eschelon stated Eschelon would submit a separate CR for a 411 block only. The CR will stay in Evaluation.

- Clarification Meeting 2:00 p.m. (MDT) / Thursday January 8, 2004 1-877-521-8688 1456160 PC 112403-1Request Blocking Feature for 411 and 5551212.

Attendees Carla Pardee, AT&T Dave Fane, AT&T Liz Balvin, MCI Kim Isaacs, Eschelon Patti Leo, Qwest Doug Andreen, Qwest Aaron Smith, Qwest Marty Cruze, Qwest Jo Wees, Qwest Carolyn Vance, Qwest Rose Bochnicek, Qwest John Gallegos, Qwest

Meeting Agenda: 1.0Introduction of Attendees

Introduction of participants on the conference call was made and the purpose of the call discussed.

2.0Review Requested (Description of) Change

Doug Andreen, Qwest read the CR description: AT&T is requesting a single USOC, territory wide, that will block 411 and 555-1212. And added that recently AT&T had requested to add blocking operator (O) calls which is why we wanted to have a second clarification call with a wider audience than the first.

Carla Pardee, AT&T added that the intent is to block long distance call completion on customers that have delinquent bills.

Dave Fane added that this is a customer by customer block for customers not paying their bills.

Carolyn Vance, Qwest asked if the object was not to complete the call.

Dave answered yes with the same messages that are normally used.

There was much discussion around appropriate blocks to 411, 555-1212, O+ and 0- calls with the following outcome. CustomNet option 1 will block will block 411and 555-1212. 0+ calls are routed to an operator for alternate billing but cannot be billed to the owner TN. This was acceptable to AT&T. O- calls are completed to an operator but the operator’s screen indicates that calls cannot be charged to the owner TN and that the call may not be transferred to DA. However, calling card calls will not be blocked. This would have to be blocked separately in LIDB as done today.

AT&T agreed to test option 1 CustomNet to see if it would fully meet their needs and to let Doug know.

Kim Isaacs, Eschelon expressed a desire to have this CR appended to for a 411 block only.

Doug advised in order to not confuse the testing of CustomNet option 1 by AT&T and a block for 411 only that a new CR should be submitted.

Kim will submit the new CR.

3.0Confirm Areas & Products Impacted UNE-P

4.0Confirm Right Personnel Involved Correct personnel were involved in the meeting.

5.0Identify/Confirm CLEC’s Expectation AT&T will test CustomNet option 1 to see if it meets their requirements for this CR.

6.0Identify any Dependent Systems Change Requests None

7.0Establish Action Plan (Resolution Time Frame) An update on testing will be made to Doug and also at the January CMP meeting.

- 12/17/03 December CMP Meeting Carla Pardee, AT&T presented this CR asking for a territory wide USOC that gives the ability to block a customers ability to reach a 411 or 5551212 DA operator. Carla realizes that Custom Net and Toll Block Restriction provides several features but not a single USOC as described above. Bonnie Johnson, Eschelon supports the CR saying Eschelon has customers who need to block the ability to reach DA operators without interfering with long distance capabilities. The CR was moved to Presented status.

- CLEC Change Request Clarification Meeting 12:30 p.m. (MDT) / Thursday December 11, 2003 1-877-521-8688 1456160# PC 112403-1Request Blocking Feature for 411 and 5551212. Attendees: Name/Company: Carla Pardee, AT&T Yolanda Bennett, AT&T Doug Andreen, Qwest Mallory Paxton, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change Doug read the CR description: AT&T is requesting a single USOC, territory wide, that will block 411 and 555-1212.

Carla Pardee, AT&T added that she realizes that Custom Net and Toll Blocking offers a variety of features but AT&T desires a single USOC that blocks 411 and 555-1212.

Mallory Paxton, Qwest asked Carla if they want this only to block these two features.

Carla said yes.

Mallory asked if this was an option in other RBOCS?

Yolanda answered that it was available but she was unsure if it was a single feature.

Doug asked if the purpose was to block customers who owed bills from making long distance calls?

Carla answered yes.

Confirm Areas & Products Impacted UNE-P

Confirm Right Personnel Involved Correct personnel were involved in the meeting.

Identify/Confirm CLEC’s Expectation By February 2004, AT&T requests that Qwest implement a single USOC, Qwest territory wide, that will block 411 and 555-1212.

Identify any Dependent Systems Change Requests None

Establish Action Plan (Resolution Time Frame) Carla will present for AT&T at the December CMP meeting.


CenturyLink Response

January 8, 2004

DRAFT RESPONSE For Review by CLEC Community and Discussion at the January 2004 CMP Meeting

Carla Pardee LSAM Manager AT&T

SUBJECT: Qwest’s Change Request Response PC112403-1 Request for blocking feature for 411 and 555-1212

This letter is in response to AT&T’s Change Request (CR) PC112403-1. This CR requests that Qwest provide a single USOC territory wide to block access to DA operators using 411 and 555-1212. Recently, AT&T added to the original CR a request to also block access to Operator (O) calls using the same USOC.

Qwest is currently evaluating this request and proposes moving this Change Request into Evaluation Status while we continue to investigate. Qwest will provide an updated response at the February 2004 CMP meeting.

Sincerely,

Aaron Smith Manager Product Management


Open Product/Process CR PC030504-1 Detail

 
Title: Qwest Premise Visits for Wirechecks and Subsequent Billing to CLECs (AT&T Local)
CR Number Current Status
Date
Area Impacted Products Impacted

PC030504-1 Denied
6/16/2004
Billing, Maintenance & Repair UNE-P, all non-design products
Originator: Pardee, Carla
Originator Company Name: AT&T
Owner: Gonzales, Mark
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

AT&T requests that Qwest implement a process to validate accurate billing for premise visits for wirechecks and subsequent maintenance issues by holding billing for 60 days preferably (30 days minimum) to ensure that a maintenance issue is properly billed. At the present, Qwest may dispatch a maintenance technician to an AT&T UNE-P end user premise and initially not discover a problem, but subsequently another dispatch is made which does reveal a Qwest issue. Qwest bills for the first premise visit, even though the billing should not have occurred as it was a Qwest issue, ultimately. AT&T simply requests that Qwest hold itself responsible for maintenance billing for 60 days to ensure appropriate and accurate billing to CLECs.

Expected Deliverable:

AT&T expectation is that Qwest deliver this 60 day process for validating maintenance bills no later than July 1, 2004.


Status History

03/05/04 - CR Submitted

03/09/04 - CR Acknowledged

03/15/04 - Held Clarification Call

04/21/04 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

05/19/04 - May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

06/16/04 June CMP Meeting Mark Gonzales with Qwest reviewed the denial response. Carla Pardee with AT&T said we are disappointed with the response. AT&T has learned that tickets are kept open 14 days prior to billing. Bonnie Johnson with Eschelon said that design services tickets are kept open 14 days, however, the non-design services tickets are not. Carla said AT&T is disappointed and will not escalate the CR. Liz Balvin with MCI asked if the Arizona ruling prevented the CR from being accepted. Mark Gonzales said that the systems changes and the resources required made it economically not feasible and Susie Bliss with Qwest said that without the system changes and the resources, it is not clear if the requirement would be met to bill within 30 days. Bonnie Johnson with Eschelon asked if AT&T revised the CR and asked to hold tickets two weeks, would the CR be denied. Mark Gonzales said Qwest would still deny the CR based on the cost for systems changes and resources. This CR will be moved to Denied status.

5/27/04 10:43 a.m. From: Pardee, Carla D, NEO [cdickinson@att.com] To: Sanchez Steinke, Linda Subject: RE: AT&T PC030504-1 Linda - I have been asked to push back on Qwest on this request. Since the phone numbers have been provided, the dates and times should be evident to Qwest. If this is not the case, please let me know. Thanks for your continued assistance on this one.

--Original Message-- From: Sanchez Steinke, Linda [mailto:Linda.SanchezSteinke@qwest.com] Sent: Wednesday, May 26, 2004 6:50 PM To: Pardee, Carla D, NEO Subject: FW: AT&T PC030504-1

Carla - Did you find the dates for these ticket examples.

Linda Sanchez-Steinke CRPM Qwest 303-382-5768

05/19/04 May CMP Meeting Mark Gonzales with Qwest said that we are evaluating this CR and will have an update at the June meeting. This CR will be moved to Evaluation status.

5/7/04 1:08 p.m. From: Linda Sanchez-Steinke To: Carla, Pardee Subject: RE: AT&T PC030504-1 Carla - Would you be able to find out the dates and ticket numbers for these repairs?

Linda Sanchez-Steinke CRPM Qwest 303-382-5768

5/4/04 11:50 a.m. From: Pardee, Carla D, NEO [cdickinson@att.com] To: Sanchez Steinke, Linda Subject: RE: AT&T PC030504-1

Linda - here are the examples from Grant. Sorry for the delay, he was using the wrong e-mail address. Thanks.

Date: 5/4/04 10:41 From: Brown, Benjamin G (Grant), CSPMG [bgbrown@att.com] To: Pardee, Carla D, NEO, Riplinger, Linda K, CMOPM Subject: RE: Qwest Maintenance Wirecheck 30-60 Day Hold - AT&T PC030504-1

Here is what I sent to Linda S.

--Original Message-- From: Brown, Benjamin G (Grant), CSPMG Sent: Wednesday, April 21, 2004 10:37 AM To: 'linda.sanchez-steinke@qwest.com' Subject: Examples for CR PC030504-1

Linda,

I was told to forward these examples supporting CR PC030504-1 to you.

480.836.8691 602.268.4706 480.946.0773

Grant Brown AT&T

5/3/04 4:19 p.m. From: Pardee, Carla D, NEO [cdickinson@att.com] To: Sanchez Steinke, Linda Linda - and I followed up with Linda Riplinger and she said that Grant had sent three examples to you, I will find out what is going on! Sorry for the delay.

From: Sanchez Steinke, Linda [mailto:Linda.SanchezSteinke@qwest.com] Sent: Monday, May 03, 2004 3:47 PM To: Pardee, Carla D, NEO Subject: RE: AT&T PC030504-1

Hi Carla - Welcome back from vacation! I just wanted to let you know that I did not receive examples-- at CMP when Grant presented, he said he would provide to Donna. When Donna was out, I left a voice mail for Bern Seigler on Friday and haven't heard back.

Let me know if you have anything.

Linda Sanchez-Steinke Qwest CRPM 303-382-5768

4/30/04 9:32p From: Osborne-Miller, Donna, NEO [dosborne@att.com] To: Linda Sanchez-Steinke @qwest.com Subject: Out of Office AutoReply: Examples PC030504-1 I will be out of the office beginning Monday, April 26, 2004, with an undetermined return date. In my abscence please contact Bern Seigler, 770-248-2127. Thank you, Donna

4/30/04 9:24 a.m. From: Linda Sanchez-Steinke To: 'dosborne@att.com' Subject: Examples PC030504-1 Hi Donna -

At the April CMP, Grant Brown said that he would provide you some examples, and I'm wondering if you received any. This was on the CR PC030504-1 "Qwest Premise Visits for Wirechecks and Subsequent Billing to CLECs (AT&T Local)".

Thank you

Linda Sanchez-Steinke CRPM Qwest 303-382-5768

04/21/04 April CMP Meeting Donna Osborne-Miller with AT&T presented this CR. Grant Brown with AT&T will forward examples to Donna and she will forward to Linda Sanchez-Steinke at Qwest.

Bonnie Johnson with Eschelon fully supports this CR and would like to add all non-design products to the scope of this CR. Bonnie added that design products have an effective process that holds the ticket for two weeks prior to billing. When CLECs go through the dispute process it takes time and resources and Eschelon has one person working full time on this. Many times there are multiple repair tickets and they end up being a Qwest repair problem in the end.

Mike Zulevic with Covad supports this CR and said that Covad has problems reconciling billing on line shared and line splitting products.

Liz Balvin with MCI said that recently a CR for MLT testing prior to service order completion on DSL was denied because it was economically not feasible. There is a 51% failure rate on those circuits. Liz added that she has requested more information on that denial and there are many failures after handing off circuits to the CLECs.

Jen Arnold with U S Link said she also supports this CR.

Kit Thomte with Qwest asked if there would be billing examples provided. Grant said that these would be TN’s. Qwest doesn’t provide the TN level detail and would need help to determine if these were billed. This CR will be moved to Presented status.

CLEC Change Request Clarification Meeting

1:30 p.m. (MDT) / Monday March 15, 2004

1-877-572-8687 3393947# PC030504-1 Qwest Premise Visits for Wirechecks and Subsequent Billing to CLECs (AT&T Local)

Name/Company: Linda Riplinger, AT&T Carla Pardee, AT&T Bud Witte, Qwest Designed Services Alice Matthews – Qwest Wholesale Terri Kilker – Qwest Wholesale Shirley Tallman – Qwest Network Mark Gonzales – Qwest Network Alan Braegger – Qwest Designed Services Field Laura Baird – Qwest POTS Field Linda Sanchez-Steinke, Qwest

Introduction of Attendees Qwest welcomed all attendees to the meeting.

Review Requested (Description of) Change Linda Sanchez-Steinke with Qwest read the description of change from the submitted change request; AT&T requests that Qwest implement a process to validate accurate billing for premise visits for wirechecks and subsequent maintenance issues by holding billing for 60 days preferably, (30 days minimum), to ensure that a maintenance issue is properly billed. At the present, Qwest may dispatch a maintenance technician to an AT&T UNE-P end user premise and initially not discover a problem, but subsequently another dispatch is made which does reveal a Qwest issue. Qwest bills for the first premise visit, even though the billing should not have occurred, as it was a Qwest issue, ultimately. AT&T simply requests that Qwest hold itself responsible for maintenance billing for 60 days to ensure appropriate and accurate billing to CLECs. Shirley Tallman with Qwest asked if wirechecks and premise visits were the same as TIC (Trouble Isolation Charges). Bud Witte with Qwest asked if these were maintenance of service charges. Linda Riplinger provided an example: a trouble ticket was issued for condensation on the wires and Qwest determines there isn’t condensation, but then there is a subsequent trouble ticket and trouble found on the Qwest side. Bud Witte explained the process on the designed services side is to delay billing 14 days and asked if billing was done on anything over 30 days. Alice Matthews with Qwest said that work over 30 days drops out and does not bill. AT&T said that other RBOCs are moving from 30 to 60 days and the 14 day billing delay would not be sufficient.

Confirm Areas & Products Impacted UNE-P POTS

Confirm Right Personnel Involved Correct Qwest personnel were involved in the clarification meeting.

Identify/Confirm CLEC’s Expectation Linda Sanchez-Steinke read the Expected Deliverable; AT&T expectation is that Qwest deliver this 60 day process for validating maintenance bills no later than July 1, 2004.

Identify any Dependent Systems Change Requests None identified.

Establish Action Plan (Resolution Time Frame) AT&T will present this CR at the April CMP Meeting. Qwest will provide a response in May.


CenturyLink Response

June 8, 2004

For Review by the CLEC Community and Discussion at the June 2004 CMP Meeting

Carla Pardee AT&T

SUBJECT: Change Request Response – PC030504-1 “Qwest Premise Visits for Wirechecks and Subsequent Billing to CLECs (AT&T Local)”

This letter is in response to AT&T’s Change Request PC030504-1. This CR requests that Qwest implement a process to validate accurate billing for premises visits for wirechecks and subsequent maintenance issues by holding billing for 60 days preferably, (30 days minimum), to ensure that a maintenance issue is properly billed.

An analysis was performed to determine the implementation costs of this CR including resources and systems. A total of 2000 billed tickets were used which represents all CLECs volume of billed tickets for one month. Currently Qwest does not have a work group to analyze non-design tickets once they have been closed by the technician. In order to analyze the tickets Qwest would be required to deploy a new dedicated work group to perform the work function at an estimated cost $351,878 annually. This change would also require System modifications estimated at $1,020,000.

In addition, the State of Arizona ordered in, Docket Number T00000A-97-0238, that Maintenance and Repair charges must be processed and billed in a timely manner. The Arizona Commission stated that Maintenance and Repair charges must appear on the bill within two bill cycles after the ticket close date. The ticket close date is the date the work was completed. To comply with Docket Number T00000A-97-0238, Maintenance and Repair tickets must be processed within 30 calendar days of the date the work was completed.

Qwest respectfully denies this change request because it is economically not feasible and because regulatory reasons prohibit the change as requested.

Sincerely,

Mark Gonzales Staff Advocate Qwest Communications

May 11, 2004

For Review by the CLEC Community and Discussion at the May 19, 2004 CMP Meeting

Carla Pardee AT&T

SUBJECT: Qwest’s Change Request Response - PC030504-1 "Qwest Premise Visits for Wirechecks and Subsequent Billing to CLECs (AT&T Local)"

This letter is in response to CLEC Change Request (CR) PC030504-1. This CR requests that Qwest implement a process to validate accurate billing for premise visits for wirechecks and subsequent maintenance issues by holding billing for 60 days preferably, (30 days minimum), to ensure that a maintenance issue is properly billed.

Qwest is currently evaluating this change request and propose moving this CR into Evaluation Status while a complete answer to the request is prepared.

Sincerely,

Mark Gonzales Staff Advocate Qwest


Open Product/Process CR PC051804-1 Detail

 
Title: Clear and Consist Error Message when Requested Service Address is not Within Qwest Territory/Service Area
CR Number Current Status
Date
Area Impacted Products Impacted

PC051804-1 Completed
8/18/2004
Pre-ordering UNE-P, Resale Products, UNE-L
Originator: Pardee, Carla
Originator Company Name: AT&T
Owner: Pent, Anne
Director:
CR PM: Andreen, Doug

Description Of Change

Currently Qwest provides multiple error messages when a requested service address is not within Qwest territory or service area. AT&T is requesting an interim process (M&P) be developed by Qwest which would advise Qwest agents to send one consistent and accurate error message when a potential end-user is not Qwest’s service area. AT&T requests an error message such as “Requested service address is outside Qwest’s territory “. This change request is being submitted as an interim process for Qwest to develop until a permanent process, as set forth in AT&T’s pending change requests SCR040204-01 and SCR040204-02 can be implemented.


Status History

05/18/04 - CR Submitted

05/20/04 - CR Acknowledged

6/16/04 -June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

7/21/04 -July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

8/4/04 - Qwest generated notice PROS.08.03.04.F.01939.C05_SX_Jeopardies

8/18/04 -August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

9/16/04 -September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

9/16/04 CMP Meeting Minutes Doug Andreen reported that a notice had been sent August 3, effective August 10 and requested the CR be moved to Completed Status. Donna Osborne-Miller said that Joyce Atwell had been doing some follow-up and Donna had not heard from her as yet. She requested that the CR stay open and that she would have the information to Doug by the end of the week. If AT&T has no objections it was agreed to close out of cycle. The CR will remain in Test until Donna gets back with Doug.

- 8/18/04 CMP Meeting Doug Andreen reported that a notice had been sent August 3, effective August 10 and requested the CR be moved to Test. The CR will be moved to Test.

-- 7/21/04 July CMP Meeting Anne Robberson, Qwest stated this CR will be accepted. Liz Balvin, MCI verified that the CR is requesting a clear message be sent to the CLECs if an address is not serviced by Qwest. Carla Pardee, AT&T said there is a real sense of urgency around this request and asked if there were any time frames for implementation. Donna Osborne-Miller, AT&T added that there is a Systems CR in the works for this and it was recommended that this issue also be addressed from the Process side because of the long timeline to implement the systems request. Jill Martain, Qwest said we would investigate the timeframe. The CR will be moved to Development.

Meeting Minutes CMP June Meeting Carla presented this CR as a walk-on last month. There were no further questions. The CR will move to Presented Status.

- Time/Date: Place: Conference Call-In No.: CR No.:CLEC Change Request Clarification Meeting 11:00 a.m. (MDT) Wednesday, May 26, 2004 1-877-521-8688 1456160# PC051804-1 Clear and Consist Error Message when Requested Service Address is not Within Qwest Territory/Service Area Attendees Kim Isaacs, Eschelon Carla Pardee, AT&T Phyllis Burt, AT&T John Daugherty, AT&T Peggy Esquibel-Reed, Qwest Communications Anne Robberson, Qwest Communications Shirley Tallman, Qwest Communications Doug Andreen, Qwest

Meeting Agenda:Action 1.0 Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed. 2.0 Review Requested (Description of) Change

Doug Andreen, Qwest read the full description of the CR as follows: Currently Qwest provides multiple error messages when a requested service address is not within Qwest territory or service area. AT&T is requesting an interim process (M&P) be developed by Qwest which would advise Qwest agents to send one consistent and accurate error message when a potential end-user is not Qwest’s service area. AT&T requests an error message such as Requested service address is outside Qwest’s territory . This change request is being submitted as an interim process for Qwest to develop until a permanent process, as set forth in AT&T’s pending change requests SCR040204-01 and SCR040204-02 can be implemented.

Carla explained that the two SCRs have been initially denied but that there was some discussion at the May CMP meeting and Qwest is taking a second look.

Doug asked if we should modify this CR to reflect a permanent solution rather than an interim process since the two SCRs may be denied. After some discussion it was agreed not to modify the CR but keep in mind that any process designed here may be needed on a permanent rather than an interim basis.

Doug verified the product impacts as UNE-P only. Carla said that they might want to extend to Resale and Kim agreed. Doug will modify the CR to reflect Resale also.

Carla verified that they need this put in place as soon as possible and that the ASAP or no later than July 15 date specified on the CR was to indicate the urgency involved.

At this point the call was opened up to questions/clarifications from Qwest. Anne and Shirley had no questions at this time.

Doug explained the timeframes for next steps. This CR was a walk-on in the May CMP meeting. It will be formally presented by AT&T in the June meeting and the Qwest response would be due at the July meeting.

Phyllis asked why it would take so long to implement an M&P change. To her mind it should be easy to do.

Shirley explained that research needs to be done to determine when in Qwest processes it is determined that the address is out of area.

Anne asked if the address could also be an apartment complex that is owned by a different company. Carla answered yes, that this was part of the problem.

Shirley added that her sense is that at the time of order issuance that Qwest does not know if the address is one not serviced by Qwest and that this is discovered later on the order process. Anne added that it might not be till the order hits Network that the address if found to be out of area.

John added that those reasons were why AT&T was looking for a system solution to help identify an out of area address as early in the process as possible.

Phyllis asked if from a process perspective there was a way to shorten the timeframe.

Doug said he would look into this. However the timeframes were established following the CMP process. Also if the SCRs moved forward they would be votable candidates for the 17.0 release which would be released in April 2005. (After the meeting Peggy informed Doug that AT&T had asked that these CRs be Late Adders into the 16.0 Release and AT&T was then notified, by Qwest, that the CRs were looking to be denied. Peggy stated that if the CRs do in fact move forward, they will be eligible for the 17.0 vote).

Anne asked if AT&T could send some examples for her to look into. Phyllis said she would get examples to Carla who will forward to Doug for distribution at Qwest.

There were no further questions or discussion and the meeting was adjourned.

3.0Confirm Areas & Products Impacted JUNE and possible expansion to Resale

4.0Confirm Right Personnel Involved Yes

5.0Identify/Confirm CLEC’s Expectation Implemented ASAP or no late than July 15

6.0Identify any Dependent Systems Change Requests SCR040204-01 and SCR040204-02

7.0Establish Action Plan (Resolution Time Frame) AT&T will present the CR at the June CMP meeting with a response being in the July timeframe.


CenturyLink Response

July 13, 2004

For Review by CLEC Community and Discussion at July’s CMP Meeting.

Carla Pardee LSAM Manager AT&T

SUBJECT: Qwest’s Change Request Response - CR # PC051804-01 - Clear and Consist Error Message when Requested Service Address is not Within Qwest Territory/Service Area

This is in response to AT&T’s request for a clear and consistent message when an LSR is submitted with a service address not serviced within Qwest territory.

Qwest accepts this CR as requested. Qwest currently has reject reason codes that are being returned when this scenario is identified at service order creation. The Reject codes are 801 for IMA version 15.0 users and 901 for IMA versions 13.0 and 14.0. The process being addressed is when this scenario is identified after service order creation, during the provisioning process. Qwest will agree upon verbiage to use and implement the verbiage as a Comment/Remark into the existing Jeopardy notification process for Error conditions identified after an FOC has already been sent.

In summary, we are working on the process as described in this CR and will be giving an update in the July CMP meeting.

Sincerely,

Anne Robberson Sr. Process Analyst Qwest


Open Product/Process CR PC060204-1 Detail

 
Title: Tone on Line
CR Number Current Status
Date
Area Impacted Products Impacted

PC060204-1 Crossover
7/27/2009
Maintenance / Repair UNE, Transport (EUDIT), Loop, UNE-P, EEL (UNE-C)
Originator: Rea, Ervin
Originator Company Name: AT&T
Owner: Graham, Denny
Director:
CR PM: Harlan, Cindy

Description Of Change

AT&T requests the ability to request that the ability be given to request and receive "Tone on the Line" for maintenance issues in an effort to locate the correct pair in a Demarc.

Expected Deliverable:

When AT&T, or it's designated vendor, is trying to locate the correct pair to connect a customer from the Demarc to CPE they would request that a tone be placed on the line. The expected result of this action will reduce the number of requested vendor meets, the number of trouble tickets being issued to request a "Tag and Locate". By having Tone on Line a customer's vendor can better isolate any troubles that may occur from the Demarc to CPE and or inside wire. The expected result will be a savings in resources and cost by both the CLEC and Qwest.


Status History

06/02/04 - CR Submitted

06/02/04 - CR Acknowledged

6/7/04 - Contacted Ervin Rea - ATT on vacation until 6-14 - lwtc to set Clarification meeting for 6-15

6/15/04 - Held Clarification call

6/16/04 - June CMP Meeting notes will be posted to the project meeting section

7/14/04 - Emailed response to ATT

7/21/04 - July CMP Meeting notes will be posted to the project meeting section

8/10/04 - Posted resposne to database and sent response to CLEC

8/16/04 - August CMP meeting mintues will be posted to the database


Project Meetings

8/16/04 CMP Meeting Mintues Denny Graham – Qwest advised we are still reviewing the impacts from this CR. We have determined there are system impacts so we will cross this CR over to systems. Stephanie Prull – Eschelon asked what systems are impacted. Denny advised this is still under review, but CEMR and Mediacc are systems that have been identified at this point. This CR will cross over to systems. This CR will move to Closed Status.

July 21, 2004 CMP Monthly Meeting Notes: Denny Graham – Qwest reviewed the response and advised that Qwest is looking at the process and products impacted. Qwest will move this CR to Evaluation status. We will provide an updated status in August.

June 16, 2004 CMP Monthly Meeting notes: Kit Thomte – Qwest explained that we have had some difficulty with our conference bridge numbers. We have contacted our service provider and they are correcting the problem. Bonnie Johnson – Eschelon advised she understands it was a problem with the bridge, and not that it was posted incorrectly on the calendar. Cindy Macy – Qwest apologized for the confusion and explained that she contacted the originator of the CR to provide a different call in number, but did not think to contact any other CLECs. Bonnie advised that is okay as she understands the issue. Bonnie suggested in the future though, if CLECs are having trouble connecting to conference bridge numbers that they should page the Project Manager. The CLEC community agreed that would be a good solution.

Ervin Rea – ATT presented the CR. Ervin explained that 10% of their trouble tickets are to tag and locate a loop at the DMARC or NID. This CR is asking for the ability to request when needed an identification tone be placed on the line. This would allow the CLEC to locate the line that they need to provision or repair without Qwest having to send a truck out to tag the line. This should apply to UNE – Loop, UNE-P and EEL products. Bonnie Johnson – Eschelon advised that she would like to include all UNE-P including Resale products as Eschelon experiences this issue a lot also. Bonnie advised that all POTS orders are dropping to manual handling asking for a tag. Eschelon’s statistics for this issue are similar to ATT. Ervin Rea – ATT said he has forward SBCs ‘Tone on line’ process to Cindy Macy at Qwest. Ervin advised there is a system or center to contact to request the tone be placed on the line. We talked with Service Management and they advised that there is not a process available to the CLEC at this time. We know it is available to Qwest. John Berard – Covad advised it would be best to mechanize this type of activity and not have to call a center. This CR will move to Presented Status.

Clarification Call - PC060204-1 Tone on Line June 15, 2004 1:30 – 2:30 p.m.

In attendance: Ervin Rea – ATT Denny Graham – Qwest Cindy Macy – Qwest

Ervin Rea – ATT reviewed the CR. Ervin explained that 10-12% of the trouble tickets that ATT issues to Qwest requests that a technician goes out to tag and locate the cable pair. This CR requests that an identification tone is placed on the line so the ATT technician can locate the line themselves. This eliminates the need to have Qwest dispatch a truck to locate the DMARC/NID. Ervin said this should reduce the trouble ticket volume by 10-12 % and save resources. Ervin advised he has talked with the other CLECs and they also support this CR. This will reduce the cost that CLECs pay to Qwest for a truck roll. Ervin advised that he understands that Qwest provides this ability to Qwest technicians. Ervin advised he is not sure of the process, but a Central Office technician could put the tone on the line.

Cindy Macy – Qwest asked Ervin what products is he requesting this service on. Ervin advised it would be UNE – P non design mostly, EEL could apply which may be designed.

Cindy Macy – Qwest asked Ervin if they want this on all lines automatically or do they want to request it only when they are unable to locate the cable pair. Ervin advised this would only be requested if they could not locate it, not on all lines automatically. This would apply to both Provisioning and Repair.

Denny Graham – Qwest advised he understands what Ervin is requesting. He will have to investigate the current process. Denny advised he is not sure how the CLEC would request this to be done, and what time frames would be required.

Ervin Rea – ATT advised that Bell South has a process for Tone on Line. Ervin will send Cindy a copy of that process. Cindy will distribute to Denny to review.

Ervin Rea – ATT advised they checked with Service Management first and were told that this is not available today.

The group discussed the current process that to tag and locate a line in the first 10 days, there is no charge and it is requested on the LSR. This is done as a supplement to the LSR. There is a charge to tag and locate after the 10th day and this is requested on a repair ticket.

Cindy Macy – Qwest advised that we will review the request and provide a response at the July CMP meeting. Ervin will present the CR at the June CMP meeting.


CenturyLink Response

For Review by the CLEC Community and Discussion at the August 18, 2004 CMP Meeting

August 10, 2004

AT&T Ervin Rea Senior Specialist

SUBJECT: CR # PC060204-1

This letter is in response AT&T’s Change Request (CR) PC060204-1 Tone on Line. This CR requests that Qwest provide the ability to AT&T to request and receive “Tone on the Line” for maintenance issues in an effort to locate the correct pair in a Dmarc.

Qwest is crossing over this CR to a systems CR as the implementation of the Tone on the Line request will consist of updates to existing Qwest systems. Qwest will provide an updated response at the September CMP Systems meeting.

Sincerely,

Denny Graham Qwest Communications

For Review by the CLEC Community and Discussion at the July 21, 2004 CMP Meeting

July 21, 2004

AT&T Ervin Rea Senior Specialist

SUBJECT: CR # PC060204-1

This letter is in response AT&T’s Change Request (CR) PC060204-1 Tone on Line. This CR requests that Qwest provide the ability for the CLEC community to receive ‘Tone on the Line’ when requested for maintenance and provisioning issues. Providing ‘Tone on the Line’ helps to locate the correct pair in a Demarc.

Qwest would like to leave this CR in evaluation status. Qwest needs to look at the individual products and provisioning processes that are impacted by this request. Qwest will provide an updated response at the August CMP meeting. Qwest will move this CR to Evaluation status.

Sincerely,

Denny Graham Qwest Communications


Open Product/Process CR PC112603-1X Detail

 
Title: Qwest to identify and rate AT&T's Special Needs Customers for OS/DA assisted calls.
CR Number Current Status
Date
Area Impacted Products Impacted

PC112603-1X Completed
12/15/2004
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Trees, Anne
Director:
CR PM: Harlan, Cindy

Description Of Change

AT&T would like to invoke the use of the DI and SOE LSOG fields in order to provide OS/DA service to AT&T Special Needs customers. There are two fields that we believe may accomplish this: SOE and DI. The SOE identifies the type of service/equipment associated with the line in LIDB. The DI identifies for LIDB that the end user has a disability that requires special handling for OS/DA calls. We believe that these two fields will provide Qwest TOPS/OSPS centers the ability to recognize such a customer without the customer having to tell the operator of their disability and will rate the assisted call with DDD rates


Status History

Status History for Systems CR SCR112603-01

11/26/03 - CR submitted

11/26/03 - CR acknowledged

11/27/03 - Requested AT&T's availability for clarification call

12/8/03 - Clarification meeting held on 12/8/03

12/8/03 - Status changed to evaluation

12/17/03 - Discussed at the December Systems CMP Meeting - See Systems Distribution Package - Attachment B

2/11/04 - Draft Response Issued

12/11/04 - Interface changed to IMA Common

4/22/04 - LOE issued

4/28/04 - Status changed to Presented

5/29/04 - Discussed at the May CMP Systems Meeting - See Systems Distribution Package - Attachment I

7/2/04 - CR crossed over to Product and Process - PC112603-1X

7/14/04 - Sent email to ATT advising them of potential cross over

7/21/04 - PP CMP meeting minutes will be posted to the database

8/11/04 - Scheduled CLEC ad hoc meeting to review process on 8-200-4

8/16/04 - August CMP meeting mintues will be posted to the database

9/15/04 - September CMP Meeting minutes will be posted to the database

9/22/04 - PROD.09.22.04.F.02084.OperatorServicesV13 Effective November 6, 2004

10/20/04 - October CMP Meeting minutes will be posted to the database

11/17/04 - November CMP Meeting minutes will be posted to the database

1/4/05 - Sharon Van Meter - ATT gave an okay to close this CR


Project Meetings

December CMP Meeting Minutes Cindy Macy – Qwest advised that this CR was effective November 6. Qwest would like to change the status of this CR to Completed. Sharon Van Meter – ATT advised that she needs to verify this CR and she will contact Cindy Macy off-line to advise if it is okay to close.

11/17/04 November meeting minutes Cindy Macy – Qwest advised the PCAT was effective November 6. This CR will move to CLEC Test Status.

10/20/04 October meeting minutes Cindy Macy – Qwest advised the notification went out September 22 and the effective date is November 6. This CR will remain in Development Status.

9/15/04 CMP Meeting Minutes: Cindy Macy – Qwest provided status and advised that the documentation should be available next week for review and comment. This CR will remain in Development Status.

8/20/04 Ad hoc Meeting

Anne Trees - Qwest Elizabeth Hamilton - Qwest Donna Osborn Miller - ATT Cindy Macy - Qwest

Cindy introduced the team and advised the purpose of this call is to review the draft process and address Donna's question regarding mechanizing the solution. Anne and Elizabeth reviewed the process. Donna advised that she has talked with representatives who perform this function and they are okay with implementing the process as described in the Clarification Call notes and then if needed, later, issue another CR to request mechanization of the process. Donna explained they thought it would be cumbersome to fill out forms for multiple special needs customers. Donne asked if they had a large number of customers to set up, could it be done via a spreadsheet so they do not have to fill out 2000 forms. Elizabeth advised Donna that if this occurs we can discuss the best way to accomplish the large update. Elizabeth was open to a spreadsheet type of update. Potentially the accounts could be broken down between the Regions (Central, Western and Eastern) and that may help. If this is needed you should contact and work with your Service Manager first. Donna asked how soon do the updates occur. Anne and Elizabeth advised generally within a 48 hour time frame and this includes the receipt and turn around. Donna thanked the team for having the call and advised she is okay with the process.

8/16/04 CMP Meeting Mintues: Cindy Macy – Qwest advised that an ad hoc meeting is scheduled for Friday August 20 to review the process. Donna Osborne-Miller ATT asked for a systems person to be at the meeting as they would like to have the form mechanized. It is a labor intensive process to fill out the form and send it in manually. Cindy advised Qwest will try to invite a systems person, and will discuss this at the ad hoc meeting. This CR will remain in Development Status.

7/21/2004 CMP Meeting Minutes: Jill Martain – Qwest advised that this CR was crossed over from systems to product process this month. Anne Trees – Qwest advised that effective with the August CRIS release the DUF records will be rated. This is step 1 of the process. The screen codes will be updated at the operator station. The operator will know that the customer is a special needs customer. Qwest will handle and rate the call appropriately and pass the information to the DUF file. The PCAT and Operator Services Questionnaire will be updated. The target date for implementation is in September. Donna Osborne-Miller verified that the CLEC will have to identify the customer as special needs. Anne advised that the Directory Assistance Questionnaire is filled out by the CLEC and that is where the CLEC identifies which customers need this service. These questionnaires are forwarded to the operator services group, which enter the codes into their system, and that drives the correct handling of the call. Liz Balvin – MCI asked how long does Qwest anticipate for this process to take? Anne advised she would check on this and advise Cindy Macy. Cindy advised she will include this information in the notes. Anne provided the following update: The CLECs will only be filling out an attachment to the OS/DA Questionnaire to implement the Special Needs screening codes. They will fax the completed attachment directly to the OIS group. This is the same process they do today for other screen code updates. So the special needs screening code updates will follow the existing process. Once the complete and accurate attachment is received by the OIS group they will implement within a two business day timeframe. They will not need to complete the OS/DA questionnaire to add, change or delete screen codes including the Special Needs screen codes. This CR will move to Development status.

5/20/04 Systems CMP Meeting

Peggy Esquibel-Reed/Qwest stated that the LOE for this CR is 2350 to 2600 hours. This action item will be closed.

12/17/03 CMP Systems Meeting

Donna Osborne-Miller/AT&T stated that the clarification call was held and presented the CR. Donna said that AT&T would like the operator to stay on the line until the call is completed. Judy Schultz/Qwest said that we may have to split this CR into a System and Product/Process CR. Judy stated that the request to have the operator stay on line until the call is completed would most likely be a process change. Connie Winston stated that the interface needs to change from ‘other’ to IMA Common. Liz Balvin/MCI asked if ‘other’ interface is really the operator platform. Connie Winston/Qwest said that if we set this up it would be IMA. Donna Osborne-Miller/AT&T also want the DDD call rated. Connie Winston/Qwest stated the rate is based on the code given to us. Liz Balvin/MCI said that the rate would be populated on the order via IMA.

12/8/03 Clarification Meeting

Attendees: Donna Osborne-Miller - AT&T, Jo Ann Symenec - AT&T, Al Paris - AT&T, David Fane - AT&T, Kim Isaacs - Eschelon, Ann Trees - Qwest, John Gallegos - Qwest, Shonna Pasionek - Qwest, Connee Moffat

Review Description of Change AT&T is requesting that Qwest identify and rate AT&Ts Special Needs Customers for OS/DA assisted calls.

Discussion Donna Osborne-Miller - AT&T stated that they would like the Operator to stay on the line until the call is completed. Anne Trees - Qwest asked what kind of request is this associated with - IXC, Facility Based, UNE-P. Donna Osborne-Miller - AT&T said that it is UNE-P. John Gallegos/Qwest stated that Qwest understood this request and had no other questions.

Identify/Confirm CLECs Expectation AT&T would like to invoke the use of the DI and SOE LSOG fields in order to provide OS/DA service to AT&T Special Needs Customers.

Establish Action Plan AT&T will present this CR in the December CMP Systems Meeting.


CenturyLink Response

Final Response

April 22, 2004

RE: SCR112603-01 Qwest to identify and rate AT&T's Special Needs Customers for OS/DA assisted calls

Qwest has reviewed the information submitted as part of Change Request (SCR112603-01). Based upon the scope of this CR as agreed to in the Clarification Meeting (held December 8, 2003) Qwest is able to provide an estimated Level of Effort (LOE) of 2325 to 2600 hours for this IMA Change Request with no SATE impacts.

At the next Monthly Systems CMP Meeting, CMP participants will be given the opportunity to comment on this Change Request and provide additional clarifications. Any clarifications and/or modifications identified at that time will be incorporated into Qwest's further evaluation of this Change Request.

This Change Request is an eligible candidate for the IMA 17.0 prioritization vote.

Sincerely, Qwest

DRAFT RESPONSE December 11, 2003 RE: SCR112603-01

Qwest has reviewed the information submitted as part of AT&T's Change Request SCR112603-01. Based upon research that has been conducted following the Clarification meetings (held November 18 and December 8, 2003) Qwest is still examining the issue. Qwest will continue to research the problem and provide an updated response at the March Systems CMP Meeting.

At the December Systems CMP Meeting, CMP participants will be given the opportunity to comment on this Change Request and provide additional clarifications. Qwest is interested in the experiences of the CMP community as relates to this issue. Qwest will incorporate any feedback received into further evaluation of this Change Request.

Sincerely, Qwest


Open Product/Process CR pc081904-1 Detail

 
Title: The capability for ATT to re MLT (Mechanize Loop Test) a TN during the open referral time.
CR Number Current Status
Date
Area Impacted Products Impacted

pc081904-1 Withdrawn
9/15/2004
maintenance repair UNE
Originator: Jones, Lucy
Originator Company Name: AT&T
Owner: Rehm, Peggy
Director:
CR PM: Harlan, Cindy

Description Of Change

This functionality will allow ATT to 'see' the condition of the line during the repair interval by Qwest. This will allow ATT to re-MLT a line if the customer calls in to close a ticket if they fixed the line themselves. We need to have the ability to MLT a line to prevent repeat trouble reports and cancel unnecessary dispatches, and validate the repair. Expected impact will be to reduce Qwest truck rolls and Qwest ACD time on manual calls.

Expected deliverable: Revised Process ATT desires the capability to re-MLT at during open referral time.


Status History

8/19/04 - CR Received

8/23/04 - CR Acknowledged

8//23/04 - Contact customer to discuss CR / verify phone number

8/26/04 - Held Clarification call

9/15/04 - September CMP Meeting minutes will be posted to the database


Project Meetings

9/15/04 CMP Meeting Minutes: Jill Martain – Qwest advised that during the Clarification call it was determined that this functionality already exists and ATT will remove the restriction in their system. This CR will be withdrawn.

Clarification Call PC081904-1 MLT a TN during the open referral time

Attendance: Joyce Atwell – ATT John Wright – ATT Justin Sewell - Qwest Communications Jim Recker - Qwest Communications Cindy Macy - Qwest Communications

Cindy Macy - Qwest Communications opened the call and reviewed the agenda. Cindy explained that Qwest has met internally on this CR before the Clarification Call and we believe that we already provide the functionality that ATT is requesting.

Joyce Atwell introduced John Wright and explained that he is the requestor of this functionality. John explained that ATT is blocking the ability to perform MLT with Qwest so he is not aware if this feature works or not. John will work with his lab organization to remove the restriction and then test the feature.

Justin advised that Qwest added this feature in the 2001 time frame. John advised that ATT wanted to make sure that Qwest is aware that ATT will begin using this feature. Justin advised it is okay to begin using the feature. ATT believes it will reduce the number of Qwest dispatches.

John advised it will take several weeks for ATT to remove the feature. The team agreed that this CR will be withdrawn at the September CMP meeting. After ATT removes the feature they will test the functionality. If they have any trouble at that time they would contact the Help Desk to report a trouble report. If ATT determines they need to issue another CR they will do that at a later date.


Open Product/Process CR PC101904-2 Detail

 
Title: To Modify Change Request Form to Include 'Impacts LSOG Forms'
CR Number Current Status
Date
Area Impacted Products Impacted

PC101904-2 Completed
4/2/2005
Originator: Van Meter, Sharon
Originator Company Name: AT&T
Owner: Owen, Randy
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

AT&T requests that Qwest include all of the LSOG forms and place these pieces of vital information in the Product Impacted section of the CR rather than focusing on a particular product. This will allow us to make better use of limited release resources by implementing common functionality at a broader level instead of only focusing on specific REQ Type and/or ACT types.

Expected Deliverables: To modify the existing CR form to include , Impacts LSOG Forms”.


Status History

10/19 CR Submitted

10/20 CR acknowledgement sent

10/28/04 Updated description per AT&T request

11/1/04 Held Clarification Call

11/17/04 - Discussed at the November Product Process CMP Monthly Meeting.

11/19/04-Held Meeting with AT&T (and CLECs) to discuss Qwest's approach for CR.

12/7/04 - Emailed Qwest Response to Sharon Van Meter, AT&T

12/15/04 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/05/05 - Ad Hoc Meeting Held

01/19/2005 - Discussed in the January Product Process Monthly CMP Meeting

02/10/05 - PROS.02.10.05.F.02545.Change_Request_Form [Comment Cycle 2/11 - 2/17]

02/16/2005 - Discussed in the February Product Process Monthly CMP Meeting

03/16/2005 - Discussed in the Monthly Product/Process CMP Meeting

04/20/2005 - Discussed in the Monthly Product/Process CMP Meeting

05/02/2005 - Status changed to Completed.


Project Meetings

May 2, 2005 E-mail from AT&T: Peggy, It's okay to close this CR. Thanks. Sharon

- April 26, 2005 Email Sent to AT&T: Hi Sharon, I hope you had a great vacation! Sharon, the CR that AT&T submitted, PC101904-2 To Modify Change Request Form to Include 'Impacts LSOG Forms' was implemented on March 3rd and was moved to CLEC Test at the March CMP Meeting. The new form has already been used to submit new CRs and is working great. Are you ready to close the CR? The meeting minutes from the April CMP Meeting are as follows: PC101904-2 To Modify Change Request Form to include ‘Impacts LSOG Forms’ Jill Martain-Qwest stated that this change was effective on March 3rd and is currently in CLEC Test. Jill stated that AT&T could not attend and Qwest would like to close this CR off-line with AT&T. There was no dissent to close the CR off-line. Please let me know if you are okay to close the CR. I appreciate it. Thanks, Peggy Esquibel-Reed Qwest Wholesale Change Management

-- April 20, 2005 Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that this change was effective on March 3rd and is currently in CLEC Test. Jill stated that AT&T could not attend and Qwest would like to close this CR off-line with AT&T. There was no dissent to close the CR off-line.

- March 16, 2005 Product Process CMP Meeting Discussion: Peggy Esquibel Reed-Qwest stated that this was effective on March 3rd and that the CR submittal Form was revised and posted to the web site, and noted that the CMP Document was also updated with the update to Appendix D. Peggy stated that this CR moves to CLEC Test.

-- February 16, 2005 Product Process CMP Meeting Discussion: Peggy Esquibel Reed-Qwest stated that the Level 2 notice was out on February 10th and that the effective date was March 3, 2005. This CR remains in Development status.

-- COMMUNICATOR EXCERPT: Announcement Date: February 10, 2005 Effective Date: March 03, 2005 Document Number: PROS.02.10.05.F.02545.ChangeRequestForm Notification Category: Process Notification Target Audience: CLECs, Resellers Subject: CMP - Change Request Form Level of Change: Level 2 Associated CR Number or System Release Number: CLEC CR # PC101904-2

Summary of Change: On February 10, 2005, Qwest will post planned updates to its Wholesale Change Management Process Change Request Form to include revised documentation. These will be posted to the Qwest Wholesale Document Review Site located at http://www.qwest.com/wholesale/cmp/review.html.

In response to the CLEC initiated CR PC101904-2, Qwest has updated the Wholesale Change Management Process Change Request Form to include additional LSOG information. In discussion during the January CMP monthly meeting, it was agreed that this Change Request would follow a Level 2 notification timeline. Upon becoming operational, in conjunction with the CR form update on the CMP operational URL, the sample Change Request form in Appendix D in the Change Management Process document will be updated to include this as the current CR example. This document is found at the following URL: http://www.qwest.com/wholesale/cmp/whatiscmp.html. This does not change the CMP process in any way; it is only an update to the sample form.

Current operational documentation for this business procedure is found on the Qwest Wholesale Web Site at this URL: http://www.qwest.com/wholesale/cmp/changerequest.html.

-- January 19, 2005 Product Process CMP Meeting Discussion Peggy Esquibel-Reed/Qwest stated that there was an ad-hoc meeting on January 5th for the final review of the proposed changes to the form and CLEC concurrence was obtained. Peggy stated that AT&T has requested that a shorter comment cycle be given for this CR in order for the form to be implemented sooner. Peggy asked for CLEC concurrence for a Level 2 notice, which is a 7-day comment cycle. There was no opposition to a Level 2 notice. Jill Martain-Qwest stated that the Level 2 notice would be sent and noted that the status remains as Development.

January 5, 2005 Ad Hoc Meeting Minutes: Date: January 5, 2005 CR No & Title: PC101904-2 To Modify Change Request Form to Include ‘Impacts LSOG Forms’ Introduction of Attendees: Phyllis Burt-AT&T, Chris Terrell-AT&T, Jeff Sonnier-Sprint, Bonnie Johnson-Eschelon, Amanda Silva-VCI, Jennifer Arnold-TDS Metrocom, Kim Isaacs-Eschelon, Peggy Esquibel Reed-Qwest, Hank Martinez-Qwest, Randy Owen-Qwest, Anne Robberson-Qwest Conference Call Discussion: Peggy Esquibel Reed-Qwest stated that the purpose of the call was for final review of the Draft version 14 of the CMP CR Submittal Form and to discuss a shorter comment cycle, per the request of AT&T. Peggy Esquibel Reed-Qwest stated that the form is the same that has been discussed in previous calls and the December CMP Meeting. Peggy stated that the additions to the form include new areas for Form/Transaction/Process Impacted (IMA Only) for Order, LSR Activity, Pre-Order, and Post Order. Peggy asked if all was any opposition to the new form, version 14. Phyllis Burt-AT&T stated that AT&T was okay with the form. Jennifer Arnold-TDS Metrocom stated that TDS Metrocom was also okay with the form. Peggy Esquibel Reed-Qwest asked if everyone else was okay with the implementation of version 14. There were no additional comments or questions. Peggy Esquibel Reed-Qwest stated that it seems that all are in agreement that Qwest is to proceed with version 14 of the form. Peggy Esquibel Reed-Qwest stated that at the December CMP Meeting, AT&T asked if there could be a shorter comment cycle so this form could be implemented sooner and used, as it will be very helpful to the CLECs and to Qwest. Peggy asked if there was any opposition to a Level 2 notice being sent for a shorter comment cycle. There was no opposition brought forward. Peggy Esquibel Reed-Qwest stated that Qwest would obtain final concurrence to the Level 2 notice at the January CMP Meeting, and then the notice would go out for the implementation of the form, version 14. There were no additional questions or comments.

-- December 15, 2004 Product/Process CMP Meeting Discussion: Connie Winston-Qwest stated that the more information that is known and is agreed upon, the better. Connie stated that specific product’s would still be called out. Sharon Van Meter-AT&T asked if the form that will be implemented is the same form that was provided for the conference call Connie Winston-Qwest responded yes. Jill Martain- Qwest stated that the field for 'all' products would not be incorporated. Jill stated that the 45-day notice would be sent and at the end of the comment cycle, the CR will move to CLEC Test. Sharon Van Meter-AT&T stated that maybe the comment period could be shorter as this new form will be very helpful. Jill Martain-Qwest asked if the CLECs would like another ad hoc meeting prior to the 45-day notice being sent. Sharon Van Meter-AT&T responded yes and noted that on the ad hoc call, she will ask if all are agreeable to a shorter comment cycle. Jill Martain-Qwest stated that this CR would move to Development Status.

December 6, 2004 Emailed Qwest Response to Sharon Van Meter, AT&T: Sharon, Attached is the Qwest Response to PC101904-2 To Modify Change Request Form to Include 'Impacts LSOG Forms'. Thank you, Peggy Esquibel-Reed Qwest CMP CRPM

-- November 19, 2004 Meeting Minutes: Attendees: Sharon Van Meter-AT&T, Stephanie Prull-Eschelon, Kathy Stichter-Eschelon, Sue Wright-XO, Chris Terrell-AT&T, Nancy Saunders-Comcast, John Berard-Covad, Bonnie Johnson-Eschelon, Phyllis Burt-AT&T, Hank Martinez-Qwest, Anne Robberson-Qwest, Judy DeRosier-Qwest, Peggy Esquibel Reed-Qwest

Peggy Esquibel Reed-Qwest stated that the purpose of the meeting was to review the DRAFT CR Submittal Form that was emailed to Sharon at AT&T, which is the mock-up of the revised CR Form. Peggy stated that Qwest wanted to review and obtain input to make that we were headed in the right direction for the delivery of this request. Peggy Esquibel Reed-Qwest read the CRs description for the call participants. Peggy stated that the current version of the CR submission form is located on the Wholesale web site if the participants would like to pull it up and compare to the draft mock-up as we discuss the suggested changes. Peggy Esquibel Reed-Qwest stated that the draft version 14 has no changes until page 2 of the form. Peggy stated that the proposed changes are under the Area Impacted section and is so that the CR originator can provide as much information as you can. Peggy stated that the new information was derived from the LSOG Forms and are categorized by Pre Order, Order, Post Order, and LSR Activity. Peggy stated that the information is optional, as is the current information in the Area Impacted Section. Peggy stated that the CR originator would indicate any boxes that would be applicable to the request. Peggy stated that the section is optional but noted that the more information that is provided to Qwest, the less chance for problems down the road as far as what the request covered. Peggy then asked the call participants to review the draft mock-up and provide feedback. Sharon Van Meter-AT&T asked if all the impacted forms were under the new categories. Hank Martinez-Qwest responded yes. Sharon Van Meter-AT&T asked that if in the Products Impacted Section of the form, if they check LNP, can the form provide a pop-up list of all the applicable forms for LNP. Hank Martinez-Qwest stated that it would then become a more interactive form. Judy DeRosier-Qwest stated that MSWord does have the capability to do drop down’s but can then only pick one-at-a-time; it would be more complicated if more than one Pre Order item is impacted. Sharon Van Meter-AT&T stated that she was just wondering and to leave the request as a paper form for this CR. Stephanie Prull-Eschelon asked if Cancel should be with Post Order. Hank Martinez-Qwest stated that it should appear with Order and will be corrected. Sharon Van Meter-AT&T asked that the check box named Other be explained. Stephanie Prull-Eschelon asked if it would be used if the CR originator was proposing a new form. Hank Martinez-Qwest said yes. CLEC Community stated to keep Other as a check box. Phyllis Burt-AT&T stated that she liked the draft form. John Berard-Covad stated that Liz (Balvin-Covad) had a suggestion for him to bring forward. John stated that Liz would like to see a check box for all forms below. Hank Martinez-Qwest stated that the designation of All has created problems in the past and that Qwest was moving away from the global designation of All. Hank stated that in the submission of a CR, there is thought and clarity that is needed so the request can be as complete as it can and not be subject to interpretation of ‘All’. John Berard-Covad asked if the forms listed in the draft CR form are the Industry forms. Hank Martinez-Qwest responded yes. Stephanie Prull-Eschelon asked if the originator can select only an order form or if needs to select a form and product(s). Hank Martinez-Qwest stated that the current process would not change of selecting the impacted areas, including the form and products. Stephanie Prull-Eschelon asked that if the End User form is selected and it has a potential to impact all products, can Qwest provide an LOE for the specified product and an LOE for all products that would be applicable for the End User Form. Hank Martinez-Qwest stated that this can be cumbersome but if that would be beneficial to the CLECs and to Qwest, Qwest can look into doing that. Bonnie Johnson-Eschelon stated that was the real intent of this CR. Hank Martinez-Qwest stated that the CR was driving to include the forms and not the products. Stephanie Prull-Eschelon stated that the CLECs want to provide Qwest with as much information as they can and would like an LOE for the specific product checked, and an LOE for all products that would be applicable for the specified form. Bonnie Johnson-Eschelon stated that in the Products part of the form, they want the option to check all products for the form, or to check the specific product(s). Hank Martinez-Qwest stated that we may all be speaking of the same thing and the question is how to display it on the form. Hank stated that for example, Port Service can be several forms and sub sets of products. Qwest needs to know if the request is for all in the subset or maybe just part of the subset. Hank stated that the Clarification Call helps drive that discussion. Stephanie Prull-Eschelon stated for example, in the Order section, the form can have a check box for all products and if that All box is not checked, Qwest would then know to look in the Products section. Hank Martinez-Qwest stated that it would be very helpful that if a form is selected in the Order Section, that a selection be made in the LSR Activity section. Stephanie Prull-Eschelon and Sharon Van Meter-AT&T stated that LSR Activity would be helpful. Hank Martinez-Qwest stated that the CR originator should populate the impacted form and the impacted products, to determine the scope of the CR. Bonnie Johnson-Eschelon stated that the CLECs want, in the impacted products sections, a check box for all products for the specified Form. Hank Martinez-Qwest stated that LSR Activity is also important. Bonnie Johnson-Eschelon stated that the CLECs do not want Qwest to reinvent the wheel but do want all products if there would be no substantial difference to the LOE. Bonnie stated that the CLECs need to get a clear understanding of what Qwest is doing. Bonnie Johnson-Eschelon stated that a check box for All may not be wanted for LSR Activity. Stephanie Prull-Eschelon stated that the all check box needs to be in the product list, not below Pre-Order, Order, Post Order, or LSR Activity. Sharon Van Meter-AT&T and Phyllis Burt-AT&T agreed. Stephanie Prull-Eschelon asked if Qwest only relates products to Order and maybe Pre-Order. Hank Martinez-Qwest stated for Order only. Hank stated that Pre Order and Post Order are product independent. Bonnie Johnson-Eschelon stated that in the Impacted Products sections, the All check box needs to clearly state that it applies to Order Forms only. Hank Martinez-Qwest asked if the CLECs Community likes the areas of Pre-Order, Order, Post Order, and LSR Activity. Stephanie Prull-Eschelon stated yes and noted that the check box for Cancel needed to be moved. Stephanie Prull-Eschelon stated that an All check box needs to be in the Product section. There were no other questions or comments. Peggy Esquibel Reed-Qwest stated that Qwest would consider the suggested changes and provide a response or status prior to the December CMP Meeting.

-- November 17, 2004 Product Process CMP Meeting Discussion: Sharon Van Meter – ATT presented the CR. Sharon reviewed the CR description and advised that ATT’s expected deliverable is to identify the specific LSOG forms on the CR form. Sharon advised there is a meeting on Friday to review the CR form. This CR will move to Presented Status.

Time/Date: Place: Conference Call-In No.: CR No.:CLEC Change Request Clarification Meeting

2:00 p.m. (MT) / Monday November 1, 2004

1-877-521-8688 1456160# PC101904-2 To Modify Change Request Form to include Impacts LSOG Forms Attendees Attended Conference Call Name/Company: Kim Isaacs, Eschelon Stephanie Prull, AT&T Phyllis Burt, AT&T Sharon Van Meter, AT&T Rosalin Davis, MCI Jim Recker, Qwest Randy Owen, Qwest Connie Winston, Qwest Cindy Macy, Qwest Doug Andreen, Qwest Title:

Meeting Agenda: Action 1.0 Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed. 2.0 Review Requested (Description of) Change This was a combined clarification call for two AT&T CRs. PC101904-1 was covered first. Then Sharon Van Meter read and reviewed this CR. This CR requests that all of the LSOG forms be placed in the Product Impacted section of the CR rather than focusing on a particular product. Doug verified that what AT&T is requesting is that the LSOG forms be placed on the Change Request Form so the CLECs can fill out what forms are affected when submitting a request. Phyllis answered yes and that the CLECs hoped this would be helpful for Qwest to see the request at the form level. Stephanie Prull said this can be used as a limiting tool since for instance there are fifteen products on the Resale form. Randy Owen asked how that would have helped the TN SANO issue. Phyllis felt this was done piecemeal and that products kept getting added when it probably would have been easier to do all at once. Stephanie added that this is an attempt to give all the information at once and then determine (if the LOE is too high for instance) if we need to piecemeal. Phyllis asked if the LOE would be lower to implement all at once. Randy responded that in some cases yes but probably not always. It depends on the scope of the request and the release pattern and would have to be evaluated on a case by case basis. There were no further questions. 3.0 Confirm Areas & Products Impacted Potentially all products 4.0 Confirm Right Personnel Involved Correct personnel were involved in the meeting.

5.0 Identify/Confirm CLEC’s Expectation To add LSOG forms to Change Request Form 6.0 Identify any Dependent Systems Change Requests None 7.0 Establish Action Plan (Resolution Time Frame) The CR will be presented at the November CMP meeting.


CenturyLink Response

December 3, 2004

RESPONSE For Review by CLEC Community and Discussion at the December 15, 2004, CMP Product/Process Meeting

Sharon Van Meter AT&T

SUBJECT: AT&T’s Change Request Response - CR #PC101904-2

This is in response to the AT&T submitted CR PC101904-2. This CR requests a Modification to the existing CMP CR submittal form to include the impacted LSOG forms.

A clarification call was held on 11/01/04 to discuss the request and a subsequent meeting was held on 11/19/04 with AT&T and members of the CLEC Community.

Qwest accepts this CR. Qwest will modify the CMP CR submittal form to include the impacted LSOG forms in four new areas of the CMP CR submittal form. The four new areas are categorized as Order, LSR Activity, Pre-Order, and Post-Order. The LSOG Form names will be listed under the appropriate category.

Qwest will provide a status update of the work to implement this CR at the December CMP meeting.

Sincerely,

Qwest


Open Product/Process CR PC101904-1 Detail

 
Title: Modify Release Commitment Deliverables
CR Number Current Status
Date
Area Impacted Products Impacted

PC101904-1 Denied
12/15/2004
Other systems include: IMA EDI GUI, Mediacc
Originator: Van Meter, Sharon
Originator Company Name: AT&T
Owner: Owen, Randy
Director:
CR PM: Harlan, Cindy

Description Of Change

Section 5.2.3 (Design)of the CMP document states, “ Qwest engineers define the architectural and code changes required to complete the work associated with each candidate. The design work is completed on the candidates, which have been packaged. In 5.2.4 of the CMP document it states: Commitment- After design, Qwest will present a commitment list of CRs that can be implemented. Qwest will provide an updated LOE for each candidate and the estimated total capacity of the Release. These candidates become the committed candidates for the release. When Qwest presents the Release Commitment list at CMP, AT&T would like Qwest to also present a detailed summary of HOW the CR is going to be developed and delivered based on the design work completed on the candidates. By revealing this information, CLECs can obtain a better understanding of the scope and the limitation of the expected deliverable in order to make the necessary business decision based on the upcoming releases. It also gives Qwest and CLECs a final opportunity to make any additional comments/clarification s to eliminate any surprises at delivery.

Expected Deliverable:

Qwest will modify it’s commitment deliverables by communicating to the forum, exactly how systems change requests are going to be developed and delivered.


Status History

10/19/04 CR Received

10/21/04 CR Acknowledged

10/25/05 - Contacted ATT to schedule clarification call. ATT advised they may revised the CR description and we should wait to hold the clarification call until then.

11/1/04 - Held Clarification Meeting

11/17/04 - November CMP Meeting minutes will be posted to the database

12/7/04 - Qwest Response emailed to AT&T

1/6/05 - Sent email to ATT - At the last CMP meeting you asked Qwest to update the denial response to state that 'there is no Qwest demonstrable business benefit', as there is a benefit to the CLEC. Qwest does not believe that we need to add the statement to the denial reason as we do believe and understand if the CLEC issued the CR that the CLEC believes there is a benefit to them. We are also unable to change denial reasons as they are part of the CMP guidelines. I will add this email note to the project status section of the CR. ATT requested the information be added to the project that they believe there is benefit to ATT, but not Qwest.


Project Meetings

December CMP Meeting Minutes

Connie Winston – Qwest recapped that this request is asking for additional CR development information earlier in the process. Connie advised that we do not have additional information or clarity before the Release Walk Through. Qwest has made some assumptions in the past at the walkthrough meetings. Qwest will work to add more clarification and discuss assumptions at the walk through meetings. Jill Martain – Qwest added that we are now also reviewing the spreadsheet of products at the Clarification calls which helps Qwest obtain additional clarity. Jill advised we will be updating the CR form also per the CR request PC101904-2. Liz Balvin – Covad advised the CLECs are trying to avoid getting to far down the path and have CLECs expecting one thing and Qwest going another direction. Liz asked if Qwest has considered publishing a draft version of the Walkthrough document sooner. (Insert comment from Eschelon) Connie stated that Qwest doesn’t believe that providing draft version of the walk through would help the issue. (End comment) Connie advised that being more clear at the Clarification meetings will help Qwest and if we find that we need more clarification we will bring it to the CLEC Communities attention. For example, Qwest found an issue on the Parse and Structure CR and brought this to CMP to further define. Liz Balvin – Covad asked if Qwest is concerned about the CLECs bringing forth too many changes. Connie advised no. Qwest believes it would be a repeat of the Clarification call. Liz Balvin – Covad said at the clarification meeting CLECs only understand what they expect the changes need to be and it is not until Qwest publishes the draft specs that CLECs may identify issues. Connie agreed that is true and that is the 73-day time frame that Qwest provides. Connie said that Qwest doesn’t believe we are missing a lot of items and we need to be more stringent around bringing our assumptions forward. Sharon Van Meter – ATT would like us to change the denial to reflect ‘no demonstrable Qwest business benefit’ (insert comment from Eschelon) instead of no demonstrable benefit because the CLECs believe that there is a benefit to this CR. Jill said this CR will move to Denial Status.

December 7, 2004 Email Sent to Sharon Van Meter,AT&T: Sharon, I have attached a copy of the Qwest Response for your submitted CMP CR, PC101904-1 Modify Release Commitment Deliverables. The CR will be included in the Distribution Package for the December Product/Process Meeting, scheduled for December 15th. Thank you, Peggy Esquibel-Reed Qwest CMP CRPM

-- 11/17/04 November meeting minutes Sharon Van Meter – ATT presented the CR. Sharon reviewed the CR description and read sections 5.2.3 and 5.2.4 from the CMP Document. Sharon explained their expected deliverable is to have Qwest provide additional information up front instead of later in the process. Stephanie Prull – Eschelon explained that the LNP UBL TN/SANO issue is an example of what they are trying to improve with this process. Stephanie advised that if we would have received more information sooner and discussed this in more detail it would have helped us react earlier. This CR will move to Presented Status.

Clarification Call PC101904-1 Modify Release Commitment Deliverables November 1, 2004 2:00- 3:00 MT

In Attendance: Roslyn Davis – MCI Sharon VanMeter – ATT Phyllis Burt – ATT Kim Isaacs – Eschelon Cindy Macy – Qwest Doug Andreen – Qwest Connie Winston – Qwest Jim Recker – Qwest Randy Owen – Qwest Stephanie Prull - Eschelon

The purpose of this meeting is to review the CR and ensure Qwest understands the CLECs expectations.

Phyllis and Sharon – ATT reviewed the CR. ATT explained that they need something that helps the CLECs understand the scope and limitations of the CR more clearly and earlier on in the process. The Disclosure Document provides us with much of this information but it is needed earlier on in the process.

Eschelon provided the example of TN and SANO. When this was deployed they didn’t realize it was only for certain products. We need to understand the limitations, differences or exceptions.

Cindy Macy – Qwest asked what would help the CLECs understand this. Is it another meeting, or documentation, more information on edits? Sharon – ATT advised that maybe a meeting to review the documentation earlier in the cycle would help. Sharon – ATT advised that the CLEC Walkthrough doesn’t provide enough information.

Stephanie advised that we have special walkthrough on specific CRs if the CLECs feel like they need it. Ones that are more complicated generally. Maybe we should do this more often.

Randy Owen – Qwest asked if we are trying to build a process around exceptions. Stephanie Prull – Eschelon advised scope issues happen quite often.

Stephanie advised that today we get the information 45 days prior to implementation (final disclosure). The walkthrough is day 68-58 generally. Stephanie said that if we have only 2 releases a year maybe we could adjust the dates.

Randy Owen – Qwest advised he understands the CLECs request and we will review the issue. Cindy Macy – Qwest advised that this CR would be presented at the November CMP meeting by ATT. Qwest will provide a response at the December meeting.


CenturyLink Response

December 8, 2004

For Review by CLEC Community and Discussion at the December 2004 CMP Meeting

Sharon Van Meter AT&T

SUBJECT: Qwest’s Change Request Revised Response - PC101904-1 "Modify Release Commitment Deliverables"

This document is a response to AT&T’s PC101904-1 "Modify Release Commitment Deliverables."

AT&T requests that Qwest present at the CMP release commitment : "a detailed summary of HOW the CR is going to be developed and delivered based on the design work completed on the candidates. By revealing this information, CLECs can obtain a better understanding of the scope and the limitation of the expected deliverable. It also gives Qwest and CLECs a final opportunity to make any additional comments/clarifications to eliminate any surprises at delivery."

A clarification call was held on 11/01/04 to discuss the request. AT&T is requesting at the CMP Scope commitment a detailed analysis of the means and requirements of delivery. AT&T is asking for detailed requirements that Qwest provides as part of its IMA EDI Draft Disclosure publication and walkthrough. It should be noted that scope commitment occurs five weeks prior to Qwest publication of IMA EDI Draft Disclosure documentation, or 108 days prior to the release date. Initial Draft Disclosure documentation publication occurs 73 days prior to the implementation. Therefore, in effect, AT&T is requesting detailed documentation about the scope of changes for a candidate 35 days prior to current CMP commitments.

Qwest is already addressing some of the concerns brought forward by this CR. During the Clarification Calls on System CRs, Qwest now discusses more detailed information to identify and understand the specific product, activity type and request type. Qwest also is working on enhancing the CR form (via another CR,) which will allow for additional detail and specifications to be identified earlier in the process. The intent of these changes is to gather additional data earlier in the process and allow for a more detailed discussion of the change.

Currently, Qwest provides a complete a set of documentation at IMA EDI Draft Disclosure publication and the walkthrough. This should, however, be considered a Draft version. Changes do occur between publication of the Draft and the Final (at day 45). To provide the documentation any earlier than the Draft Disclosure point in the timeline would actually provide less value as many issues are addressed between scope commitment and publication of the Draft Disclosure. Qwest believes that the timeline of 73 days prior to release is the optimal point for publication of the documentation, providing for both a large window for the fielding of questions and concerns and a relatively stable set of documents. And, at this point in the timeline, Qwest believes that it publishes technical specifications that address both the business requirements (WHAT the candidate changes do) and the systems requirements (HOW Qwest will deliver it) for the candidate and the release.

AT&T also requested additional meetings to be held earlier in the process to discuss the CR. Qwest would not have additional information to provide to the CLECs earlier in the process and additional meetings would take time away from the resources working on the CR, thus delaying the progress and delivery of the Disclosure Documentation walkthrough.

When circumstances come about as a normal part of trial and testing during the release week, Qwest adheres to its standard process and protocols around notifying of the issue, and works quickly and with the CLECs to resolve it.

Therefore, Qwest is denying this request as providing no demonstrable business benefit.

Sincerely, Connie Winston Director, Information Technology, Qwest


Open Product/Process CR PC112904-1 Detail

 
Title: Rate Quotes and Number Referrals from Qwest Operator Services
CR Number Current Status
Date
Area Impacted Products Impacted

PC112904-1 Completed
7/20/2005
Operator Services
Originator: Van Meter, Sharon
Originator Company Name: AT&T
Owner: Trees, Anne
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

AT&T requested, from our local Service Management Team, the current process for an AT&T Local Services customer to request a rate quote and/or number referral. This was the answer: I checked with our process and product folks on this, and at this point, Qwest is providing an "approximate" charge based on Qwest rates. If you would like to pursue having this process changed to either "quote the rates" or change our response to refer the customers back to their local telephone company for the OS Services (local card, operator), I'd recommend that you open this through the CMP Process.

AT&T is requesting that Qwest change its process to allow a CLEC to choose the response for quoting rates and/or referring an AT&T Local customer to the appropriate phone number. The response might include a rate quote provided by AT&T for its rates or a referral to an 800# provided by AT&T Local Services.


Status History

11/29/04 - CR Submitted

11/29/04 - AT&T Provided Clarification Call Availability

12/01/04 - CR Acknowledged

12/6/04 - Clarification Scheduled for December 14, 2004, based on CR originator's availability.

12/9/04 - Clarification Meeting Held. See Project Meetings Section for Meeting Minutes.

12/15/04 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/19/2005 - Discussed in the January Product Process Monthly CMP Meeting

02/16/2005 - Discussed in the February Product Process Monthly CMP Meeting

03/16/2005 - Discussed in the Monthly Product/Process CMP Meeting

04/19/2005 - PROS.04.19.05.F.02827.NewQuestionnairesV16 (Level 3)

04/19/2005 - PROD.04.19.05.F.02833.Operator_Services_V15 (Level 3)

04/20/2005 - Discussed in the Monthly Product/Process CMP Meeting

05/12/2005 - PROD.05.13.05.F.FNL_Operator_Services_V15 (Level 3)

05/18/2005 - Discussed in the Monthly Product Process CMP Meeting

05/19/2005 - PROS.05.19.05.F.02906.FNL_NewCustQuestionV16 (Level 3)

06/15/2005 - Discussed in the Monthly Product Process CMP Meeting

07/20/2005 - Discussed in the Monthly Product Process CMP Meeting


Project Meetings

July 20, 2005 Monthly Product Process CMP Meeting discussion: Jill Martain-Qwest stated that this request was effective on June 8, 2005 and asked if the CR could be closed. Sharon Van Meter-AT&T said that the CR could be closed.

- June 15, 2005 Monthly Product Process CMP Meeting discussion: Jill Martain-Qwest stated that this was effective on June 3, 2005 and would like to move to CLEC Test. This CR is now in CLEC Test.

May 18, 2005 Monthly Product Process CMP Meeting discussion: Jill Martain-Qwest stated that the notices had been sent and that the proposed effective date is June 3, 2005. Sharon Van Meter-AT&T asked that once this is effective, if the Questionnaires needed to be updated before they could use this new process. Peggy Esquibel Reed-Qwest responded yes. This CR remains in Development status.

April 20, 2005 Product Process CMP Meeting Discussion: Peggy Esquibel Reed-Qwest stated that notices were sent on April 19th for the PCAT changes, the OS Questionnaire and the New Customer Questionnaire and that the proposed effective date is on June 3rd. Peggy then noted that this CR would remain in Development status. Liz Balvin-Covad asked if they would be able to use them on the effective date. Peggy Esquibel Reed-Qwest stated yes.

-- March 22, 2005 Adhoc Meeting Attendees: Sharon Van Meter - AT&T, Carol Kearney - AT&T, Anne Trees - Qwest, Elizabeth Hamilton - Qwest, Marty Cruze - Qwest, Lynn Stecklein - Qwest

Lynn Stecklein - Qwest stated that a request was made by AT&T in the March CMP Meeting that Qwest schedule an adhoc meeting to discuss the proposed changes to the PCAT and the Questionnaire. Sharon Van Meter - AT&T provided the history of this CR for Carol Kearney (AT&T). Anne Trees - Qwest stated that the Qwest solution is that in most cases we will be able to provide a rate quote to the Customer. Carol Kearney - AT&T asked if Qwest considered the number referral. Anne Trees - Qwest said that we did not due to some limitations associated with the number referral. Carol Kearney - AT&T asked if Qwest will be able to identify the AT&T Customer. Anne Trees - Qwest said that we will be able to identify the Customer. Carol Kearney - AT&T asked if this feature will be available for all Customers or just AT&T Anne Trees - Qwest stated that this feature will be available for any CLEC. Carol Kearney - AT&T stated that AT&T Management has placed a freeze on rate increases. She asked what rate does the Operator quote if rates are not provided. Anne Trees - Qwest said that the rate quote defaults to the Qwest rate. Carol Kearney - AT&T said that she hopes the rates are close and said that she needs to go back to her Management Team to determine what rates AT&T will provide. Anne Trees - Qwest stated that if AT&T chooses not to provide rates, we will quote Qwest rates. Anne said that is up to AT&T but that the vehicle will be there. Anne said that the Customer will provide the rate information on the DA Questionnaire. Carol Kearney - AT&T asked if there was a charge for this feature. Anne Trees - Qwest said that there is no charge. Carol Kearney - AT&T asked how long would it take for Qwest to begin quoting the rates they provide. Elizabeth Hamilton - Qwest said that the turnaround time is approximately four weeks. Sharon Van Meter - AT&T said that Qwest only chose to quote the rates and asked if it might be possible to refer the Customer back to the 800 number. Anne Trees - Qwest stated that we did not pursue due to system limitations and that one percent of Customers ask for a rate quote. Anne said that rate quotes are available in Arizona, Colorado, Washington, Oregon, New Mexico, Idaho, and Utah. Anne said that this feature is not availble in Montana, Iowa, Nebraska, Minnesota, Wyoming and South Dakota. She said that the information will be provided by OCN and State. Anne also said that if the Customer's rates change, the Questionnaire needs to be updated. Anne asked if AT&T was Facility Based. Sharon Van Meter - AT&T said that she was not sure. Elizabeth Hamilton - Qwest stated that Facility Based and UNE are both treated by OCN and with the same rates. Sharon Van Meter - AT&T asked if there will be links letting them know where to find information for this feature. Elizabeth Hamilton - Qwest said yes. Sharon Van Meter - AT&T asked if Qwest could include which PCAT and where in the PCAT this information can be found. Anne Trees - Qwest said that the update will be in the Operator Services PCAT under Optional Features. Marty Cruze - Qwest asked if/when there are OSPS conversions does the PCAT need to be updated. Anne Trees - Qwest said yes and that we will be working towards getting the other States functional. Carol Kearney - AT&T asked when this feature will be functional. Anne Trees - Qwest said that we are currently working on getting the PCAT and Questionairre updated and should be functional by the end of April. Sharon Van Meter - AT&T asked what Level of Notification will be sent. Anne Trees - Qwest said that a Level 3 Notification will be sent. Sharon Van Meter - AT&T explained the comment cycle to Carol Kearney (AT&T). Carol Kearney - AT&T asked if this applies to DA rates and what does Qwest quote today. Anne Trees - Qwest said that the Questionnaire includes DA and that they can change the DA rate. Anne said that Qwest quotes the Qwest DA rate today. There were no other questions.

March 16, 2005 Product Process CMP Meeting Discussion: Peggy Esquibel Reed-Qwest stated that Qwest was still working on the PCAT updates and the updates to the OS Questionnaire and that the CR remains in Development status. Sharon Van Meter-AT&T requested that another call be scheduled once the process has been determined and prior to the PCAT updates going into effect. Peggy Esquibel Reed-Qwest agreed to schedule the call with AT&T. This CR remains in Development Status.

- February 16, 2005 Product Process CMP Meeting Discussion: Peggy Esquibel Reed-Qwest stated that we can provide the functionality in the Central and Western regions and will move forward in the updating of the PCAT and the OS/DA questionnaire, with the appropriate notices. Peggy stated that in the Eastern region, this is technically not possible due to the equipment in that region. This CR moves to Development status.

-- January 19, 2005 Discussed in the January Product Process Monthly CMP Meeting Peggy Esquibel-Reed/Qwest stated that the Clarification Meeting was held in December and that internal meetings are continuing in order to discuss this request. Peggy stated that Qwest would like to move this CR to Evaluation Status and that a status would be provided in the February CMP Meeting. Sharon Van Meter/AT&T asked if there was any status at all. Susie Bliss/Qwest stated that this request is looking expensive and noted that we are continuing to look at options. Susie stated that new technology would be needed for this request as it is very complex. Bonnie Johnson/Eschelon stated that she sees an economically not feasible denial coming. Jill Martain/Qwest stated that this CR moves to Evaluation Status.

-- December 15, 2004 Product/Process CMP Meeting Discussion: Sharon Van Meter-AT&T presented the CR and stated that the Clarification call had been held. Sharon stated that if the calling party asks for the rate to interrupt a line or to do a busy line verify, that Qwest may quote the rate or refer the caller to their local company. Sharon stated that Qwest has stated that the cost for a local collect call or for alternately billed calls cannot be provided. Jill Martain-Qwest asked if there were any questions or comments. Liz Balvin-Covad stated that she thought it was Qwest’s policy to refer the end user because Qwest can identify if is a CLEC customer. Sharon Van Meter-AT&T stated that if the CLEC is Facility Based, Qwest can identify if the caller is a non-Qwest customer. Sharon stated that they do not want Qwest rates quoted and that this process cannot be across the board, it needs to be each CLECs option. Susie Bliss-Qwest asked if this information was discussed at the Clarification call. Sharon Van Meter-AT&T stated yes.

December 9, 2004 Clarification Meeting Minutes Attendees: Sharon Van Meter-AT&T, Peggy Esquibel Reed-Qwest, Anne Trees-Qwest, Carolyn Vance-Qwest

Review Requested CR Description: Peggy Esquibel-Reed-Qwest reviewed the CR Title, Number, and Description. Peggy Esquibel-Reed-Qwest confirmed the Product impacted is Operator Services. Sharon Van Meter-AT&T stated that she issued the CR as a result of her Service Managers recommendation. Sharon asked what Qwest does when AT&T Local dials 0 and requests a rate quote for a local collect call, calling card call, busy line verify, interrupt a line, or if the operator completes the call. Anne Trees-Qwest stated that if an AT&T end user dials 0 and asks for the cost for the person that the call is being billed to, that person may not be an AT&T end user customer. Sharon Van Meter-AT&T stated that was correct. Anne Trees-Qwest stated that the originator is billed if the call is not alternately billed and Qwest normally quotes Qwest rates. Sharon Van Meter-AT&T stated that AT&T wants the operator to refer the person requesting the rate quote to their local company and to give the requestor the local provider telephone number; or for the operator to quote the local provider's rate. Sharon stated that the option needs to be the CLECs choice as some CLECs do want Qwest rates quoted. Anne Trees-Qwest asked if AT&T was re-rating the calls and noted that Qwest currently only quotes Qwest rates because Qwest only knows Qwest rates. Sharon Van Meter-AT&T stated that if the Qwest rate is $1.00 and AT&Ts rate is $1.50, the operator needs to say that the AT&T rate is $1.50. Anne Trees-Qwest asked to confirm that AT&T would then bill their end user at Qwest's rate. Sharon Van Meter-AT&T responded yes. Sharon stated that if AT&T wants Qwest to quote a rate, AT&T would bill whatever that quoted rate is. Anne Trees-Qwest asked to confirm that this request is for busy line verify or busy line interrupt and is not for alternately billed clls. Sharon Van Meter-AT&T stated that was correct. Sharon noted that if the request is for a rate quote to interrupt a line, Qwest should quote the AT&T rate and AT&T would bill the customer the amount of the quoted rate. Sharon stated that another solution would be that the Qwest operator could refer the caller to their local provider, or could refer the caller to the local provider's telephone number. Sharon stated that AT&T does not want Qwest rates quoted to the CLECs customer. Anne Trees-Qwest stated that Qwest does not maintain other companies rates and stated that this request is not for alternately billed calls. Anne again stated that this request would cover busy line verify or busy line interrupt, operator assisted calls. Anne stated that if the request is for the cost of a collect call, Qwest quotes Qwest rates. Sharon Van Meter-AT&T stated that that would be an alternaltely billed call and Qwest rates would be quoted. Sharon stated that all are in agreement. Sharon stated that she understands that the request is not for alternatley billed calls. Sharon Van Meter-AT&T asked if the Qwest operator can tell if the caller is an AT&T customer. Anne Trees-Qwest stated that the term AT&T customer is perplexing and stated that it could mean AT&T local customer, QPP, Facility Based with AT&T having their own switch. Anne stated that she needs to research to see if the operator can identify if the call is from an AT&T switch, if a reseller, or if UNE-P. Carolyn Vance-Qwest stated that if the call comes in from an ILEC or an IXC, we would know that the NPA NXX is not Qwest's. Carolyn stated that identification would also need to go down to the 10-digits and she does not know that an operator station can determine if the call is a CLEC call or can identify which CLEC. Anne Trees-Qwest stated that the request is dependant on if the NPA NXX owner can be identified. Anne stated that Qwest would do some research. Sharon Van Meter-AT&T asked if this request might be possible if Qwest can identify that the NPA NXX is not a Qwest customer. Anne Trees-Qwest stated that Qwest would discuss internally. There were no additional questions or comments. Peggy Esquibel-Reed-Qwest stated that Qwest would provide a status at the January CMP Meeting. The call was adjourned.

- December 6, 2004 Email Sent to AT&T: Sharon, I hope you had a great vacation. I have scheduled the Clarification Call for PC112904-1 Rate Quotes and Number Referrals from Qwest Operator Services. Call details are as follows: DATE: Tuesday, December 14, 2004 TIME: 9:00 am MT CALL IN: 1-877-564-8688, conference id of 8571927 Peggy Esquibel-Reed Qwest CMP CRPM


CenturyLink Response

Revised Response - February 16, 2005 This CR will be implemented for the Central and Western regions and will move forward in the updating of the PCAT and the OS/DA questionnaire. This CR will not be implemented in the Eastern region, due to technical limitations in the Eastern region equipment.

For Review by the CLEC Community and Discussion at the January 19, 2005 CMP Meeting

January 10, 2005

AT&T Sharon Van Meter

SUBJECT: CR # PC112904-1 Rate Quotes and Number Referrals from Qwest Operator Services

This letter is in response to AT&T’s Change Request (CR) PC112904-1 Rate Quotes and Number Referrals from Qwest Operator Services. This CR requests that Qwest change its process to allow CLECs to choose the response that Qwest Operators state when quoting charges to any other local service company customer. AT&T requests that this process be an option that each CLEC may choose or not choose to utilize.

Qwest would like to leave this CR in evaluation status as it needs to continue to look at the existing process. Qwest will provide an updated response at the February CMP meeting. Qwest will move this CR to Evaluation status.

Sincerely,

Anne Trees, Sr. Process Analyst Qwest Communications


Open Product/Process CR PC020705-1 Detail

 
Title: Buried Service Wire Process Change
CR Number Current Status
Date
Area Impacted Products Impacted

PC020705-1 Denied
7/20/2005
Provisioning NA
Originator: Van Meter, Sharon
Originator Company Name: AT&T
Owner: Rehm, Peggy
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

AT&T very rarely knows when Buried Service Wire is needed. When Qwest determines that the service is needed, Qwest needs confirmation that AT&T will pay for the Buried Service Wire fee. Today Qwest sometimes notifies AT&T via a jeopardy, on the due date, that Buried Service Wire is needed. Notifying AT&T on the due date is a big dis-satisfier for the AT&T customer as they are expecting the service to be delivered on the due date. Sometimes Qwest completes the service without notifying AT&T that the service is needed – which is a good thing for the customer. AT&T is looking for Qwest to develop a process to notify CLECs, on the customer due date, that Buried Service Wire is needed and allow the CLEC to accept the charges while the technician is still on the customer’s site.

Expected Deliverable:

AT&T expects Qwest to develop and implement a process for CLECs to accept the Buried Service Wire fee while the outside technician is still at the customer premises.


Status History

02/07/2005 - CR Submitted

02/08/2005 - CR Acknowledged

02/09/2005 - Clarification Meeting Scheduled for February 14, 2005.

02/16/2005 - Discussed in the February Product Process Monthly CMP Meeting, as a walk-on request.

03/16/2005 - Discussed in the Monthly Product/Process CMP Meeting

04/20/2005 - Discussed in the Monthly Product/Process CMP Meeting

05/18/2005 - Discussed in the Monthly Product Process CMP Meeting

05/24/2005 - CMPR.05.24.05.F.02951.BuriedSvcWire_AdHocMtg (scheduled for June 1st)

06/01/2005 - Ad Hoc Meeting Held

06/15/2005 - Discussed in the Monthly Product Process CMP Meeting

07/20/2005 - Discussed in the Monthly Product Process CMP Meeting


Project Meetings

July 20, 2005 Monthly Product Process CMP Meeting discussion: Chris Viveros-Qwest advised that Qwest investigated this CR and found that there would be multiple processes to put in place. He said that there is a low volume so it is not economically feasible to work this request. Sharon Van Meter-AT&T said that she is very disappointed with the denial. Sharon asked what they are supposed to do if they have a problem with the process. She asked if they are supposed to work with their Service Managers and said that they need a clear direction for the future. Chris Viveros-Qwest stated that the CLECs should work with their Service Managers and that we will make sure that process will happen. Sharon Van Meter-AT&T said that when this issue was talked about in the adhoc meetings the only problem was the authorization for payment. She said that they wanted Qwest to call for authorization and then was told that wasn’t the problem. She said that then they talked about the fact that it takes too many resources to reschedule the process and that they needed to work with their Service Managers and escalate if appropriate. Chris Viveros-Qwest said that he was not clear regarding the gaps in the current process. Laurie Frederickson-Integra asked if the Engineer is contacted to get an estimate. Chris Viveros-Qwest said that the existing process is to schedule an Engineer to go look at the work that needs to be done and then provide the estimate. Bonnie Johnson-Eschelon asked if there was any room for improvement in the process because AT&T is struggling. She said that maybe the documentation needs to be looked at. Sharon Van Meter-AT&T said that this doesn’t always happen and that it may just be a training issue or a documentation issue. She said that she will go back and talk with her people. Bonnie Johnson-Eschelon asked if a jeopardy happens on the due date, doesn’t Qwest call the CLEC, and why couldn’t this happen during the call. Chris Viveros-Qwest advised that originally we thought we were just talking about authorization but that wasn’t the case. He said it is also about displacing the jeopardy process which is currently used for gaining authorization for payment, doing the work, billing and rescheduling the work. Sharon Van Meter-AT&T said that this is an administrative issue and they don’t have any way to reschedule. Laurie Frederickson-Integra asked if this was for buried or aerial. Chris Viveros-Qwest said that this is specific to buried Laurie Frederickson-Integra said that on aerial the tester will call on the due date and that they will do it on that day. Sharon Van Meter-AT&T said that the subsequent order to bury can’t happen because the customer order would be completed. Laurie Frederickson-Integra said that the jeop is not completed. Jill Martain-Qwest stated that this CR will be closed in denied status and if the CLECs run into any problems with this issue, they need to contact their Service Manager. Sharon Van Meter-AT&T said that she would like it on record that if the Service Manager requests that they submit a CR, she will not be happy.

-- June 15, 2005 Monthly Product Process CMP Meeting discussion: Jim Recker-Qwest stated that an ad hoc meeting had been held with the CLEC Community and that Qwest had asked for examples and information to help understand the volume. Jim stated that Qwest needs the data in order to identify the volume of orders that require Buried Service Wire. Jim noted that AT&T is looking for data. Sharon Van Meter-AT&T stated that information was sent to Qwest on June 8th and noted that examples had been previously provided. Sharon stated that historically, the volume for AT&T could be 4-6 per month. Sharon stated that the average is about 2 per month. Sharon stated that her June 8th email also asked if Qwest could complete the work but keep the order open until the subsequent work is performed. Jim Recker-Qwest stated that Qwest continues to discuss internally in order to identify a solution for this request. Jim stated that Qwest Retail also uses the existing process for Buried Service Wire. Jim stated that this CR remains in Evaluation status for further analysis. Sharon Van Meter-AT&T stated that if Qwest cannot accommodate to call AT&T when the technician is at the premise and needs to reschedule, then AT&T requests that the process be simplified. Sharon stated that the scheduling of the subsequent work should be simpler. Jim Recker-Qwest stated that Qwest is looking at the current process and stated that a viable solution would also be helpful to Qwest. Jim stated that Qwest is working diligently to see what can be done. [Comment received from Eschelon: Jim stated that Qwest is working diligently to see what can be done but Qwest can’t get to the meat of how to do this]. Jim noted that Qwest understands AT&Ts problem and is looking to see if can a viable solution can be determined. Jim stated that a status would be provided in the July CMP Meeting. Jill Martain-Qwest stated that this CR remains in Evaluation status.

June 8, 2005 Email Received from AT&T: Peggy, AT&T would like Qwest to proceed with a solution for CR #PC020705-1. AT&T agrees that for the month of April 2005, there were no Buried Service Wire issues. However, historically, AT&T experiences an average of two Buried Service Wire issues a month. It is a big dissatifier for AT&T's customer when service is not provided on the expected due date for any reason, including Buried Service Wire issues. On the ad hoc call held last week, Qwest stated that costly internal process changes need to be made to satisfy AT&T's expectations for the CR. My understanding is that Qwest doesn't have any way to track the billing of the Buried Service Wire cost or the subsequent dispatch of the technician to complete the Buried Service Wire process once the original service order is completed. Is there some way to complete the work on the due date, hold the original order open until the subsequent work is completed and then complete the original order? When a due date is missed due to a Buried Service Wire issue, another dissatifier is rescheduling the due date for completion of the service. As Qwest considers a solution to the CR, please consider streamlining the process for rescheduling the original due date completion. Sharon Van Meter AT&T Western Region LSAM

June 1, 2005 Ad Hoc Meeting ATTENDEES: Sharon Van Meter-AT&T, Kim Isaacs-Eschelon, Rosalin Davis-MCI, Liz Balvin-Covad, Jim Recker-Qwest, Shirley Tallman-Qwest, Russ Urevig-Qwest, Alan Braegger, Lydell Peterson-Qwest, Laura Baird-Qwest, Chris Viveros-Qwest, Chris Quinn Struck-Qwest, Peggy Esquibel Reed-Qwest MEETING DISCUSSION: Peggy Esquibel Reed-Qwest stated that this call was scheduled at the request of AT&T. Chris Viveros-Qwest reviewed the CR and provided a high level background of what has occurred with this request and stated that he would like to better understand the driver of this request and discuss how the current process satisfies part of the request. Chris stated that we would like to gather any additional data that could help in determining a solution. Chris then asked Sharon Van Meter (AT&T) if the driver of the request is to eliminate delays in providing the end user service when there is a need for a buried service wire on the due date. Sharon Van Meter-AT&T said yes. Chris Viveros-Qwest stated that the difficulty has been that the scenario was talked about at the highest level. Chris stated that sometimes the technician can temporize the drop and the customer gets service, and sometimes there is a wait for a technician. Chris stated that this is a case of a new drop vs. reinforcing a drop. Chris stated that when a technician goes out on the due date and sees that a new drop is needed and needs to be buried, the technician will temporize a drop, as long as it can safely be dropped and does not lie across a driveway. Sharon Van Meter-AT&T asked to confirm that a new drop would be placed at the location as long as it is not unsafe. Chris Viveros-Qwest said yes and that it is at no charge. Chris stated that in this scenario, there is no issue in regard to payment authorization. Chris stated that the delay is when there is a need to place another drop or when reinforcing the existing drop. The current process is a resulting jeopardy and referral to an engineer. Chris stated that this could mean a site visit in order to determine if the current threshold has been exceeded. If it has been, Qwest would need authorization from the customer. Chris stated that this means that the service is not completed and in jeopardy status, and is referred for the drop to be buried. The order is then scheduled for the drop and the order gets completed. Sharon Van Meter-AT&T asked if the current service would remain but an additional drop would be needed. Chris Viveros-Qwest stated yes and the customer would have more than 1 line. Sharon Van Meter-AT&T asked if the engineer would look to get authorization for the drop. Chris Viveros-Qwest stated that the engineer needs to determine the estimated cost and if the cost is within the state specific threshold, Qwest would place the drop with no additional charge. If there is a cost, Qwest would bill as authorized. Chris stated that we need to come up with a way to get the work done and noted that the authorization of charges is not the real issue. Chris stated that we need to focus on what part of the current process needs to be changed and Qwest believes that a process change to get customer service on the due date would be a significant change. Chris stated that a new process would need to be developed to get the work completed. Chris then stated that we would need to consider the volume, benefit, and cost. Chris stated that Qwest analyzed April data and found no jeopardies due to this reason. Sharon Van Meter-AT&T stated that she was not involved in this issue in April or May. Chris Viveros-Qwest stated that a piece of this request is cared for in the existing process and that the rest would require significant changes and Qwest does not see the volume. Sharon Van Meter-AT&T stated that she agreed that AT&T did not provide all the facts and that this started with getting the technician authorization of charges. Chris Viveros-Qwest stated that the current process does not have the technician putting in additional drops, in this scenario. Chris stated that a new process would be needed to instruct the technician to do a new drop. Chris stated that this is service order driven, the service order would be in jeopardy, a referral would be needed to the technician, an estimate would need to be determined, the estimate would need to be given to the customer, billing would need to occur, and then the drop could be scheduled. Chris stated that to provide the customer service, there is no current process to get the drop buried. Chris then stated that the new process would not be driven by the original service order. Sharon Van Meter-AT&T asked if this would be an internal process to Qwest and the CLECs would not be involved because authorization was already given. Chris Viveros-Qwest stated that we would still have the same interface points and stated that if there was a charge, Qwest would expected the CLEC to pay the charge. Chris then stated that replacing the service order driven process with a new process is never easy or inexpensive. Chris stated that Qwest is struggling with justifying taking this work on when the volume or frequency does not support it. Sharon Van Meter-AT&T stated that she agreed that it is not frequent but noted that when it does happen, it causes AT&T a lot of grief and is a big dissatisfier. Chris Viveros-Qwest stated that Qwest Retail is also unhappy when this occurs. Sharon Van Meter-AT&T stated that she needs to check with her internal customer to discuss and stated that they would probably want Qwest to proceed with this request. Sharon said that she would see if this request should be pursued. Chris Viveros-Qwest stated that was fair. Sharon Van Meter-AT&T asked if any other CLECs were having problems. Liz Balvin-Covad asked Sharon what would be pursued if there was already an existing process. Sharon Van Meter-AT&T stated that when the installer finds no room on the pair, the order is placed in jeopardy status on the due date and authorization is needed for Qwest to lay another drop. Chris Viveros-Qwest clarified that when there is a need for an additional drop, the customer does not get the service, evaluation needs to be done, the buried service wire needs to be scheduled, and then the service to the customer needs to be rescheduled. Chris stated that a new drop would be placed, as long as it was safe, the customer would get service, and there would be an immediate referral to get the temporary drop buried. Liz Balvin-Covad asked if the new process was to make this happen on the due date and not jeopardize the order. Chris Viveros-Qwest said that was the request from AT&T and where Qwest is struggling to come up with a justification. Liz Balvin-Covad asked if on the due date is where the current process does not accommodate. Chris Viveros-Qwest stated that the issue is the delay in getting the end user service (Retail & Wholesale). Liz Balvin-Covad asked if this was only when a new drop is required. Chris Viveros-Qwest said when Qwest knows up-front there is already a process in place. Sharon Van Meter-AT&T stated that they will probably go forward with the request but needs to go back internally and give them the information that was provided on this call. Chris Viveros-Qwest stated that if AT&Ts decision is to proceed with the request, Qwest needs AT&T to identify the frequency because Qwest cannot find where this problem has occurred so it must be infrequent. Liz Balvin-Covad stated that this would benefit Retail as well because it would eliminate a 2nd dispatch. Chris Viveros-Qwest stated that the drop would be place, if it was safe to do so, and would still need to be buried. Chris stated that it would help to see if the benefit outweighs the cost. Sharon Van Meter-AT&T asked if there was another alternative to meet the customers due date. Chris Viveros-Qwest stated that we could not determine another solution. Shirley Tallman-Qwest stated any alteration to the current process would mean a change to that process and would be very expensive. Chris Viveros-Qwest stated that the driver is that we rely on the service order to get activities done and if the service order is completed, we no longer have the driver. Liz Balvin-Covad asked why there would be additional cost and asked if this could result in a 3rd dispatch. Liz stated that if we can get the service up and all were happy, it should mean 1 less dispatch. Liz stated that this would be positive for Wholesale and for Retail. Chris Viveros-Qwest stated that the additional cost is to provide service on the due date when a temporary drop is needed. To then bury the drop is additional cost for Retail and for Wholesale. Chris stated that each step up to the buried drop is triggered from the original service order. Liz Balvin-Covad asked that if the service order completion was rescheduled and the drop was then buried at that time, if there would there be additional cost in that scenario. Sharon Van Meter-AT&T stated that the service order is prompting Qwest to go to the location, and once the temporary drop is placed, the service order is completed and then there is no driver to get the drop buried. Chris Viveros-Qwest stated that to get the drop buried, there are additional steps that are needed. Liz Balvin-Covad asked if the additional cost is for the process to accommodate the trigger that gets the drop buried. Chris Viveros-Qwest stated that the additional cost is to find an alternate path for having the triggers occur and have an established process with the service order driving the steps. Liz Balvin-Covad stated that she did understand. Jim Recker-Qwest stated that the state tariffs drive the charges. Chris Viveros-Qwest stated that there could be instances where additional drops would result in charges. Sharon Van Meter-AT&T stated that AT&T is willing to accept charges to get the drops buried and thought the issue was regarding payment of the charges. Chris Viveros-Qwest stated there was that focus and that the first roadblock was authorization of payment, and then Qwest looked deeper into the process. Liz Balvin-Covad asked if Qwest did not charge for the first visit. Chris Viveros-Qwest said that was correct. Liz Balvin-Covad stated that she thought there was a double dispatch fee. Chris Viveros-Qwest said there was not. Sharon Van Meter-AT&T asked if they could issue a follow-up order to get the drop buried, so Qwest could do the work without messing-up the back-end systems. Chris Viveros-Qwest stated that he did not know if that would be viable and that timing could be an issue because he would wonder if the follow-up order could be executed in time to allow the technician to completed the work without leaving the premise. Liz Balvin-Covad stated that completing the service order would start the billing process. Chris Viveros-Qwest stated that if the process is changed to not put the order in jeopardy status, the service order would complete and then there is no way to bill for the buried service wire. Chris stated that a separate bill would be needed to bill for it and a process for curbing the steps. A second order from a CLEC would probably not alleviate the need for process changes and an alternative path might still be needed. Sharon Van Meter-AT&T asked that if there were no instances of volume, if Qwest would not do this request anyway. Chris Viveros-Qwest stated that Qwest is not willing to go to the expense if we cannot warrant the expense to the benefits. Sharon Van Meter-AT&T stated that she had no further questions. Chris Viveros-Qwest stated that we appreciated AT&T working through this with us to see if the volumes are there. Sharon Van Meter-AT&T asked in the analysis of the jeopardies, if both Retail and Wholesale were looked at and none were found. Russ Urevig-Qwest stated that he looked at jeopardies in IMA for the month of April. Russ stated that looking at AT&T jeopardies, he found none. Russ stated that he then looked at the next 2 highest CLECs and found none. He then spot checked the rest. Russ stated that there were 267 jeopardies in April. Russ stated that he could not check on the Retail side because he does not have access to their data. Sharon Van Meter-AT&T stated that she would take this back internally and see if AT&T wants to pursue this request. Liz Balvin-Covad stated that there was a post completion process implemented and asked if that process could accommodate what AT&T was looking for and stated that the billing would already have been kicked-off. Russ Urevig-Qwest stated that the order would have completed and any billing would not exist on the service order. Russ stated that we would have the same problem and that it could not be kicked out for review. There were no additional questions or comments. Peggy Esquibel Reed-Qwest stated that Qwest would wait for the email from AT&T to see if they wanted to pursue this request and noted that a status would be provided at the June CMP Meeting.

May 18, 2005 Monthly Product Process CMP Meeting discussion: Jill Martain-Qwest stated that Qwest is continuing to evaluate this request and would provide a status next month. Sharon Van Meter-AT&T questioned why there is still no status. Sharon said Qwest has not provided status for two or three months in a row. Jill Martain-Qwest stated that Qwest is still looking at options to potentially come to an agreement for a viable option. Jill noted that she was aware that there are items being discussed such as the current process and the billing or charges associated to Buried Service Wires. Jill stated that options are still being explored. Jim Recker-Qwest stated that a call could be scheduled to present AT&T with Qwest’s findings so far. Jim noted that internally there are questions that are still being discussed. [Comment from Eschelon: Jim said they thought Qwest had things covered but then more questions came up.] Sharon Van Meter-AT&T stated that her people are looking to her for status and that she needs to provide them with some information. Sharon stated that she would like a meeting fairly quickly. This CR remains in Evaluation status.

April 20, 2005 Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that Qwest was still evaluating this request and the status remains in Evaluation. Jill stated that there would be a status at the May CMP Meeting.

-- March 16, 2005 Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that Qwest is reviewing this request internally and more information would be provided at the April CMP Meeting. This CR moves to Evaluation status.

-- March 15, 2005 Ad Hoc Meeting: Attendees: Sharon Van Meter-AT&T, Bonnie Johnson-Eschelon, Kim Isaacs-Eschelon, David Balenger-AT&T, Jen Arnold-TDSMetroCom, Phyllis Sunins-Qwest, Russ Urevig-Qwest, Shirley Tallman-Qwest, Lydell Peterson-Qwest, Laura Baird-Qwest, Alan Braegger-Qwest, Peggy Esquibel Reed-Qwest

Peggy Esquibel Reed- Qwest stated that the purpose of this meeting was for additional discussion regarding the Buried Service Wire Process Change CR that was submitted by AT&T. Russ Urevig-Qwest stated that we wanted to discuss how to handle the buried service wire issue when it is encountered, from an outside technician perspective. Russ stated that one of the issues is when the technician goes out to perform an install, the drop is full, and the tech needs to drop a line. Russ stated that Qwest needs to obtain acceptance of the charges, and then possibly drop the wire above ground. Russ stated that another concern is that Qwest has a certain obligation to perform a certain amount of duty. Russ stated that Qwest would attempt a call in order to obtain acceptance of charges, and noted that the hold time would be a maximum of 5-minutes. Russ stated that the technician would obtain the acceptance of the charges and note that the charges were accepted. Russ stated that Qwest would then proceed with the process of getting the wire buried. Sharon Van Meter-AT&T asked which telephone number the Qwest technician received on his service order; if it was an 800# or the TN of the co-provider. Russ Urevig-Qwest stated that we would need to look at unbundled loops, UNE-P, and general products. Alan Braegger-Qwest stated that what is requested is the LCON TN, but mostly gets the TN of the CLEC, and sometimes the TN of the end user customer. David Balenger-AT&T stated that the fields are populated with either individual extension numbers or with an 800 #s for automated requests, in addition to an end user contact. David then noted that AT&T does not receive a telephone call to advise that the work was completed. Alan Braegger-Qwest stated that Qwest would not call the end user for billing issues. Sharon Van Meter-AT&T asked if the technician would have the number of the CLEC and noted that it would need to flow to Qwest. Alan Braegger-Qwest stated that the technician does get the telephone number of the CLEC. Russ Urevig-Qwest stated that Qwest does call for unbundled loops but does a call for UNE-P, to advise that the work was completed. Russ stated that he would validate the telephone number received on non-designed orders and stated that Qwest needs an established timeframe to obtain approval of charges. Sharon Van Meter-AT&T stated that as long as the TN is on the LSR, she understands that the Qwest technician cannot stay on the line very long. Russ Urevig-Qwest stated that when an outside technician goes out to perform an installation and a drop is needed, and the safety requirements are not met, Qwest would jeop the order unless AT&T requires a call. Russ stated that Qwest would still need acceptance of the charges and the order would go into a delayed status. Sharon Van Meter-AT&T asked if Qwest would install the wire and bury the wire at the same time. Russ Urevig-Qwest stated yes and noted that a safety issue could be if the wire would have to lie across a driveway. Sharon Van Meter-AT&T stated that Qwest should make a call, in all cases, and that if AT&T is not reached, the order should be jeop’ed. Sharon stated that this would need to be built into the process. Russ Urevig-Qwest asked Alan Braegger (Qwest) if that could be made the standard practice. Alan Braegger-Qwest stated that he would want to do that and noted that currently there is a lot of hold time. David Balenger-AT&T stated that this would be acceptable, as AT&T would not expect that the technicians wait. David stated that AT&T could tell Qwest, right there, if they would accept the charges. Russ Urevig-Qwest stated that if the contact TN was an 800#, the expectation is that it would be manned. David Balenger-AT&T stated that if the Qwest technician leaves a message for a call-back, waits 5 minutes, then leaves; it is acceptable to AT&T. Russ Urevig-Qwest stated that Qwest needs all to understand that there would be a maximum hold time of 5 minutes. David Balenger-AT&T asked if then the LSR would need to be resubmitted with the approval in the Remarks. Russ Urevig-Qwest stated yes. Lydell Peterson-Qwest asked if the IMPCON and the LCON TNs are on the LSR. David Balenger-AT&T stated that they were both on the LSR and noted that the IMPCON is the AT&T TN and the LCON is the number of the end user customer. Lydell Peterson-Qwest asked to confirm that the IMPCON TN is the number that the Qwest Technician is to call to obtain acceptance of the charges, and that the LCON is the local end user customer and should not be contacted, by the Qwest technician. Russ Urevig-Qwest also asked to confirm that the TN that the technician would look for is the IMPCON, which is the CLEC and is an 800#. David Balenger-AT&T stated that some do have 800#’s but that some have extension numbers. Russ Urevig- Qwest stated that Qwest would need to validate that the information is captured from the LSR flows down to the service order, then flows to the technician’s service order. Russ Urevig-Qwest stated that a concern for Qwest is that the CLEC Community understands that Qwest understands the request but has requirements on the Qwest side as well, and that Qwest will have a maximum hold time of 5 minutes. Russ stated that all need to be okay with that. David Balenger-AT&T stated that he looked at an LSR and that the LSR has the Initiator and the IMPCON. David stated that the Initiator is the agent in the Center and that the IMPCON contains the generic 800#. David noted that the LSR he looked at has the PON of ZXPH02871778. Russ Urevig-Qwest stated that he would look at the service order and asked which field’s TN was Qwest to call. David Balenger-AT&T stated that Qwest should call the TN contained in the Initiator field. Russ Urevig-Qwest stated that he would look at the PON provided, along with the service order that was created, in order to see what TN is on the service order. David Balenger-AT&T stated that it should have the name of Patty Garnier with the TN of 480 649-4913, unless is a different field on the Qwest side. David stated that it could also show ‘Tech on duty’ with the TN of 800 235-1070. Russ Urevig-Qwest asked for the due date. David Balenger-AT&T stated that the due date is pending, as Qwest is currently processing the LSR. David stated that the requested due date is March 18th. Sharon Van Meter-AT&T stated that AT&T was okay with the 5 minute hold time and stated that when the process was written that the 5 minute hold time needed to be very specific in the documentation. Russ Urevig-Qwest stated that it would be written in the process. Lydell Peterson-Qwest asked to confirm that the expectation would be the same for the states of Oregon and Washington, and that the LSR would need to be resubmitted with the appropriate USOCs. Russ Urevig-Qwest responded yes and stated that the process would be consistent across the Qwest 14-state territory. Shirley Tallman-Qwest asked that when Qwest calls the CLEC and the CLEC authorizes the charges, if the order would need to be supped to indicate that the charges were authorized. Alan Braegger-Qwest stated that the USOCs would need to be added without a supp and stated that Qwest would need to internally work that and other items out, in order to accommodate this request. Lydell Peterson-Qwest asked for clarification that the Qwest technician would call the CLEC, the CLEC would authorize the charges, the Qwest technician would perform the work, and the CLEC would send a supp. Russ Urevig-Qwest stated that in the past, a follow-up supp would be required, so that the authorization of charges would be in writing. Russ stated that the technician does complete out a UNE-P order, so he would need to check to see if a supp would be jeop’d because the work was completed. Russ stated that he would review to see if a supp would need to be required or if a supp would not be needed. Russ stated that maybe Qwest could proceed with the activity and add the charges to the order without a supp. Sharon Van Meter-AT&T stated that when the Qwest technician calls AT&T and AT&T okays the charges, the technician could perform the work and AT&T could immediately submit a supp, because the work would not be completed for a little bit of time. Russ Urevig-Qwest stated that for non-designed, the technician would have their work for the day and if a supp 3 (for other) is received during that day, it may or may not flow through the system, so there could be a timing issue in regard to the processing of the supp. Alan Braegger-Qwest suggested that if the line could not be dropped, that the service order be closed, so the CLEC would have control of the line, and then Qwest would perform the work later. David Balenger-AT&T asked how the CLEC would be notified that the work was done. Russ Urevig-Qwest stated that Qwest needs to make sure that the wire is in the ground and noted that the CLEC would not be notified, as it would be an internal ticket number. David Balenger-AT&T asked that if the end user calls 2 weeks later and says that they still have no service, who would the CLEC call. Russ Urevig-Qwest stated that the work could still be pending and noted that it could be pending several months out. David Balenger-AT&T asked how the CLEC would know what the timeframe is in order to tell their customer. Shirley Tallman-Qwest stated that Qwest does have an internal buried service wire desk that the CLECs Service Manager could contact. Lydell Peterson-Qwest stated that AT&Ts concern is how they find out when the wire would be buried. Russ Urevig-Qwest asked if the CLECs wanted documented, in the PCAT, how to gather information. Sharon Van Meter-AT&T responded yes and stated that the PCAT will need to be very clear. Russ Urevig-Qwest stated that another concern, for Qwest, is that when Qwest calls the CLEC and obtains acceptance of the charges, without paperwork and only the notes that the Qwest technician makes, that we don’t fall into billing disputes claiming that the charges were not authorized via an LSR. Sharon Van Meter-AT&T asked if the technician would know what the charges would be. Alan Braegger-Qwest stated that the technician’s don’t provide estimates of charges because it is difficult to provide a quote because at that time they would not be opening a trench, burying the wire, and closing the trench. Sharon Van Meter-AT&T stated to David Balenger (AT&T) that they would assume that the charges would be reasonable and accept the charges. Sharon asked that if the billed amount were $10,000, what David would do. David Balenger-AT&T stated that AT&T would need to discuss off-line. David stated that their end user doesn’t even pay the $250. David stated that AT&T would need to discuss with Product off-line. Sharon Van Meter-AT&T asked if Qwest would know is a regular order or would Qwest not know until the trench is dug if it was a standard order. Alan Braegger-Qwest stated that the technician could say that it ‘appears’ to be standard but Qwest would not really know so cannot provide a quote. Sharon Van Meter-AT&T stated that if AT&T authorizes the charges, AT&T is authorizing the charges. David Balenger-AT&T stated that AT&T needs to discuss internally. Sharon Van Meter-AT&T stated that she has no issue with that and noted that AT&T would clarify internally. Sharon asked if before the process was set, if there would be another call. Russ Urevig-Qwest stated that the PCAT would be specific about all the information. Lydell Peterson-Qwest asked that after Qwest receives the verbal authorization of charges, if there could be a Record only supp in order to avoid a Qwest said-CLEC said situation. David Balenger-AT&T stated that the situation currently occurs. Russ Urevig-Qwest stated that in that instance, Qwest would not install; Qwest will only install if has authorization of charges. Russ noted that confusion on either side could occur. Russ stated that Qwest does have a concern that charges are reimbursed once they are accepted. Russ Urevig-Qwest stated that Qwest will meet internally to look at the provided LSR example, look at the field data for names and TNs, look at the service order, and will see what flows to the outside technician. Sharon Van Meter-AT&T asked if any other CLECs had questions or concerns. Bonnie Johnson-Eschelon stated that she was okay and had no questions or concerns. Jennifer Arnold-TDSMetroCom stated that she was also okay and had no questions or concerns.

February 16, 2005 Product Process CMP Meeting Discussion, walk-on request: Sharon Van Meter-AT&T reviewed the CR and the expected deliverable. There were no questions or comments.

February 14, 2005 Clarification Meeting: Attendees: Sharon Van Meter-AT&T, Bonnie Johnson-Eschelon, Kim Isaacs-Eschelon, David Balenger-AT&T, Amanda Silva-VCI, Phyllis Sunins-Qwest, Russ Urevig-Qwest, Shirley Tallman-Qwest, Lydell Peterson-Qwest, Jim Recker-Qwest, Peggy Esquibel Reed-Qwest

Review Requested (Description of) Change: Peggy Esquibel Reed-Qwest reviewed the CR’s description and expected deliverable and asked AT&T if they had additional information to share. Sharon Van Meter-AT&T stated that there was no additional information regarding the specific request but would like to note that AT&T went to their Service Manager to resolve this prior to issuing the CR, in an attempt to prevent a CR from being needed. Sharon stated that there had already been several conference calls discussing this issue. Russ Urevig-Qwest stated that he was familiar with the request. Peggy Esquibel Reed-Qwest confirmed that this CR was for Provisioning and that the Impacted Products were not applicable. Lydell Peterson-Qwest stated that Qwest would like examples from AT&T to assist with the investigation of this change request. Sharon Van Meter-AT&T stated that for AT&T, they have from 0-3 instances per week and stated that AT&T has already provided 1 example and stated that there are not other examples. Sharon stated that AT&T expects Qwest to move forward without further examples. Bonnie Johnson-Eschelon asked what Qwest needed examples of. Lydell Peterson-Qwest stated that examples are needed of move orders that received a jeopardy because buried service wire was needed. Bonnie Johnson-Eschelon asked if Qwest does not track jeopardies for buried service wire. Lydell Peterson-Qwest stated yes, Qwest does track them. Russ Urevig-Qwest stated that on the due date, when we go out, the technician may need to open an activity. David Balenger-AT&T asked that if buried service wire is needed, if can Qwest pull by jeopardy, by region code. Russ Urevig-Qwest stated that he would need to check to see if Qwest had that data. David Balenger-AT&T stated that this issue keeps resurfacing and asked what the requested examples would provide Qwest. Russ Urevig-Qwest stated that Qwest is looking for specific examples in order to investigate because Qwest is not experiencing this issue with other CLECs. Bonnie Johnson-Eschelon asked if something different was supposed to happen instead of the orders being jeop’d for buried service wire. David Balenger-AT&T stated that AT&T does not want a jeopardy on the due date and a new interval. David stated that AT&T wants the contact information utilized and for Qwest to accept a verbal yes. Bonnie Johnson-Eschelon stated that maybe Qwest has not experienced this with other CLECs because that had not been brought up. Bonnie asked what Qwest needed examples of if Qwest knows which jeopardizes are for buried service wire. Bonnie asked if what AT&T is really requesting is the ability to approve charges and that the due date is not really the issue. Sharon Van Meter-AT&T stated yes, AT&T would like to tell Qwest that AT&T accepts the fee for buried service wire and mark for manual handling, but no one wants that. David Balenger-AT&T stated that when they have to tell their customer that they have to send the order back, it is dissatisfying to the customer. Russ Urevig-Qwest stated that if the technician is out and they need to drop a wire, the technician needs approval. Russ stated that there are occasions when the technician gets the approval on the same day but that we cannot dig on the same day due to circumstances. Russ asked if AT&T is asking for a clear process for Qwest to make an attempt to obtain the approval of the cut on the day that the technician is out. Russ stated that approval is needed for trenching expenses. David Balenger-AT&T stated that the wording in the PCAT states that Qwest should do this and that AT&T automatically accepts the fees. David stated that a call to obtain the approval should not be needed, due to the language in the PCAT. Russ Urevig-Qwest stated that this is state specific and noted that in certain states; Qwest can go ahead and drop if meets state requirements. Sharon Van Meter-AT&T stated that the PCAT states that when submitting a request for buried service wire on the original or supplemental, you are authorizing or accepting the charges. David Balenger-AT&T stated that AT&T realizes that Qwest may not know the day of but AT&T is not asking for a site visit on every move order. Bonnie Johnson-Eschelon asked if this happens mostly for residential locations. Russ Urevig-Qwest stated that happens just as often for business and residential locations. Bonnie Johnson-Eschelon stated that Eschelon was receiving jeopardizes but that they were really for conduit. Russ Urevig-Qwest stated that is true and that are being addressed separately from this CR. Amanda Silva-VCI stated that VCI’s experience on a jeop’d order was that Qwest needed $375 for additional work on tribal land and asked if could be an example. Amanda provided the LSR ID of 13340389. Amanda then stated that a jeopardy had not yet been received because this just occurred. Sharon Van Meter-AT&T asked if the PCAT language meant anything because they do not know that buried service wire is needed when they submit the LSR. Russ Urevig-Qwest stated that if the submitter knows that the facilities are full, and most businesses do know, and that there will be a buried service wire issue, the submitter can note the information in remarks and mark for manual handling. Bonnie Johnson-Eschelon asked if Qwest could do a blanket approval for AT&T. Sharon Van Meter-AT&T stated that AT&T would always approve the charges. Russ Urevig-Qwest stated that there are difficulties with doing a blanket approval. Jim Recker-Qwest asked if all CLECs would want to do that. Bonnie Johnson-Eschelon said no. Phyllis Sunins-Qwest stated that with Symmetry & Symphony, can only have billable fields and that this would need internal discussion. Jim Recker-Qwest asked to confirm that for this request, it is specifically for service wire (2 or 3 pair) and not for larger service wire cables, which are conduit. Sharon Van Meter-AT&T confirmed that this request was only for buried service wire and not for conduit. Bonnie Johnson-Eschelon asked what the possibility was for adding a field in IMA. David Balenger-AT&T stated that they still would not know that buried service wire is needed when the submitted the LSR. Sharon Van Meter-AT&T stated that would then be a separate CR. David Balenger-AT&T stated that it would also require more automation on AT&Ts part. Russ Urevig-Qwest stated that exclusions would also be needed. Bonnie Johnson-Eschelon said okay. Jim Recker-Qwest asked if the size of the drop needed to be specified. Russ Urevig-Qwest stated that if residential or business needs a drop, either 4 or 6 pair needs to be specified. Jim Recker-Qwest asked if the end user customer of record is asked for the size. Russ Urevig-Qwest stated that internal discussion is needed to look into the cost differences that the CLEC would need to approve. Bonnie Johnson-Eschelon asked if that question was asked of the Retail customer. Jim Recker-Qwest stated that he just wanted to make sure that he had all the facts. Bonnie Johnson-Eschelon asked if there was a current process on the Retail side that could be mirrored. Russ Urevig-Qwest stated that he would need to look into that. There were no additional questions or comments regarding the request. Peggy Esquibel Reed-Qwest stated that this CR has been requested to be walked-on at the February CMP Meeting and that the CR would also be scheduled for formal presentation at the March CMP Meeting.


CenturyLink Response

July 12, 2005 REVISED RESPONSE For Review by the CLEC Community and Discussion at the July 20, 2005 CMP Meeting

TO: Sharon Van Meter AT&T Communications

SUBJECT: CLEC CR-PC020705-1 Buried Service Wire Process Change

Description of Change: AT&T very rarely knows when Buried Service Wire is needed. When Qwest determines that the service is needed, Qwest needs confirmation that AT&T will pay for the Buried Service Wire fee. Today Qwest sometimes notifies AT&T via jeopardy, on the due date, that Buried Service Wire is needed. Notifying AT&T on the due date is a big dis-satisfier for the AT&T customer as they are expecting the service to be delivered on the due date. Sometimes Qwest completes the service without notifying AT&T that the service is needed - which is a good thing for the customer. AT&T is looking for Qwest to develop a process to notify CLECs, on the customer due date, that Buried Service Wire is needed and allow the CLEC to accept the charges while the technician is still on the customer’s site.

Qwest Response: During the ad hoc calls, AT&T clarified that this request is for a Buried Service Wire Process to be developed in order for the end user customer to get service on the due date, when it is has been identified that an additional drop is required.

Qwest does not inventory "Drops" or "Buried Service Wire" and therefore has no indication that an additional drop is required until the technician arrives at the service location. At that time the technician checks the existing drop for capacity to determine if there is in fact spare capacity. If there is no spare capacity, the technician places the order in jeopardy. The service order in jeopardy triggers an indication that a Qwest representative needs to survey the situation at the service location to determine the cost to augment the drop. This information is then sent to the requestor for approval. Upon approval to proceed, the jeopardy will be updated and trigger handoff to the Buried Service Wire (BSW) group. Once this work is complete, the BSW group releases the order from jeopardy and a new due date is scheduled to complete the service request.

Qwest has researched and analyzed how to meet the expected deliverable of providing service on the original due date. In order to accomplish that, Qwest has determined that it would require the following changes:

- A new process for technician’s to obtain written CLEC authorization to place the drop on the due date. This would entail CLECs being willing to authorize charges without receiving a quote since the site survey will not have taken place.

- Installation procedure changes to reflect that technician’s may temporize additional drops when the CLEC has authorized AND it is safe to do so. This would result in the technician completing the service order as there is no jeopardy. This would also entail re-training technicians on the change in procedure.

- A new process for triggering what the jeopardy triggers currently. Namely, the Qwest representative surveying the site to determine the cost of the augment.

- A new means of scheduling the drop work with the BSW group

Qwest is respectfully denying this request due to economic infeasibility, based on the costs to implement the multiple process changes required, compared to the low volume of requests requiring a Buried Service Wire augment as estimated by AT&T and by Qwest’s research.

Sincerely, Qwest Communications

For Review by the CLEC Community and Discussion at the April 20, 2005 CMP Meeting

April 12, 2005

AT&T Sharon Van Meter

SUBJECT: CR # PC020705-1 Buried Service Wire Process Change

This letter is in response to AT&T’s Change Request (CR) PC020705-1 Buried Service Wire Process Change. This CR requests that Qwest develop a process to notify CLECs, on the customer due date, that Buried Service Wire is needed and allow the CLEC to accept the charges while the technician is still on the customer’s site. AT&T expects Qwest to develop and implement a process for CLECs to accept the Buried Service Wire fee while the outside technician is still at the customer premises.

Qwest would like to place this CR in evaluation status in order to continue with analysis of the existing process and look at potential solutions for this change request. Qwest will provide an updated response at the May CMP meeting. Qwest will move this CR to Evaluation status.

Sincerely,

Jim Recker, Qwest Communications


Open Product/Process CR PC112105-1 Detail

 
Title: AT&T requests an installation date of less that 3 days on expedites when a CNR condition has been resolved
CR Number Current Status
Date
Area Impacted Products Impacted

PC112105-1 Completed
5/5/2006
Design
Originator: Van Meter, Sharon
Originator Company Name: AT&T
Owner: Tallman, Shirley
Director:
CR PM: Stecklein, Lynn

Description Of Change

AT&T has signed the Expedite ICA Amendment. If a CNR occurs on an order and AT&T supps that order – per Qwest’s interval – AT&T wants the ability to be able to request an expedited due date earlier than the 3 day required interval. AT&T is willing to pay the $200 per day charge associated with the expedite request.


Status History

11/21/05 - CR submitted

11/23/05 - CR acknowledged

11/28/05 - Clarification Meeting scheduled

11/30/05 - Clarification Meeting held

11/30/05 - Status changed to Clarification

12/14/05 - Discussed in the December Product/Process CMP Meeting - See Attachment C in the Distribution Package

12/14/05 - Status changed to Presented

1/18/06 - Status changed to Evaluation

1/18/06 - Discussed in the January Product/Process CMP Meeting - See Attachment C in the Distribution Package

2/16/06 - Status changed to Development

2/16/06 - Discussed in the February Product/Process CMP Meeting - See Attachment C in the Distribution Package

3/1/06 - PROS.03.01.06.F.03710.Expedites_EscalationsV35 - Level 3

3/15/06 - Discussed in the March Product/Process CMP Meeting - See Attachment C in the Distribution Package

4/15/06 - Status Changed to CLEC Test Due to April 15, 2006 Implementation

4/19/06 - Discussed in the April Product/Process CMP Meeting - See Attachment C in the Distribution Package

5/5/06 - Status changed to Completed


Project Meetings

5/5/06 E-mail From AT&T

Hi Lynn, Sorry for not responding earlier... our work centers haven't had the opportunity to try to use this option yet, however, I think it is safe to close. If something comes up when the <3 day request is used, we can address it with the work center. Thanks! Kathy

From: Stecklein, Lynn [mailto:Lynn.Stecklein@qwest.com] Sent: Friday, May 05, 2006 9:57 AM To: Lee, Kathy T, GBLAM Subject: PC112105-1 AT&T Requests an Installation Date of Less Than 3 Days on Expedites

Hi Kathy,

Were you able to determine if AT&T was ok to close this CR? See meeting minutes below.

Thanks!

Lynn Stecklein

Qwest Wholesale CRPM

303 382-5770 4/19/06 Product/Process CMP Meeting

Jill Martain-Qwest stated that this request was implemented on April 17th and is working fine. Jill stated that this is currently in CLEC Test and asked if the Change Request could be closed.

Kathy Lee-AT&T stated that she has not heard of any issues and has not asked if there were any. Kathy stated that she would check and close the CR off-line.

3/15/06 Product/Process CMP Meeting

Jill Martain-Qwest stated that a notice was sent and that this CR will become effective on 4/15/06. This CR will remain in Development.

2/15/06 Product/Process CMP Meeting

Jill Martain-Qwest stated that this CR has been accepted and that we are moving forward with PCAT changes. She said that a Level 3 will be sent out next week. Sharon Van Meter-AT&T asked if they would be able to take advantage of this functionality immediately. Jill Martain-Qwest said that said that the PCAT changes need to be made and that the changes will go into effect in 45 days. Sharon Van Meter-AT&T said thank you. Lynn Hankins-Covad asked what the interval would be. Jill Martain-Qwest said that they will be able to request a shorter than normal interval. She said that a Supp should be issued requesting the new due date and that the EXP should be populated. Qwest will then determine if that interval can be met and will send the FOC. Jill said if the interval cannot be met, Qwest may contact the CLEC with an alternate date.

1/18/06 Product/Process CMP Meeting

Shirley Tallman - Qwest stated that this CR is still under review. Jill Martain - Qwest said that this CR will move to Evaluation.

12/14/05 Product/Process CMP Meeting

Sharon Van Meter/AT&T stated that AT&T has signed the Expedite ICA Amendment. Sharon said that if a CNR occurs on an order and AT&T supps that order – per Qwest’s interval – AT&T wants the ability to be able to request an expedited due date earlier than the 3 day required interval. Sharon said that AT&T is willing to pay the $200 per day charge associated with the expedite request. Sharon said that during the clarification call it was confirmed that this request is for design products only. Jill Martain/Qwest said that this CR will move to a Presented Status.

11/30/05 Clarification Meeting6.4 Process for Creating Product/Process CMP Monthly Meeting Distribution Package

Attendees: Sharon Van Meter - AT&T, Laurie Dalton - Qwest, Jim Recker - Qwest, Kathy Ocken - Qwest, Barbara Fanning - Qwest, Phyllis Sunins - Qwest, Lynn Stecklein - Qwest

Review CR Description Sharon Van Meter - AT&T stated that AT&T has signed the Expedite ICA Amendment She said that If a CNR occurs on an order and AT&T supps that order - per Qwest’s interval - AT&T wants the ability to be able to request an expedited due date earlier than the 3 day required interval. Sharon stated that AT&T is willing to pay the $200 per day charge associated with the expedite request.

Discussion: Lynn Stecklein - Qwest asked what products were impacted by this request. Sharon Van Meter - AT&T said that she thought it would impact all products. Laurie Dalton - Qwest stated that this would not apply to all products because we don't bill expedite charges on non-design. Laurie asked if this applied to the LSR and the ASR. Sharon Van Meter - AT&T said yes. Jim Recker - Qwest asked about held orders and CNR scenarios. Sharon Van Meter - AT&T said that scenarios with no facilities would be a different issue. She said that AT&T just wants to have the option when the CNR situation is cleared to expedite for a shorter interval. Laurie Dalton - Qwest asked if the order was already expedited and the customer wasn't ready and AT&T wanted to expedite again, there would be 2 expedite charges. Sharon Van Meter - AT&T said that Qwest will have to be sure to quote both charges. Sharon said that she did not think this scenario would happen very often.

Establish Action Plan Lynn Stecklein - Qwest said that AT&T will present this CR in the December Product/Process Meeting.


Open Product/Process CR PC031203-2X Detail

 
Title: Resolve Disconnect of Account Number (Cross Over from SCR031203 02)
CR Number Current Status
Date
Area Impacted Products Impacted

PC031203-2X Completed
6/20/2007
UNE-P
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Pent, Anne
Director:
CR PM: Stecklein, Lynn

Description Of Change

When a CLEC migrates a multi-line account and then sometime later the customer requests to disconnect the main number, this must be supported through system or operation. Disconnecting the BTN on a Muliline account means that a new Account Number may have to be assigned and these rules must be known. One of the remaining numbers may have to attain BTN status with Directory Listing treatment applied to it.


Status History


Project Meetings

6/22/07 E-mail From AT&T Hi Lynn, I joined the call late… sorry about that. I checked Leo Dimitriatis and he concurs that it is OK to close this CR. Thanks very much for all of your assistance with this. Kathy

- From: Stecklein, Lynn [mailto:Lynn.Stecklein@qwest.com] Sent: Friday, June 22, 2007 1:49 PM To: LEE, KATHY T, ATTCORP Subject: Question on PC031203-2X Resolve Disconnect of Account Number

Hi Kathy, I believe you missed the discussion in the June Product/Process CMP Meeting on SCR031203-2X Resolve Disconnect of Account Number. Here is what was discussed: PC031203-2X Resolve Disconnect of Account Number (Cross Over from SCR031203-02)

Mark Coyne-Qwest stated that this CR was a crossover from Systems and was implemented on 6/4/07. Mark asked if AT&T was ok to close.

No one from AT&T was on the bridge.

Mark Coyne-Qwest stated that we would work offline with AT&T.

I wanted to check with you to determine if this CR can be closed. I have attached a copy of the CR.

Thanks!

Lynn Stecklein

Qwest Wholesale CMP

-- 6/20/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this CR was a crossover from Systems and was implemented on 6/4/07. Mark asked if AT&T was ok to close. No one from AT&T was on the bridge. Mark Coyne-Qwest stated that we would work offline with AT&T.

5/16/07 Systems CMP Meeting

Mark Coyne-Qwest stated that this CR was crossed over from Systems and is scheduled for implementation on June 4th. Mark then noted that the Level 2 Notice would be going out on May 14th. Mark asked if there were any questions or comments. There were none.

-- 4/18/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this CR was a crossover from Systems and was discussed in the March CMP Meeting.

Lynn Stecklein-Qwest stated that a notification will be sent to update the documentation.

3/21/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this Systems CR was submitted by AT&T and will be crossed over to a Product/Process CR.

Lynn Stecklein-Qwest stated that this System CR, as Mark said, was submitted by AT&T requesting a solution for when a CLEC migrates a multi-line account and then sometime later their customer requests to disconnect the main number. AT&T stated that disconnecting the BTN on a multi-line account means that a new account number may have to be assigned and that they did not know what the rules were for when this happened. Lynn said that during the requirements review for this CR it was determined that this request can be accommodated with a Process change instead of a System change. She said that a clarification call was held with AT&T and other CLECs on March 1 to communicate the process solution. Lynn said that during that meeting, Qwest stated that when a customer has a multi-line account and the main BTN is being removed from the account, the customer has the option of using specific fields (i.e. NAN) to select what remaining TN they would like to use as the new BTN. If no notification is received from the CLEC then the next logic line number will be assigned as the new BTN. Lynn stated that AT&T agreed that this process would work for them and stated that they preferred this to a system change. She said that that this process is documented in various PCATs and updates will be made for this CR.

Mark Coyne-Qwest stated that the system CR will be closed and will cross over to a Product and Process CR.

3/1/07 Additional Clarification Meeting

SCR031203-02 Resolve Disconnect of Account Number

Attendees: Chris Terrell-AT&T, Kathi Lee-AT&T, Leo Dimitriatis-AT&T, Kim Isaacs-Eschelon, Anne Pent-Qwest, Lynn Stecklein-Qwest

Lynn Stecklein-Qwest stated that the purpose of this meeting was to communicate a solution for this change request that would require no system work. If everyone agreed with this solution we would cross this CR over to a Product/Process CR.

Anne Pent-Qwest cited the example of a 5 line account with the main billing TN (BTN) being removed from the account. Anne said that you have the option of using the NAN field on selecting what remaining TN you would like to use as the new BTN.

Leo Dimitriatis-AT&T reviewed the scenario of a 5 line account and 4 TNs are being left behind and belong to Qwest. Leo said that they would have the option of choosing the BTN.

Anne Pent-Qwest stated that we would take the next logic line number if no notification is received from the CLEC. She said that the TNs on the CSR may not be sequential.

Leo Dimitriatis-AT&T said that the next logic line number would then become the BTN and asked if the account would be updated with the 4 remaining TNs.

Anne Pent-Qwest stated that happens prior to completion.

Leo Dimitriatis-AT&T said that after the migration occurs, they will see the newly assigned BTN. He said that this is a good scenario.

Kim Isaacs-Eschelon asked what happens to the listing associated with the old BTN.

Anne Pent-Qwest said that we don’t make the listing change. She said that the FOC on a ported number has a remarks section to indicate if the listing is to be changed.

Kim Isaacs-Eschelon said that with a Resale or QPP account, you have 1 CSR with the Main Listing and the other number on another CSR with no listing. Kim asked if the listing would apply to the BTN. Kim also asked if the phone book would have a different listing.

Anne Pent-Qwest said that they would.

Kim Isaacs-Eschelon asked if a new account number could be requested as non- published.

Anne Pent-Qwest said no and that the customer would have to make a change.

Leo Dimitriatis-AT&T asked if the listings still belonged to Qwest in the scenario discussed above with the 4 remaining TNs.

Anne Pent-Qwest said that the listings do belong to Qwest. She said that the decision was made not to assume and that the end user would have to call Qwest to make a change.

Chris Terrell-AT&T said that she understood that Qwest would use the next logical number on the CSR for the new BTN. She asked how the customer would know.

Leo Dimitriatis-AT&T said that after the BTN was migrated the BCN will have that information and the customer can look at the CSR and that the rules will be reflected in the CSR. He asked how Qwest would handle the scenario where you have 5 lines migrating to AT&T on one order and the customer wants to disconnect the TN that happens to be the BTN.

Anne Pent-Qwest stated that you can designate if the customer has a preference for the main line or the next number to be the BTN and this information will be on the FOC.

Leo Dimitriatis-AT&T asked about listing treatment with using the next logical number.

Anne Pent-Qwest stated since you own the account in this instance the listing would have to ‘O’ and ‘I’ ‘d for the remaining TN.

Chris Terrell-AT&T asked if this was done on a disconnect order.

Anne Pent-Qwest said that this would be done on a partial C order with an ACT of ‘C’.

Leo Dimitriatis-AT&T said that on the change order for the account they could include the listing. He also said that if they don’t use the FOC, they will assume that Qwest has used the next logical line number and that no listing treatment is applicable.

Chris Terrell-AT&T asked if Qwest would do anything with the listing for the TN.

Anne Pent-Qwest said that if the main TN is disconnected the listing will stay the same.

Leo Dimitriatis-AT&T stated that they do support this solution. He said that Verizon Business uses the next logical number and automatically assigns the main listing when a BTN is disconnected.

Anne Pent-Qwest said that is what we will do and said that if you want a change to let us know.

Leo Dimitriatis-AT&T said that with this solution there are no changes for AT&T except to let their operations people know.

Chris Terrell-AT&T said that the ‘NAN’ field is a good thing and that they would prefer to let Qwest know what they prefer.

Leo Dimitriatis-AT&T asked if this process was documented.

Anne Pent-Qwest stated that this process is documented in various PCATs and will be updated with the Product/Process CR.

Lynn Stecklein-Qwest stated that this CR will be discussed in the March Product/Process CMP Meeting on March 21, 2007.

10/31/06 Additional Clarification Meeting

Chris Terrel - AT&T, Kathy Lee - AT&T, Leo Dimitriatis - AT&T, Chuck Anderson - Qwest, Anne Pent - Qwest, Lynn Stecklein - Qwest Communications

Lynn Stecklein - Qwest stated that the purpose of this meeting is to further clarify this change request.

Chuck Anderson - Qwest asked if this request was associated with a migration request on a number that is a BTN that is disconnected between the time the conversion happens.

Leo Dimitriatis - AT&T stated there are 2 cases - the 1st is when a customer wants to disconnect the BTN that has a WTN. Leo asked what the process is for the WTN and how to obtain the WTN housing. He said that 2nd scenario is when you migrate a multi-line account with a WTN and BTN and the BTN migrates to Qwest and the WTN belongs to AT&T.

Chris Terrell - AT&T asked what if you have one BTN with multiple WTNs on the account - what is the BTN to WTN status.

Chuck Anderson - Qwest stated that he needed to investigate the WTN with the next highest sequence.

Leo Dimitriatis- AT&T asked what the CLEC needs to do when the BTN has been elevated. He said that they need to know what happens to the remaining WTNs and which WTN is elevated to BTN.

Chuck Anderson - Qwest said that we just need to figure out the notification or disclosure process when the BTN has been taken off the account and which WTN becomes the BTN.

Leo Dimitriatis - AT&T asked what happens if you have 1 BTN and 1 main listing.

Chuck Anderson - Qwest stated that we need to talk with the Listing SME. He said that this may not require system work and would just be a process change.

Chris Terrel - AT&T stated that they would prefer an enhancement without system work.

2/16/05 Systems CMP Meeting - IMA 18.0 Candidate Discussion

Chris Terrell-AT&T stated that they would like to leave this CR open and is a medium priority for AT&T.

7/22/04 CMP Systems Meeting

Jill Martain/Qwest stated that Qwest would distribute the ballot on July 27th, it is due back to Qwest on July 30th, and Qwest would email the initial prioritization list to the CLECs on August 3rd. There were no questions.

Donna Osborne-Miller/AT&T stated this was low for AT&T.

8/21/03 CMP Systems Meeting

Phyllis Burt/AT&T stated that AT&T’s interest was moderate.

4/17/03 CMP Systems Meeting Donna Osborne-Miller/AT&T reviewed the description of change. John Gallegos/Qwest stated that the LOE is 1700 to 2800 hours for this request. The status will be changed to presented.

4/3/03 Clarification Meeting Introduction of Attendees Phyllis Burt - AT&T, Donna Osborne-Miller - AT&T, Curt Anderson- Qwest, Berkley Loggie - Qwest, Joan Pfeffer - Qwest, Shon Heiger, John Gallegos - Qwest, Mark Early

Review Requested Description of Change When a CLEC migrates a multi-line account and then sometime later the customer requests to disconnect the main number, this must be supported through system or operation. Disconnecting the BTN on a Muliline account means that a new Account Number may have to be assigned and these rules must be known. One of the remaining numbers may have to attain BTN status with Directory Listing treatment applied to it.

Confirm Areas & Products Impacted UNE-P Pots, IMA Common

Confirm Right Personnel Involved All appropriate personnel were involved in the clarification call.

Identify/Confirm CLECs Expectation When a BTN has been disconnected, one of the remaining TNs will have to be the BTN.

Identify any Dependent Systems Change Requests NA

Establish Action Plan This change request was a walk on in the March CMP Systems Meeting and will be presented in the April Meeting by AT&T.

4/1/03 Clarification Meeting Customer not present, meeting rescheduled.

3/20/03 CMP Systems Meeting Donna Osborne-Miller/AT&T presented the CR. Phyllis Burt/AT&T said that she was not real familiar with this CR but thought that the description of change was self explanatory. If you lose the main number how do you get a new main listing. It currently doesn’t allow us to do a new main listing. Bonnie Johnson/Eschelon said that they have run into this with EDI. The answer is that when you migrate the BTN, regardless if you identified the new BTN you want, Qwest says that it’s an optional field. It is automatically processed as non-published. We have no say of what it should be and if the customer wants it any different they have to call Qwest Retail. Liz Balvin/WorldCom said that it sounds like the request is for after the fact. Connie Winston/Qwest noted that Qwest will schedule the clarification call and that this CR will be eligible for the 15.0 release Donna Osborne-Miller/AT&T suggested that AT&T send out the information regarding the clarification call to the other CLECs.


Open Product/Process CR 5608142 Detail

 
Title: LNP repair interval
CR Number Current Status
Date
Area Impacted Products Impacted

5608142 Denied
11/14/2001
Repair LNP
Originator: Thiessen, James
Originator Company Name: Avista Communications
Owner: Dubose, Lorna
Director:
CR PM:

Description Of Change

Currently, Qwest has a 24-hour commit tine for all LNP trouble tickets that are opened. These tickets can be escalated every ½ hour, but all the escalation does is guarantee that the ticket will be worked within 24 hours. Would like to see this reduced to a more reasonable amount of time.


Status History

6/13/01 - CR received from Jim Thiessen of Avista Communications 6/18/01 – Status changed to New – to be Evaluated 7/09/01 - Reviewed under consideration

7/09/01 - LNP product team to discuss on 7/17/01 – will report status during the July 18th Monthly CICMP Meeting (LD)

8/09/01 - Status report will be given by Lorna Dubose and Joan Wells during the August CICMP Meeting

8/15/01 - CLEC CMP Meeting Product & Process CR 5608142. Joan indicated that with implementation of repair issue within 48 hours of port, or 48 hours after port should correct the issue. Jim Beers advised that a clarification meeting would be set-up and chaired by Judy Schultz, or her designee. J Schultz L Dubose By next meeting

8/22/01 - CR under review (MJB)

8/23/01 -- Qwest called Jim Thiessen (Avista) to set up clarification meeting; awaiting call back

8/27/01 -- Qwest called Jim Thiessen (Avista) to set up clarification meeting; awaiting call back #2

08/30/01 - Jim Thiessen (Avista) returned call; if no meeting on 09/04/01 then first meeting on 09/17/01.

09/05/01 - Qwest response posted to database

09/19/01 -- Status update provided at CMP (MJB)

09/21/01 -- Response walkthrough meeting with Avista (MJB)

09/24/01 -- Meeting minutes sent to Avista (MJB)

10/10/01 - Qwest response posted to database.

10/17/01 - CMP Meeting: Qwest presented draft response. Additional clarification meeting with Jim to occur regarding concerns, Loop with LNP. New CR may need to be opened.

11/09/01 - Issued Revised Response dated 11/09/01 to Avista.

11/14/01 - CMP Meeting - Qwest advised that the response denies the CR request, status changed to Denied. Eschelon would like Qwest to explain why a 24 hour commitment was not feasible.

03/20/02 - CR Open/Closed Status changed to Closed per agreement at 03/20/02 Monthly CMP Meeting that CRs having Denied status should also reflect Closed Status


Project Meetings

September 21, 2001 11:00 a.m. Change Request Response Walkthrough

Attendees:

Jim Thiessen (Avista), Lorna Dubose (Qwest), Margaret Bumgarner (Qwest), Todd Mead (Qwest), Tom Davis (Qwest), Michael Buck (Qwest)

Qwest presented the draft response to the change request. Jim (Avista) indicated that the change request was intended to correct a problem that occurs once every three or four months. (The problem has not occurred since the CR was issued in early June.) The issue is that if there is problem at the time of the port, Avista would like to have it resolved in less than 24 hours to prevent or reduce the amount of time a customer is left without service. In the past, Avista had been instructed to call the LNP LAB for resolution. When this has happened resolution has taken up to 24 hours.

Margaret (Qwest) indicated that she believes that the repair escalation process has subsequently changed. She believes the process is for the CLEC to call the ISC for issues within 48 hours of the port and that the ISC would make the call to the LNP Lab. Margaret believed that the new process was covered in a notice issued in late May.

Jim (Avista) indicated that if the process Margaret described would satisfy his concern and his intent for writing the CR.

Lorna took a few action items to confirm the process for Avista in a revised response.

Action Items: - Lorna Dubose (Qwest) to confirm process for dealing with LNP Lab (due 9/26) - Lorna Dubose (Qwest) to write revised response (due 9/26)


CenturyLink Response

November 9, 2001

Mr. Jim Thiessen

Avista Communications

This letter is in response to your CLEC Change Request Form, number 5608142 dated June 13, 2001 – LNP Repair Interval.

Request: Currently, Qwest has a 24-hour commit time for all LNP trouble tickets that are opened. These tickets can be escalated every ½ hour, but all the escalation does is guarantee that the ticket will be worked within 24 hours. Would like to see this reduced to a more reasonable amount of time.

Response: Repair intervals were agreed to at the performance measurement workshops under the auspices of the Regional Oversight Committee (ROC) and the Arizona TAG. MR-11 LNP Trouble Reports cleared within 24 hours was established as a measure of the interval agreed upon. The standard is parity with MR-3C Results for Retail Residence. Qwest will continue to be consistent with these agreements.

Qwest Call Center Agents will review any pending order information for accuracy and establish contact with the appropriate repair center, if necessary. The ISC will issue a work queue ticket and agree to provide regular status to the CLEC at regular intervals until resolution.

Sincerely,

Maureen Callan Group Product Manager


Open Product/Process CR PC112003-1 Detail

 
Title: Differentiate between Loop MUX combos and EELs due to different FCC treatment (TRO Order)
CR Number Current Status
Date
Area Impacted Products Impacted

PC112003-1 Completed
6/16/2004
Billing, EEL (UNE-C), Loop MUX Combo
Originator:
Originator Company Name: Cbeyond Communications
Owner: Finley, Pat
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Seperately identify LMCs and EELs on bills


Status History

11/20/03 - CR Submitted

11/21/03 - CR Acknowledged

11/24/03 - Spoke with Morgan Halliday, he will call back & schedule clarification meeting

12/01/03 - Clarification Meeting scheduled 12/4

12/04/03 - Held Clarification Call

12/17/03 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

02/17/04 - Qwest issued PROD.02.17.04.F.01369.EEL_V25, Level 1 effective 2/18/04, provides download in billing section w/ EEL/LMC Class of Service and EEL USOCs

02/17/04 - Qwest issued PROD.02.17.04.F.01371.LMC_V21, Level 1 effective 2/18/04, provides download in billing section w/ EEL/LMC Class of Service and LMC USOCs

02/18/04 - February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

03/17/04 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/21/04 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

05/19/04 - May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

06/16/04 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

06/16/04 June CMP Meeting Linda Sanchez-Steinke with Qwest said she e-mailed Cbeyond asking to close the CR on 5/20 and 6/1 and did not receive a response. In the 6/1 e-mail to Stephan Calhoun and Tom Hyde at Cbeyond, Linda said if she had not heard back, the CR would close on 6/3. It was agreed this CR would move to Completed status.

Date: 6/1/04 7:55 a.m. To: 'tom.hyde@cbeyond.net', 'stephan.calhoun@cbeyond.net' From: Sanchez Steinke, Linda Subject: FW: CMP CR PC112003-1

Tom & Stephan -

As a follow up to the e-mail message attached, I will be closing change request PC112003-1 on Thurdsay 6/3/04. If you have any questions, please respond back to me before 6/3/04.

Thank you

Linda Sanchez-Steinke CRPM Qwest 303-382-5768

--Original Message-- From: Sanchez Steinke, Linda Sent: Thursday, May 20, 2004 8:03 AM To: 'Stephan.Calhoun@cbeyond.net'; 'tom.hyde@cbeyond.net' Subject: CMP CR PC112003-1

Stephan & Tom -

As a follow up to yesterday's CMP meeting, we discussed closing this CR. The CLEC community suggested that I e-mail and find out if Cbeyond agrees to close. Please let me know.

Thank you

Linda Sanchez-Steinke CRPM Qwest 303-382-5768

Date: 5/20/04 8:03 a.m. From; Sanchez Steinke, Linda To; 'Stephan.Calhoun@cbeyond.net'; 'tom.hyde@cbeyond.net' Subject: CMP CR PC112003-1

Stephan & Tom -

As a follow up to yesterday's CMP meeting, we discussed closing this CR. The CLEC community suggested that I e-mail and find out if Cbeyond agrees to close. Please let me know.

Thank you

Linda Sanchez-Steinke CRPM Qwest 303-382-5768

05/19/04 May CMP Meeting Pat Finley with Qwest reported during the April meeting Stephan Calhoun with Cbeyond said that a USOC appeared on EEL and LMC bills that had a UNE-P definition. This USOC is shared between UNE-P, EEL and LMC. Service Delivery has requested that this description be corrected. Pat said that the USOC will have a new description. Liz Balvin with MCI asked if notification would be provided. Susan Lorence with Qwest said there usually is no notification. Bonnie Johnson with Eschelon said the billing folks would need to know. Susan said if there is a product change or product name change, then there could be PCAT changes. Liz asked if the USOC would continue to say NRC for UNE-C. Pat said that the USOC will remain the same, but the description will be more generic. Susie Bliss with Qwest asked Liz if her question was, is something going to look different on the bill. Liz agreed. Bonnie said that people who are processing bills will see one thing one month and another the next. Susie asked Sami Hooper if the bill phrase is going to change. Sami Hooper with Qwest said that the USOC FID finder is generic and that the central CRIS bill singled out UNE-P. Bonnie and Liz both said that Qwest may receive questions for that change in the definition of the USOC and would be good to get a notice. Susan Lorence asked if Bonnie and Liz were concerned the billing reps would need to be provided information so they know that this is the reason for the change. (Bonnie’s comment insert here) Susie Bliss said that Qwest billing SDCs could notify the CLECs of changes of this nature. Do we have an action item open for this issue? (end Bonnie’s comment) Linda Sanchez-Steinke with Qwest will e-mail Cbeyond for approval to close this CR.

04/21/04 April CMP Meeting Pat Finley with Qwest said that during last month’s meeting some items discussed need to be corrected. Qwest has developed the TRAK FID, which uniquely identifies EEL & LMC. PCAT changes identify the USOCs used for LMC and EEL. Last month Liz Balvin with MCI had asked if monthly training could be provided to the center. In speaking with the process specialist, training is provided on an as needed basis when we identify a problem, and won’t be done on a monthly basis. Also last month, Bonnie Johnson with Eschelon had asked if a review was done on all customer’s bills, and that was not the case. Specific questions Cbeyond had on their billing, when their circuits were converted to EEL and LMC were researched.

Bonnie Johnson with Eschelon asked why, if there is a known problem, and if there was not a review of all CLEC accounts, that the expectation is the CLECs prove there is a problem. Pat Finley responded there is not a widespread problem and Cbeyond had given specific instances where EEL and LMC conversion orders were issued. Bonnie asked if service management could notify their customers, that Qwest should do notification. Bonnie asked if other customers had these conversions done. Pat said that if any company has problems they could contact their service manager for resolution. Bonnie said that since a problem has been uncovered that you may want to get with service managers, who could contact their customers. Kit Thomte with Qwest said that Linda Sanchez-Steinke will contact the directors over the service management team to make them aware.

Stephan Calhoun with Cbeyond joined the call and said that as Cbeyond was investigating, they found that circuit IDs with inconsistencies. They found circuit IDs that have no relationship to what Qwest provisioned and the circuit ID has been changed to fit with EEL or LMC. Further, Cbeyond is concerned that the circuit ID has no connection to what is in the provisioning system and asked how do Eschelon or other CLECs know that their circuit IDs are correct. Pat Finley said that the Cbeyond issue was corrected. Stephan said he is suspicious and concerned that this could happen elsewhere and the circuit ID has been altered and is out of sync with billing and provisioning. Stephen added he is unsure how to protect Cbeyond. Pat said that she did not know of other instances where this was occurring and that the problem was isolated to one or two individuals in the center who were then covered on the correct procedures.

Stephan said reconciling the invoice, knowing that potential is there not to reflect the correct circuit IDs, and there is not a dedicated rep for the Cbeyond orders. Pat said there is not a way to compare the provisioning system against the billing system because they are separate operating systems and would be glad to work on specific examples. Stephan said that the examples of the circuit ID not matching the FOC and SOC were given to their Service Manager.

Stephen asked if the TRAK FID was as far as Qwest would go to resolve this CR. Pat answered that separate classes of service would not be provided and the PCAT changes identifying the USOCs used for LMC and EEL and the TRAK FID were done to address the CR.

Stephan asked if certain USOCs descriptions would be included in the billing because they are seeing inconsistencies. On EEL orders they see UNE-P USOCs. Pat said that some USOCs used may be private line and borrow many USOCs. Stephan said he sent the examples but these may have gone only to the service manager. Kit said we would get with the service manager to investigate.

Jen Arnold with U S Link said the man number on the circuit ID changes and they are finding, particularly in a re-use situations, the man number may be the same for more than one circuit ID. This was brought to service management and has not been answered yet. Kit said there was no one on the call to answer the question and said they should wait to hear from service management.

Bonnie Johnson said she is generally frustrated whenever there is an issue or problem that the CLEC must submit a CR, ask for documentation, etc. and would like to see Qwest take a more active role is resolving issues. Qwest has an obligation to let CLECs know when something has been found through the discovery process, or through researching a CR, and should get the problem fixed for all CLECs. Donna Osborne-Miller said this seems to be a reasonable request and Qwest should notify the CLECs. Bonnie said we can discuss off line where to go to get Qwest to take a more active approach. This CR will move to CLEC Test status.

03/17/04 March CMP Meeting Pat Finley with Qwest said that an ad hoc meeting was held on 3/5/04 to address concerns raised by Stephan Calhoun with Cbeyond. Tom Hyde with Cbeyond attended the call for Stephan. Pat reviewed that the CR was submitted asking for separate classes of service for EELs and LMCs. Pat explained that the TRAK FID uniquely identifies EEL & LMC. Cbeyond had 14 instances where the conversion of circuits from private line was done incorrectly and orders were issued to correct the circuit IDs. Pat said Interstate classes of service are not being assigned on new installations of service and the interstate classes of service were used for the conversion of private line. Qwest has no plans to charge higher rates for interstate vs. intrastate and UNE’s are billed at TELRIC rates. PCAT changes were issued in February to provide a download to map USOCs and class of service. During the ad hoc meeting, Tom said he had not reviewed the changes. Liz Balvin with MCI asked if training would be reinforced to eliminate errors from occurring. Pat said that training has been provided to the center to make sure the correct processes are followed. Liz added that monthly training might be helpful because of turnover in representatives inputting the orders. Pat said that she would suggest monthly training to the process person. Bonnie Johnson with Eschelon said that if Cbeyond had problems with inaccuracies in circuit IDs that there may have been other CLECs with the same problem and asked if a review was done. Pat said that a report was pulled for all customers. Bonnie asked if corrections and credits had been done. Pat said corrections and credits were given if appropriate. This CR will move to Development status.

- Ad Hoc Meeting Minutes PC112003-1 March 5, 2004 1-877-572-8687, Conference ID 3393947# 9:00 a.m. - 10:00 a.m. Mountain Time

List of Attendees: Tom Hyde - Cbeyond Kathy Stichter - Eschelon Kim Isaacs - Eschelon Rodney Johnson - SBC Pat Finley - Qwest Robyn Libadia - Qwest Gayla Samarripa - Qwest Sami Hooper - Qwest Jennifer Fisher - Qwest Susie Johnson - Qwest Sue Kriebel - Qwest Peggy Esquibel-Reed - Qwest Lynn Stecklein - Qwest Linda Sanchez-Steinke - Qwest

The meeting began with Qwest making introductions and welcoming all attendees. Linda Sanchez-Steinke with Qwest explained that the purpose of the meeting was to discuss CR PC112003-1 agenda topics: - Qwest will not establish separate Class of Service for EEL & LMC - Qwest assigning interstate Classes of Service on new EEL/LMC requests - Determine if EEL/LMC services established as new connect or conversion - Jurisdiction of EEL/LMC - EEL/LMC XUMAX Interstate, UBNWN Intrastate Rates - PCAT updates

The following is the write-up of the discussions and action items from the working session.

- Qwest will not establish separate Class of Service for EEL & LMC. Pat Finley with Qwest explained that separate classes of service will not be provided for EEL and LMC. Qwest has developed the TRAK FID on the CSR which identifies EELs and LMC circuits. Pat added that Qwest will not count LMCs in the calculation of LIS trunking to EEL ratio.

- Qwest assigning interstate Classes of Service on new EEL/LMC requests. Pat Finley said that Qwest did have a deviation from the process and orders for the conversion were issued with Interstate classes of service. Additional training has been provided to the center and the center is in the process or writing orders to correct. Tom Hyde with Cbeyond said that he is concerned that UNE billing deviates from Telcordia standards with respect to USOCs. Pat said the EEL and LMC PCATs have been updated to include a download of USOCs for interstate and intrastate. Tom said that he has not reviewed the PCAT. Sami Hooper with Qwest said that the Chan Term is the same as special access but has a unique class of service and ZCID. Tom Hyde said that the rate is driven by the ZCID. Sami said that the rate is driven by class of service, USOC and the company code or ZSID makes the rate unique. Tom said he is concerned that class of service is irrelevant to billing of basic Chan Term which is a finished service. Pat said that the company code makes rating unique and several UNEs borrow retail USOCs. The interconnection agreement provides rates. Tom said he was concerned that the PCAT will be ambiguous, an audit of billing will provide different information and the only method to audit is a manual method. The interoffice mileage and fixed charges are charged incorrectly. Pat said the USOC definitions will be the same and this is not unique to LMC and EEL. The rating is done per the interconnection agreement. Susie Johnson said that Gia is correcting the incorrectly billed multiple fixed mileage charges.

- Determine if EEL/LMC services established as new connect or conversion. Tom said that Qwest has asked him to identify which were new connect circuits and which were converted circuits and that everything was being assigned Interstate. Pat said that Qwest knows how the services were established, either new connect or conversion.

- Jurisdiction of EEL/LMC. Pat Finley said that 14 circuits have the incorrect circuit ID and are being corrected via record orders.

- EEL/LMC XUMAX Interstate, UBNWN Intrastate Rates. Pat Finley said that Qwest has no plans to charge a higher rate for interstate vs. intrastate and UNE’s are billed at TELRIC. Tom Hyde said he doesn’t care for CRIS billing for UNE-P, that it was probably ok a couple years ago and is causing grief because of the lack of consistency and manual work involved to audit bills. CRIS billing is not part of CMP CR PC112003-1 and was not discussed further.

- PCAT updates. Pat Finley said the PCAT was updated and provides a download to map USOCs and class of service. Tom said he has not reviewed the changes made to the PCAT. Pat said that the combination of USOCs are unique. Sami said that is correct and the PCAT identifies the nonrecurring USOCs and the FID identifies if EEL or LMC. LMC has no mileage. Tom said that the bill will subtract LMC mileage and it was billed in error, identified in manual audit. Pat said that if orders are issued correctly the ZCID, etc. drives billing. Pat explained that establishing a new unique classes of service for LMC is cost prohibitive due to the conversion required to the embedded base. Tom said that a new USOC can’t be cost prohibitive. Tom added that the circuit ID is being corrected and has helped.

There were no additional questions and Linda said that meeting minutes would be provided in the body of the change request.

02/18/04 February CMP Meeting Pat Finley with Qwest said the examples Cbeyond provided following the January meeting were examples of circuits with jurisdiction based on the class of service. There were hundreds of circuits converted correctly via record orders and the 10 circuits provided as examples were issued incorrectly, and required record orders to fix. Pat explained that the PCATs for EEL and LMC were updated and now contains a downloadable list of USOCs for interstate and intrastate. The USOC list, combined with the TRAK FID on the CSR differentiates LMC and EEL and there is no need to establish separate classes of service. The work associated with establishing separate classes of service is prohibitive because of the conversion to the embedded base.

Pat said that the e-mail received from Stephan Calhoun on 1/22/04, confuses the request with other CRs requesting billing changes and believe that this CR can be closed.

Stephan Calhoun with Cbeyond said the PCAT updates are appreciated and that he was only able to review the Qwest response on this CR yesterday. Stephan said he has concerns with the 2/3/04 Qwest response and asked that Pat read through the response.

Pat read the draft response. Stephan said that his understanding is that usually classes of service define the product but not the jurisdiction. Pat disagreed saying that the jurisdiction of many Qwest products is identified by class of service.

Stephan also said that interstate class of service was assigned to conversion orders that were issued last year, are also being assigned on new requests for EEL and LMCE. Pat said that the interstate EEL and LMC classes of service are only used to convert to Special Access circuits.

Stephan said that he doesn’t understand the reason UMX was changed to new EEL and LMC. Cbeyond has not made any changes in the way the services were ordered. Pat Finley said that interstate was only used for conversion orders only.

Stephan said that Cbeyond is concerned that billing doesn’t support the Qwest response. The billing department was not able to identify what was converted and what was a new order. There seems to be a disconnect with the policy and what is actually done. Pat explained that the Billing Center is able to access history information on the services, and to tell what is new and what was converted. Stephen said that the billing manager, service manager and process manager were unable to determine and planned to contact the product manager. Stephan has provided examples to their service manager.

Stephan is also concerned that the recurring interstate and intrastate EEL do not bill the same as UNE. Pat said that PLT has different rates and is a finished service. Interstate and intrastate EEL and LMC are billed the same recurring rates. Stephan said LMC jurisdiction is based on FCC definition and doesn’t seem to fit. Stephan said the concern is not the rate itself, but the rate elements, and asked what would keep Qwest from applying different rates to interstate and intrastate. Pat asked if the concern is that Qwest may raise UNE rates that are interstate. Pat explained that Qwest is obligated to make these UNEs available to CLECs at TELRIC rates.

Judy Schultz with Qwest said there are many concerns with this CR and suggested that an ad hoc meeting be scheduled to discuss. This CR will remain in Evaluation status.

Thu 1/22/04 3:41 PM From; Stephan Calhoun [Stephan.Calhoun@cbeyond.net] To: Sanchez Steinke, Linda, Finley, Pat J cc; Morgan Halliday, Tom Hyde Subject; RE: Qwest Draft Response PC112003-1 (Differentiate LMC from EEL) - Cbeyond Response Linda/Pat,

I apologize for not getting this to you prior to yesterday's call. I got wrapped up in some other Qwest CRs that we received responses to at the same time. It appears that Qwest has addressed the regulatory concerns raised by the TRO in its response to this CR. Unfortunately, the billing implications on this CR appear to have been forgotten. Cbeyond has 3 specific concerns to Qwest's response:

1. Providing fields on the CSR for services that are billed in CRIS is not the same as for services billed in IABS. In the CRIS system, the CSR is not part of the bill. The CSR is provided as a separate file that is not in the same format as the invoice and is also not an OBF/industry standard format. Even this is a bit of a misnomer, the CSR is actually a collection of files per subaccount on an invoice. If an invoice has 2,000, the CSR is actually comprised of 2,000+ files. This is a partial explanation of why Cbeyond considers the delivery of information on the CSR as insufficient in addressing the billing concern of this CR.

2. Qwest has demonstrated through reports from the billing group (because Qwest doesn't actually put the class of service on the bill), that it uses or appears to use 2 different classes of service and thus 2 different sets of USOCs for the same bandwidth level, product, and jurisdiction as it applies to EELs and LMCs. Please find the attached examples.

3. An even broader concern, and perhaps the subject of another CR, is that Qwest has failed to map the USOCs & Classes of Service that it bills for LMCs & EELs to a product. Conversely, the PCATs for LMCs and EELs do not define the classes of service or USOCs to be applied to the elements that define each product. Obviously, Qwest has this defined somewhere in their system, but has failed to publish it to the CLEC community.

Again, I apologize if my comments caught you off guard as that was truly not my intent. I only saw the Qwest response the morning of the call and grew very concerned about what the response did not address.

Sincerely, Stephan

01/21/04 January CMP Meeting Pat Finley with Qwest said that Qwest held the Clarification meeting on 12/4/03 and that Qwest had sent an e-mail to Morgan Halliday stating that Qwest does not count EELs in the LMC ratio to LIS trunking. Pat reviewed the Qwest response and said that we will not establish unique classes of service for EELs and LMCs and that Qwest has created a way to distinguish EEL and LMC for the TRO by using TRAK FID. The TRAK FID information is available for CLECs on the CSR. Pat said that Qwest needed to distinguish between EELs and LMCs and has no intention of counting LMCs in the LIS trunking ratio.

Stephen Calhoun with Cbeyond said he is confused by the response because in December he received one answer and then in January received another answer. The CSR is not part of the bill and is not populating the difference between EEL and LMC on the bill. It is a different process to view the CSR as opposed to looking at the bill. The Cbeyond concern is based on reports received from the billing team where LMCs and EELs have different classes of service and USOCs. LMCS or EELs could be either class of service. Stephen will provide examples.

Pat Finley said there are 12 classes of service and they vary according to whether service is intrastate or interstate and the bandwidth requested. Stephen said these are brand new DS1 level, local installs and they have different classes of service assigned. In addition, when reviewing the PCAT there is a lack of documentation because LMC and EEL have no USOC mapping available to see the classes of service. Bonnie Johnson said that in reconciling bills, Qwest provides data is in so many different places, and there is a general concern that bills don’t provide enough detail to reconcile. (Begin comment from Bonnie Johnson – Eschelon) Bonnie said all of her personnel vendor bills contain the detail you need to know what you are paying for. (end comment). Carla Pardee with AT&T and Liz Balvin with MCI said they agree with Bonnie’s comments. This CR will move to Evaluation status.

Mon 1/5/04 1:12 PM From; Linda Sanchez-Steinke To; 'tom.hyde@cbeyond.net' cc: Pat Finley Subject; Change Request PC112003-1

Tom -

The attached e-mail was sent to Morgan Halliday a couple of weeks ago regarding change request PC112003-1, titled "Differentiate between Loop-MUX combos and EELs due to different FCC treatment (TRO Order)". I realize that with the holidays Cbeyond may not have had an opportunity to respond.

Would you please let me know if Pat Finley's attached e-mail provides the information needed to resolve the change request or if the change request is still needed.

Thank you

Linda Sanchez-Steinke Change Request Project Manager Qwest 303-382-5768

--Original Message-- From: Finley, Pat J Sent: Tuesday, December 16, 2003 4:43 PM To: 'morgan.halliday@cbeyond.net' Cc: Sanchez Steinke, Linda; Libadia, Robyn; Romano, Anthony Subject: Qwest's response to PC112003

Mr. Halliday, I wanted to provide you a formal response to the primary concerns you raised on the clarification call we had on December 4, 2003, for the Change Request titled "Differentiate between Loop-MUX combos and EELs due to different FCC treatment (TRO Order)." You asked that Qwest provide you in writing, assurances that we will not count Loop-MUX combinations (LMCs) in the calculation of LIS trunking to EEL ratio, to determine service eligibility. Please consider this written confirmation, that Qwest has no intention of counting LMCs in the calculation of the LIS trunking to EEL ratio as specified in the service eligibility criteria of the Triennial Review Order. We hope this satisfies your request. Please contact me at 303 896-8466, if you have any questions.

12/17/03 December CMP Meeting Cbeyond presented this CR and said Cbeyond would like to be able to differentiate LMX and EELs class of service on billing invoices. Liz Balvin with MCI asked how they come on the bills today. Stephen Calhoun said that Qwest provides Cbeyond additional information on a spreadsheet to help differentiate, and Qwest does not have the ability to separate LMX and EEL class of service. Jamal Boudhaouia with Qwest asked if Cbeyond orders LMX by itself, or if it is part of the whole circuit being provisioned. Stephen Calhoun said there are definite differences and if look at two DS1’s there is no differentiation between LMX and EEL and there are many implications, TRO order, Performance Management Plan, Regulatory side and billing. Jamal asked if the CR is based on the TRO order and if Cbeyond is asking for differentiation between the classes of service because of TRO implications. Judy Schultz with Qwest said that we may need another clarification meeting to get clear what the CR is requesting. Bonnie Johnson with Eschelon said that she was at the clarification meeting and felt that the CR request was clear. Kit Thomte said that Pat Finley the SME was not on the call and Kit felt that the discussion wasn’t helpful if she was not involved in the discussion. This CR will move to Presented status.

Tue 12/16/03 4:43 PM From; Pat Finley To; 'morgan.halliday@cbeyond.net' cc: Sanchez Steinke, Linda; Libadia, Robyn; Romano, Anthony Subject; Qwest's response to PC112003 Mr. Halliday, I wanted to provide you a formal response to the primary concerns you raised on the clarification call we had on December 4, 2003, for the Change Request titled "Differentiate between Loop-MUX combos and EELs due to different FCC treatment (TRO Order)." You asked that Qwest provide you in writing, assurances that we will not count Loop-MUX combinations (LMCs) in the calculation of LIS trunking to EEL ratio, to determine service eligibility. Please consider this written confirmation, that Qwest has no intention of counting LMCs in the calculation of the LIS trunking to EEL ratio as specified in the service eligibility criteria of the Triennial Review Order. We hope this satisfies your request. Please contact me at 303 896-8466, if you have any questions.

CLEC Change Request Clarification Meeting

2:00 p.m. (MDT) / Thursday December 4, 2003

1-877-572-8687 3393947# PC112003-1 Differentiate between Loop-MUX combos and EELs due to different FCC treatment (TRO Order)

Name/Company: Morgan Halliday, Cbeyond Tom Hyde, Cbeyond Stephen Calhoun, Cbeyond Kim Isaccs, Eschelon Bonnie Johnson, Eschelon Pat Finley, Qwest Carl Sear, Qwest Tony Romano, Qwest Paul Johnson, Qwest

Introduction of Attendees Qwest welcomed all attendees to the meeting.

Review Requested (Description of) Change Linda Sanchez-Steinke with Qwest read the description of change from the submitted change request; Seperately identify LMCs and EELs on bills. Tom Hyde with Cbeyond said that the primary part of the TRO is the ratio of, or test for EELs (high cap) to LIS trunking with the new service eligibility criteria. Since Qwest uses the same classes of services and USOCs for EELs and LMCs as are used for PLTS. Pat Finley with Qwest clarified that the TRO ratio is the number of interconnection trunks to EELs, however LMCs (Loop Mux Combinations) are excluded from the ratio requirement. Tom answered that Cbeyond would be satisfied if Qwest will acknowledge in writing that LMC is to be excluded from the service eligibility criteria (safe harbor), and therefore would be excluded from the LIS trunking to EEL ratio, that would satisfy Cbeyond’s concern.

In the CPAP Qwest is lumping EELs and LMCs together. Tom said that Qwest is the only ILEC that has EELs and LMCs under the same class of service.

Confirm Areas & Products Impacted Loop Mux Combo and EEL billing

Confirm Right Personnel Involved Correct Qwest personnel were involved in the clarification meeting

Identify/Confirm CLEC’s Expectation Extablish different class of service for LMCs and EELs

Identify any Dependent Systems Change Requests None identified.

Establish Action Plan (Resolution Time Frame) Cbeyond will present this CR at the December CMP meeting. Qwest will provide a response in January 2004.


CenturyLink Response

February 3, 2004

DRAFT RESPONSE For Review by the CLEC Community and Discussion at the February 2004 CMP Meeting

Morgan Halliday Cbeyond Communications, LLC

SUBJECT: Qwest’s Change Request Draft Response - PC112003-1 "Differentiate between Loop-MUX combos and EELs due to different FCC treatment (TRO Order)"

This letter is in response to the CLEC Change Request PC112003-1, that requests LMC (Loop Mux Combination) be assigned a unique class of service, to separately identify LMC from EEL (Enhanced Extended Loop) due to requirements in the Triennial Review Order (the Order). Qwest will not establish a separate class of service for LMC. Qwest will provide a link to a downloadable document in both the EEL and LMC PCATs that will identify USOCs that are utilized with XUMAX and UBNWN classes of service. This action will enable our customers to map EEL/LMC classes of service to USOCs for billing. The estimated costs to establish a separate class of service for LMC and convert the embedded base are considerable. Establishing a separate LMC class of service will not solve all of the billing issues Cbeyond has raised in subsequent meetings on this Change Request.

In the email Mr. Calhoun sent to Qwest dated 1-22-2004, he listed examples of EEL and LMC circuits that have two different classes of service (interstate and intrastate) with two different sets of USOCs for the same bandwidth, product and jurisdiction. When Cbeyond’s PLT (Private Line Transport) circuits were converted to either EEL or LMC, the jurisdiction, circuit id, and billing USOCs remained the same as when billed and provisioned as PLT circuits. To prevent service interruptions during the conversion, the class of service on the PLT record is converted to the EEL/LMC equivalent. There is no difference in recurring billing between the inter- and intrastate EEL/LMC classes of service and USOCs. The use of both retail and EEL/LMC product specific USOCs is explained in detail in the LMC and EEL PCATs.

In addition to the downloadable spreadsheet we will make available in the PCATs, we have established the TRAK FID and datasets that allow you and Qwest to differentiate between LMC and EEL. With this differentiation, Qwest will not include LMC circuits in your LIS to EEL ratio requirements per the Order service eligibility requirements. We believe these actions will address your specific concerns with billing associated with EEL and LMC. Your other pending change requests will help resolve the other issues you have raised with Qwest’s bills.

Sincerely,

Pat Finley Product Manager

January 13, 2004

DRAFT RESPONSE For Review by the CLEC Community and Discussion at the January 2004 CMP Meeting

Morgan Halliday Cbeyond Communications, LLC

SUBJECT: Qwest’s Change Request Response - PC112003-1 "Differentiate between Loop-MUX combos and EELs due to different FCC treatment (TRO Order)"

This letter is in response to the CLEC Change Request PC 112003-1, that requests EELs (Enhanced Extended Loops) and LMCs (Loop Mux Combinations) be assigned unique classes of service, to separately identify the services due to requirements of the Triennial Review Order (the Order). Qwest has researched this issue, and we will not be establishing separate classes of service and USOCs (Universal Service Order Codes) for EELs and LMCs. We have however, provided a method for you to validate, or identify EEL from LMC circuits, by using a FID (Field Identifier) called TRAK, which is a tracking code. If the circuit is an EEL, the dataset, or entry following TRAK FID on the CSR (Customer Service Record) will be IEEL. This entry will be shown following the class of service on the CSR. LMC circuits will be identified by the dataset ILMC after the TRAK FID. This information has been added to all EEL and LMC accounts in our embedded base, and it is a required service order entry on new EEL and LMC requests. We are able to produce reports that display the information, and we are working on producing reports from our order processing system to ensure the entries are appropriately made, when required. We are confident that this will allow us to validate the 24-to-1 EEL to interconnection trunk ratio specified in the Order (paragraph 608). Please recall that the Order provides for tests based on the service eligibility criteria conducted by an independent auditor to insure that high capacity combinations such as DS1 and DS3 EELs are used for local voice service. As noted in the Order, if Qwest requests an audit, the independent auditor will evaluate compliance with the service eligibility criteria. The compliance testing will be designed by the independent auditor, and Qwest will provide all documentation requested to satisfy standard auditing principles. The independent auditor will perform an "examination engagement", and issue an opinion regarding Qwest’s and the CLECs compliance with the service eligibility criteria (paragraph 626).

Sincerely,

Patricia J. Finley Product Manager Qwest Communications, Inc.


Open Product/Process CR PC120605-1EX Detail

 
Title: EEL Maintenance Window Change
CR Number Current Status
Date
Area Impacted Products Impacted

PC120605-1EX Completed
3/20/2006
Provisioning EEL
Originator: Hyde, Tom
Originator Company Name: Cbeyond Communications
Owner: Libadia, Robyn
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Perform a change to an existing EEL circuit during maintenance window (after 10PM MT)

Expected Deliverable:

Exception required due to short interval Loop Concentrator Multiplexer (LCM)..


Status History

12/06/2005 - CR Submitted As An Exception Request. Pre Meeting and Exception Meeting was Requested.

12/07/2005 - Acknowledged CR and Exception Request.

12/08/2005 - CMPR.12.08.05.F.03549.ExceptionRequest_PreMtg

12/12/2005 - Exception Pre-Meeting Held

12/13/2005 - CMPR.12.13.05.F.03564.ExceptionVoteRequired

12/14/2005 - Discussed in the Monthly Product/Process CMP Meeting, as a Walk-On.

12/29/2005 - Exception Vote Held

01/06/2006 - CMPR.01.06.06.F.03605.ExceptionVoteDisposition

01/18/2006 - Discussed in the Monthly Product Process CMP Meeting

01/19/2006 - PROD.01.19.06.F.03629.EEL_LMC_Out_of_Hours (Level 2)

01/19/2006 - PROD.01.19.06.F.03631.TRRO_EEL_and_LMC

02/02/2006 - CMPR.02.02.06.F.03677.AdHocMeeting_PC120605-1EX

02/09/2006 - Ad Hoc Meeting Held

02/09/2006 - Status changed to CLEC Test due to the implementation on February 9, 2006.

02/09/2006 - PROD.02.09.06.F.03695.TRRO_EEL_LMC_OutHours_Upd

02/09/2006 - PROD.02.09.06.F.03693.EEL_-_LMC_OutHours_Update (Level 1)

02/15/2006 - Discussed in the Monthly Product Process CMP Meeting

03/02/2006 - PROD.03.02.06.F.03735.EEL_LMC_Rearrangemnt (Level 1 Product Notice)

03/02/2006 - PROD.03.02.06.F.03737.TRRO_EEL_LMC_Rearrgmnt (Product Notice)

03/15/2006 - Discussed in the Monthly Product Process CMP Meeting


Project Meetings

March 20, 2006 Email Received from Cbeyond: I’m OK to close

- March 20, 2006 Email Sent to Cbeyond: Good Morning Tom, The CLEC that had an issue regarding MN was okay to close the CR. They are pursueing via other avenues and were okay with the CR closing. I believe that really does close the CR in it's entirety. Please let me know if you are in concurrence to closing out the CR. I have attached a copy of the CR. It contains a copy of the email received from the CLEC that had objected to the closure, and then provided the approval to close. Thank you Peggy Esquibel-Reed Qwest Wholesale CMP

-- March 20, 2006 Email Received from Cbeyond: Peggy: I’m fine with closing for Colorado. I understand that there were some CLECs that were concerned with keeping open for MN.

-- March 17, 2006 Email Sent to Cbeyond: Hello Tom, This email is to ask if you have any objection to closing your CR PC120605-1EX EEL Maintenance Window Change. This change was effective on February 9th. During the March 15th CMP Meeting, there was no objection from the CLEC Community to the closure. Please let me know if the CR can be closed or if you feel that it needs to remain in CLEC Test. If you are not yet ready to close the CR, will you please provide me with details as to what issues you are having in regard to this change? I will then do some reasearch and assist with any problem resolution. Thanks, Tom. I hope to hear from you soon. Peggy Esquibel-Reed Qwest Wholesale CMP

- March 15, 2006 Email Received from Eschelon: Hello Jill, I had a chance to speak with Bonnie regarding our objection to the exclusion of MN for this product. You can close the change request if no other CLECs have an objections. Eschelon is pursuing other avenues to address our concerns. Thanks an have a great evening. Kim Isaacs Eschelon Telecom, Inc.

-- March 15, 2006 Monthly Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that this effort was implemented on February 9th and noted that all the submitted questions have been responded to. Jill asked if this CR was ready to be closed. Kim Isaacs-Eschelon stated that Eschelon has a standing dispute in Minnesota and would like the CR to remain open. Jill Martain-Qwest stated that Qwest does not have the capability to provide this in MN at this time and stated that she can have a conversation with Eschelon. Kim Isaacs-Eschelon stated that the MN Commission stated that there are steps that Qwest could take to offer in MN and that the Commission did not anticipate Qwest not making the offer in MN. Jill Martain-Qwest stated that she would check into it and then she could have a discussion off-line with Eschelon. Kim Isaacs-Eschelon asked that Qwest provide them with the information regarding the steps Qwest is taking for Minnesota. Jill Martain-Qwest said okay. This CR remains in CLEC Test. NOTE: After the CMP meeting, Eschelon submitted an e-mail to Qwest stating that they were OK to close the CR if there we no other objections from other CLECs. Qwest will check with Cbeyond off-line to see if the CR can be closed.

-- March 1, 2006 Emails Sent to Eschelon (Kim Isaacs) and McLeod (Chelsea Payne): In regard to your request associated with notification PROD.02.09.06.F.03693.EEL-LMCOutHoursUpdate, Qwest is not refusing to offer UNEs in Minnesota. The issue is that Qwest does not have approved rates in Minnesota that can be charged to install or rearrange EEL outside of the normal business hours. Qwest is in the process of investigating next steps. Until such time that Qwest has the ability to charge an appropriate non-recurring rate in MN, Qwest is not offering the ability to provision new or rearrange existing EEL circuits outside of normal business hours. Qwest continues to offer the ability to perform rearrangement and change orders on EEL circuits during normal business hours and will work with the CLECs to minimize any down time to their end user customers. Thank you, Susan Lorence Qwest CMP Manager

- February 21, 2006 Email Received from McLeod: McLeodUSA objects to the level 1 change announced on February 9, 2006 (Document #PROD.02.09.06.F.03693.EEL-LMCOutHoursUpdate related to CLEC CR# PC120605-1EX) regarding the inability to schedule EEL coordinated project installations out of hours due to the fact that rates have not been established in a given area. McLeodUSA specifically would like to note this objection in the state of Minnesota. While Qwest may not have a Commission approved rate in Minnesota, this should have no bearing on whether or not this service should be offered to McleodUSA. The Commission issued an order dated 10-2-2002 on Docket: P-421/CI-01-1375 which provided a process for Qwest to address new UNE prices and prices under development which includes Qwest submitting a cost study to get their rate - not do deny CLECs access to the product. Based on this order, McleodUSA requests that Qwest offer EEL Out of Hours installations in Minnesota and update the PCAT language to indicate that in states that do not contain the appropriate rates that Qwest will negotiate a rate with the CLEC. Thank You, Chelsea Payne

February 20, 2006 Email Received from Eschelon: At the 2-9-06 PC120605-1EX EEL Maintenance Window Change ad hoc call, Qwest announced that Qwest would withdraw its EEL Out of Hours Installations offering in the state of Minnesota because Qwest failed to establish commission approved rates in the Minnesota. Eschelon expressed our concerns with Qwest's position on the ad hoc call but we agreed to allow the change request to move forward in the other states, so that Qwest’s change in its position in MN would not delay CBeyond’s request in other states. On the call, Eschelon reserved our rights to comment and object to Qwest's position. Eschelon submits this objection. While Qwest currently may not have a Commission approved rate in the Minnesota Exhibit A, the Minnesota Commission addressed this issue in its order dated 10-2-2002 on Docket: P-421/CI-01-1375. The Minnesota Commission did not provide that Qwest would simply refuse to offer UNEs and services in Minnesota. The Minnesota Commission found that Qwest has an “obligation to provide all of its UNEs and services at just, reasonable and nondiscriminatory rates pursuant to the Act’s $9 201(b) and 202(a)”[1]. Furthermore, the Minnesota Commission provided a process to address new UNE prices and prices under development. The proper process is for Qwest to submit a cost study and get a rate not to deny CLECs access to the product.

Based on the Minnesota Commission order, Eschelon requests that Qwest offer EEL Out of Hours installations in Minnesota and update the PCAT language to indicate:

If this offering is not included in your current ICA, an amendment will be required. Out of Hours Project Coordinated Installations are offered in states that contain the appropriate rates found under Miscellaneous Charges in Section 9.20 of Exhibit A for the specific state. In states that do not contain the appropriate rates found under Section 9.20 of Exhibit A Qwest will negotiate a rate with the CLEC. In Minnesota, Qwest needs to file a cost study for this rate.

[1] 10-2-2002 MN Commission Order Docket: P-421/CI-01-1375

Thank you. Kim Isaacs Eschelon Telecom, Inc.

February 15, 2006 Monthly Product Process CMP Meeting Discussion: Robyn Libadia-Qwest stated that Qwest began offering the out of hours for EEL & LMC on February 9th. Contract language was updated and is posted. Robyn noted that there was an ad hoc meeting that was held on February 9th in order for Qwest to further clarify the offering. Robyn then stated that an amendment would be required and that it is available for the states that have the appropriate rates. Robyn stated that would be all states with the exception of Minnesota. Robyn stated that during the February 9th ad hoc meeting, there was agreement that a Level 1 Notice would be sent on February 9th, with an effective date of February 10th. Robyn then noted that the CR is in CLEC Test. Bonnie Johnson-Eschelon stated that she had indicated on the ad hoc call that she was okay with a Level 1 Notice so that Cbeyond could take advantage, but that Eschelon could have concerns regarding the Minnesota issue. Bonnie then noted that Kim (Isaacs-Eschelon) will send information to the CMP CR mailbox. Jill Martain-Qwest stated that based on the discussion, the CR would remain in CLEC Test for another month.

February 9, 2006 Ad Hoc Call (CMPR.02.02.06.F.03677.AdHocMeetingPC120605-1EX) ATTENDEES: Tom Hyde-Cbeyond, Julie Pickar-TDS MetroCom, Rosalin Davis-Verizon Business, Bonnie Johnson-Eschelon, Kim Isaacs-Eschelon, Laurie Fredricksen-Integra, Janie Williamson-Integra Peggy Esquibel Reed-Qwest, Susan Lorence-Qwest, Jill Martain-Qwest, Sami Hooper-Qwest, Ev Montez-Qwest, Vicki Dryden-Qwest, Chris Quinn Struck-Qwest DISCUSSION: Peggy Esquibel Reed-Qwest stated that today’s call was scheduled in order to communicate some information regarding the CMP Change Request submitted by Cbeyond, PC120605-1EX; EEL Maintenance Window Change. The request was asking that a change to an existing EEL circuit could be performed after 10:00 p.m. MT. The CR was submitted as an exception request, for implementation in a shorter then normal timeframe. The exception vote was held in December and was granted. This CR was then scheduled to be implemented on February 9th, which is today. Last week, we became aware of some information that we need to communicate to you and immediately scheduled this call in order to pass that information to you. Due to the timeframes in the CMP Document pertaining to the scheduling of ad hoc calls, today was the earliest that the call could be held. With that, I will turn the call over to Robyn Libadia, who will share that information with you. Robyn Libadia-Qwest stated that because this was an exception CR, a notice was sent to the CLEC Community. Robyn then noted that while developing the process it came to light that this offering would not apply for the state of Minnesota. For coordinated project installations scheduled to commence out of hours, or rescheduled by a CLEC to commence out of hours, additional nonrecurring charges will be applied to each EEL circuit for the work performed by Qwest outside of normal business hours. If this offering is not included in your current ICA, an amendment will be required. Robyn stated that the offering is still effective today, February 9th, but cannot offer the process in Minnesota. Robyn stated that clarification will be added to the EEL & LMC PCATs and stated that Qwest would like to issue a Level 1 Notice for the immediate clarification. Tom Hyde-Cbeyond stated that he was okay with the Level 1 Notice request. Robyn Libadia-Qwest asked if there were any other thoughts. Bonnie Johnson-Eschelon asked to clarify that Qwest offered out of hours for other products in Minnesota. Robyn Libadia-Qwest stated that could be and noted that she could only address products that she is responsible for. Robyn stated that in order to offer EEL & LMC, a cost docket will need to be filed and commission approval would be needed. Jill Martain-Qwest stated that Qwest still wanted to offer this process in as many states as possible. Bonnie Johnson-Eschelon stated that she was okay with a Level 1 Notice so Cbeyond could obtain benefit in Colorado. Bonnie then noted that she may later have comments regarding the change itself. Jill Martain-Qwest asked Bonnie to please send them to the CMP mailbox. Jill then stated that it sounds like Qwest is okay to proceed with the Level 1 Notice. There were no additional questions or comments. Peggy Esquibel Reed-Qwest thanked the call participants and adjourned the call.

- January 18, 2006 Monthly Product Process CMP Meeting Discussion: Robyn Libadia-Qwest stated that this CR had an exception granted via a vote and stated that the effort was moving forward to implement out of hours coordinated installs for EEL and LMC products. Robyn stated that the PCAT updates had been completed and would be published on January 23rd. She also stated amendment language had been drafted and would be made available. Robyn requested consensus from the CLECs to treat this CR as a Level 2 Notice so that Qwest could move forward with an effective date and implementation date of February 13th. There was no objection to the Level 2 Notice. Tom Hyde-Cbeyond asked when the amendments would be published. Robyn Libadia-Qwest stated that they would be published by the February 13th effective date. Tom Hyde-Cbeyond asked for the publication date. Robyn Libadia-Qwest stated that she did not yet have a date but that it would be no later than February 13th. Tom Hyde-Cbeyond stated that it would have to be published earlier. Tom stated that he would like sooner so he could have time to review them and make sure that they are acceptable. Robyn Libadia-Qwest stated that she would see if the request for earlier publication could be accommodated. Jill Martain-Qwest stated that all CLECs would need to have a signed amendment in order to participate. This CR moves to Development Status.

- December 29, 2005 Exception Vote Meeting Minutes: In attendance: Cindy Harlan-Qwest Sharon Van Meter-ATT

Cindy Harlan reviewed that the purpose of this meeting is to conduct the vote on PC120605-1EX to determine whether or not this CR will be handled as an exception CR. This vote was previously scheduled to take place on December 22, 2005, but quorum was not achieved at that time.

Cindy then conducted the vote: Sharon Van Meter - ATT advised her vote is yes Eschelon-yes via email TDS-yes via email Qwest Corporation-no via email Time Warner Telecom-yes via email

Cindy advised 2/3 majority vote of yes was received so this CR will be handled as an Exception.

-- December 14, 2005 Product Process CMP Meeting Discussion: Tom Hyde/Cbeyond stated that Cbeyond’s Interconnection Agreement currently allows addition of DS1 Loops and gives provisions for out of hour’s provisions to be done. Tom stated that his CR is to add EEL to the same provisions. Tom stated that he requested a walk-on to present the CR. Tom stated that Cbeyond needs the ability to meet Cbeyond’s TRRO requirements with a March 2006 deadline. Tom stated that he did not intend this CR to be a TRRO only change and noted that it is an ongoing change request. Jill Martain/Qwest stated that the vote is scheduled to take place on December 22nd. There were no questions or comments.

- Exception Pre-Meeting December 12, 2005 ATTENDEES: Kim Isaacs-Eschelon, Gary Tilley-McLeod, Jeff Raymond-McLeod, Kim Hartz-McLeod, Bonnie Johnson-Eschelon, Lynn Hankins-Covad, Tom Hyde-Cbeyond, Rosalin Davis-MCI, Peggy Esquibel Reed-Qwest, Robyn Libadia-Qwest, Jean Novak-Qwest, Sami Hooper-Qwest, Ev Montez-Qwest, Shirley Tallman-Qwest Peggy Esquibel Reed-Qwest stated that an exception change request was received from Cbeyond and that the purpose of this pre-meeting was to review the change request, answer questions, agree to the date/time for the vote meeting, and for Qwest to communicate what a vote of yes would mean and what a vote of no would mean. Peggy stated that Cbeyond is seeking an exception to the normal implementation timeline for this Level 4 change request. Peggy reviewed the CRs Description: (PC120605-1EX EEL Maintenance Window Change) the CR is asking Qwest to perform a change to an existing EEL circuit during maintenance window (after 10PM MT). Peggy then asked Tom Hyde (Cbeyond) if he had any other information regarding the request that they would like to share with the call participants, and also asked if he would share the business need that has prompted the exception request for a shorter implementation timeframe. Tom Hyde-Cbeyond stated that his CR is addressing a change from lower to higher loops, such as going from a DS1 to a DS1 Transport or from a DS1 to a DS3. Tom stated that the request is to prevent customer outages. Tom then stated that the CR was prompted due to TRRO. Tom stated that TRRO is the driver and noted that the deadline for conversions is March 11, 2006. Peggy Esquibel Reed-Qwest then asked if there were any questions regarding the CR. Bonnie Johnson-Eschelon asked Cbeyond if he is requesting that the EEL product to be able to make changes on EEL, whenever they are, after hours. Tom Hyde-Cbeyond stated that he submitted the request because EELs are silent in their Interconnection Agreement. Tom then stated that DSI Loops currently say that it can be done out of hours and Cbeyond is now looking for out of hours conversions and coordination in order to prevent end user downtimes. Tom stated that Voice Grade is not included in the request because Voice Grade is seldom isolated. Tom Hyde-Cbeyond then noted that TRRO is the driver of the exception request and stated that Cbeyond would have made the request anyway. Tom stated that it is not equitable to do for some products but not for EEL. Bonnie Johnson-Eschelon stated that Eschelon had recently run into the same situation, but was not TRRO related, changing from one central office to another. Bonnie then asked if this Cbeyond CR included that and would care for it. Tom Hyde-Cbeyond stated that his CR is for converting from EEL to non-EEL. Bonnie Johnson-Eschelon asked if EEL to EEL was outside of hours. Tom Hyde-Cbeyond stated that the CR is generic and that it should fall under that. Robyn Libadia-Qwest stated that the implementation of the request would be generic as well. Tom Hyde-Cbeyond asked with the vote being on December 22nd, when Qwest would be implementing the requested change. Peggy Esquibel Reed-Qwest stated that the vote does first need to be conducted and based on the outcome of the vote, will need to then go back and determine, from a CMP perspective, when the requested change could be implemented. Peggy Esquibel Reed-Qwest stated that the vote is scheduled to occur on December 22, 2005 at 1:00 p.m. MT. Peggy then noted that emailed votes would be accepted up until that date and time. Peggy stated that the reminder regarding the email option for votes is for those who will be on vacation and stated that the Vote Notice and Ballot would be out tomorrow. There was no dissent to the date and time for the vote meeting. Peggy then stated that a vote of ‘yes’ will indicate a preference to allow PC120605-1EX, EEL Maintenance Window Change, to be implemented prior to the normal implementation timeline for this Level 4 Change Request. A vote of ‘no’ will indicate a preference that PC120605-1EX, EEL Maintenance Window Change, not be implemented prior to the normal implementation timeline. Peggy asked if there were any questions regarding the yes/no vote. There were no questions. Peggy then noted that according to the CMP Process, a 2/3majority vote will be required for this Exception Request to be granted and that the vote would be on December 22nd and per the request of Cbeyond, the CR would be posted to the Wholesale CMP web site to be a walk-on for this Wednesday’s CMP Meeting.


Open Product/Process CR PC030618-1CM Detail

 
Title: CMP Document Update to Eliminate the Technical Escalations Contact List
CR Number Current Status
Date
Area Impacted Products Impacted

PC030618-1CM Completed
5/16/2018
Originator: Coyne, Mark
Originator Company Name: CenturyLink
Owner: Coyne, Mark
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink is proposing that the Technical Escalations Contact List that is posted to the external web page at https://www.centurylink.com/wholesale/systems/productionsupport.html be eliminated. The Technical Escalations Contact List is referenced in the CMP document under Section 5.4.3 – Level 2 Changes.

• The Technical Escalations Contact List provides both CLEC and CenturyLink Technical Contact information.

• Similar to the POC reports, the CLEC information has received minimal updates since the creation of the Technical Escalations document in 2002.

• The CenturyLink Technical Escalation List is not used by customers.

• If there was a technical escalation by a customer, it would most likely go through the Service Management team or the Wholesale Systems Help Desk.

Here is the proposed update to the Change Management Process document:

5.4.3 Level 2 Changes

Level 2 changes are defined as changes that have minimal effect on CLEC operating procedures. CenturyLink will provide notification of Level 2 changes at least twenty-one (21) calendar days prior to implementation.

Level 2 Change Categories are:

• Contact Information updates excluding time critical corrections (Expedites and Escalations Overview (http://www.CenturyLink.com/wholesale/clecs/exescover.html), Wholesale Customer Contacts (http://www.CenturyLink.com/wholesale/clecs/customercontacts.html), DELETE Technical Escalations Contact List (http://www.CenturyLink.com/wholesale/systems/productionsupport.html) END DELETE, CMP Points of Contact (POCs, CenturyLink POC changes only) http://www.centurylink.com/wholesale/cmp/index.html

This CR is part of the Simplify CMP effort in 2018.


Status History


Project Meetings

5/16/18 Product Process CMP Meeting Mark Coyne – CenturyLink stated that this CR is associated with a Technical Escalations Contact that had never been used on the CenturyLink side and was out of date on the CLEC contents. The vote was taken last month with unanimous agreement to make the change to remove the Technical Escalation contact list. Mark referenced Page 24 of the CMP distribution package that contained the various notices that were distributed associated with the change. Some additional outdated documents were also archived. The CR is now in CLEC Test as of May 7, 2018, and we would like to move it to a Completed status. He asked if there were any objections. There were none.

04/18/18 Product Process CMP Meeting Mark Coyne – CenturyLink stated that this CR is associated with a Technical Escalations Contact that has never been used on the CenturyLink side and is out of date on the CLEC contents. An Ad Hoc Call was conducted April 2, 2018 due to customer comments. Call participants agreed upon the proposed CMP Document update. The CMP Vote notification was issued on April 4, 2018 for the April Monthly Meeting and is included in the package along with the ballot. Mark stated that the quorum for the was the same and asked Susan to take the vote.

Susan Lorence – CenturyLink reviewed the proposed changes to Section 5.4.3 of the CMP document and what a vote of “Yes” and “No” meant as depicted on the voting Ballot in the CMP package. She asked if there were any questions. There were none. Susan stated that we have received three votes by mail, but one of the mail-in voters was on the call and assumed that they would vote by phone. The vote was then conducted and the results are listed in the table:

Voting Carrier Participant Vote TDS Metrocom Rod Cox (by email) Yes Velocity Telecom Jim Hickle (by email) Abstain Granite Telecommunications Jonathan Kronewitter (by phone) Yes POPP Communications Rebekah Byland (by phone) Yes Comcast Andrea Smith (by phone) Yes Allstream Kim Isaacs (by phone) Yes Met Tel John Nugent (by phone) Yes NOTE: Though Mark Coyne, CenturyLink, was not asked for his vote during the Voting process, his vote was also a “Yes” vote.

Susan Lorence – CenturyLink said the vote was unanimous and proposed that we make the agreed upon changes to Section 5.4.3 of the CMP document at the same time as we make the document updates for the prior CR so that we change the CMP document once. There were no objections. Susan also proposed that the update to the Web pages be made via a Level 1 notification. There were also no objections. She thanked everyone for the support for these CMP document updates.

Mark Coyne– CenturyLink said that we will be issuing two new CRs for the Simplify CMP project for the May meeting. The two CRs that were mentioned were the changes associated with eliminating the Performance Indicator Definitions (PID) wording in Section 2.6 and eliminating the CMP dispute resolution process and mailbox in Section 15.0. Mark said we would have ad hoc calls for these CRs.

FINAL Ad hoc meeting minutes April 2, 2018

PC030618-1CM CMP Document Update to Eliminate the Technical Escalations Contact List

Attendees: Rebekah Byland – POPP Communications Kim Isaacs – Allstream Andrea Smith – Comcast Darin Bray – CenturyLink Greg Johnson – CenturyLink Rita Urevig – CenturyLink Lee Gomez – CenturyLink Mark Coyne – CenturyLink John Hansen – CenturyLink Susan Lorence – CenturyLink

Susan Lorence – CenturyLink relayed the purpose of the Ad Hoc call which was to review the proposed changes to the CMP document associated with two CenturyLink CRs. Due to some CLEC questions received from Kim Isaacs – Allstream prior to the March Monthly CMP meeting, CenturyLink scheduled the Ad Hoc call to discuss the proposed changes. For each CR, the calendar includes a current copy of the CR, the proposed change to the CMP document and the Allstream question.

PC030618-1CM CMP Document Update to Eliminate the Technical Escalations Contact List. Susan Lorence – CenturyLink said this CR was presented in March and was associated with the Simplify CMP project that is focused on cleaning up CMP processes and the CenturyLink website that have not been used in years, in some cases since the establishment of CMP in 2002. Susan pointed those on the call to the Production Support page and said we want to clean this page up, such as removing the POODLE info from 2014 and the Technical Escalation Process that has not been used. This technical escalation process is for CLECs and CenturyLink to call each other if there is a system problem. Susan said we checked with those listed on the contact list under CenturyLink and they have never received a customer escalation call. The thought is that customers are using the WSHD, the repair number or their service manager if they want to escalate an issue. The proposed CMP document update is to remove this Escalations contact list from the CMP document under Section 5.4.3 Level 2 changes. Susan said the question from Kim Isaacs – Allstream was whether this information is available anywhere else. It is not. This info is only in the download.

Kim Isaacs – Allstream said if she calls the WSHD and wants to escalate, will the names on the CenturyLink list be contacted.

Susan Lorence – CenturyLink said she thought the WSHD has their own list of escalation contacts depending on the type of problem.

Darin Bray – CenturyLink said the WSHD has two levels – an outage and an escalation. Darin said an escalation typically refers to a ticket that is already open to give it a higher severity. If an existing ticket is escalated, the WSHD will determine which department is working on it and move it to the next level for that type of problem. Darin said if a customer is calling about a system outage, the WSHD will call the bridge which will then have a SWAT opened.

Kim Isaacs – Allstream said if she has concern about a technical issue she can also take it to her Account manager and follow their normal escalation process. Kim said she is OK with this proposed change.

Susan Lorence – CenturyLink asked if POPP and Comcast had any questions about this change.

Kim Isaacs – Allstream said as the systems have become stable over the years, especially with the implementation of EDI, this process has served its purpose.

Andrea Smith – Comcast said she agrees with Kim. Andrea said she circulated this change within Comcast and did not hear any concerns back about it going away.

Susan Lorence – CenturyLink said we will provide meeting minutes from the call today for both CRs. We will send two vote notices for the April meeting making the changes that were discussed and agreed upon. She thanked those on the call for their discussion and attendance.

The Ad hoc meeting was adjourned at 11:30 AM MT.

3/21/18 Product Process CMP Meeting Mark Coyne – CenturyLink stated that is the second new CR to be presented that is part of the Simplify CMP project that was discussed last month. He asked Susan Lorence – CenturyLink to present.

Susan Lorence – CenturyLink told callers that the Technical Escalations Contact List is posted to the external web page at https://www.centurylink.com/wholesale/systems/productionsupport.html. It provides both CLEC and CenturyLink Technical Contact information. Similar to the POC reports, the CLEC information has received minimal updates since the creation of the document in 2002 and contains outdated information. The CenturyLink Technical Escalation List has been maintained though it has not been used. Susan said in speaking with the CenturyLink listed contacts, there have been no requests for technical escalation assistance. We would like to send a Level 4 notification to eliminate this process which will require an update to the CMP document under Section 5.4.3 Level 2 changes. Moving forward, if there were a technical escalation, it would more likely go through the Service Management team or the Wholesale Systems Help Desk. She asked if there were any questions on the proposed changes. There were none. She added that CenturyLink had received a comment from Allstream asking if the CenturyLink contact names were captured anywhere else. Susan said that this CR will be included in the ad hoc call that would be set up for CR PC110117-1CM that was discussed previously. She asked if there were any questions or comments. There were none.


Open Product/Process CR PC030618-2 Detail

 
Title: Eliminate External documentation request CMP mailbox
CR Number Current Status
Date
Area Impacted Products Impacted

PC030618-2 Completed
6/20/2018
Originator: Coyne, Mark
Originator Company Name: CenturyLink
Owner: Coyne, Mark
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink is proposing that the CMP External Documentation mailbox be eliminated. The mailbox was established back in 2003 associated with CMP CR PC030603-1 - Documentation process to allow CLECs to request documentation of existing processes, including documentation on the Qwest Wholesale web site.

The CenturyLink proposal is to eliminate this process, the ExDocReq@centurylink.com mailbox and the web page at https://www.centurylink.com/wholesale/clecs/exdocprocessrequest.html which was established in 2003 to allow CLECs to request external documentation updates.

• The last documentation request from a CLEC was received in 2015. There have only been 3 requests in the past 10 years.

• Eliminate the separate “external documentation request” mailbox and web page.

• If a CLEC would like CenturyLink to consider an external documentation update, depending on the type of change, either a CR should be issued or send an email to the CMPComm mailbox.

This CR is part of the Simplify CMP effort in 2018. There are no updates required to the CMP document.


Status History


Project Meetings

6/20/18 Product Process CMP Meeting Mark Coyne – CenturyLink stated that this CR is in CLEC Test. The Final level 4 notice was sent on May 9, 2018 with an effective date of May 24, 2018 when it was moved to CLEC Test. Mark asked if there were any objections to moving this CR to a Completed status. There were none.

5/16/18 Product Process CMP Meeting Mark Coyne – CenturyLink stated that this CR is part of the Simplify CMP project. The request is to eliminate the external documentation request CMP Mailbox ExDocReq@centurylink.com and the associated web page at https://www.centurylink.com/wholesale/clecs/exdocprocessrequest.html that is part of this process. A Level 4 notification was sent on April 9, 2018 to eliminate this process and the associated web page. There were no comments during the comment cycle. The Final notice was sent on May 9, 2018 with an effective date of May 24, 2018. For historical purposes, a copy of the various documents that are available on this web page have been placed on the Product/Process Document Review Archive. This includes: • The spreadsheet capturing the requests submitted to the mailbox • A copy of the CLEC External Documentation Request Process Guide • The CLEC External Process Clarification Request Process Guide • The Process Clarification Meeting resolution CenturyLink will send a Level 1 Web notice effective as of May 24, 2018 to remove any references to this URL from our web site and make any changes to other CenturyLink external documentation. We will review this one again in the June meeting. He asked if there were any questions. There were none.

04/18/18 Product Process CMP Meeting Mark Coyne – CenturyLink stated that this CR was presented the prior month. The CR is to eliminate the external documentation request CMP Mailbox ExDocReq@centurylink.com and also the associated web page at https://www.centurylink.com/wholesale/clecs/exdocprocessrequest.html that is part of this process. Mark reminded those on the call that going forward, if a CLEC would like CenturyLink to consider an external documentation update, a CR can be issued or an email can be sent to the CMPComm mailbox. The initial notice was distributed on April 9, 2018. The Comment cycle started on April 10 and goes thru April 24. The Final notice is due May 9 with an effective date of May 24, 2018. As part of the final notice, for historical purposes, CenturyLink will post the documents that are being eliminated. This CR will be reviewed again in May. He asked if there were any questions. There were none.

03/21/18 Product Process CMP Meeting Mark Coyne – CenturyLink stated that this is a new CR to be presented which is part of the Simplify CMP project that was discussed last month. This CR is to eliminate the external documentation request CMP Mailbox ExDocReq@centurylink.com that was established back in 2003 to allow CLECs to request updates to documentation. There is also a web page at https://www.centurylink.com/wholesale/clecs/exdocprocessrequest.html that is part of this process. Mark said the last documentation request that was received from a CLEC occurred in 2015. Only three requests have been received in the past ten years. Mark said if a CLEC would like CenturyLink to consider an external documentation update, either a CR should be issued or an email can be sent to the CMPComm mailbox. CenturyLink would like to send a Level 4 notification to eliminate this process. He asked if there were any questions. There were none.


Open Product/Process CR PC032118-1 Detail

 
Title: Remove ICO NNI from MOE Resale PCAT
CR Number Current Status
Date
Area Impacted Products Impacted

PC032118-1 Completed
5/16/2018
Ordering Resale MOE
Originator: Schlachter, Paul
Originator Company Name: CenturyLink
Owner: Schlachter, Paul
Director:
CR PM: Hansen, John

Description Of Change

Remove reference to ICO NNI (Independent Company) from Metro Ethernet (MOE) Resale PCAT.


Status History


Project Meetings

5/16/18 Product Process CMP Meeting Mark Coyne – CenturyLink stated that this CR was presented in the April meeting and reminded callers that it was to remove the reference to ICO NNI (Independent Company) from Metro Ethernet (MOE) Resale PCAT. This is a documentation cleanup effort. No customer impacts. A Level 2 notice was distributed on April 28, 2018, with an effective date of May 14, 2018. This CR has been moved to CLEC Test as of Monday. Since there are no customers, CenturyLink would like to move this CR to Completed. There were no objections.

04/18/18 Product Process CMP Meeting Mark Coyne – CenturyLink stated that this is a new CR to be presented by Paul Schlachter.

Paul Schlachter – CenturyLink presented the CR and advised that this Meet Point offering for ICO NNI service from 2016 had never been rolled out. ICO NNI is included in the Resale MOE PCAT. Paul said there are no system changes or edit changes associated with this.

Mark Coyne – CenturyLink confirmed with Paul that this was simply a document cleanup and he agreed. Mark asked callers that since there were no customers with this service, CenturyLink would like to distribute a Level 2 notice to make these changes. He asked if there were any objections. There were none.


Open Product/Process CR PC032818-1 Detail

 
Title: Grandfather Purchase Plus Reward Plan
CR Number Current Status
Date
Area Impacted Products Impacted

PC032818-1 Completed
6/20/2018
Ordering Resale Packages
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Lorence, Susan

Description Of Change

Effective June 15, 2018, CenturyLink will grandfather the Purchase Plus Reward Plan. There are currently no wholesale customers with this pricing plan.


Status History


Project Meetings

6/20/18 Product Process CMP Meeting Mark Coyne – CenturyLink stated this CR is also in CLEC Test as of June 15, 2018. CenturyLink had requested that we send a level 2 notification since there were no wholesale customers on the pricing plan. The notice was sent on May 25, 2018 with an effective date of June 15, 2018. Mark asked if there were any objections to moving this CR to Completed status. There were none.

5/16/18 Product Process CMP Meeting Mark Coyne – CenturyLink stated that this CR was presented in the April meeting. This CR was to grandfather this pricing plan that was not being used by any customer. CenturyLink requested that a Level 2 notice be sent to make these changes. The notice will be sent on May 25, 2018 to be effective on June 15, 2018. We will review this one again in the June meeting. He asked if there were any questions. There were none.

04/18/18 Product Process CMP Meeting Mark Coyne – CenturyLink stated that this is a new CR to be presented by Lee Brummett.

Lee Brummett – CenturyLink told callers that this CR was to grandfather this pricing plan that was not being used by any customer. The CR has a proposed effective date of June 15, 2018.

Mark Coyne – CenturyLink asked callers that since there were no customers on this payment plan, CenturyLink would like to distribute a Level 2 notice to make these changes. He asked if there were any objections. There were none.


Open Product/Process CR SCR090418-1 Detail

 
Title: Grandfather Frame Relay and Asynchronous Transfer Mode Service
CR Number Current Status
Date
Area Impacted Products Impacted

SCR090418-1 Completed
3/20/2019
Ordering
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest Corporation d/b/a CenturyLink QC plans to file and post material to grandfather its Frame Relay and Asynchronous Transfer Mode Service.

UPDATE July 25, 2018 from CR Originator:

As of October 15, 2018, or as soon after that date as authorized by the relevant regulatory commissions, CenturyLink QC Frame Relay service and CenturyLink QC ATM service will no longer be available to new customers or for new orders from existing customers.

Existing customers of these services will be grandfathered as follows:

• Existing contracts for these services will not be renewed.

• Customers with a contract that expires prior to March 1, 2019 may retain their CenturyLink QC Frame Relay and/or QC ATM service covered by that contract on a month-to-month basis per the terms of their contract until March 1, 2019.

• Customers with a contract that expires after March 1, 2019 may retain their CenturyLink QC Frame Relay and/or QC ATM service covered by that contract until the expiration of that contract. At that time, the current service will be considered end-of-life, and will no longer be supported.


Status History


Project Meetings

03/20/19 Product Process CMP Meeting Mark Coyne – CenturyLink said that this CR has been in CLEC Test since October 15, 2018. March 1, 2019 is the date that this product was eliminated. We would like to move this CR to a Completed status. Mark asked if there were any objections. There were none.

02/20/19 Product Process CMP Meeting Mark Coyne – CenturyLink said that this CR has been in CLEC Test since October 15, 2018. The effective date of the grandfathering of these products is March 1, 2019. We will consider moving the CR to a Completed status in the March CMP meeting.

01/16/19 Product Process CMP Meeting Mark Coyne – CenturyLink said that this CR is now in CLEC Test and will remain there until the effective date of March 1, 2019 when the product will be eliminated.

12/12/18 Product Process CMP Meeting Mark Coyne – CenturyLink said that this CR is now in CLEC TEST. The CR will remain in CLEC Test until the effective date of March 1, 2019 when the product will be eliminated.

11/14/18 Product Process CMP Meeting Mark Coyne – CenturyLink said that this CR was moved to CLEC Test on October 15, 2018 and will remain in CLEC Test until the product elimination date of March 1, 2019. Mark reminded customers of information shared in the July 2018 Monthly CMP meeting: "Customers with a contract that expires after March 1, 2019 may retain their CenturyLink QC Frame Relay and/or QC ATM service covered by that contract until the expiration of that contract. At that time, the current service will be considered end-of-life and will no longer be supported. " Mark asked if there were any other questions or comments. There were none.

10/17/18 Product Process CMP Meeting Mark Coyne – CenturyLink stated the Level 4 final notice, to grandfather these services, was sent on September 28, 2018 with an effective date of October 15, 2018. The CR is now in CLEC TEST. The product elimination date is March 1, 2019. Mark asked if there were any other questions or comments. There were none.

9/19/18 Product Process CMP Meeting Mark Coyne – CenturyLink stated the Level 4 initial notice to grandfather these services was sent on 8-31-18 and the comment cycle ended on 9-15-18. No comments were received. The final notice is due on 9-28-18 with an effective date of 10-15-18. The product elimination date is 3-1-19. Mark asked if there were any other questions or comments. There were none.

8/15/18 Product Process CMP Meeting Mark Coyne – CenturyLink said this CenturyLink CR was presented in the May CMP meeting by Lee Brummett - CenturyLink. At that time, no planned effective date was identified. In the July meeting, Lee relayed that the date to grandfather these services was going to be October 15, 2018 and that CenturyLink also had identified a date to eliminate the product which is scheduled for March 1, 2019. During the July meeting, there was a request for clarification of how the product elimination would work. Mark then relayed the specific information as included in the July meeting minutes. He said in July there was also a question about how grandfathering would impact hosting based on ATM service.

Jamal Boudhaouia – CenturyLink explained that if a CLEC has DSL Hosting Services that uses the CenturyLink ATM switch as the aggregator, it will not be affected by the grandfathering of this product at this time.

Kim Isaacs – Allstream asked when they can expect to receive the list of circuits that are impacted.

Mark Coyne – CenturyLink stated that list should be received in the next week or so and said the level 4 notice will be sent at the end of August.

7/18/18 Product Process CMP Meeting Mark Coyne – CenturyLink said this CR was presented in May. The CR originator, Lee Brummett, relayed that at that point in time, the planned effective date to grandfather these services was still being determined.

Lee Brummett – CenturyLink relayed that the Grandfather date is planned for October 15, 2018. The date for product elimination is March 1, 2019.

Kim Isaacs – Allstream asked if a product elimination date was relayed when the CR was presented in May.

Lee Brummett – CenturyLink said he did not think so but there is now a date for product elimination.

Kim Isaacs – Allstream said she thought the CenturyLink resale broadband network is based on ATM service and asked how it will work to eliminate that. She said that Allstream was not going to be growing their ATM network so when the product was going to be grandfathered, that was not a problem. The March 2019 elimination date will be an issue.

Lee Brummett – CenturyLink stated he will check with the Product Manager.

Susan Lorence – CenturyLink said if Lee can get the information soon, we can include it in the meeting minutes.

07-25-18 INFO RECEIVED FROM LEE BRUMMETT As of October 15, 2018, or as soon after that date as authorized by the relevant regulatory commissions, CenturyLink QC Frame Relay service and CenturyLink QC ATM service will no longer be available to new customers or for new orders from existing customers.

Existing customers of these services will be grandfathered as follows: • Existing contracts for these services will not be renewed.

• Customers with a contract that expires prior to March 1, 2019 may retain their CenturyLink QC Frame Relay and/or QC ATM service covered by that contract on a month-to-month basis per the terms of their contract until March 1, 2019.

• Customers with a contract that expires after March 1, 2019 may retain their CenturyLink QC Frame Relay and/or QC ATM service covered by that contract until the expiration of that contract. At that time, the current service will be considered end-of-life and will no longer be supported.

Kim Isaacs - Allstream asked if CenturyLink was going to be filing with the FCC and states.

Lee Brummett - CenturyLink confirmed yes.

Mark Coyne – CenturyLink asked Lee to insure we get the CR updated with this new information. He said based on the mid October grandfathering date, CenturyLink will send out a Level 4 notice in late August.

Kim Isaacs - Allstream stated CenturyLink will have to contact customers directly for some states for the elimination piece. March 2019 will only provide 5 months and that is not enough time to move ATM/Frame Relay. Kim said she thought CenturyLink retail/government accounts will also have a problem.

6/20/18 Product Process CMP Meeting Mark Coyne – CenturyLink stated this CR was presented in the May meeting to advise customers of CenturyLink’s plan to grandfather Frame Relay and Asynchronous Mode Service. There was no planned effective when the CR was presented.

Lee Brummett – CenturyLink advised that the effective date is still pending.

Mark Coyne – CenturyLink said when the effective date is confirmed, a Level 4 notice will be sent.

05/16/18 Product Process CMP Meeting Mark Coyne – CenturyLink stated that this was a new CR and asked Lee Brummett to present.

Lee Brummett – CenturyLink stated that the purpose of this CR was to advise customers of CenturyLink’s intention to file and post material to grandfather Frame Relay and Asynchronous Mode Service. There is no effective date at this time.

Kim Isaacs – Allstream asked for confirmation that grandfathering meant that the existing service remained available though no changes would be allowed.

Lee Brummett – CenturyLink concurred. He stated that CenturyLink was in the process of identifying customers subscribing to the products.

Kim Isaacs – Allstream stated that some of the ATM circuits supported the CenturyLink Broadband for Resale product and wanted to be sure they were not going to have a problem with those circuits.

Lee Brummett – CenturyLink said the circuits would be grandfathered.

Mark Coyne – CenturyLink asked if there were any other questions. There were none.


Open Product/Process CR PC060618-1 Detail

 
Title: Enhance WSS Badge Access Tool
CR Number Current Status
Date
Area Impacted Products Impacted

PC060618-1 Completed
10/17/2018
Originator: Albritton, Trey
Originator Company Name: CenturyLink
Owner: Albritton, Trey
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink will be modifying our WSS External portal used by CLEC’s to enhance record keeping and overall control of physical building locations. The changes are as follows:

1) ACNA will now be required for each building address request

2) The number of locations requested will expand from 5 to 10

3) Customers will no longer be able to request additional sites via the “Reason for Access” field on the WSS form.


Status History


Project Meetings

10/17/18 Product Process CMP Meeting Mark Coyne – CenturyLink advised the effective date for this CR, to enhance the Workplace Self-Service (WSS) external portal for access badges, was originally August 22, 2018. At that time, the CR was moved to CLEC Test. CenturyLink identified a problem and Event notification 10445461 was issued on August 27, 2018. The previous version of the web tool was reloaded. On October 5, 2018, the Web team resolved the problem and the updates to the Badge tool were reloaded in Production. CenturyLink issued a Level 1 web notice to relay to all wholesale customers that the changes associated with this CR were once again available. On October 11, 2018, we sent a closure notice for the Event notice. Mark asked if anyone had any questions or objections to moving the CR to a Completed status. There were none.

9/19/18 Product Process CMP Meeting Mark Coyne – CenturyLink advised that the effective date for this CR was 8-22-18. The CR was moved to CLEC Test on that date. CenturyLink did identify a problem with the WSS external portal and issued an Event notification 10445461 on 8-27-18. The previous version of the web tool was reloaded while the SME team continues to work on the issue. We will review this CR again in October. Mark asked if there were any questions or comments. There were none.

8/15/18 Product Process CMP Meeting Mark Coyne – CenturyLink said this CR was presented in June by Trey Albritton – CenturyLink associated with a change to the WSS Badge Tool. The Level 4 notice was distributed on July 17, 2018. No comments were received during the comment cycle. The Final Notice was sent on August 7, 2018 and it has a planned effective date of August 22, 2018. Mark said we will review this CR in the September meeting. He asked if anyone had any questions. There were none.

07/18/18 Product Process CMP Meeting Mark Coyne – CenturyLink said this CR was presented in June associated with some changes to the WSS Badge Tool. The Level 4 notice was distributed on July 17, 2018. The CLEC comment cycle ends August 1, 2018 with the final notice due August 7, 2018 for an effective date of August 22, 2018. Mark asked if there were any other questions. There were none.

06/20/18 Product Process CMP Meeting Trey Albritton – CenturyLink presented this new CR by identifying the changes as included the Description Section for the Workplace Self-Service (WSS) external portal for access badges. Trey said the changes will enhance record keeping and expand location requests. Trey asked if there were any questions.

Kellie Halabrin – CenturyLink asked for clarification on the change related to the “Reason for Access” field.

Trey Albritton – CenturyLink said this field has been used to identify additional sites when the number of sites was greater than five. With this change, that field can no longer be used. Trey gave the example that if a customer is requesting 15 sites, they will have to issue two requests, one with 10 and another with 5.

Nancy Taylor – Allstream said Allstream has several ACNAs and asked if they would have to submit a request for each.

Trey Albritton – CenturyLink said each ACNA and their affiliates would be preloaded. When a customer wants to make a request, they will submit it for each appropriate company. Trey said each company is operating under separate agreements.

Nancy Taylor – Allstream asked about collocations and said they may have separate cages under separate agreements.

Trey Albritton – CenturyLink said the customer will have to make a separate request for each ACNA for a specific location. The tech will then have access to each site on the one badge. Multiple requests can be made on the same form for different ACNAs. It will not have to be done one at a time. Trey said in regard to more than five sites, it is rare to see greater than 10 at the same time. The planned effective date is after August 1, 2018. He said that CenturyLink will send notification out to all customers as required as well as send specific info to each Customer point of contact.

Mark Coyne – CenturyLink provided the reminder that we will send a 45 day level 4 CMP notice. Mark asked if there were any other questions. There were none.


Open Product/Process CR PC092818-1 Detail

 
Title: Discontinue Ethernet with Extended Transport Service
CR Number Current Status
Date
Area Impacted Products Impacted

PC092818-1 Completed
12/12/2018
Ethernet with Extended Transport (EwET)
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest Corporation d/b/a CenturyLink QC plans to file and post material to discontinue Ethernet with Extended Transport (EwET) service. There are no Resale customers.

The effective date of this change will be November 30, 2018, or as soon as the necessary regulatory approval can be obtained.


Status History


Project Meetings

12/12/18 Product Process CMP Meeting Mark Coyne – CenturyLink said that a Product notice was sent on November 9, 2018 with an effective date to discontinue this service as of November 30, 2018. There were no CLEC comments. The CR is in CLEC Test. Mark asked if there were any objections to moving this CR to a Completed status. There were none.

11/14/18 Product Process CMP Meeting Mark Coyne – CenturyLink said that this CR was presented in the October CMP meeting. During that meeting, CenturyLink announced there are no Resale customers and requested that a Level 2 notice be sent to grandfather the product. There were no objections. On November 9, 2018, CenturyLink submitted a Level 2 Product notice PROD.RESL.11.09.18.F.17004.ResaleMOEV45 that will be effective on November 30, 2018 to discontinue this service. Mark asked if there were any questions. There were none.

10/17/18 Product Process CMP Meeting Lee Brummett – CenturyLink said we are planning to file to discontinue Ethernet with Extended Transport Service with an effective date of November 30, 2018. Lee said there are no Resale customers.

Kim Isaacs – Allstream said she knows Commercial agreements are not part of CMP but wondered if CenturyLink will be reaching out to those customers under the Wholesale Data Services Agreement (WDSA) to inform them of this.

Lee Brummett – CenturyLink said he will validate it but he believes these customers were checked and no circuits were impacted.

Mark Coyne – CenturyLink said based on the fact that there are no Resale customers, he asked if there were any objections to sending a level 2 CMP notification to inform customers of this change. The notice would likely be sent around November 9, 2018. There were no objections.

Kim Isaacs – Allstream noted that if there are impacted circuits under the WDSA, she thought a 30 day or possibly a 90 day notice would be required.

Susan Lorence – CenturyLink said we will include an FYI in the meeting minutes as to whether there are any WDSA customers.

October 24, 2018 NOTE: Though outside the scope of CMP, Lee Brummett – CenturyLink confirmed that there are no WDSA customers for Ethernet with Extended Transport Service. There are also no IXC customers with this service.


Open Product/Process CR PC110117-1CM Detail

 
Title: CMP Doc change to modify hours of Wholesale System Help Desk (WSHD)
CR Number Current Status
Date
Area Impacted Products Impacted

PC110117-1CM Completed
5/16/2018
Wholesale Systems Help Desk
Originator: Coyne, Mark
Originator Company Name: CenturyLink
Owner: Coyne, Mark
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink is proposing that the hours of operation for the Wholesale System Help Desk (WSHD) be reduced due to the low volume of CLEC calls for the last 90 minutes of the business day. The current hours of operation are Monday thru Friday, 6 AM to 7 PM MT. The new hours of operation that CenturyLink is proposing are Monday thru Friday, 6 AM to 5:30 PM MT.

During the October 2017 monthly CMP meeting, CenturyLink proposed a Process Trial to run from November 20, 2017 through February 20, 2018 to determine the feasibility of this change in the WSHD hours. During this three month trial, the CenturyLink WSHD will utilize an on-call pager during the window of 5:30 PM MT to 7 PM MT to respond back to customer calls.

A redline of the Change Management Process document will be provided.

Proposed Implementation Date: 4/1/18


Status History


Project Meetings

05/16/18 Product Process CMP Meeting Mark Coyne – CenturyLink said that this CR is associated with the change in the WHSD hours due to low call volume. The vote was taken last month with unanimous agreement to make the change to end the WSHD hours at 5:30 PM but between 5:30 to 7, the WSHD will provide pager coverage. Mark referenced Page 24 of the CMP distribution package that contained the various notices that were distributed associated with the change. The CR is now in CLEC Test as of May 7, 2018, and we would like to move it to a Completed status. He asked if there were any objections. There were none.

04/18/18 Product Process CMP Meeting Mark Coyne – CenturyLink said that this CR was associated with the 90-day trial for the WSHD to use a pager the last 90 minutes of the business day Monday thru Friday. The call volume is extremely low. An Ad Hoc Call was conducted April 2, 2018 due to customer comments. Call participants agreed upon adding language regarding the pager usage to the CMP Document update. The CMP Vote Notification was issued on April 4, 2018 to relay a vote would occur in the April Monthly Meeting. The notice is included in the package along with the ballot. He asked Susan Lorence to review the voting procedure and take the vote.

Susan Lorence – CenturyLink reviewed the CMP Vote process as included in Section 17.0 of the CMP document. The key points of the CMP voting process are: each entity is entitled to a single vote regardless of any affiliates and quorum must be established. Susan said quorum is based on 62.5% of the average CLEC and CenturyLink entities in attendance at the last six monthly CMP meetings, October 2017 through March 2018. The average number of entities in attendance during this period was five so the quorum for the vote was three thus quorum was met. Susan reviewed the proposed changes to Section 12.7 of the CMP document and what a vote of “Yes” and “No” meant as depicted on the voting Ballot in the CMP package. She asked if there were any questions. There were none. Susan said we received three votes by mail, but one of the mail-in voters was on the call and assumed that they would vote by phone. The vote was then conducted and the results are listed in the table:

Voting Carrier Participant Vote TDS Metrocom Rod Cox (by email) Yes Velocity Telecom Jim Hickle (by email) Abstain Granite Telecommunications Jonathan Kronewitter (by phone) Yes POPP Communications Rebekah Byland (by phone) Yes Comcast Andrea Smith (by phone) Yes Allstream Kim Isaacs (by phone) Yes Met Tel John Nugent (by phone) Yes NOTE: Though Mark Coyne, CenturyLink, was not asked for his vote during the Voting process, his vote was also a “Yes” vote.

Susan Lorence – CenturyLink said the vote was unanimous and proposed that we make the agreed upon changes to the CMP document and to the Web pages via a Level 1 notification. There were no objections to this approach.

Ad hoc meeting minutes FINAL April 2, 2018

PC110117-1CM CMP Doc change to modify hours of Wholesale System Help Desk (WSHD)

Attendees: Rebekah Byland – POPP Communications Kim Isaacs – Allstream Andrea Smith – Comcast Darin Bray – CenturyLink Greg Johnson – CenturyLink Rita Urevig – CenturyLink Lee Gomez – CenturyLink Mark Coyne – CenturyLink John Hansen – CenturyLink Susan Lorence – CenturyLink

Susan Lorence – CenturyLink relayed the purpose of the Ad Hoc call which was to review the proposed changes to the CMP document associated with two CenturyLink CRs. Due to some CLEC questions received from Kim Isaacs – Allstream prior to the March Monthly CMP meeting, CenturyLink scheduled the Ad Hoc call to discuss the proposed changes. For each CR, the calendar includes a current copy of the CR, the proposed change to the CMP document and the Allstream question.

PC110117-1CM CMP Doc change to modify hours of Wholesale System Help Desk (WSHD) Susan Lorence – CenturyLink provided some background on the CR and the 90 day trial that occurred that ended in February.

Mark Coyne – CenturyLink said in the March CMP monthly meeting, CenturyLink reviewed the results of the 90 day trial where the WSHD used a pager and customer callback from 5:30 PM to 7 PM MT. Mark said only two calls came into the WSHD during that time and both were received in mid-December. One call was associated with a request for a digital certificate and the other call was associated with repair that was not appropriate for the WSHD. Based on the trial results, CenturyLink is proposing a change to Section 12.7 of the CMP document to change the normal hours of operation for Monday thru Friday to end at 5:30 PM MT vs. 7:00 PM MT. There is no change to the Saturday hours nor the handling of Severity 1 and 2 tickets. Mark said the WSHD message that states “if your matter is urgent, leave a message and CenturyLink will call back” will also remain in place.

Kim Isaacs – Allstream asked where in the CMP document is the use of a pager referenced.

Mark Coyne – CenturyLink said a pager is not currently referenced in the CMP document nor is it included as part of the proposed change. Mark said the CSIE will continue to be available for ordering questions until 7:00 PM MT Monday thru Friday and that this WSHD change is specific to questions regarding technical or system questions.

Kim Isaacs – Allstream said with the LSR consolidation still planned, she would like to see some reference added to the CMP document regarding the use of a pager for the 90 minute window.

Mark Coyne – CenturyLink said as stated in the monthly CMP meetings, CenturyLink is trying to simplify some of the wording in the CMP document so our preference was not to add language. Mark said an approach might be to add some reference to the WSHD pager in the Customer Contact Business Procedure.

Kim Isaacs – Allstream said she was not in favor of adding it to the PCAT since that document could be changed. She said she wants wording included in the CMP document that relays that the WSHD is available until 7:00 PM MT – either via a phone or a pager.

Susan Lorence – CenturyLink said that Kim mentioned the LSR consolidation but that during the ASR Consolidation implementation weekend, CenturyLink provided a Consolidation “Help line” to customers to address consolidation concerns. The window for the “Help line” was reduced by a week since things were going well. Susan asked if knowing that CenturyLink would do that again would suffice.

Kim Isaacs – Allstream said she did not want to give up something that is currently available in CMP and her ICA. She said maybe CenturyLink wanted to talk about lowering OSS charges as part of this but otherwise she did not want to give it up for nothing.

Mark Coyne – CenturyLink said customers would not lose any coverage during the window of 5:30 -7:00 PM MT; the WSHD would still be available.

Kim Isaacs – Allstream said it would not be in writing that CenturyLink has a long-term commitment to that coverage. She said Allstream has had problems with other companies on the east coast and wanted it in writing. She was sorry that CenturyLink would be punished for another company’s bad behavior.

Mark Coyne – CenturyLink we would take it back and look at what that language would look like.

Rebekah Byland – POPP Communications said she agreed with Kim that it was good to have it in writing that they could still receive assistance otherwise it will appear that WSHD coverage ends at 5:30 PM.

Mark Coyne – CenturyLink said he wanted to confirm what type of coverage was being requested. Was it systems issues or outages or an ordering issue?

Kim Isaacs – Allstream said the request was coverage for systems issues via the WSHD pager and not ordering issues. Allstream is working across multiple time zones and they have a group of personnel on the west coast.

Susan Lorence – CenturyLink said it sounds like if CenturyLink includes additional wording in the CMP document about pager coverage between 5:30 to 7:00 PM MT, that a CMP vote in April could occur.

Kim Isaacs – Allstream said yes.

There was no other questions or comments about this CR.

The Ad hoc meeting was adjourned at 11:30 AM MT.

3/21/18 Product Process CMP Meeting Mark Coyne – CenturyLink said the trial for this CR ended February 20, 2018. CenturyLink had been tracking calls since November 2017. He reminded callers that the CR is associated with the trial procedure for Wholesale System Help Desk (WSHD) personnel to use a pager for customer call back during the following WSHD hours of operation: Monday - Friday 5:30 PM - 7:00 PM MT. Mark asked Darin Bray – CenturyLink to review the trial results.

Darin Bray – CenturyLink said he is a Lead on the WSHD. Darin said they have been monitoring calls during the trial and he has not seen a lot of change in the calls received. Most calls occur before 5:30 PM MT. During the trial, five calls came in before that time and they carried over past the 5:30 PM timeframe and were resolved by the WSHD. Darin said he could not tell if other calls came in after 5:30 PM MT if the caller does not leave a voice mail. He said there were two voicemails left in December. There was little or no change in the average speed of call handling time and the time to answer.

Susan Lorence – CenturyLink confirmed with Darin that of the two voicemails that were left in December during the 90 day trial, one requested a digital certificate and was assisted by the WSHD. The other had a request that was not appropriate for WSHD and the caller provided an incorrect call back number. No action was taken.

Darin Bray – CenturyLink agreed.

Mark Coyne – CenturyLink asked if there were any questions for Darin. There were none. He added that the proposed language change in the CMP document would occur in Section 12.7 NOTIFICATION INTERVALS with a change to the M-F 7 PM MT timeframe to change it to end at 5:30 PM MT. Mark said the voice mail process would be that if a customer called in any time after the 5:30 PM MT time frame, the recording would advise that it the matter was urgent, the customer should leave a message. The same callback process would be in place for the WSHD to call them back. The proposed language change will be voted on in the April CMP meeting. He advised that a comment was received from Allstream regarding the use of the process of paging and that it be included in the CMP document. Mark said that since Allstream was not on the call, CenturyLink will set up an ad hoc call prior to the April CMP meeting to walk through Allstream’s concern. All are welcome to join the call and hopefully any issues will be resolved so that the vote may proceed in April. He asked if there were any questions. There were none.

2/21/18 Product Process CMP Meeting Mark Coyne – CenturyLink said the trial for this CR ended February 20, 2018. He reminded callers that the CR is associated with the trial procedure for Wholesale System Help Desk (WSHD) personnel to use a pager for customer call back during the following WSHD hours of operation: Monday - Friday 5:30 PM - 7:00 PM MT. Mark said we would like to continue with the pager process while the results are reviewed. The plan is to share the outcome of the trial in the March CMP meeting. Mark said that CenturyLink would likely be sending a proposed redline of the CMP document for consideration. Mark asked if there were any questions. There were none.

01/17/18 Product Process CMP Meeting Mark Coyne – CenturyLink said this CR is associated with the trial procedure for Wholesale System Help Desk (WSHD) personnel to use a pager for customer call back during the following WSHD hours of operation: Monday - Friday 5:30 PM - 7:00 PM MT. There is no change to the Saturday schedule. The ninety (90) day trial started on November 20, 2017 and ends on February 20, 2018. At the end of the three-month process trial, CenturyLink will evaluate the results. Mark said the early numbers received from the WSHD indicate that there are few to no calls during this window. He said it looks like we will try to move forward with a proposed change to the CMP document to make a change to the current hours that are documented. Mark asked if anyone has used the pager process and asked if there is any positive or negative feedback.

Kim Isaacs – Allstream asked to confirm the trial hours.

Mark Coyne -CenturyLink confirmed that it was the 1-1/2 hour period between 5:30 PM - 7:00 PM MT. He asked if there were any questions. There were none.

12/13/17 Product Process CMP Meeting Mark Coyne – CenturyLink said this CR was presented in the November CMP meeting but the changes were actually discussed in October. Mark reminded everyone that the trial procedure is to use a pager for customer call back during the Wholesale System Help Desk (WSHD) Monday - Friday 5:30 PM - 7:00 PM MT hours of operation. There is no change to the Saturday schedule. The ninety (90) day trial started on November 20, 2017 and ends on February 20, 2018. At the end of the three-month process trial, CenturyLink will evaluate the results. He reminded callers that the customer will be asked to leave a message. The WSHD professional will contact the customer within 15 minutes. From that point, the WSHD call will be conducted business as usual. No documentation updates will be made. Mark asked if there were any questions. There were none.

11/15/17 Product Process CMP Meeting Mark Coyne – CenturyLink stated that this new CR was discussed in the October CMP monthly meeting as a Walk-on. A Change Management CR was issued associated with proposed Process Trial which announced on November 1, 2017. The trial will start November 20, 2017 and run until February 20, 2018. CenturyLink will be trialing the use of a pager for customer call back during the following hours of operation: Monday - Friday 5:30 PM - 7:00 PM Mountain Time with no change to the Saturday schedule. The customer will be asked to leave a message. The WSHD professional will contact the customer within 15 minutes. From that point, the WSHD call will be conducted business as usual. This is a Process Trial only. No documentation updates will be made. At the end of the three-month process trial, CenturyLink will evaluate the results. Mark asked if there were any questions. There were none.

PRELIMINARY DISCUSSION PRIOR TO CR BEING SUBMITTED BY CENTURYLINK 10/18/17 Product Process CMP Meeting Mark Coyne - CenturyLink relayed that in the September monthly meeting, CenturyLink provided a brief update on the Process Trial associated with Wholesale Systems Help Desk (WSHD) and the Customer Service Inquiry and Education (CSIE) Center. [For more detailed information about the trial, refer to Notification PROS.MISC.08.22.17.F.15839.ProcessTrialLSRQuestions available on the CNLA at http://wholesale.centurylinkapps.com/cnla.] Mark said that that trial was going smoothly internally and externally. At the midpoint of that trial, Mark said the WSHD is also looking at reducing their hours of operation. To support their possible changes, the team pulled some data since the WSHD/CSIE trial started in September. It shows that the call volume into the WSHD Option 3 is down approximately 30%. Mark said that included in the package are some call volumes for the WSHD reflective of the last four months from 5:30 PM to 7:30 PM Monday thru Friday. The data for that time period shows that the WSHD receives approximately two calls per week. Based on that data, concurrent with the previous trial, CenturyLink would like to propose an additional process trial that would run from November 1, 2017 through January 31, 2018. During the WSHD hours of 5:30 PM to 7:00 PM MT Monday through Friday, calls into the WSHD would utilize an On Call pager to return customer calls. Saturday hours would remain the same and the CSIE hours (WSHD Option 1) would also remain 7:00 AM to 7:00 PM MT Monday through Friday as they are today. CenturyLink would review the results in early February 2018. Mark asked if there were any questions.

Kim Isaacs – Allstream expressed concern that the timeframe would result in calls being handled via pager starting at 4:30 PM PT and asked if the timeframe for the pager could be adjusted to 6:00 PM – 7:00 PM MT.

Mark Coyne – CenturyLink stated that the proposal from Kim could be considered, but asked if the trial could proceed as planned and then determine the final timeframe for the pager at the conclusion.

Kim Isaacs – Allstream stated that she would like for her west coast provisioning team to be ensured support until their business day was complete.

Mark Coyne – CenturyLink offered to take the request back to the WSHD and that a reply would be included via meeting minutes. Mark asked those on the call if there were any other concerns besides the 5:30 PM to 6:00 PM MT window. There were none. Mark advised that CenturyLink would submit a Change Request in the November Monthly CMP meeting to address these issues in preparation for an eventual proposed change. He said in good faith, CenturyLink believes the data showing the low call volume supports some changes being made and that CenturyLink wants to find a good approach for all parties.

NOTE: At the conclusion of the October Monthly Systems Meeting, there was additional discussion about the newly proposed WSHD process trial. That content is being included here for continuity vs. in the October System monthly meeting minutes.

Mark Coyne – CenturyLink said that James Clement – CenturyLink was on the call as a SME representing the WSHD. Mark said James would provide some additional information about the level of support that would continue to occur for the hours that would be covered by the pager.

James Clement – CenturyLink said he wanted to be sure that customers understood that at this time, CenturyLink is not requesting that we change the WSHD hours of operation. James said the current hours will remain the same. He said the difference is that rather than having an agent waiting in an office for a call, the “on call” agent would have a pager and they would respond within 15 minutes. The agent would then handle the call business as usual – either assist the customer or create a ticket for further investigation. James said CenturyLink would be able to handle what was required in the Service Level Agreement (SLA).

Mark Coyne – CenturyLink asked Kim if that information would allow her to consider keeping the trial as originally proposed.

Kim Isaacs – Allstream said she wanted to take this back to her team to check further. Kim said they have previously had some issues with other east coast carriers where the lack of support has caused problems.

Mark Coyne – CenturyLink said he would like to leave the trial as proposed until he hears back from Kim once she has had a chance to follow-up internally. Mark asked if Kim could respond by Friday, October 20.

Kim Isaacs – Allstream said she could respond by then.

James Clement – CenturyLink said he wanted to be sure to understand what the concern was since hours were not changing.

Kim Isaacs – Allstream said it was the “on call” pager that she wanted to check on.

10-25-17 UPDATE: Subsequent to the CMP monthly meeting, CenturyLink heard from Kim Isaacs – Allstream. Based on Kim’s follow-up and some additional information, Kim agreed that the trial could proceed as originally planned: the WSHD would utilize an on call pager during the hours of 5:30 PM to 7:00 PM MT Monday through Friday. An additional note to this is that the WSHD Process trial was originally planned to begin on November 1 but has been delayed to begin starting on November 20, 2017 and will continue for 90 days. A notification will be sent on November 1 with the specific details.


Open Product/Process CR PC040214-1 Detail

 
Title: Elimination of the automatic delivery of the LNP Reports via connect enterprise
CR Number Current Status
Date
Area Impacted Products Impacted

PC040214-1 Withdrawn
1/21/2015
Reports 911/E911
Originator: Eckhoff, Kevin
Originator Company Name: CenturyLink
Owner: Eckhoff, Kevin
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink will be eliminating the automatic delivery of six LNP migration reports. The six reports are:

1. Unlock Exception Report

2. Migrate Expired Report

3. Migrate Received/Not Unlocked Report

4. Migrate Pending Report

5. Successfully Migrated TN’s Report

6. Auto Unlock Exception Report

This information is currently already available on demand via our CenturyLink Web Portal or by request from the Centurylink 911 Operations group.

These six reports are being eliminated in the following states: Colorado, Iowa, Nebraska, Wyoming, Idaho, Montana, Oregon.

The reports will continue to be delivered via the current process in the following states: Arizona, New Mexico, North Dakota, South Dakota, Minnesota, Utah, Washington.

This change has a rolling implementation date depending on state migrations. The current planned Carrier migration dates are as follows and these end dates are when the reports will be eliminated for each state:

10/24/14 CR updated by originator to show a delay in Iowa, Nebraska and Wyoming in addition to Colorado.

8/25/14 Table updated to show a delay in CO

State End Effective Date

Colorado DELAYED

5/1/14 REVISED IMPLEMENTATION TABLE:

State End Effective Date

Colorado September 22, 2014

Iowa November 10, 2014

Nebraska January 26, 2015

Wyoming February 16, 2015

Montana March 23, 2015

Idaho April 20, 2015

Oregon June 8, 2015

This table was REVISED as of 5/1/14

Colorado May 30, 2014

Iowa August 1, 2014

Nebraska August 29, 2014

Wyoming October 3, 2014

Idaho November 7, 2014

Montana February 12, 2015

Oregon March 19, 2015

Expected Deliverables/Proposed Implementation Date: Phased implementation starting June 1, 2014 for Colorado.


Status History


Project Meetings

1/21/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said that on January 7, 2015, this CR was moved to Pending Withdrawal by the CR owner, Kevin Eckhoff. Per the SME team, this CR is no longer necessary due to a different corporate direction being taken with our existing partner Intrado. Mark relayed Intrado will remain the chosen ALI database vendor for 911/E911 services in the CenturyLink (Qwest) fourteen states. We will be moving this to a Withdrawn status. Mark asked if there were any questions. There were none.

12/17/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR remains in CLEC Test. It is associated with eliminating the automatic delivery of the LNP reports in seven states. Mark said a notification was sent in November 2014 and the states of Colorado, Iowa, Nebraska, and Wyoming remain delayed until further notice. No additional updates have been received from the SME team.

11/19/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR is associated with eliminating the automatic delivery of the LNP reports in seven states and it remains in CLEC Test. Mark said in October, the originator updated the CR to show a delay in Iowa, Nebraska and Wyoming in addition to the Colorado delay that was already in effect in Colorado. A level 1 notice will be distributed shortly to relay this most recent delay.

10/15/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR remains in CLEC Test. The date for the first state of Colorado to eliminate the delivery of reports has been delayed and the date for Iowa is now also TBD. Mark said a notice was sent on September 23, 2014 to relay the migration dates for Iowa, Nebraska and Wyoming are being updated. Once the revised dates are set, CenturyLink will send a notification to update the PCAT. In the meantime, customers with established connectivity with CenturyLink and Intrado, Inc. in Colorado and Iowa should continue to send duplicate files to each company until advised otherwise. Mark said no other updates have been received from the Project team at this time.

9/17/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR is in CLEC Test. The first state where the delivery of the reports is to be terminated is Colorado and the planned date was to be September 22, 2014 but as relayed last month, that state has been delayed. Mark said the end effective dates for the other states remain as planned.

8/16/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR which is in CLEC Test is associated with eliminating the automatic delivery of the LNP reports in the following seven states: Colorado, Iowa, Nebraska, Wyoming, Idaho, Montana and Oregon. The first state where the delivery of the reports will be terminated is Colorado and the planned date was to be September 22, 2014. Mark said there has been a delay which may impact the planned date for elimination of the other states. He said a notice will be sent once the new date for Colorado has been determined.

Kim Isaacs – Integra said asked if the delay is due to the emergency ruling by the Colorado Commission order on PS ALI.

Mark Coyne – CenturyLink said he was not sure but he thought that was part of it. Mark asked if there were any other questions. There were none.

7/16/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR is in CLEC Test and will be until the last state of Oregon goes into effect on June 8, 2015. This CR is associated with eliminating the automatic delivery of the LNP reports in the following seven states: Colorado, Iowa, Nebraska, Wyoming, Idaho, Montana and Oregon. The first state where the delivery of the reports will be terminated is Colorado on September 22, 2014.

Bonnie Johnson – Minnesota Department of Commerce asked why the CR was in CLEC Test if the effective date for the first state had not been reached.

Susan Lorence – CenturyLink said procedurally, the CR is moved to CLEC Test at the end of the CMP notification cycle. The CR remains in CLEC Test as each effective date passes for each state.

Mark Coyne – CenturyLink said the notification effective date was in May 2014.

6/18/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR associated with eliminating the automatic delivery of the LNP reports in the following seven states is in CLEC Test. The states are Colorado, Iowa, Nebraska, Wyoming, Idaho, Montana and Oregon. The final notice and response to CLEC comments were sent on May 16 and recaps the dates for the reports to be eliminated for each state and the CR and the PCAT have also been updated. Mark said there will be some additional information about the 911/E911 related change to this CR under Attachment F- Walk-ons. The CR will be left in CLEC Test until June 8, 2015 when the last state of Oregon becomes effective. Mark asked if there were any questions. There were none.

5/21/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was presented in April and the initial level 4 notice was sent on April 28 to relay that the automatic delivery of the LNP reports would be eliminated in the impacted states of Colorado, Iowa, Nebraska, Wyoming, Idaho, Montana and Oregon. A subsequent notification was sent on May 1 which clarified the dates in the April 28 notice and provided an extension of the state by state timeline to terminate delivery of the reports. Mark gave the example of the first state Colorado which has the extended date of September 22, 2014. The final notice and response to CLEC comments was sent on May 16 and has an effective date of June 1. Mark said a Web notice was sent which introduced a WebDBMS tool. CenturyLink received CLEC comments on that notice that included comments related to ICA language. Mark said our SME team is working on the response to CLEC comments which is due May 22, 2014.

Kim Isaacs – Integra said CenturyLink has piece mealed out notifications related to this project and this has caused confusion. Kim said she is not sure whether the WebDBMS tool is the only tool available for CLECs to interact with the SOI files and related reports. Kim said connectivity for Colorado is to be established by May 30 with files sent to both Intrado and CenturyLink by June 1 and they had not heard from anyone and it would not happen. Kim said this should have been one CR for the CenturyLink move away from Intrado. The various notifications should be addressed similar to how the LSOG changes are handled. Kim suggested holding an ad hoc call.

Mark Coyne – CenturyLink said the SMEs were not able to join this call but that once the final notice and response to comments was sent on May 22, CenturyLink would establish an ad hoc call if necessary.

Kim Isaacs – Integra said she would review the response to comments to determine if there were additional concerns. She asked if there were two ways to interact with CenturyLink regarding the SOI files or was the only mechanized means for interaction the WebDBMS tool.

Susan Lorence – CenturyLink said she thought the SOI files could continue to be FTP’d but that the SMEs would need to confirm that.

Kim Isaacs – Integra said she thought FTP or NDM was going to remain available but had not heard from CenturyLink regarding establishing connectivity.

Susan Lorence – CenturyLink said we would try to include a response to Kim’s questions with the final notice to be sent tomorrow.

Kim Isaacs – Integra said she assumed the people involved with this change were new and not as familiar with CMP.

Mark Coyne – CenturyLink said there were lessons to be learned with this project and that Kim’s input was valid. Mark asked if there were any other questions. There were none.

4/19/14 Product/Process CMP Meeting Kevin Eckhoff – CenturyLink presented the new CR. He said the automatic delivery of six LNP migration reports will be eliminated in Colorado, Iowa, Nebraska, Wyoming, Idaho, Montana, Oregon since the reports will be available on the (4/29/14 Updates received from Integra in CAPS) EMBARQ web TOOL. The reports will continue to be delivered for the remaining states as they are today. Kim Isaacs – Integra asked if this CR was related to the CenturyLink migration away from Intrado.

Kevin Eckhoff – CenturyLink said yes, CenturyLink was taking the work back from Intrado for the specified states and was moving them to the ALI database that has been managed by CenturyLink for over 20 years.

Kim Isaacs – Integra asked why this was a Product Process CR versus a System CR since customers would have to now log into (4/29/14 Updates received from Integra in CAPS) THE EMBARQ [delete A] portal instead of automatically delivery. Kim said she wanted to be clear that with this change, the [INTEGRA’S] [delete ASSUMPTION] EXPECTATION is that the existing Embarq/CenturyLink portal will now fall under QC CMP guidelines. ANY SYSTEMS USED TO CONDUCT BUSINESS UNDER OUR CENTURYLINK/QC ICAS NEED TO BE IMPLEMENTED AND MANAGED UNDER THE CENTURYLINK/QC CMP PROCESS.

Mark Coyne – CenturyLink said we would get with the SME team to determine if the CR needed to be crossed over to a System CR and would also follow CMP parameters.

Randee Ryan – Comcast asked if the other states would remain with Intrado.

Kevin Eckhoff – CenturyLink said yes, the other states would remain with Intrado.


Open Product/Process CR PC013014-1CM Detail

 
Title: Change to the CMP document to replace references to CEMR and MEDIACC with "Trouble Reporting” systems
CR Number Current Status
Date
Area Impacted Products Impacted

PC013014-1CM Completed
4/16/2014
Change Mangement Process Document
Originator: Coyne, Mark
Originator Company Name: CenturyLink
Owner: Coyne, Mark
Director:
CR PM: Lorence, Susan

Description Of Change

The CEMR GUI and the MEDIACC application to application interface have been retired as of 1/31/14. CenturyLink is proposing that references to CEMR and MEDIACC be replaced with references to "Trouble Reporting” systems. These updates would be both in the CMP document and on the CMP CR form.

Updates to remove CEMR and MEDIACC are in the following sections of the CMP document.

3.3 CenturyLink Wholesale CMP Web Site

5.1.4 Systems Change Request Origination Process

11.0 APPLICATION-TO-APPLICATION INTERFACE TESTING

13.2 Changes to an Existing GUI

Appendix D: SAMPLE change request form

Redlined word document attached.

The proposed implementation date is 4/1/14.


Status History


Project Meetings

4/16/14 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed the CMP Vote was conducted in the March 2014 monthly meeting and the vote to update the CMP document was unanimous. The notification that provided the Voting results was distributed on March 26, 2014. The Level 1 notification to update the CMP document was distributed on April 9, 2014. Mark said the new CR form and SCRP form were also posted to the wholesale web at that time. Mark requested that the CR which is in CLEC Test be moved to Completed status. There were no objections.

3/19/14 Product/Process CMP Meeting Mark Coyne– CenturyLink said the CR had been presented in the February CMP monthly meeting and the redlined language had been reviewed. The Change Management CR vote notice had been sent out on March 5 and a copy of the notice and ballot is included in the CMP package. Mark said Susan Lorence - CenturyLink would review the vote instructions and conduct the vote.

Susan Lorence – CenturyLink identified Section 17 of the CMP document provided the instructions on how to conduct a CMP Vote. The key points of the CMP voting process are: each carrier is entitled to a single vote regardless of any affiliates; a change to the CMP document requires a unanimous vote per Section 2.1 of the document; and finally, quorum has to be established. Susan said quorum was based on 62.5% of the average CLEC and CenturyLink attendance at the last six monthly CMP meetings, September 2013 through February 2014. The average CLEC and CenturyLink attendees during this period was eight so the quorum for today’s vote meeting would be five. That number had been met so the vote can be conducted. Susan asked if there were any questions. There were none. Susan said the redlined CMP document was posted to the Wholesale calendar and relayed the CMP document sections that were to be updated with this CR. A CLEC or CenturyLink vote of “yes” indicates the updates to the CMP document would be made, and a CLEC or CenturyLink vote of “no” indicates that those changes will NOT be made. Susan conducted the vote and the results are listed in the table below:

Voting Carrier Voting Participant VOTE Sprint Jeff Sonnier (by email) YES Comcast Cable Randee Ryan (by phone) YES Integra Kim Isaacs (by phone) YES TWCable Victor Gaither (by phone) YES Granite Lisa Lynn (by phone) YES MegaPath Liz Tierney (by phone) YES Midcontinent Communications Emily Davis (by phone) YES Verizon Chad Warner (by phone) YES Windstream Al Finnell (by phone) YES CenturyLink Mark Coyne (by phone) YES

With the unanimous vote to update the CMP document, Susan proposed that the CMP document be updated with a level 1 notification. There were no objections. Susan said someone had identified a couple areas where the CMP document had not been rebranded and asked if those could be included with this CMP notification. There were no objections.

2/19/14 Product/Process CMP Meeting Mark Coyne– CenturyLink presented this new CR that was mentioned in the January CMP meeting. During that meeting, Kim Isaacs- Integra suggested that CenturyLink replace the specific system names CEMR and MEDIACC in the CMP document with a more generic reference. Mark said CenturyLink took that suggestion as indicated in the redlined CMP document that is posted separately to the Wholesale calendar for today’s meeting. Mark said the Sections of the CMP document that have been redlined are Sections 3.3 - CenturyLink Wholesale CMP Web Site, 5.1.4 - Systems Change Request Origination Process, 11.0 – Application-to-Application Interface Testing, 13.2 - Changes to an Existing GUI, and Appendix D: SAMPLE Change Request form. Mark said the planned effective date is April 1, 2014 and that CenturyLink plans to send out a vote notice for the March monthly meeting to update the CMP document as indicated. Per Section 2.1 of the CMP document, any updates to the CMP document require a unanimous vote. Mark asked if there were any questions. There were none.

1/15/14 Product/Process CMP Meeting (NOTE THIS IS PRIOR TO THE CR BEING ISSUED BY CENTURYLINK) New “CM” Change Request Mark Coyne – CenturyLink said CenturyLink will be issuing a new “Change Management” Change Request soon to remove references to CEMR and MEDIACC and add CEMR-MTG and MTG to the Change Management Process document and the Change Request form. Mark said we plan to present the CR next month.

Kim Isaacs - Integra said we may want to consider a generic term, i.e., Trouble Reporting system, vs. a specific system name in the updates to the CMP document.

Mark Coyne – CenturyLink said that is a good thought to include in our CMP CR proposal.

Kim Isaacs - Integra said in regard to Performance reporting, we need to look at the wording to insure there are not metrics that are specific to CEMR. Kim referenced the example of when the company switched from EDI to XML but said there was no reporting specific to EDI. Kim said she would look into any updates required there associated with CEMR and MEDIACC.

Mark Coyne – CenturyLink said we would discuss both of these areas in the February meeting. He asked if there were any questions. There were none.


Open Product/Process CR PC100516-1 Detail

 
Title: Customer Not Ready Process for ASR Requests Requiring a Build
CR Number Current Status
Date
Area Impacted Products Impacted

PC100516-1 Completed
1/18/2017
Provisioning Resale - MOE, PLT
Originator: Lyke, Cindy
Originator Company Name: CenturyLink
Owner: Bratetic, Pat
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink is experiencing delays in being able to deliver service to the CLEC when a build is required on an ASR. When the delay is related to a customer situation (i.e., backboard, conduit, etc., is required), CenturyLink is implementing the following timelines for a required response from the customer. Implementing these procedures allows time for the customer to determine feasibility for the construction required, and to communicate back to CenturyLink the commitment to move forward, and/or the date that their construction will be completed. If the customer does not respond within the following timelines, the order will be cancelled:

• Scheduling and completing the Site Survey within 30 calendar days of CenturyLink contacting the end user for the initial site visit.

• Once the Site Survey is completed, within 60 calendar days, if the customer doesn’t accept requirements and commit to move forward with the build, the ASR will be cancelled. If the customer does accept requirements, but can’t meet the due date that was FOC’d, customer must SUPP the desired due date on the order to the date the customer construction will be complete.

• If the customer is not ready to install the service on the committed DD, the customer will have 90 calendar days to SUPP the desired due date on the order to the date the customer construction will be complete or the order will be cancelled.

If the customer doesn’t respond positively with the information needed to move forward within the designated timelines, the ASR will be cancelled and the customer can resubmit the ASR when those timelines are known. The new request should carry the Customer Desired Due Date of when the construction will be completed.


Status History


Project Meetings

1/18/17 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR had an effective date of December 2, 2016 and the CR has been in CLEC Test since then. During the December CMP meeting, it was requested that the CR be kept open another month. Mark said that we would like to move this CR to a Completed status. There were no objections.

12/14/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was presented in October and the initial notice was sent October 21, 2016. One customer comment was received. CenturyLink sent the final notification and response to comments on November 16, 2016 with a planned effective date of December 2, 2016. This CR has been in CLEC Test as of that date. Mark said we would like to move this CR to a Completed status.

Kim Isaacs - Electric Lightwave asked to keep this CR open another month since there are not many of these. Kim said she wants to insure the process and information is as CenturyLink identified on a build.

Mark Coyne – CenturyLink said we will keep this open another month.

11/16/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this was a new CenturyLink CR that was presented last month. During the meeting, there was a question about a tariff filing. Following the monthly call, CenturyLink clarified the verbal response given during the monthly call and the CenturyLink response was also included in the draft meeting minutes. On October 21, 2016, CenturyLink sent the level 4 initial notification. Mark said there was one customer comment. The final notice and CenturyLink response to comments will be sent today with the planned effective date of December 2, 2016. Mark asked if there were any questions. There were none.

10/19/16 Product/Process CMP Meeting Cindy Lyke – CenturyLink presented this new CenturyLink CR. Cindy said CenturyLink is implementing a standard approach for customer response time that will align with other providers in the industry. When a build is required and a delay is related to a customer situation, if the customer does not respond within specified timelines, the order will be cancelled. Cindy recapped the key actions required at the 30, 60, and 90 calendar day intervals as listed in the CR. Cindy said this change will free up resources by creating efficiencies for both CenturyLink and our customers to focus on builds that are site ready. This change is targeted for an effective date of December 1, 2016. Kim Isaacs - Electric Lightwave asked whether tariff and catalogue updates would be required for Special Access, Private Line and MOE products and whether the process would apply to retail and resale.

Cindy Lyke – CenturyLink said that was correct for access services.

NOTE: 10-25-16 UPDATE following the CMP meeting from the SME team that was provided to ELI via email This CR and the new process are related to orders that require a build and are focused on working with our customers to get those orders moving forward with a commitment date from the customer so they don’t sit stagnant for long periods of time. With this new process and CR, there are NOT any tariff changes required. This process is not related to the language that is in the current tariffs as those requests do not follow the standard ordering processes as normally defined in the tariffs.

The SME team shared that they are looking at the overall language that currently resides in Section 5 of the tariffs around DD changes and the cancellation policy; they are working to create consistency across all CenturyLink tariffs. The SME team indicated that they are planning a tariff change that will be communicated in a Reseller notice that is currently planned to go out later this month. They wanted to relay this information so that when the Reseller notice is distributed, there would not be confusion with the changes being proposed with this Level 4 CR. With the planned Tariff change/reseller notice, CenturyLink will be issuing a level 3 “change in process” notice to coincide with the intrastate tariff changes.

Mark Coyne – CenturyLink asked if there were any questions. There were none. He said that CenturyLink will update the documenation and will send a level 4 notification with an effective date of December 1, 2016.


Open Product/Process CR PC111516-1 Detail

 
Title: Remove USOC AGB in North Dakota
CR Number Current Status
Date
Area Impacted Products Impacted

PC111516-1 Completed
12/14/2016
Resale
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Lorence, Susan

Description Of Change

Remove the USOC AGB in North Dakota. There are no customers with this USOC. The tariff effective date was 12/1/15.


Status History


Project Meetings

12/14/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR to remove one USOC in North Dakota was presented last month. The effective date of the tariff was actually December 15, 2015. Since there were no customers, CenturyLink requested that a level 1 notice be sent. There was customer agreement with that approach and the notice was sent on November 17, 2016 effective immediately. The CR is in CLEC Test and we would like to move this CR to a Completed status. There were no objections.

11/16/16 Product/Process CMP Meeting Lee Brummett – CenturyLink presented this walk-on CR posted separately to the calendar. Lee said this USOC which is specific to North Dakota was used for additional lines. Lee said there was one retail customer that had the service but they were transitioned to another product. There are no longer any customers that have this USOC.

Mark Coyne – CenturyLink said since there are no customers, CenturyLink would like to send a level 1 notice to be effective immediately. Mark asked if there were any objections. There were none.


Open Product/Process CR PC112116-1 Detail

 
Title: Add 3rd Party Manhole and Vault Access Construction Guidelines document to PDR PCAT
CR Number Current Status
Date
Area Impacted Products Impacted

PC112116-1 Completed
3/15/2017
Poles, Ducts and Rights of Way
Originator: Hansen, John
Originator Company Name: CenturyLink
Owner: Hansen, John
Director:
CR PM: Lorence, Susan

Description Of Change

Add a link in the Poles, Ducts and Rights of Way (PDR) Product Catalog (PCAT) to include the 3rd Party Manhole and Vault Access Construction Guidelines document that has been created to give direction to third party or other companies that access CenturyLink’s manholes and vaults.


Status History


Project Meetings

3/15/17 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR has been in CLEC test since the effective date of February 2, 2017. We would like to move this CR to a Completed status. Mark asked if there were any objections. There were none.

2/15/17 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CMP Notification for this CR was distributed on December 19, 2016. The notice relayed that CenturyLink would be adding a link to the 3rd Party Manhole and Vault Access Construction Guidelines which will give direction to companies that access CenturyLink's manhole and vaults. Mark said there was one CLEC comment during the comment cycle. The Final notification and CenturyLink response to comments were sent January 18, 2017. The CR has been in CLEC test since the effective date of February 2, 2017. Mark said we would keep this CR in CLEC Test and review it in the March meeting. Mark asked if there were any questions. There were none.

1/18/17 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was presented last month. A Level 3 notification (the notice should have been a level 4 notification and it is being treated as such by CenturyLink) was distributed on December 19, 2016 to add a link to the 3rd Party Manhole and Vault Access Construction Guidelines. Mark said the CLEC comment cycle ended January 3, 2017 and we had one CLEC comment. The final notification and CenturyLink response to comments is to be sent today with a planned effective date of February 2, 2017.

Kim Isaacs – Electric Lightwave said that she had submitted the comment to insure that there would be no retroactive requirements from CenturyLink in regard to any existing customer arrangements, e.g., slack cable in a manhole, to which CenturyLink had previously agreed was OK.

Mark Coyne – CenturyLink said if there was prior approval by both parties, there was no issue but if there was not prior approval, there could be some remediation for those situations.

Kim Isaacs – Electric Lightwave said there may need to be more discussion about what constitutes “prior approval” to confirm agreement. Kim said her assumption is that if Electric Lightwave completed work in a manhole and CenturyLink reviewed the work and there was no identification of any issues during the CenturyLink inspection, Electric Lightwave would assume that constituted CenturyLink approval. Kim asked if that was correct.

Mark Coyne – CenturyLink said that was what was being clarified as part of the response to comments. If more discussion was required, CenturyLink could schedule something. Mark said he hopes that both sides are in agreement.

12/14/16 Product/Process CMP Meeting John Hansen – CenturyLink presented this new CR. John said CenturyLink makes post-installation inspections and has experienced a large amount of remediation scenarios due to improper work in manholes and vaults. In an effort to lessen rework, a set of guidelines has been created defining what the expectations are for the CLECs and 3rd parties that perform work in our manholes and vaults. The result is a document titled 3rd Party Manhole and Vault Access Construction Guidelines that CenturyLink is adding to the PDR PCAT to help protect the integrity of CenturyLink’s vaults and underground systems and is not intended to override any terms of a customer’s ICA. John asked if there were any questions.

Mark Coyne – CenturyLink said this CR was the result of a level 3 notice that was sent in November. We received a customer request to retract the notice and issue a CR instead.

Kim Isaacs – Electric Lightwave said CenturyLink used “guidelines” in the CR title. It was also just stated that the guidelines do not override the ICA. Kim asked what happens if a customer does not follow the guidelines and wondered if there would be issues on whether the document is applicable.

John Hansen – CenturyLink said the document is not published as a set of rules but is a guide to customers who are working underground on how to do things. If the guidelines are not followed and CenturyLink finds something is not right, it would be at the customer’s expense to make it right.

Kim Isaacs - Electric Lightwave then described a scenario where they were told to do some remediation due to slack cable in a CenturyLink manhole. Kim said her outside plant had a good reason for this and that after it was presented to CenturyLink, CenturyLink understood the rationale. Kim asked if there was room for discussion.

John Hansen – CenturyLink said yes there is room for discussion. The document is designed to be common sense rules for working in the vaults.

Mark Coyne – CenturyLink said that was the reason for using the word guidelines.

Kim Isaacs - Electric Lightwave said it was good to have the communication like the scenario that she provided.

Mark asked if there were any questions. There were none.


Open Product/Process CR PC021517-1 Detail

 
Title: Eliminate CenturyLink Search PCAT
CR Number Current Status
Date
Area Impacted Products Impacted

PC021517-1 Completed
5/17/2017
CenturyLink Search (aka QSearch)
Originator: Gomez, Lee
Originator Company Name: CenturyLink
Owner: Gomez, Lee
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink Search (AKA) QSearch is an Electronic Directory Assistance (EDA) Service. Since the first availability of this product prior to 2004, there have been no inquiries or show of interest.

CenturyLink would like to eliminate this product effective 4/30/2017.


Status History


Project Meetings

5/17/17 Product/Process CMP Meeting Mark Coyne – CenturyLink stated that the final notification was sent April 14, 2017 with an effective date of April 30, 2017. There were no customer comments. This CR has been in CLEC Test since the April 30 date. CenturyLink would like to move this to a Completed status. There were no objections.

4/19/17 Product/Process CMP Meeting Mark Coyne – CenturyLink stated that this CR was presented last month by Lee Gomez. CenturyLink sent a Level 4 notice to eliminate the PCAT. The final notification PROD.MISC.04.14.17.F.15477.FnlElimCenturyLinkSrch was sent April 14, 2017 with effective date of April 30, 2017. No customer comments were received. This CR will be moved to CLEC Test as of that date.

3/15/17 Product/Process CMP Meeting Lee Gomez – CenturyLink presented this new CR to eliminate the CenturyLink Search which was previously known as QSearch. Lee said there has been no show of interest in this product and we would like to eliminate as of the end of April. Lee asked if there were any questions.

Susan Williams – CenturyLink asked how this product was offered.

John Hansen – CenturyLink confirmed this product was not in the ICA and said there was agreement to send this notification as a level 4 with an April 30, 2017 planned effective date.

There were no other questions.


Open Product/Process CR PC022417-1 Detail

 
Title: Grandfather Dual OC768 OWS Channels
CR Number Current Status
Date
Area Impacted Products Impacted

PC022417-1 Completed
4/19/2017
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest Corporation d/b/a CenturyLink QC plans to file and post material to grandfather Protected, Unprotected and Unprotected Dual OC768 OWS Channels. No Wholesale customers have this service. The USOCs are

FDCPP, FDCPU and FDCPD.


Status History


Project Meetings

4/19/17 Product/Process CMP Meeting Mark Coyne – CenturyLink stated that this CR was presented last month by Lee Brummett. This CR was submitted to grandfather Protected, Unprotected and Unprotected Dual OC768 OWS Channels. CenturyLink sent this as a Level 2 notice to eliminate the PCAT. No customer comments on initial notification sent March 16, 2017. The Effective date was April 6, 2017 and the CR is in CLEC Test as of that date. CenturyLink would like to move this to a Completed status. There were no objections.

3/15/17 Product/Process CMP Meeting Lee Brummett – CenturyLink presented this new CR to grandfather Protected, Unprotected and Unprotected Dual OC768 OWS Channels. Lee said there are no wholesale customers with this service and the effective date is March 31, 2017.

Mark Coyne – CenturyLink said with that effective date of March 31, 2017, we would like to send this notice as a Level 1 CMP notice since there are no customers.

Kim Isaacs – Electric Lightwave said that timing is tight and that grandfathering a product is not normally sent as a Level 1 CMP notice.

Mark Coyne – CenturyLink said we typically send a Level 2 CMP notice when there are no customers but with the effective date the end of March, we were considering a Level 1 notice.

Kim Isaacs – Electric Lightwave said for continuity purposes, she would prefer to stick with the Level 2 CMP notice. She said CenturyLink could explain the rationale in the notice. Kim asked if this product is in the Service Catalogue.

John Hansen – CenturyLink said we would include some wording in the body of the CMP notice that this product offering will be grandfathered as of March 31, 2017 in the Tariffs or Services Catalog but that the PCAT documentation update will be effective as of April 6, 2017.

Kim Isaacs – Electric Lightwave said that was good.


Open Product/Process CR PC030617-2 Detail

 
Title: Grandfather selected Centrex products
CR Number Current Status
Date
Area Impacted Products Impacted

PC030617-2 Completed
8/16/2017
Selected Centrex products
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Lorence, Susan

Description Of Change

Grandfather Centron, Centron 50, Centron XI, Centraflex II, Centraflex III in all CenturyLink QC states.


Status History


Project Meetings

8/16/2017 - Product/Process CMP Meeting Mark Coyne – CenturyLink stated this CR is to grandfather selected Centrex products, i.e., Centron, Centron 50, Centron XI, Centraflex II, Centraflex III, in all CenturyLink QC states. The planned effective date was July 20, 2017 which was right after the CMP meeting in July. The CR has been in CLEC Test since then. Mark asked if there were any objections to moving this CR to a COMPLETED status. There were none.

7/19/2017 - Product/Process CMP Meeting Mark Coyne – CenturyLink stated this CR is to grandfather selected Centrex products, i.e., Centron, Centron 50, Centron XI, Centraflex II, Centraflex III, in all CenturyLink QC states. The Level 4 final notification was distributed July 5, 2017. There were no CLEC comments. The planned effective date is July 20, 2017. We will move the CR to CLEC Test and consider moving it to a Completed status next month. Mark asked if there were any questions. There were none.

6/21/17 - Product/Process CMP Meeting Mark Coyne – CenturyLink stated that CenturyLink advised last month that the planned effective date for this CR to grandfather selected Centrex products, i.e., Centron, Centron 50, Centron XI, Centraflex II, Centraflex III, in all CenturyLink QC states. The Level 4 Notification is now planned for distribution June 5, 2017 with a planned effective date of July 20, 2017. Mark asked if there were any questions. There were none.

5/17/17 - Product/Process CMP Meeting Mark Coyne – CenturyLink stated that CenturyLink advised last month that the planned effective date for this CR to grandfather selected Centrex products, i.e., Centron, Centron 50, Centron XI, Centraflex II, Centraflex III, in all CenturyLink QC states has been moved from May 31, 2017 to July 2017. The Level 4 Notification is now planned for distribution June 5, 2017 with a planned effective date of July 20, 2017. Mark asked if there were any questions. There were none.

4/19/17 Product/Process CMP Meeting Mark Coyne – CenturyLink stated that this CR was presented last month by Lee Brummett. This CR was submitted to grandfather selected Centrex products, i.e., Centron, Centron 50, Centron XI, Centraflex II, and Centraflex III, in all CenturyLink QC states as of May 31, 2017. The effective date has since been extended until July 2017 and a Level 4 notification is scheduled to be distributed once the date is determined.

3/15/17 Product/Process CMP Meeting Lee Brummett – CenturyLink then presented this CR to grandfather selected Centrex products, i.e., Centron, Centron 50, Centron XI, Centraflex II, Centraflex III, in all CenturyLink QC states as of May 31, 2017. Lee asked if there are any questions.

Kim Isaacs – Electric Lightwave requested confirmation that this CR is for grandfathering and that CenturyLink will only accept disconnects.

Lee Brummett – CenturyLink said that was correct.

Mark Coyne – CenturyLink asked if there were any more questions in regard to this CR or the prior CR. There were none.


Open Product/Process CR PC060517-1 Detail

 
Title: Grandfather CenturyLink Home Phone Package
CR Number Current Status
Date
Area Impacted Products Impacted

PC060517-1 Completed
9/20/2017
Resale
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Hansen, John

Description Of Change

Effective August 18, 2017, CenturyLink will grandfather CenturyLink Home Phone Package. USOC PGOQW

08-11-17 update: Per CR originator, the effective date has been changed to September 16, 2017.


Status History


Project Meetings

9/20/17 - Product/Process CMP Meeting Mark Coyne – CenturyLink stated that this CR has been in CLEC Test as of September 16, 2017. It is associated with grandfathering the CenturyLink Home Phone Package, USOC PGOQW. The effective date was originally planned for August 18, 2017 but on August 11, 2017, an update to the CR was submitted to delay the planned effective date to September 16, 2017. A revised final notification was distributed on that date to communicate the effective date change for all of the Legacy Qwest states. On September 15, 2017, CenturyLink distributed a Level 1 Product notification PROD.RESL.09.15.17.F.15716.HomePhoneExtraPkg that makes the replacement package available in the remaining Legacy Qwest states as of September 16. Effective as of July 15, 2017, the new replacement package was available in the states of Nebraska, Oregon, and Arizona. Mark stated that we would like to move this CR to a COMPLETED status and asked if there were any objections. There were none.

8/16/17 - Product/Process CMP Meeting Mark Coyne – CenturyLink stated that this change request is associated with grandfathering the CenturyLink Home Phone Package, USOC PGOQW. The final notice was distributed August 3, 2017 with an effective date originally planned for August 18, 2017. No comments were received. On August 11, 2017, an update to the CR was submitted to delay the planned effective date to September 16, 2017. A revised final notice was distributed on that date to communicate the effective date change for all of the CenturyLink QC states. Effective as of July 15, 2017, the new replacement package is already available in the states of Nebraska, Oregon, and Arizona. The Home Phone Extra Package replacement will be available in the remaining CenturyLink QC states as of September 16 also. We will discuss this CR again next month.

7/19/17 - Product/Process CMP Meeting Mark Coyne – CenturyLink stated this new CR was presented last month by Lee Brummett. The Level 4 initial notice was sent on July 5, 2017. The comment cycle closes July 20, 2017. The change has a planned effective date of August 18, 2017. In the June CMP meeting, Lee relayed that the replacement package will be announced on June 28, 2017 with an effective date of June 29, 2017. The Tariff notice was distributed June 22, 2017. CenturyLink sent a Level 1 notice on July 14, 2017 announcing the availability of the new package in the states of Nebraska, Oregon, and Arizona. We will be sending a Level 1 notification on August 11, 2017 to announce that replacement package with an effective date of August 12, 2017 for the rest of the CenturyLink QC region. Mark asked if there were any questions. There were none.

6/21/17 - Product/Process CMP Meeting Mark Coyne – CenturyLink stated that this was a new CR to be presented by Lee Brummett.

Lee Brummett – CenturyLink said that, with the effective date of August 18, 2017 this package would be grandfathered in all CenturyLink QC states.

Kim Isaacs – Allstream asked how the package grandfathering would be handled. If a call forward number needed to be changed, would it require removing the package code?

Lee Brummett – CenturyLink stated that a replacement package would be available on July 15, 2017 in the states of Nebraska, Oregon, and Arizona and in the remaining states on August 12, 2017. A new document will be made available describing the new Home Phone Package.

Janean Van Dusen- CenturyLink stated that changes to call forwarding numbers and PIC changes could be made to existing packages despite the grandfathering, but no addition or swapping of features would be allowed.


Open Product/Process CR PC080117-1CM Detail

 
Title: CMP Doc change to eliminate maintenance of CLEC POC information and CLEC POC reports
CR Number Current Status
Date
Area Impacted Products Impacted

PC080117-1CM Completed
11/15/2017
CMP POC report
Originator: Coyne, Mark
Originator Company Name: CenturyLink
Owner: Coyne, Mark
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink is proposing that the CMP maintenance of CLEC Points of Contacts (POC) and the POC Reports that are posted on the CMP website be eliminated. The reports are posted to the Wholesale CMP website at http://www.centurylink.com/wholesale/cmp/index.html. Most Customer contact information is very out of date. Examples include:

o CMP primary and secondary contacts have changed

o Companies have merged, combined, are no longer in existence

o Company contacts are no longer active or have changed companies

CenturyLink is proposing changes to the CMP document that require only the CenturyLink POC information be maintained on the CMP website. The references to the POC reports will be removed.

A redline Change Management Process document will be provided.


Status History


Project Meetings

11/15/17 Product Process CMP Meeting Mark Coyne – CenturyLink reminded customers that a vote was taken in the October CMP monthly meeting and unanimous approval was received. All notifications have been distributed and all associated changes to the Website have been made. He stated that the CR is in CLEC Test as of October 24, 2017 and that CenturyLink would like to move this CR to a completed status. There were no objections.

10/18/17 Product Process CMP Meeting Mark Coyne – CenturyLink reminded callers that the idea to eliminate the CLEC POC information was initially discussed in the July Monthly CMP meeting. CLEC and PUC feedback and agreement on the initial CenturyLink proposal was received. In August, CenturyLink presented the new CR and reviewed the CenturyLink plan for CLEC input. CenturyLink also provided a view of the proposed redline changes to the CMP document and a view of what the CMP main page may then look like. These changes were discussed in detail in an ad hoc meeting that followed the September Monthly CMP meeting. A CMP notification was distributed on October 4, 2017 to relay a vote will occur in the October monthly meeting. Mark relayed that a copy of that notification was included in the CMP package. He then turned the meeting over to Susan Lorence- CenturyLink to explain the voting process and take the vote.

Susan Lorence – CenturyLink relayed that the proposed CMP document updates have been posted to the calendar for the meeting along with the proposed updates to the web page. She then reviewed the CMP Vote process as included in Section 17.0 of the CMP document (which is available at http://www.centurylink.com/wholesale/cmp/index.html). The key points of the CMP voting process are: each entity is entitled to a single vote regardless of any affiliates and quorum must be established. Susan said quorum is based on 62.5% of the average CLEC and CenturyLink entities in attendance at the last six monthly CMP meetings, April 2017 through September 2017. The average number of entities in attendance during this period was seven so the quorum for the vote was four. Quorum was met with the one email vote and 5 CLECs plus CenturyLink in attendance. Susan reviewed what a vote of “Yes” and “No” meant as depicted on the voting Ballot in the CMP package and asked if there were any questions. The vote was then conducted and the results are listed in the table:

Voting Carrier Voting Participant VOTE LS Networks Valerie Starr (by email) YES POPP Communications Rebekah Byland (by phone) YES Granite Kristi Hyacinthe (by phone) YES Allstream Kim Isaacs (by phone) YES TDS Metrocom Rod Cox (by phone) YES Windstream Lynn Denton (by phone) YES CenturyLink Mark Coyne (by phone) YES

Susan confirmed that the vote was unanimous and asked if there were any objections to updating both the CMP Document and the CMP main web page via two Level 1 notifications. There were no objections.

9/20/17 Ad Hoc CMP Meeting - following monthly CMP meeting Ad hoc meeting minutes - FINAL September 20, 2017

Attendees: Andrea Smith – Comcast Kim Isaacs – Allstream Nancy Taylor – Allstream Joyce Oliveira – Granite Jonathan Kronewitter – Granite Victoria Holland – Granite Kristi Hyacinthe – Granite Rebekah Byland – POPP Communications Larry Stevens – Iowa Utilities Board Bonnie Johnson – Minnesota Department of Commerce Lan Nguyen – Neustar Inc Emily Arnoldy – Midcontinent Communications Valerie Starr – LS Networks Denise Martinez – CenturyLink Kathy Miller – CenturyLink Tonya Woods – CenturyLink Lee Brummett – CenturyLink Nicole James – CenturyLink Rita Urevig – CenturyLink BL Marcom – CenturyLink Janean Van Dusen – CenturyLink Linda Harmon – CenturyLink Susan Williams – CenturyLink Angie Thomas – CenturyLink Tracy Strombotne – CenturyLink Renee Albersheim – CenturyLink Doris Luttrell – CenturyLink Mark Coyne – CenturyLink John Hansen – CenturyLink Susan Lorence – CenturyLink

Susan Lorence – CenturyLink said that during the monthly meeting, Mark Coyne – CenturyLink already reviewed a brief history of the CR. She then asked those on the call to open up the redlined CMP Document that was posted to the calendar. Susan said she searched on POC and Contact to identify what would possibly need to be updated due to this proposed change. In addition to the POC changes, the proposed updates included the removal of Fax/Facsimile references.

Those on the call then walked through each of the proposed changes to each Section of the CMP Document.

Kim Isaacs – Allstream said she had a question about the inclusion of the word “assumed” in Section 2.2 Change Management Point-of-Contact. Kim asked if the CenturyLink CLEC Questionnaire asked for the designated CMP POC and if that contact could be used instead of the word “assumed”. She said some of the other companies require a CMP contact to be identified.

BL Marcom – CenturyLink said he would look at the CLEC Questionnaire.

Susan Lorence – CenturyLink then continued to review the proposed updates. In Section 3.3, she asked those on the call if the current wording that refers to how to access archived CMP information would suffice rather than adding the proposed wording later in the same Section. There was no customer preference identified and Liz Tierney – Global Capacity who originally requested the ability to get to historical data was not on the call so Susan said we would add the proposed wording in the bullet.

Susan Lorence – CenturyLink referred customers to Section 17.1 - Voter to discuss the need for a backup third party in case a CLEC was not available for a specific CMP vote.

Kim Isaacs – Allstream said the way it reads is that the most recent customer representative attending the CMP meetings could send an email designating that someone else could provide the vote.

BL Marcom – CenturyLink said though the CenturyLink CLEC Questionnaire has lots of contacts identified, he could not find a CMP POC referenced in the document.

Kim Isaacs – Allstream said it must have been another ILEC then.

Susan Lorence – CenturyLink asked if there were any other thoughts customers had on this Section 17.1. There were none. The review of the redlined document continued. Susan referred customers to Section 17.4.2 and said these proposed updates were more in line to how the voting has really occurred over the years and reflects that the POC list has not been maintained.

Kim Isaacs – Allstream said she thought that the proposed updates to this section looked ok.

The remainder of the proposed redline changes to the CMP document were reviewed.

Kim Isaacs – Allstream said she would like to discuss how the assumed POC would work when there are multiple representatives that attend the monthly CMP meeting like Allstream and Granite.

Susan Lorence – CenturyLink said she assumed that Kim would be the POC for Allstream and that if Kim could not attend a meeting where a CMP vote was to be taken that Kim would have communicated her vote to Nancy Taylor – Allstream who also regularly attends. Susan asked if that would be correct.

Kim Isaacs – Allstream said that is how the language reads. Kim said she thought she would have either let CenturyLink know that was going to occur or that she could also vote by email.

Susan Lorence – CenturyLink said the situation with Granite is worth discussing since there are four representatives. Susan asked if they would designate a main POC in that instance.

Joyce Oliveira – Granite said Jonathan Kronewitter – Granite would be their main POC.

Kim Isaacs – Allstream asked about a theoretical situation that may not pertain specifically to a CMP vote. Because we are talking about eliminating the CLEC primary POC since the contact list has not been well maintained, Kim asked what happens to those customers who do not attend CMP on a regular basis. If there was an issue, Kim asked how CenturyLink would get input.

Susan Lorence – CenturyLink said maybe it would be a good idea to walk through and talk through some different areas to see how the information would be communicated. • For a meeting like the Ad hoc call today, CenturyLink distributes a meeting notice via CenturyLink MAILOUTs to all who have signed up to receive that various categories of notices. • For Monthly meetings minutes, CenturyLink sends the meeting minutes to those who attend the call. If we have a new CLEC attendee, we search for the new person’s contact information in CCDB or ask another representative from that company to either send us their email or forward the meeting minutes. • For a new Change Request, the customer must submit the CR to the CMP CR mailbox which provides their contact information. Often another person from the company is CC’d when the CR is submitted which provides additional contacts. There is also a line on the CR form to include the current email address. • For the CMP Escalation, Dispute and Postponement processes, the submitting company must send each of those requests to the appropriate mailbox which provides an email with the contact information of a specific person. • For CR Prioritization of a release for IMA, CenturyLink distributes the Release prioritization form via MAILOUT. We expect one Release Prioritization form response back to the CMPCR mailbox from a company. If more than one Prioritization form is submitted for a specific company, CenturyLink would follow-up with that company.

Mark Coyne – CenturyLink asked if Kim was concerned with the idea of having a single POC.

Kim Isaacs – Allstream said a single POC provides some efficiency and that she wants to confirm the logistics of various areas. She said what we have talked about are good solutions for the various areas. Kim said if it is problem, it can be changed. Kim asked what are the next steps.

Susan Lorence – CenturyLink said we will send a CMP Vote notice for the October meeting with the changes we just talked through. We will likely propose that the updates to the CMP document be implemented with a level 1 notice similar to how we have done it in the past. Susan referred those on the call to the third document posted to the calendar which shows the CMP main page updates that John Hansen – CenturyLink proposed. These were good updates to provide information about the various CMP mailboxes. Susan asked if there were any questions. There were none.

Kim Isaacs – Allstream said she thinks it looks good.

Susan Lorence – CenturyLink thanked everyone for the review and discussion and for coming to agreement on what CenturyLink believes will be a positive change.

The Ad hoc meeting was adjourned at 10:00 AM MT.

9/20/17 Product Process CMP Meeting Mark Coyne – CenturyLink reminded callers that the idea to eliminate the CLEC POC information was initially discussed in the July Monthly CMP meeting. CLEC and PUC feedback and agreement on the initial CenturyLink proposal was received. In August, CenturyLink presented the new CR and reviewed the CenturyLink plan for CLEC input. CenturyLink also provided a view of the proposed redline changes to the CMP document and a view of what the CMP main page may then look like. On September 6, a CMP meeting notice CMPR.MEET.09.06.17.F.15894.AdHocMtgCRPC080117-1CM was sent to all customers to advise that an Ad Hoc call would follow this meeting. Mark said in the interim, CenturyLink continues to maintain the POC list Business as Usual; the most recent update was made as of September 13, 2017.

8/16/17 Product Process CMP Meeting Mark Coyne – CenturyLink stated this CR is a result of discussion that occurred in last month’s meeting where CenturyLink introduced the idea that we would like to eliminate the CLEC POC report since the Customer contact information is very out of date. Mark said there was good discussion during the call last month and that there was agreement that CenturyLink would issue a CMP CR to update the CMP document. The July Monthly CMP meeting minutes have been added to the new CR.

Susan Lorence – CenturyLink said that Section 2.1 of the CMP document identifies how a change to the CMP must occur. She said to allow all CLECs to be aware of and provide input to this change request, our proposal is to send a meeting notice relaying that at the end of the September monthly meetings, we would be discussing the proposed CenturyLink redlined language changes. If we come to agreement on the changes to the CMP document in September, we propose that we take a vote during the October CMP meeting. Susan asked if there were any questions about using that input approach. There were none. CenturyLink is continuing business as usual to post any requested CLEC POC information updates. Susan then reviewed the CenturyLink proposed changes:

• Post only the CenturyLink CMP Contact information and include some information about the four CMP mailboxes on the main CMP page • Eliminate the POC report and POC update web page • Provide a way to request a copy of the last POC report of historical content • Update the CMP document with more generic references for POC and contacts

Susan pointed those on the call to the third document posted to the Wholesale calendar which is the CenturyLink proposed CMP document changes for review prior to the September meeting. She said John Hansen – CenturyLink has created a redline example of proposed changes to the main page of the CMP website which is on page 21 in the monthly package. Susan asked if there were any questions. There were none.

PRELIMINARY DISCUSSION PRIOR TO CR BEING SUBMITTED BY CENTURYLINK 7/19/17 Product Process CMP Meeting - Under Attachment E in the CMP Package - Proposed Modifications to CMP Framework

Mark Coyne – CenturyLink stated that there was an item on the agenda to discuss. CenturyLink would like to explore eliminating the CMP Points of Contact (POC) Report as it is outdated. He asked Susan Lorence to elaborate.

Susan Lorence – CenturyLink stated that when the report was recently updated, it became apparent that the report may not be relevant and that we wanted to present some ideas and discuss how valuable the report was to members of CMP. Susan said two additional documents are posted to the calendar entry; a Word document identifying the instances of the term “POC” and “contact” in the CMP Document with highlights as to potential necessary changes, and a copy of the current POC report. The POC report is lengthy and contains companies and contacts that are no longer valid. Options include only posting the company contacts that are active or to only post CenturyLink CMP contacts and eliminate the POC report altogether. Susan said she thought most customers are not even aware of the POC report. Susan referred to the Word document and said there are two designations included for review: those instances that will likely require a change to the CMP document and those instances where it is not likely a change will be required. She asked those on the call what their thoughts were about the POC reports.

Bonnie Johnson – Minnesota Department of Commerce stated she had a lot of experience with this report and that she used to be very good about making updates but even her current number is incorrect. Bonnie said that she had not accessed the report in a long time and would not be opposed to its elimination. She suggested that CenturyLink could send an email to all contacts on the list and see which ones came back or CenturyLink could send a CMP notice advising that the current information would be eliminated and allow contacts to sign up anew.

Susan Lorence – CenturyLink said that certainly was one approach to start with a clean state. Susan said it would be time consuming to send an email to all contacts because those on the report are only the contacts that indicate they can be published externally. There are many more contacts in the database.

Kim Isaacs – Allstream stated that she had not used the POC report in a long time either. Her purpose in referring to the report was to find information regarding the initiator of a CR. Kim suggested that CenturyLink might consider adding CR Initiator contact information to the CR form and including it in the posted CR.

Susan Lorence – CenturyLink said another option vs. making a change to the CR that is displayed externally is for a person to use the meeting minutes that are distributed to garner the contact information for a particular CR.

Mark Coyne – CenturyLink stated that it would come down to whether companies would commit to keeping the report updated or would they simply maintain their own internal lists.

Rebecca Byland – POPP Telecom stated that they maintain their own list and do not use the POC report and would not be affected if the report were removed.

Liz Tierney – Global Capacity stated that she also does not use the POC report regularly and knows it is a significant commitment to maintain the data. Liz asked if CenturyLink could maintain the list for historical purposes since though contacts change, the report might be useful to be able to get a telephone number to try to contact someone within a company.

Susan Lorence – CenturyLink stated that was the current status of the list as basically a historical document and wondered if that would be meaningful.

Bonnie Johnson – Minnesota Department of Commerce said she understood Liz’s point about historical data but thought that having outdated information posted might be worse than having no information. Bonnie said if there is no value identified in maintaining the data, it might be best to remove it and just keep it for historical reference.

Susan Lorence – CenturyLink said it does not appear the changes to the CMP document will be that significant. She asked if it was agreeable that we create a Change Management CR and present it in the August meeting to discuss an approach to eliminate the report, provide capability to get to historical data, and post CenturyLink Points of Contact.

Kim Isaacs – Allstream stated that she was in agreement but would have to look at the language in the CMP document especially around voting.

Susan Lorence – CenturyLink said the CMP language around POCs for a CMP vote had not been strictly used in the past since the POC data was potentially out of date.

Mark Coyne – CenturyLink stated that he thought this was a good approach and that we would readdress the issue in the August CMP meeting.


Open Product/Process CR PC102417-1 Detail

 
Title: Removal of coin direct dial feature for 1+ IntraLATA calls
CR Number Current Status
Date
Area Impacted Products Impacted

PC102417-1 Completed
3/22/2018
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Hansen, John

Description Of Change

Eliminate the coin direct dial feature for IntraLATA and InterLATA calls from the tariff. This product was grandfathered about 2 years ago. We are not eliminating the service only removing this specific feature.


Status History


Project Meetings

03/21/18 Product Process CMP Meeting Mark Coyne – CenturyLink reminded callers that this CR is to eliminate this feature that was grandfathered two years ago. The effective date was originally January 17, 2018 but was changed to March 12, 2018. The CR is in CLEC Test. CenturyLink would like to move this CR to a Completed status. There were no objections.

02/21/18 Product Process CMP Meeting Mark Coyne – CenturyLink stated that a CenturyLink CR was presented to eliminate this feature. A Level 2 notice was sent on December 27, 2018. No comments were received. The change originally had an effective date of January 17, 2018. On February 9, 2018, CenturyLink sent a notice to advise that the effective date has been changed to March 12, 2018. CenturyLink will leave this CR open and revisit in the March CMP meeting. Mark asked if there were any questions. There were none.

01/17/18 Product Process CMP Meeting Mark Coyne – CenturyLink stated that a CenturyLink CR was presented to eliminate this feature. A Level 2 notice was sent on December 27, 2018. No comments were received so no final notice is required. The change has an effective date of today, January 17, 2018. The CR will be moved to CLEC Test and will be considered for closure in the February meeting.

12/13/17 Product Process CMP Meeting Mark Coyne – CenturyLink stated that this CR was submitted by CenturyLink and was presented by Lee Brummett in the November monthly meeting. A Level 2 notice will be sent on December 27, 2017 with an effective date of January 17, 2018. Mark asked if there were any questions. There were none.

11/15/17 Product Process CMP Meeting Mark Coyne – CenturyLink stated that this was a new CR submitted by CenturyLink and asked Lee Brummett to present.

Lee Brummett – CenturyLink stated that this CR was to eliminate the coin direct dial feature for IntraLATA and InterLATA calls from the tariff. This product was grandfathered about two years ago and that CenturyLink is not eliminating the service only removing this specific feature. The proposed effective date at this time is expected to be January 15, 2018.

Mark Coyne – CenturyLink asked if there were any questions. There were none. Mark proposed sending the notification regarding this CR as a Level 2. There were no objections.


Open Product/Process CR PC090314-1CM Detail

 
Title: Change the WSHD hours of operation [TITLE REVISED 10 7 14 TO REMOVE: and replace the WSHD hours in the CMP document with a link to the Customer Contact Business Procedure]
CR Number Current Status
Date
Area Impacted Products Impacted

PC090314-1CM Completed
12/17/2014
Originator: Kelly, Joni
Originator Company Name: CenturyLink
Owner: Coyne, Mark
Director:
CR PM: Lorence, Susan

Description Of Change

This CR request stems from the direction that CenturyLink IT would like to close the WSHD an hour earlier based on the most recent IT study from June 2013 through May 2014. That study shows only 11 calls were made during the last hour. Century Link would like to reduce the Wholesale System Help Desk Hours (WSHD) hours of operation from (Monday-Friday 6:00 a.m. - 8:00 p.m. (MT) and Saturday 7:00 a.m. - 3:00 p.m. MT) to Monday – Friday 6am to 7pm and Saturday from 7am to 2pm MT.

When Qwest initiated Change request PC100610-1CM in 2010, the discussion indicated that CenturyLink would revisit changing the WSHD hours after a period of time. After further study, the WSHD volume of calls has continued to be very low during the last hour.

10-7-14 UPDATE Though CenturyLink would still like to remove the WSHD hours from Section 12.7 of the CMP document, CenturyLink is retracting that language change from this CR based on CLEC feedback during the September CMP when the CR was presented. [delete CenturyLink would also like to remove the WSHD hours of operation from Section 12.7 of the Change Management Process document. Instead of continuing to publish the WSHD hours of operation in the CMP document, CenturyLink is proposing the CMP document be revised to refer to the WSHD hours of operation in the Customer Contact PCAT. This will avoid out of synch conditions when the hours are on multiple pages on the web. Going forward, any future proposed changes to the WSHD hours of operation would continue to be subject to the appropriate CMP process. end delete]

See attached redline of the CMP document for the proposed changes.

REVISED Section 12.7 AS OF 10-7-14:

12.7 Notification Intervals

CenturyLink will distribute notifications during the WSHD normal hours of operation (Monday-Friday 6:00 a.m. - [INSERT 7:00] [DELETE 8:00] p.m. (MT) and Saturday 7:00 a.m. - [INSERT 2:00] [DELETE 3:00] p.m. MT). CenturyLink will continue to work severity 1 problems outside of the WSHD hours of operation, and will communicate with the CLEC(s) as needed. A severity 2 problem may be worked outside the WSHD normal hours of operation on a case-by-case basis.

Notification Intervals are based on the severity level of the ticket, the ticket’s Disposition code (e.g., Initial, Update, Closure, etc.), and status changes.

The chart below indicates the response intervals a CLEC can expect to receive after reporting a trouble ticket to the WSHD. Beginning with the issue’s immediate acceptance as multi-CLEC impacting issue, CenturyLink will create and distribute the Initial notification.

Original REDLINE CHANGES TO CMP DOC

12.7 Notification Intervals

CenturyLink will distribute notifications during the WSHD normal hours of operation. [DELETE(Monday-Friday 6:00 a.m. - 8:00 p.m. (MT) and Saturday 7:00 a.m. - 3:00 p.m. MT).] CenturyLink will continue to work severity 1 problems outside of the WSHD hours of operation, and will communicate with the CLEC(s) as needed. A severity 2 problem may be worked outside the WSHD normal hours of operation on a case-by-case basis. [ADD For information in regard to WSHD hours, refer to the CenturyLink Customer Contact Business Procedure available at http://www.centurylink.com/wholesale/clecs/customercontacts.html. ]

Notification Intervals are based on the severity level of the ticket, the ticket’s Disposition code (e.g., Initial, Update, Closure, etc.), and status changes.

The chart below indicates the response intervals a CLEC can expect to receive after reporting a trouble ticket to the WSHD. Beginning with the issue’s immediate acceptance as multi-CLEC impacting issue, CenturyLink will create and distribute the Initial notification.


Status History


Project Meetings

12/17/14 Product/Process CMP Meeting Mark Coyne– CenturyLink said the Wholesale System Help Desk (WSHD) hours of operation update went into effect on November 18, 2014. The updates to the external documentation and the CenturyLink website, including Section 12.7 of the CMP Document, went into effect on that date. Mark said last month, Integra requested that we keep the CR open another month. CenturyLink has not heard of any issues since this went into effect. Mark asked if it was OK to move the CR to a Completed status. There were no objections.

11/19/14 Product/Process CMP Meeting Mark Coyne– CenturyLink said that in the October 15, 2014 CMP monthly meeting, the vote was conducted on the planned reduction in the WSHD hours of operation and that vote was unanimous. Mid October, CenturyLink sent a Level 3 notice to update the WSHD hours in the Customer Contact Business Procedure and on the CenturyLink website with an effective date of November 18, 2014. In addition, CenturyLink sent a level 1 notice to update Section 12.7 of the CMP Document and to also include some additional HELP TEXT updates in the CORA and CEMR-GUI where WSHD hours were listed. Mark said all updates were made with the effective date of November 18, 2014. On that date, the CR was moved to CLEC Test. Mark asked if it was OK to move the CR to a Completed status.

Kim Isaacs – Integra requested the CR be held open another month.

Mark Coyne – CenturyLink said that would be fine.

10/15/14 Product/Process CMP Meeting Mark Coyne– CenturyLink said the CR had been presented in the September CMP monthly meeting. The original CR proposed changing the Wholesale Systems Help Desk (WSHD) hours as well as removing the WSHD hours from the CMP document and replacing them with a link to the Customer Contact business procedure. Mark said based on discussion in the September CMP meeting where Integra indicated they would vote “no” on the proposed change to remove the WSHD hours from the CMP document, CenturyLink revised the CR to remove that proposed change. Mark relayed a vote notification had been distributed with the following proposed change:

SECTION of CMP Document - 12.7 Notification Intervals CenturyLink will distribute notifications during the WSHD normal hours of operation (Monday-Friday 6:00 a.m. - 78:00 p.m. (MT) and Saturday 7:00 a.m. - 23:00 p.m. MT).

Susan Lorence – CenturyLink identified Section 17.0 of the CMP document provided the instructions on how to conduct a CMP Vote. The key points of the CMP voting process are: each carrier is entitled to a single vote regardless of any affiliates, quorum must be established, an email vote for a carrier not at the meeting counts toward quorum, and a change to the CMP document requires a unanimous vote. Susan said quorum was based on 62.5% of the average CLEC and CenturyLink attendance at the last six monthly CMP meetings, April 2014 through September 2014. The average CLEC and CenturyLink attendees during this period was ten so the quorum for today’s vote meeting would be six which had been met. Susan then reviewed the votes that had been received via email and then asked those carriers on the call to provide their vote: The results are listed in the table:

Voting Carrier Voting Participant VOTE Ednetics, Inc. Susan Pharis (by email) YES Comcast Randee Ryan (by email) ABSTAIN Midcontinent Communications Emily Davis (by email) YES AT&T Frank Behnke (by phone) YES Granite Lisa Lynn (by phone) YES Integra Kim Isaacs (by phone) YES Sprint Jeff Sonnier (by phone) YES CenturyLink Mark Coyne (by phone) YES

With the unanimous vote of Yes to update the CMP document, Susan proposed that the CMP document be updated with a level 1 notification that would become effective on the same date as the level 3 notification that would be sent to update the Customer Contact business procedure with the revised WSHD hours.

Kim Isaacs – Integra asked if the updates to the CMP document would be held?

Susan Lorence – CenturyLink said yes so the CMP document update and the Customer Contact business procedure would remain in synch.

Kim Isaacs – Integra said she did not have any issue with that approach.

Susan Lorence – CenturyLink thanked everyone and said the CMP vote notification would be sent this week.

9/17/14 Product/Process CMP Meeting Joni Kelly – CenturyLink presented the new CR to update the CMP document related to the Wholesale System Help Desk (WSHD). Joni covered the reason why she was requesting the last hour of the day be cut back and reviewed data for a study she conducted from June 2013 through May 2014. Joni said she had also looked at the WSHD call data for the months of June 2014 through August 2014 and said no calls had been received during the last hour she was requesting the cutback.

Kim Isaacs – Integra asked if the WSHD personnel only had to take inbound calls. She asked if the WSHD could not be performing other jobs during that time.

Joni Kelly – CenturyLink said they could but during that window, there was no work for them and that she had looked at it.

Mark Coyne – CenturyLink asked if there were any more questions on the WSHD change in hours. There were none. He then provided why the request was being made to remove the hours from Section 12.7 of the CMP document indicating that it would make the CMP document consistent with how other Customer facing Center hours are changed per CMP. Mark said changes to other center hours are not specified in the CMP but are handled as a level 3 change in process under Section 5.4.4. Mark said CenturyLink would like to remove the hours and add a link to the Customer Contact PCAT where the hours are currently listed today.

Kim Isaacs – Integra said system support is vital. She said she would vote “No” to removing the hours from the CMP document since that would allow CenturyLink to change the hours further going forward. Kim said she wanted a say to any decrease in hours.

Mark Coyne – CenturyLink said that input could be provided via the level 3 CMP notice.

Kim Isaacs – Integra said a vote is not required with a level 3 notice. She can object to the change and CenturyLink can implement over a CLEC objection.

Mark Coyne – CenturyLink asked if there were others that wanted to provide input. There were none. Mark said he did not think an ad hoc call was required and that we would follow Section 2.1 which requires a unanimous vote which will be taken at the next CMP meeting on October 15. Mark said a mailout will be sent soon to identify that the vote will be taken at the October meeting and will include the voting instructions.

Liz Tierney – MegaPath asked if the hours are changed and there are issues, could they be reversed.

Joni Kelly – CenturyLink then relayed the after hours support process. She said once the WSHD closes, a CLEC can still call and will get a message that says the WSHD is closed. Joni said the customer can leave a message; the customer will receive a call back from WSHD personnel within 15 minutes to determine what the issue is and it will follow the ticket process.

Liz Tierney – MegaPath said that was helpful.

Susan Lorence – CenturyLink asked if that process was the same process as today.

Joni Kelly – CenturyLink said that is the same process as today and that she receives very few call-outs after hours.

Mark Coyne – CenturyLink said we would review the discussion and decide next steps based on the comment from Integra.


Open Product/Process CR PC091014-1 Detail

 
Title: Introduce changes to Technical Publication 77384
CR Number Current Status
Date
Area Impacted Products Impacted

PC091014-1 Completed
1/21/2015
Originator: Boudhaouia, Jamal
Originator Company Name: CenturyLink
Owner: Boudhaouia, Jamal
Director:
CR PM: Lorence, Susan

Description Of Change

As agreed to in the MN Docket 09-1066 Settlement, CenturyLink is sponsoring the introduction of the Changes to Technical Publication 77384. The edited document is attached to this CR.

NOTE: Redlined chapters 1, 2, 3, 5, 6, and 8 of Tech Pub 77384 were attached to the CR submission.


Status History


Project Meetings

1/21/15 Product/Process CMP Meeting Mark Coyne – CenturyLink advised that this CR has gone thru the level 4 notification process and was moved to CLEC Test as of January 5, 2015. He advised that CenturyLink would like to move this to Completed status and asked if there were any objections. There were none.

12/17/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said the initial Level 4 notice was sent on November 12, 2014. The final notice and the CenturyLink response to CLEC comments were sent on December 16, 2014. The planned effective date is January 5, 2015. 11/19/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was presented last month by Jamal Boudhaouia – CenturyLink. There was an Ad hoc call on October 29 to review the proposed Tech Pub 77384 chapter updates. CenturyLink sent the level 4 notification on November 12 with a planned effective date of January 5, 2015. Mark said in addition to the planned revisions discussed on the ad hoc call, there were some chapters that only had rebranding. Mark asked if there were any questions. There were none.

10/29/14 Ad hoc CMP Meeting Introduce changes to Technical Publication 77384

Attendees: Kim Isaacs – Integra, Bonnie Johnson – Minnesota Department of Commerce, Laurie Roberson – Integra, Glenn Neal – CenturyLink, Jamal Boudhaouia – CenturyLink, Mark Coyne – CenturyLink, John Hansen – CenturyLink, Susan Lorence – CenturyLink

Susan Lorence – CenturyLink provided a brief agenda and background on this CR. She indicated that questions would be captured as the chapters Jamal Boudhaouia – CenturyLink reviewed the changes in the redlined Tech Pub 77384 chapters dated 5-25-12 that were posted to the wholesale calendar entry.

Jamal Boudhaouia – CenturyLink then began the review of each redlined chapter. Jamal said those on the call were already familiar with the proposed changes associated with the MN Docket 09-1066 Settlement agreement. As agreed, CenturyLink is taking the proposed Tech Pub 77384 updates through CMP so all CLECs would have the opportunity to review them.

Technical Publication 77384, Chapter 1. Jamal Boudhaouia – CenturyLink reviewed the redline updates. There were no additional proposed changes to this chapter.

Technical Publication 77384, Chapter 2. Jamal Boudhaouia – CenturyLink reviewed the redlined updates. He said in Section 2.3, there is an update from Qwest to CenturyLink. There were no additional proposed changes to this chapter.

Kim Isaacs – Integra said that she had found the references to Qwest that remain also.

Technical Publication 77384, Chapter 3. Kim Isaacs – Integra said that she found a couple instances related to xDSL Capable Loops that were an oversight where there is wording that indicates the NCIs do not affect performance, specifically in Sections 3.4.3 and 3.8.3.

Jamal Boudhaouia – CenturyLink agreed and said the sentence “The NCIs do not affect transport designs or performance” will be removed since this is a global change.

Kim Isaacs – Integra asked if in Section 3.8.3 whether wording should be added indicating that CenturyLink will provision the best available loop.

Jamal Boudhaouia – CenturyLink said he agreed and that CenturyLink would use the same wording as in the other chapters for this.

Bonnie Johnson – Minnesota Department of Commerce said the second sentence of 3.8.3 remains that says the NCI codes are informative to CenturyLink and should be removed.

Susan Lorence – CenturyLink said it was a surprise that there were still changes to be made after all of the prior review.

Kim Isaacs – Integra said that was because the group was working with multiple redlines of the Tech Pub.

Jamal Boudhaouia – CenturyLink recapped the various changes that would be made to Chapter 3, Section 3.8.3: • Remove the sentence indicating NCs does not affect transport • Change the last sentence to reflect the customer has the option to inspect copper facilities. • Insert the sentence that CenturyLink will provision best available loop. • Remove the NCI codes are informative to CenturyLink.

The specific updates will be reflected in the revised redline version.

There was agreement that all chapters of the Tech Pub will need to be given a once over.

Susan Lorence – CenturyLink said all chapters would be checked for the change from Qwest to CenturyLink, including chapters 4 and 7.

Technical Publication 77384, Chapter 5. Jamal Boudhaouia – CenturyLink reviewed the redlined updates in Section 5.1.

Kim Isaacs – Integra said the redline in Section 5.3 covers multiple options.

Jamal Boudhaouia – CenturyLink said in Section 5.5, he would make sure the title is clear. There were no additional proposed changes to this chapter.

Technical Publication 77384, Chapter 6. Jamal Boudhaouia – CenturyLink reviewed the redlined updates. He said the Table of Contents would be updated to reflect 6.2 Performance Parameter Tests.

Bonnie Johnson – Minnesota Department of Commerce said she checked Section 6 to insure the two changes had been made and they had.

Jamal Boudhaouia – CenturyLink said a global change will be made with the last sentence in Section 6.1 related to CenturyLink taking into account NC and NCI codes when assigning, etc. facilities will be made to Chapter 3, Section 3.4.3 where it says they are informative. The content in Section 3.8.3 associated with being “free of faults” will be put in Chapter 6.1 to replace the related sentence. Jamal said we will add the sentence to 6.1 regarding assigning, etc. facilities for xDSL.

Susan Lorence – CenturyLink reiterated that the redline revisions will be posted along with the meeting minutes.

Kim Isaacs – Integra said in Section 6.2, the Loop Loop should be corrected.

Jamal Boudhaouia – CenturyLink said the remaining changes in Chapter 6 had been agreed to.

All agreed there were no additional proposed changes to Chapter 6 at this time.

Technical Publication 77384, Chapter 8. Jamal Boudhaouia – CenturyLink said there were no additional redlined updates other than the change from Qwest to CenturyLink.

All agreed there were no additional proposed changes to this chapter at this time but a final review will be made.

Susan Lorence – CenturyLink proposed the following approach for review of the revisions that were identified on the call: • CenturyLink will provide the redlined Tech Pub 77384 Chapter revisions by November 5 associated with the ad hoc meeting minutes. • If the Tech Pub 77384 revisions cannot be made by that time, the ad hoc meeting minutes would be more explicit. • Following the review of the meeting minutes, CenturyLink would then send a level 4 notice with any additional revisions on November 12. • The planned effective date of the Tech Pub 77384 updates would be January 5, 2015.

There were no disagreements with this approach. Susan thanked everyone for taking time to review the Technical Publication 77384 updates.

The meeting was adjourned at 11:35 AM Mountain Time.

10/15/14 Product/Process CMP Meeting Jamal Boudhaouia – CenturyLink presented this new CR which introduces the changes to the Unbundled Loop Technical Publication as agreed to in the Minnesota Docket 09-1066 Settlement.

Susan Lorence – CenturyLink said the Ad Hoc call to review the proposed Tech Pub 77384 updates is scheduled for October 29, at 11 AM MT and a CMP meeting notification will be sent shortly.

Kim Isaacs – Integra asked if the redlined chapters to Tech Pub 77384 will be posted online.

Susan Lorence – CenturyLink said due to the size of the documents, they would be posted to the Wholesale calendar entry for the Ad Hoc call.


Open Product/Process CR PC010715-1 Detail

 
Title: Technical Publication 77351, CenturyLink Engineering Standards – General Equipment Requirements
CR Number Current Status
Date
Area Impacted Products Impacted

PC010715-1 Completed
4/15/2015
Technical Publications
Originator: Olave, Jesse
Originator Company Name: CenturyLink
Owner: Olave, Jesse
Director:
CR PM: Lorence, Susan

Description Of Change

Legacy Qwest Technical Publication 77351 is being updated to reflect the new company name of CenturyLink and to incorporate various legacy company standards into a single document. This document will also provide additional clarification to existing standards.

Redlined Tech Pub Chapters to be submitted separately.


Status History


Project Meetings

4/15/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR is in CLEC Test as of April 3, 2015. Mark said that last month CenturyLink shared a cross reference matrix that was developed that provides the list of changes that were made to TP 77351 that is anticipated will have an impact on the upcoming TP 77350 changes. We checked on the status of changes to TP 77350 and it still appears the new CMP CR will be issued by late April which would mean ad hoc meetings would likely begin in mid May. Mark asked if there were any objections to moving this TP 77351 CR to a Completed status. There were none.

3/18/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said the initial notification associated with the Technical Publication (TP) 77351 updates was sent on February 17, 2015. The final notice and CenturyLink response to CLEC comments will be sent March 19, 2015 with a planned effective date of April 3, 2015. Mark said based on an Action Item taken during Ad Hoc calls in January and February 2015, Jesse Olave – CenturyLink developed a matrix that is included in the CMP package. The matrix provides the list of changes that were made to TP 77351 that is anticipated will have a direct impact on upcoming changes to be made to TP 77350. The matrix will also be posted to the Document Review Archive site associated with distribution of the final notice. Mark said many of the changes to TP 77351, which is associated with engineering requirements, will not be duplicated in TP 77350, which is associated with installation requirements. The matrix only reflects the planned updates to TP 77350 that are a direct result of updates to TP 77351; it is not an all inclusive list of the planned updates. Mark said the CR associated with the changes to TP 77350 will likely be issued in late April and ad hoc meetings are expected to begin in May.

Kim Isaacs – Integra asked for clarification of the references in the matrix where it states “No reference in current 77350” and whether it means that they would be added?

Mark Coyne – CenturyLink stated we will get an answer from Jesse Olave and the response would be included in the meeting minutes Kim Isaacs – Integra stated that it looked as if the TP 77350 column was the existing language that is going to be changed to match TP 77351.

Mark Coyne – CenturyLink stated that was correct.

NOTE – CMP CALL FOLLOWUP: After following up with Jesse Olave – CenturyLink, he confirmed that the same changes as occurred in TP 77351 will be made to 77350. The column in the matrix is what is in existence currently.

Kim Isaacs – Integra thanked the team that put the matrix together.

2/18/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was presented by Jesse Olave - CenturyLink in January and an ad hoc call occurred following the regular monthly CMP meeting. On February 3, a second ad hoc meeting occurred to complete the review of the remaining TP 77351 chapters. Mark said the Meeting minutes are posted to the CMP CR and an updated copy of the CR is posted the Wholesale calendar for today’s meeting. Based on discussion in the ad hoc call, there were some updates made to the TP. A 45 day level 4 CMP notification was distributed February 17, 2015 with planned effective date of April 3, 2015. Mark said we are following up on Action Items specifically the question as to when TP 77350 will be ready for CLEC review and how can we make that review more effective now that TP 77351 has been reviewed. He relayed Jesse Olave is developing a matrix to compare the differences between the two TPs.

Kim Isaacs – Integra asked if CenturyLink would know the TP 77350 timeline next month.

Mark Coyne – CenturyLink said it should be available by next month.

02-03-15 Ad Hoc Meeting

Attendees: Victor Gaither – Time Warner Cable Kim Isaacs – Integra Bonnie Johnson – Minnesota Department of Commerce Laurie Roberson – Integra Jesse Olave – CenturyLink Diana Unser – CenturyLink Mark Coyne – CenturyLink John Hansen – CenturyLink Susan Williams – CenturyLink Susan Lorence – CenturyLink

Susan Lorence – CenturyLink relayed the purpose of the call is for attendees to review planned updates to Technical Publication (TP) 77351. She said that we got through approximately one third of the TP updates on the last call and hoped to complete the remaining chapter review on the call today.

Jesse Olave – CenturyLink said we left off on TP 77351 Chapter 6A. The call began with the review of zip file 3. He proposed reviewing each section, relaying that he would focus on the changes that provided more detail or where there was a change to the TP that would impact customers. He said he would skip the minor and grammatical changes.

Chapter 6B Auxiliary Framing - Low Type Jesse Olave – CenturyLink then reviewed the following sections in Section 6. Section 6B.4.1 – Added a Note to the Exhibit to provide more detail for the engineers.

Kim Isaacs – Integra asked what the implications were for a (2/2/15 Updates received from Integra in CAPS)[delete CUSTOMER]CLEC. She asked if existing cages would be grandfathered.

Jesse Olave – CenturyLink said it was likely that 95% of the changes in the TP did not change the standard but only provided more detail. Jesse said the revisions did not change requirements for what was currently built.

Diana Unser – CenturyLink said if customers were in a line up, then customers must match what was currently built. If they were in their own cage, that was not the case.

Kim Isaacs – Integra said if there was a virtual collo, we must follow the standard that was there. Kim asked if there (2/2/15 Updates received from Integra in CAPS)[WAS GOING TO BE [delete WERE] retroactive work.

Diana Unser – CenturyLink said as long as there is not a service hazard, then no change was required to existing space but if the space was reclaimed or there was a hazard, that would be different. Diane said most of the updates were to make the document more understandable or to provide a quick reference. She said a safety hazard is always addressed as soon as it is identified.

Section 6B.7 - Added a new bullet for clarification.

Section 6B.2-E2-2G - Added a new exhibit to clarify the existing standard. Jesse Olave – CenturyLink asked if there were any other question on 6B. There were none.

Chapter 6C Auxiliary Framing - High Type Jesse Olave – CenturyLink relayed that the Table of Contents appears like it has all changed but it was simply to add hyperlinks.

Kim Isaacs – Integra asked if Jesse had investigated the other Tech Pubs that referenced TP 77351 and how they are impacted. Kim said she was concerned that the cites (2/2/15 Updates received from Integra in CAPS) [TO TP 77351] IN THE OTHER TECH PUBS were not accurate any longer. Diana Unser – CenturyLink said Jeff Bostow – CenturyLink did not yet have a specific date as to when he will be ready for review. Diana said TP 77355 (Grounding - Central Office and Remote Electronic Equipment Environments) and 77385 (Power Equipment and Engineering Standards) have both been updated. She said these other Tech Pubs feed TP 77350 which will be the last one for updates.

Kim Isaacs – Integra said there are specific (2/2/15 Updates received from Integra in CAPS) SECTION NUMBER references[delete TO] IN these other Tech Pubs in TP 77351. She is concerned they will be out of synch.

Diana Unser – CenturyLink said not necessarily. The Section numbers were purposely not changed to keep them in synch due to references from other documents. CenturyLink does not want to renumber everything. Diana said it made the most sense internally to make the engineering updates and then determine updates to other documents.

Kim Isaacs – Integra said she thought that TP 77351 (2/2/15 Updates received from Integra in CAPS)SECTIONS had been rearranged which COULD [delete WOULD]could be a problem FOR THE OTHER TECH PUBS THAT REFER TO TP 77351. It made the most sense to her to review the changes to the TP simultaneously since TP 77350 is the one referenced in their ICAs.

Jesse Olave – CenturyLink said that Jeff Bostow – CenturyLink had been working with him concurrently to insure TP 77350 was in synch with this one. Jesse said he thought TP 77350 would soon follow.

Diana Unser – CenturyLink said that was why Jeff Bostow – CenturyLink was involved to insure TP 77351 changes were incorporated in TP 77350, e.g., clarifications and numbering updates. The previous documents TP 77355 and TP 77385 tie back to TP 77350 similar to TP 77351. Diana reiterated that Jeff Bostow – CenturyLink had been involved in all of the other TP updates and that TP 77350 should be following soon.

Kim Isaacs – Integra said it would be much easier and nice for (2/2/15 Updates received from Integra in bold or caps) [delete CUSTOMERS] CLECs to see how TP 77351 impacts TP 77350 since TP 77350 is the document referenced in their ICAs.

Susan Lorence – CenturyLink said we have noted Kim’s point that it would have been easier for (2/2/15 Updates received from Integra in bold or caps) [delete CUSTOMERS] CLECs to do these simultaneously. Susan suggested CenturyLink SMEs will meet internally to see how the review of TP 77350 can be expedited based on the other related TP updates.

Kim Isaacs – Integra said that would be very helpful since TP 77350 is so large and that this singular approach is not very efficient.

Jesse Olave – CenturyLink then reviewed the remaining changes in Chapter 6C. Section 6C.3 – Added a Note to contact Real Estate for any new ceiling racks to evaluate structural integrity.

Section 6C.5 – Added clarification for cable rack sizing and support. Jesse said the remaining exhibits are the same.

Chapter 6D Rolling Ladders Jesse Olave – CenturyLink said this chapter is not one that applies as much. He said a general note was added about rolling ladders. CenturyLink is migrating away from using these ladders. He asked if there were any questions. There were none.

Chapter 6E Earthquake and Disaster Bracing Jesse Olave – CenturyLink then provided information associated with the changes made in this chapter. Section 6E.1 – The reference to use Telcordia for zone rating is the only one retained.

Section 6E.2.2 – Added clarification to provide additional information for existing standards.

Section 6E.3.2 – Added a Figure to show what the standard means. Jesse said there are no changes to the remaining exhibits and said that concludes the changes to 6E. He asked if there were any questions. There were none. Chapter 6F Cable Distribution Systems For Conventional Floor Supported Systems Jesse Olave – CenturyLink said a new Section 6F.3 was added to provide information from CenturyLink internal documents that goes into more detail around engineering requirements and guidelines for internal and external engineers. He asked if there were any questions. There were none. Chapter 6G Fiber Protection System (FPS) - Cable Distribution for Fiber Optic Cable Jesse Olave – CenturyLink said in this Section, CenturyLink did move information around. Fiber Cable information was moved to Chapter 3 and Chapter 10 which left the Chapter 6G to be Fiber Protection.

Kim Isaacs – Integra asked if the information moved intact or was the wording changed. Kim asked if the changes had practical impacts.

Jesse Olave – CenturyLink said the wording and formatting was changed to be more logical and to provide more organization to the content. He said the intent of the content remained the same.

Section 6G.7 – This Section was moved to 6A and 6B. Section 6G.2 – Information was added and the organization of the information was modified to improve the flow. Section 6G.2.1 – Added some bullets to provide more clarification on what is allowed. Section 6G.2.7 – Added this new section to provide a reference for the engineers. Section 6G.10 and 6G.11 – Two sections were removed that do not apply. Jesse asked if there were any questions. There were none.

Chapter 7 Frame and Aisle Lighting Jesse Olave – CenturyLink said this Chapter was divided into three sections: Section A - Fluorescent Type Lighting, Section B - Appliance Outlets And Miscellaneous Conduit and Section C Emergency Lighting. He said the Table of Contents was updated to provide hyperlinks allowing access to the Figures but the overall intent was to clarify the differences between the types of lighting.

Section 7A.4 – This information was previously in internal documentation and the intent was to make it available to engineers. Some updates were formatting and rebranding. Jesse asked if there were any questions.

Kim Isaacs – Integra asked if Jesse would identify a practical change.

Jesse Olave – CenturyLink said he would identify any practical changes to CLECs.

Section 7B – The information that was added was to provide clarification and more detail to existing standards. Jesse asked if there were any questions. There were none.

Section 7C – This section provides more detail and definition on what it is and the existing standards. Some heading information was removed but detail information was retained and clarification was added.

Chapter 8 Internal Network and Operations Support Systems Jesse Olave – CenturyLink said this Chapter is related to CenturyLink internal operational support. The various sections provide the requirements for alarming and support in the CenturyLink network.

Kim Isaacs – Integra said when CLECs see “OSS”, they think of functional applications like ordering. Kim asked if CenturyLink would identify this is internal and could Jesse remove the ‘and” to make it clear that it was not functional system related.

Jesse Olave – CenturyLink and Diana Unser – CenturyLink said they were OK to remove the “and” in the Chapter title. Jesse asked if there were any questions. There were none.

Chapter 9 Alarms and Operational Support Systems Jesse Olave – CenturyLink said this Chapter is also related to CenturyLink internal operational support. He said the grammatical changes that were made do not change the intent of the content. Jesse referenced the change from CO to network facility that has occurred throughout the TP.

Chapter 10 Wire, Cable and Fiber Cable Requirements Jesse Olave – CenturyLink said a new section was added to reference Fiber Cable requirements. The information came from Chapter 6G. Jesse reviewed the various sections. He identified that some content was removed since it was no longer valid. He said some content was added to refer back to TP 77385.

Section 10.4 – The majority of information was in Section 6G so is showing here as all being added new. Jesse said that CenturyLink believed it was a better fit here. He asked if there were any questions. There were none.

Chapter 11 Network Facility Equipment Building Environment Requirements Jesse Olave – CenturyLink said this section is associated with equipment building and NEBS requirements. He said the intent remains the same but more detail was added for various sections of GR63 and GR1089. Additional detail was provided to identify where information comes from.

Section 11.3 – The temperature changes in this section reflect the NEBS requirements

Kim Isaacs – Integra asked if the maximum rate of temperature change was correct.

Jesse Olave – CenturyLink said he would check.

NOTE: Per review by Jesse Olave after the Ad hoc call, this has been reviewed and has been determined to be accurate and matches what is outlined in GR63. No changes will be necessary to this statement or values associated with this section. Section 11.4 – This section was added as a new section on its own.

Sections 11.5 through 11.11 – The majority of this information remains the same. It is consistent with what was previously published and has the same intent. Jesse said the map in Figure J-1 related to EARTHQUAKE ZONING MAP was changed to reflect the continental United States vs. the 14 state Legacy Qwest region. He asked if there were any questions. There were none.

Chapter 12 General Interaction Requirements Jesse Olave – CenturyLink said the information that was added is intended to guide engineers during equipment removal. There were also rebranding changes made. The Table A that was removed was the same table as in Chapter 11. Other updates were to include clarification for the engineers.

Chapter 13 Raised Floors Environments Jesse Olave – CenturyLink said the information in this chapter is new to provide engineers with guidance for this environment and provided a review of the various sections.

Kim Isaacs – Integra asked if the raised floor the standard for legacy Qwest states.

Jesse Olave – CenturyLink said no. For new environments, this might be a better solution but it is not considered the standard. Jesse said the grounding requirements in this chapter were reviewed by Curtis Ashton – CenturyLink and coincide with the requirements in TP 77355. Jesse said these requirements are mainly for the National side of CenturyLink. He asked if there were any questions. There were none.

Chapter 14 Acronyms/Glossary Jesse Olave – CenturyLink said there were minor changes to add new definitions or provide more information.

Chapter 15 References Jesse Olave – CenturyLink said information was updated to provide more current release references for the various documents that are listed.

Jesse Olave – CenturyLink asked if there were any overall questions about the review. There were none.

Susan Lorence – CenturyLink said the next steps are to send the meeting minutes out and to follow-up on any Action Items that were identified during the calls. Once Jesse makes the agreed upon updates to the TP, a level 4 CMP notification will be sent for the 14 state region that follows the normal CMP review and comment cycle. Susan said a separate notification will be sent for the remaining CenturyLink states that will have the same planned effective date as the CMP notice. The CenturyLink SME team will follow-up with Jeff Bostow, CenturyLink owner of TP 77350, to determine when his TP will be available for review and find the best approach to identify changes in his document that were already discussed here. Susan asked if there were any questions. There were none. She thanked everyone for their participation and feedback.

The meeting was adjourned at 11:05 AM Mountain Time.

01/21/2015 Ad Hoc Meeting minutes (following CMP monthly meeting) Attendees: Randee Ryan – Comcast Kim Isaacs – Integra Laurie Roberson – Integra Liz Tierney – Megapath Victor Gaither – Time Warner Cable Jesse Olave – CenturyLink Diana Unser – CenturyLink Mark Coyne – CenturyLink John Hansen – CenturyLink Susan Lorence – CenturyLink

Mark Coyne – CenturyLink suggested that we start walking through each redlined chapter of TP 77351 that was posted to the Wholesale calendar.

Jesse Olave – CenturyLink said there are lots of changes redlined in these Technical Publication (TP) updates however the majority of the changes are clarifications and adding additional detail to the information that was already there.

Kim Isaacs – Integra said she had an overall question first – what was the CLEC implication to changing the wording from “Central office” to “network facility”.

Jesse Olave – CenturyLink said there are no implications. The intent is to use a more general term vs. a central office environment.

Technical Publication 77351, Chapter 2. Jesse Olave – CenturyLink said reviewed the redline updates where additional information and clarifying information was added. Jesse said in Table 2.1, EQUIPMENT AISLE SPACING, some requirements were changed and reviewed those changes however Jesse said the absolute minimum requirements in this instance remains the same.

Diana Unser – CenturyLink and Jesse Olave – CenturyLink pointed to the specific points that were added that impact spacing requirements.

Kim Isaacs – Integra asked when customers are adding equipment to a collocation, are these the standards that should be used?

Diana Unser – CenturyLink said yes. There are still the same limitations on a variety of requirements but it is part of the form that customers have to fill out to add additional equipment to an existing space.

Kim Isaacs – Integra said what if adding equipment to an existing space, have the standards changed so that equipment could not be added without re-engineering?

Diana Unser – CenturyLink said it depends on what is added but it could prompt CenturyLink to go to Real Estate for a reevaluation of what is being requested and what currently exists in the space. Diana said the goal is for both customer equipment and CenturyLink equipment continues to work as it should.

Jesse Olave – CenturyLink said the intent of this section of the document has not changed but it is to provide more details as to the engineering requirements.

Diana Unser – CenturyLink said CenturyLink would follow the same process and decision criteria for an existing space and the additional details are to have the engineer made the good decisions.

Jesse Olave – CenturyLink asked if there were additional questions and said if something comes up he could definitely review an area again.

Technical Publication 77351, Sections 2.2.1.4 and 2.2.4. Jesse Olave – CenturyLink said this section was updated to provide additional information. Some of the content was only available internally before and was added to assist in engineering decisions.

Technical Publication 77351, Sections 2.5.1 Jesse Olave – CenturyLink said this section was updated to change the minimum size of the door to be more the size of a normal door.

Technical Publication 77351, Sections 2.5.3 Jesse Olave – CenturyLink said this section was not changed but was updated to provide more detail and to provide options available.

Technical Publication 77351, Sections 2.5.5 Jesse Olave – CenturyLink said this section was updated to provide additional information.

Kim Isaacs – Integra asked if there were changes or was it only to provide more detail.

Jesse Olave – CenturyLink said that is correct. The intent has not changed but more detail is being added.

Kim Isaacs – Integra said this update should not impact them since they are already meeting the standards.

Diana Unser – CenturyLink said correct but it should help customer engineers also so they don’t have to ask as many questions.

Technical Publication 77351, Sections 2.7.6 Jesse Olave – CenturyLink said this section is new but it is consistent with TP 77385. He asked if there were any other questions on Chapter 2. There were none.

Technical Publication 77351, Chapter 3 Jesse Olave – CenturyLink said there are a lot of redlines in this chapter because it was reorganized, more definitions and detail was added format changes were made.

Technical Publication 77351, Sections 3.2 and 3.3 Jesse Olave – CenturyLink said the specific requirements in these sections have not changed. References are now more generic and some subsections were added to provide more detail.

Technical Publication 77351, Section 3.4 Jesse Olave – CenturyLink said new subsections were added to provide additional detail to internal and external engineers. Some information was previously internal and is being added here. Jesse said some of this information used to be in Section 6.G but has been pulled up in the Tech Pub as a better fit here.

Laurie Roberson – Integra said some of the information was in Chapter 6 and some was internal information. She asked if she looked at Chapter 6, would was moved be clear?

Jesse Olave – CenturyLink said yes but some of the wording was updated during the move but it should still be clear.

Diana Unser – CenturyLink said also more Figures were added to help everyone.

Jesse Olave – CenturyLink reviewed the additional subsections that were added or moved. He asked if there were any questions.

Kim Isaacs – Integra asked if in Section 3.4.1.1, was there a new sentence about the POI and manhole and asked about the closest manhole and splice cases.

Diana Unser – CenturyLink said there is a separate TP for this. Diana said manhole Zero is typically very crowded and it is not recommended for everything. It cannot support a lot of splice cases due to space requirements.

Kim Isaacs – Integra said the statement that it was not used as a POI was a concern since some are.

Jesse Olave – CenturyLink said they would revisit this wording but that the TP was to set the standard and some sites may not meet the standard but for those a letter of deviation is required like today.

Kim Isaacs – Integra said a letter of deviation may delay the process and this is a blanket statement.

Jesse Olave – CenturyLink said they would revisit the wording in Section 3.4.1.1, bullet item 2, last sentence and would work with Regulatory Compliance to see if clarification is required. He asked if there were any more questions for Chapter 3. There were none. Jesse recommended skipping a review of Chapter 4 which has few changes and relates to TP 77385. He also recommended skipping Chapter 5 since the update that was made did not impact Legacy Q and the Chapter relates to TP 77355.

Kim Isaacs – Integra asked if the changes in Chapter 4 and 5 then synch up with the current TPs?

Jesse Olave – CenturyLink said yes they do. The TP author for the two TPs reviewed the chapters to insure they were in synch. Technical Publication 77351, Chapter 6, Section A Jesse Olave – CenturyLink said there are a lot of redlines but they relate to formatting changes to be able to hyperlink to the Table of Contents. Changes were made to rebrand the document to CenturyLink. Jesse said a new Section 6A.2.3 was added to include criteria about cable racks that does not exist in Legacy Q.

Kim Isaacs – Integra had a question about the first added sentence in Section 6A.1 that states “Any material referenced throughout the chapter refers to currently approved CenturyLink material.” Jesse Olave – CenturyLink said CenturyLink only orders CenturyLink approved material so the statement is included to state that specifically for the engineers.

Kim Isaacs – Integra said that made sense.

Jesse Olave – CenturyLink said there was an update to Section 6A.4.1, Table 2 which was really a correction. He reviewed the updates through Section 6A.7 relaying that additional direction, clarifying information and recommendations were added for the engineers. Jesse said a lot of the information was previously in 6G but was moved here. Jesse said most of Section 6A.8 was eliminated. He said the majority of the information in Section 6A.9 is the same but is now organized differently. He said Section 6A.9.1.A and Section 6A.9.1.B were broken out to address Cable Hole for floors and walls separately.

Kim Isaacs – Integra asked if there were significant changes in this area.

Jesse Olave – CenturyLink said it was mostly a clarification of standards and the additional of more details. The intent of these sections did not change.

Laurie Roberson – Integra identified a typo is Section 6A.9.2 in the first bullet.

Jesse Olave – CenturyLink said for Section 6A.9.3 there were some minor changes to use Project Number instead of Order number and to also add a “Fire Assembly Number or Engineering Judgement Number” and “Responsible Party Contact Information”. This information is now required to provide who is responsible. Jesse said all of the remaining exhibits in this section did not change but some new exhibits were added for clarification. The exhibits were updated to allow a hyperlink to them. Jesse asked if there were any questions on Chapter 6A. There were none.

Mark Coyne – CenturyLink said we have made it through two of the five TP files and proposed another call to review the remaining three.

Jesse Olave – CenturyLink said Chapter 2 had the most actual changes so a two hour call should allow the remaining chapters to be reviewed. He said Chapters 10-12 and 14, 15 had minimal changes. He said Chapter 13 is a new chapter on Raised Floor environments for engineers.

Susan Lorence – CenturyLink asked the group if they would prefer a two hour call or two one hour calls.

Randee Ryan – Comcast said they would prefer one two hour call.

All agreed a two hour call would be preferred.

Susan Lorence – CenturyLink proposed the date of February 3 and that was what participants agreed upon.

Kim Isaacs – Integra said there was an Action Item that the CenturyLink SME team would review the other TPs to see how these TP 77351 updates impacted them.

Jesse Olave – CenturyLink confirmed that action item and said CenturyLink appreciated the feedback. He said 77350 was already being looked at 77353 and 77385 were already reviewed and are line.

The meeting was adjourned at 11:00 AM Mountain Time.

01/21/2015 Monthly Product Process CMP Meeting Mark Coyne – CenturyLink said Jesse Olave - CenturyLink would be presenting this CR but relayed that at the conclusion of the CMP meeting, Jesse would review the redline chapters which were available on the CMP monthly meeting calendar entry.

Jesse Olave – CenturyLink described the Tech Pub and advised that the document was being updated to reflect the new company name of CenturyLink and to incorporate various legacy company standards into a single document. Jesse said the intent of the document had not changed but updates would provide additional detail and clarification to existing standards to make it more user-friendly. He stated that the published Version G was the baseline and some of the chapters were rearranged and that some content was moved between chapters.

Kim Isaacs – Integra stated that this TP does not apply to CLECs and does not appear in their ICA, but rather applies to suppliers and engineers. She asked if the changes being made would impact TPs that are included in their ICA. Kim said she was interested in knowing the changes the CLECs would have to make based on these TP changes and if it applied to new collocations or if CenturyLink would use the changes to monitor compliance issues to existing collocations. Kim said she understood that the TP said existing environments would be grandfathered but asked how would that be managed.

Jesse Olave – CenturyLink said the requirements relay to how equipment is deployed to be NEBS level 3 compliant and said that the intent of this TP had not changed with the previous version, but that it provided more detail and CenturyLink was making provisions to supply more cooling, for example, via aisle spacing. The existing environments that complied with the previous TP version were not impacted. He said if there were exceptions to the existing environments, those would need to continue to grow as required.

Kim Isaacs – Integra stated that is the problem. Kim wanted to know when the TPs in their ICA would be updated so that she will know as a CLEC what those standards would be. Kim said this is not a TP that CLECs would reference.

Diana Unser – CenturyLink stated that the TP was accessible and CLECs could refer to it.

Kim Isaacs – Integra said it was not what governed their ICA terms. CLECs would defer to the TPs in their ICA and that this TP would not be the governing document and that she was concerned they would be out of sync which was a problem.

Mark Coyne – CenturyLink asked if the concern was that updates to this document would result in necessary changes to other documents mentioned in the ICA.

Kim Isaacs – Integra confirmed and stated that she didn’t know which updates to TP 77351 would affect them.

Mark Coyne – CenturyLink stated we would take an action item and follow up.

Jesse Olave – CenturyLink said he was not familiar with the ICA process.

Kim Isaacs – Integra said any updates to the current ICA would require an amendment and gave an example of TP 77350 which was in their ICA.

Jesse Olave – CenturyLink stated that the author of TP 77350 was making corresponding updates to TP 77351 and that CLECs would see those updates soon.

Kim Isaacs – Integra asked if there was any concern with holding off on the changes to TP 77351 until TP 77350 was available so they can compare the changes in both.

Jesse Olave – CenturyLink said he understood the concern but holding off on the changes to TP 77351 would impact the timing of when other CenturyLink regions would use this document.

Diana Unser – CenturyLink said TP 77351 is basic engineering for regulated spaces and is a predecessor to TP 77350 which refers to installation. Because of that, TP 77351 has to be updated first and may trigger an update TP 77350. Diana said CLECs should ask if they have any questions based on what is currently done.

Kim Isaacs – Integra recommended that CenturyLink identify what changes in TP 77351 would impact them.

Mark Coyne – CenturyLink proposed that when CenturyLink reviewed the TP 77351 updates, that the SME team would identify what might lead to a future update of the other TPs.

Diana Unser – CenturyLink yes they could. Diana reiterated that the majority of updates to TP 77351 were clarifications; there were not a lot of changes.

Kim Isaacs – Integra said that would work but said since the document was so large, more than one call would be necessary. Kim asked if content had been moved without redlining since large sections were added but it was difficult to find the related deletion.

Jesse Olave – CenturyLink stated that some moves were made but since the document was so large, there are deletions in one chapter that were added to a different chapter. Jesse said that did not happen often but he could identify those sections during the review.

Mark Coyne – CenturyLink stated that we would follow this approach during the review. He asked if everyone was OK with that approach.

Kim Isaacs – Integra said she was not 100% comfortable but was OK to move forward for now.


Open Product/Process CR PC010715-2 Detail

 
Title: Spectral Interference Cause Code/Analysis Code
CR Number Current Status
Date
Area Impacted Products Impacted

PC010715-2 Completed
2/17/2016
Unbundled Loop
Originator: Boudhaouia, Jamal
Originator Company Name: CenturyLink
Owner: Boudhaouia, Jamal
Director:
CR PM: Lorence, Susan

Description Of Change

As agreed to in the MN 1066 Settlement Agreement; CenturyLink will be introducing a new code to be used as stated below:

CenturyLink will introduce spectrum interference Cause Code using the Integra criteria in Attachment B. CenturyLink will submit a CMP CR. The code should be implemented no later than 6 months after this settlement agreement is approved by the Commission.

The Criteria Document is also attached.


Status History


Project Meetings

02/17/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR has been in CLEC Test since May 2015. There was a desire to keep this CR open until the Network Trial was established. A Network notification was distributed on January 21, 2016 to relay there would be a six month Technical Trial from February 1, 2016 through July 31, 2016. Mark said we would like to move this CR to a Completed status. There were no objections.

01/20/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR is in CLEC Test.

Jamal Boudhaouia – CenturyLink said that through a series of meetings with the MN DOC and certain CLECs, there is agreement on the network trial that will be conducted on four DSLAMs. He said a network trial notice will be distributed on January 21, 2016 to relay the trial will start on February 1, 2016 and will last for six months. Jamal will review the trouble tickets on the four DSLAMs for spectral interference issues and will provide a monthly report as well as conduct a meeting to review the results.

Susan Lorence – CenturyLink said that now that the network trial is to begin, she requested consideration that this CR be moved to a Completed status in the February CMP monthly meeting. There were no comments to this proposed request.

12/16/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR is in CLEC Test and said he had not heard Jamal Boudhaouia – CenturyLink on the call.

Susan Lorence – CenturyLink said she heard from Jamal and that he is unable to attend the call today. Susan said Jamal relayed that he had received the data he needed and would be sending it out in the next day or so for his meeting on Friday, December 18, 2015 at 11AM MT.

Laurie Roberson – Integra said that Jamal’s meeting is on the wrong date on the Wholesale calendar.

Susan Lorence – CenturyLink said she would make the update following the CMP call.

11/18/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR, though it is in CLEC Test, is being kept open until the Network Trial has been completed.

Jamal Boudhaouia – CenturyLink said regarding the calls related to the Technical Trial, the group has had to change direction as to which DSLAMs will be considered. Jamal said he has provided the CLECs and MN DOC with five DSLAMS to consider and is waiting on retrieval on archive information. He said a call will be set up for early December as to next steps.

NOTE: On November 19, 2015, a General notification GENL.ANNC.11.19.15.F.14095.FNLPlnngMtgNtwkTechTrial was sent to relay the next meeting date of December 3, 2015. The notice is available on the Customer Notification Letter Archive (CNLA) at http://wholesale.centurylinkapps.com/cnla.

10/21/15 Product/Process CMP Meeting Mark Coyne – CenturyLink stated this CR has been requested to remain open until the network technical trial is completed. Jamal Boudhaouia – CenturyLink sent a meeting notice on October 13, 2015 to relay there is a final planning meeting on Wednesday, October 28, 2015 for the network technical trial. That meeting is posted to the Wholesale calendar. Mark asked Jamal Boudhaouia – CenturyLink if he had anything to add.

Jamal Boudhaouia – CenturyLink stated that he would send the remaining data for the October 28, 2015 meeting no later than Monday, October 26, 2015.

09/16/15 Product/Process CMP Meeting Mark Coyne – CenturyLink stated this CR has been in CLEC Test since May 8, 2015 but that during the call last month, there is a desire to keep this CR open until the Network Trial has completed. Mark said we will continue to monitor it each month.

Bonnie Johnson – Minnesota Department of Commerce asked if she had missed the follow-up documentation that was to be sent after the last network call.

Jamal Boudhaouia - CenturyLink said he had provided some of the information but was still researching the trouble ticket history of the cross boxes.

Bonnie Johnson – Minnesota Department of Commerce said she would like the CenturyLink commitments to be met and expressed concern that this has been delayed for so long.

Jamal Boudhaouia - CenturyLink said he agreed and that he is trying to pull the information from the archives.

Mark Coyne – CenturyLink stated the concern would be noted.

08/19/15 Product/Process CMP Meeting Susan Lorence – CenturyLink stated that his CR had an effective date of May 8, 2015 when an update to the Maintenance and Repair Business Procedure went into effect. The CR has been held open for some additional calls that CenturyLink has been conducting. A call was held on Tuesday, August 18, 2015 to talk about finalizing the Network Trial. Susan asked if it was acceptable to close this CR at this point.

Bonnie Johnson – Minnesota Department of Commerce requested that it remain open through the Network Trial.

Kim Isaacs – Integra agreed.

Susan Lorence – CenturyLink stated that it would remain open through the Trial.

07/15/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR is in CLEC test. A meeting invite was sent on July 12, 2015 for a customer conference call on Tuesday, July 28, 2015 to finalize the Trial requirements.

Bonnie Johnson – Minnesota Department of Commerce initially thought that meeting date might not work due to being out of the office but then determined the date would work after all.

Jamal Boudhaouia – CenturyLink said if anyone had not seen the meeting invite to let him know.

Mark Coyne – CenturyLink said the CR would remain in CLEC Test.

6/17/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR is in CLEC test. The CenturyLink CR owner Jamal Boudhaouia was not on the call. Mark said in the May CMP call, Kim Isaacs – Integra was going to do some checking on this CR.

Kim Isaacs – Integra said she had checked and said she believes this CR is related to the Spectrum Management trials in Minnesota so she prefers the CR be left open.

Mark Coyne – CenturyLink said Jamal is working on getting the trials moving.

Bonnie Johnson – Minnesota Department of Commerce said she agreed with Integra that this CR needed to be left open. Bonnie said while Jamal is out, she is working with Tom Freeberg – CenturyLink to identify potential 2015 DSLAM deployments that are scheduled in Minnesota. Mark Coyne – CenturyLink said the CR would remain in CLEC Test.

5/20/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was moved to CLEC Test as of May 8, 2015. This CR is associated with an update to an existing Trouble Code associated with spectrum interference per the Minnesota Docket 1066 and Mark asked if there was any objection to moving this CR to a Completed status.

Kim Isaacs – Integra asked if this CR was to put the spectrum interference code in place and was not about the process for developing the spectrum interference trial.

Susan Lorence - CenturyLink said that was true. Jamal Boudhaouia - CenturyLink had a separate effort associated with the spectrum interference trial where meetings had been held to discuss that piece.

Kim Isaacs – Integra said there had not been a recent meeting on it and asked to keep the CR open until she could do more checking.

Mark Coyne – CenturyLink said yes we would review the CR in June.

4/15/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said the initial Level 4 notification was sent early March 2015 and the CLEC comments were due to close mid March but we received a request from Bonnie Johnson - Minnesota Department of Commerce to extend the formal comment cycle until a CenturyLink call related to a 1066 document requirement was conducted. Mark said that call occurred on March 20, 2015. During that call, CenturyLink agreed to retract the original Level 4 notice and resend a new notice with additional information. The revised level 4 notice was sent on March 26. The CLEC Comments were due last Friday, April 10. CLEC comments were received and the final notice and CenturyLink response to comments is due April 23 with an effective date of May 8. Mark asked if there were any questions. There were none.

3/18/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said the initial Level 4 notification was sent on March 2, 2015. The CLEC comments were due to close on March 17, 2015 but we received a request from Bonnie Johnson - Minnesota Department of Commerce to extend the formal comment cycle until a CenturyLink call related to a 1066 document requirement was conducted. That call had been rescheduled from March 11, 2015 to March 20, 2015, due to a CenturyLink issue. Based on the request from Bonnie, the CLEC comment cycle was extended until March 23, 2015. Mark said the final notice is scheduled for April 1, 2015 with a planned effective date of April 16, 2015.

2/18/15 Product/Process CMP Meeting Mark Coyne – CenturyLink reminded everyone that this CR was presented by Jamal Boudhaouia last month. He said the CenturyLink SME team is currently reviewing the Cause Codes to confirm which code to use. Once that is determined, CenturyLink will be sending a level 4 notice.

1/21/15 Product/Process CMP Meeting Jamal Boudhaouia - CenturyLink presented this new CR that was part of the MN 1066 Settlement Agreement that CenturyLink will introduce spectrum interference Cause Code/Analysis Code when there may be spectrum interference issues on unbundled loops. Jamal referenced Attachment B for the critieria to be used. Jamal said the Cause Code has not yet been established.

NOTE: The Attachment B referenced in the CR and in the CMP meeting has been posted to the Wholesale calendar for the January 2015 CMP monthly meeting. For reference purposes, it is also included at the end of these meeting minutes.

Mark Coyne – CenturyLink asked if the new code would be introduced with a level 4 notification once it had been determined.

Jamal Boudhaouia – CenturyLink confirmed.

Mark Coyne- CenturyLink asked if there were any questions. There were none.


CenturyLink Response

3/18/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said the initial Level 4 notification was sent on March 2, 2015. The CLEC comments were due to close on March 17, 2015 but we received a request from Bonnie Johnson - Minnesota Department of Commerce to extend the formal comment cycle until a CenturyLink call related to a 1066 document requirement was conducted. That call had been rescheduled from March 11, 2015 to March 20, 2015, due to a CenturyLink issue. Based on the request from Bonnie, the CLEC comment cycle was extended until March 23, 2015. Mark said the final notice is scheduled for April 1, 2015 with a planned effective date of April 16, 2015.


Open Product/Process CR PC042915-1 Detail

 
Title: Technical Publication 77350, CenturyLink, Telecommunications Equipment Installation Guidelines
CR Number Current Status
Date
Area Impacted Products Impacted

PC042915-1 Completed
8/17/2016
Technical Publication
Originator: Bostow, Jeff
Originator Company Name: CenturyLink
Owner: Bostow, Jeff
Director:
CR PM: Lorence, Susan

Description Of Change

Formerly titled Qwest Technical Publication 77350 has been revised to reflect the company name change from Qwest Communications to that of CenturyLink. In addition, this revised publication seeks to incorporate various legacy company standards into a one-company approach to Inside Plant (ISP) installation guidelines. These revised guidelines also provide a needed update to existing standards.

Expected Deliverables/Proposed Implementation Date: 08-01-15


Status History


Project Meetings

8/17/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR has been in CLEC Test as of July 1, 2016 and asked if the CR could be moved to Completed status. There were no objections.

7/20/16 Product/Process CMP Meeting PC042915-1 Technical Publication 77350, CenturyLink, Telecommunications Equipment Installation Guidelines PC011516-1 CLEC/CLEC Subcontractor Inside Plant (ISP) Competency Requirements and Testing on Technical Standards associated with CenturyLink Telecommunications Equipment Installation Guidelines (Tech Pub 77350) Mark Coyne – CenturyLink said he would provide an update on these two CRs at the same time. Both CRs are in CLEC Test as of July 1, 2016. Mark said a Level 3 notice was sent on July 6, 2016 to implement a further change to the CLEC Badge Access Request web site and the CLEC Badge Access Request Job Aid to include a wording update about the Badge acknowledgement process; the wording had originally been included as part of the final notice for these two CRs that was distributed on June 16, 2016. Mark said CenturyLink received a postponement request from Integra to delay implementation of the additional wording changes. Due to the postponement request, CenturyLink retracted that update and resent the redlined language as a Level 3 change on July 6, 2016 with an effective date of August 19, 2016. Mark said the specific information about the postponement request is available as Postponement #3 on the CMP Oversight Committee & Escalation/Dispute Information website at http://www.centurylink.com/wholesale/cmp/escdisp.html under Postponement Archive.

Kim Isaacs – Integra said she submitted comments on the Level 3 change that states Integra objects to the added language in the Badge Access tool. Kim said the process is covered by their ICA and has similar terms governing collocation access. (7-29-16 Updates received from Integra in CAPS) CENTURYLINK ALLOWS ONLY [delete WITH] one point of contact (POC) for each company [delete ALLOWED], that POC is an administrator and is not the right person to acknowledge the process for each badge holder or for their company.

Mark Coyne – CenturyLink said CenturyLink will review the Integra comments with our legal and SME team.

Kim Isaacs – Integra said her concern is that CenturyLink is (7-29-16 Updates received from Integra in CAPS) TRYING TO USE [delete USING] this same badge access site for CLECs and [delete THEIR SUB-CONTRACTORS] CENTURYLINK’S CONTRACTORS and those CenturyLink relationships are different. Kim said she thinks the badge acknowledgement language is redundant since the CLEC has an ICA but said she can understand the language being necessary when there is not an ICA.

Mark Coyne – CenturyLink said it might be that CenturyLink needs to include additional language like “unless otherwise specified within the ICA”.

Liz Tierney – Global Capacity said that she thinks adding requirements at the Collocation Access site is not needed. Liz said the ICA is explicit regarding access and that we need to remove barriers. Mark Coyne – CenturyLink said we will consider the comments and provide the CenturyLink response with the Final notice due August 4, 2016. Mark asked if there were questions. There were none.

6/15/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said he would provide an update on this CR and CR PC011516-1at the same time since they are related. He said there were several notifications that were distributed associated with these changes: two level 4 notices and one Level 3. The initial notices were sent on May 25, 2016 that included a formal comment cycle that ended June 9. CenturyLink did receive customer comments. The final notices and response to comments are due on June 16, 2016. The changes will become effective on July 1, 2016. The CRs will then be moved to CLEC Test and will be reviewed in the July CMP meeting. Mark asked if there were questions. There were none.

5/18/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said in the April monthly CMP meeting, he had reviewed the additional CenturyLink proposed language updates to Chapter 2. Mark said Kim Isaacs – Integra had requested examples of some scenarios associated with the Chapter 2 redlined language. Based on this request, the CR originator Jeff Bostow – CenturyLink added some examples within the Tech Pub for reference. On May 2, 2016, an Ad Hoc call was conducted to review the newly proposed changes to Chapter 2. The call participants agreed to the proposed wording. Also on the Ad Hoc call, participants reviewed the September 2015 Action Item list to determine if the remaining open Action Items from January 2016 could be closed. There were no outstanding issues. Mark said the final version of the proposed changes to Chapter 2, the final version of the Action Item list, and the meeting minutes for the May 2, 2016 call are all posted to the Wholesale calendar. A level 4 notice timeline was then agreed to that has an effective date of July 1, 2016. Mark said that following the Ad Hoc call, the CenturyLink SME team had to tweak the notification timeline somewhat to provide some additional time on the front end to add some clean up for Level 0 changes and to synch up redlines and the Table of Contents. The revised timeline sticks with a Tech Pub 77350 Issue O effective date of July 1, 2016 but has the Level 4 notice going out on May 25, 2016. Mark asked if there were any questions. There were none.

05/02/16 Ad hoc meeting minutes Attendees: Brendan Hamel – Granite Kim Isaacs – Integra Laurie Roberson – Integra Jeff Bostow – CenturyLink Rita Urevig – CenturyLink Mark Coyne – CenturyLink John Hansen – CenturyLink Susan Lorence – CenturyLink

Susan Lorence – CenturyLink went over an agenda for the meeting and then a brief history of the two CRs, PC042915-1 and PC011516-1. Susan said that during the meeting, she would like to take down specific Action Items that need to be resolved versus capturing detailed discussion of the examples that may be included in the Tech Pub.

CR PC042915-1 Technical Publication 77350 Jeff Bostow – CenturyLink then reviewed the CenturyLink proposed Tech Pub 77350 language dated April 28, 2016 that is posted to the CMP calendar entry for the meeting. The wording updates are associated with the CenturyLink response to questions posed during the CMP monthly meeting on April 20, 2016. Jeff spoke to Section 2.1.2 of the Tech Pub and said there are two types of Methods of Procedure (MOP) – General and specific. The MOP is required for CenturyLink and their subcontractors due to PUC requirements in case there is a service interruption; it shows the scope of the work and who is performing it. A MOP is not required if a CLEC is working solely within their space – caged or cageless. Jeff said the wording updates to Section 2.1.2 are to show a MOP is required if any work is performed in the shared space and has included examples in the Tech Pub wording to show when a MOP will be required. Jeff asked if the new language met what the group intended.

Kim Isaacs – Integra said she needed to run the newly proposed language passed her CO technicians. She said she did not think the CLEC could do any of the work listed.

Jeff Bostow – CenturyLink said that was correct but there have been some occasions where a CLEC has started performing some of this work themselves.

Kim Isaacs – Integra thanked Jeff for the examples and said she would review the new Tech Pub wording internally but that the proposed CenturyLink wording since mid April has been a good balance. Kim said she thought there would not likely be issues with these newly proposed updates. With the April 15, 2016 CenturyLink wording in Section 2, Integra believes they are protected for the day to day work they perform in their collocation space.

Jeff Bostow – CenturyLink said excellent. Susan Lorence – CenturyLink said the examples were added due to the Integra requests during the April monthly CMP call. She then referred call participants to Section 2.1.4.2 to review those wording changes. Susan said she thought Integra had reviewed the 04-15-16 wording and Jeff had made some updates to address the requests from the Monthly call.

Kim Isaacs – Integra said she liked Jeff’s 04-28-16 updates which make the responsibilities clearer.

Jeff Bostow – CenturyLink said the wording is intended to say a CLEC can perform their normal business routine in their collocation space but when work is required in the shared space, the Tech Pub wording applies.

Susan Lorence – CenturyLink asked if there were any other changes in Section 2 that had to be discussed. There were none. Susan then referred call participants to the Action Item list from September 2015 posted to the calendar to see if open items remain. She thought the open items were originally related to the Tech Pub wording changes that were just discussed and the Competency Test/badging wording which will be discussed next. Susan asked about the Action Item 16 related to Network Change Management System (NCMS) process.

Kim Isaacs – Integra said she was fine on that one.

Jeff Bostow – CenturyLink said the NCMS process now covers all of CenturyLink – Local and National.

Susan Lorence – CenturyLink said we will show Action Item 16 completed. She asked about Action Item 5 related to the badging process and whether she could refer that item to the Competency Test CR. No one disagreed. Susan said we will now show all of the Action Items Completed. Susan asked about discussion of a timeline.

Jeff Bostow – CenturyLink said Integra needed some time to review the wording.

Kim Isaacs – Integra said she could reply back by May 11, 2016 as to the whether Integra was OK with the most recently proposed Tech Pub 77350 wording changes.

Susan Lorence – CenturyLink asked Brendan Hamel – Granite if Granite could also meet a May 11, 2016 to provide any concerns.

Brendan Hamel – Granite said he could meet that date.

Susan Lorence – CenturyLink asked for any concerns to be sent to the CMPCOMM@centurylink.com mailbox by May 11, 2016.

PC011516-1 CLEC/CLEC Subcontractor Inside Plant (ISP) Competency Testing Susan Lorence – CenturyLink then pointed call attendees to the third document posted to the Wholesale calendar associated with the CLEC Competency Test CR. Susan said this draft document was created by John Hansen - CenturyLink in a Business Procedure format from the draft Competency Test Process Guide that Jeff had reviewed in the ad hoc meeting in January 2016.

Jeff Bostow – CenturyLink said this document has basically the same content as the CenturyLink internal document but has more of a CMP format. He said this document only applies to work outside of normal CLEC business activities. When a CLEC needs to expand their current model, an Inside Plant Central Office Installation Technician would be required which is an industry title that has been in existence for 30 years or so. Jeff said the Competency Test was developed after some problems in network installation attributed to human error. The Competency Test was aligned with the badging process depending on the work that is to be performed. Jeff said there are two types of testing that are aligned with Telcordia/Ericsson levels: Central Office Equipment (COE) Installer only (Level 1-3) and COE plus Power (Level 4). If the person taking the test successfully passes the Competency Test questions, their badge reflects certification to work in the CO to that level and it allows CenturyLink to be aware of subcontractor capabilities. Jeff said CenturyLink has been pleased with the result of the Competency Test process.

Kim Isaacs – Integra said she has reviewed the Business Procedure and asked how the Competency Test would appear.

Jeff Bostow – CenturyLink said a button would be added to the newly revised CenturyLink badging process to have a CLEC self identify up front to see if they are performing their normal work activities. That should allow no disruption to a CLECs current process. The Competency Test only is required if the CLEC indicates they are going to perform installation work. Jeff said he was not aware of when the newly revised badging website was to be reinstated.

Susan Lorence – CenturyLink said the newly revised badging website and Collocation – CenturyLink Premises Access Overview Business Procedure are to be effective May 18, 2016. CenturyLink is working on the response to CLEC comments that will be posted on May 3, 2016. Following the effective date of May 18, 2016, CenturyLink will work with the SME team to revise this Competency Test documentation and possibly the Collocation – CenturyLink Premises Access Overview Business Procedure to incorporate any changes in the process for CLEC testing.

John Hansen – CenturyLink said he wants to insure there is only one location to update associated with each of the processes.

Kim Isaacs – Integra said she wants to minimize confusion on these processes. Integra has a special point of contact (SPOC) for badging.

John Hansen – CenturyLink said the original information in the Competency Test documentation was not correct as it pointed to the old badging process and it will have to be updated. The first iteration of the badging tool does not have the Competency Test information included since the Tech Pub 77350 and Competency Test related issues were not yet resolved. CenturyLink wanted to get the revised badging website in production before making these Tech Pub related changes. John said there will be some radio buttons that ask what the CLEC scope of work will be. If it is the normal CLEC Collocation work, then the process will flow as today. If the work includes a broader scope, e.g., power work, it will stop the process and require the Competency Test. John asked if that made sense.

Kim Isaacs – Integra said yes.

Susan Lorence – CenturyLink said we will need to clarify in the documentation if a CLEC technician already has a badge and that needs to be expanded to include a further scope of work, e.g., COE or COE plus power, how does the process of competency testing and re-badging occur.

Kim Isaacs – Integra said she will have a chance to review the revised process when the CMP notice is sent. She is thinking if a MOP is required, it could be a trigger internally for Integra to determine if a Competency Test is required.

Jeff Bostow – CenturyLink said the process will apply to both the CLEC and their subcontractor. He said today a CLEC does not have to file a MOP if they are working in their space.

Kim Isaacs – Integra said if their project meets the requirements for a general or detail MOP, their internal process might be tied to the MOP to indicate the Competency Test may be required. Kim said Integra already uses the approved CenturyLink subcontractors for work and they probably have already been tested.

Susan Lorence – CenturyLink said it sounds like we can talk about a timeline for submitting the two Level 4 changes. With the May 11 date for CLEC responses for review of the most recent Tech Pub 77350 updates, the May 18 date for the effective date of the Badging website, Susan proposed that we notify with the two level 4 notifications as of May 19, 2016 with a 45 day timeline.

John Hansen – CenturyLink said he thought that would work from a documentation perspective.

Kim Isaacs – Integra agreed that the two processes for the Tech Pub and the Competency Test should be notified separately.

Brendan Hamel – Granite said he was OK with the May 19 date.

Susan Lorence – CenturyLink proposed that we may need to tweak the notification timelines somewhat but that we would work the various dates to make the changes become effective as of July 1, 2016.

Jeff Bostow – CenturyLink said that will be Issue O of Tech Pub 77350 that will become effective.

All agreed that it was very exciting to think that after the lengthy discussions, these Tech Pub and Competency Test changes will become effective as of July 1, 2016.

Susan Lorence – CenturyLink thanked everyone for their time and said CenturyLink will relay the timeline in the May CMP meeting.

The Ad hoc meeting was adjourned at 11:00 AM MT.

4/20/16 Product/Process CMP Meeting Mark Coyne – CenturyLink stated that this CR was discussed in March CMP meeting. He said on March 30, 2016, CenturyLink received proposed wording from Integra. On April 13, 2016, CenturyLink scheduled Ad hoc call for this CR and the CR associated with CLEC Competency Testing. Due to unforeseen circumstances, this meeting to review CenturyLink alternately proposed language will have to be rescheduled.

Susan Lorence – CenturyLink stated that the meeting would be rescheduled for May 3, 2016 from 9:00-10:30 AM MT.

Kim Isaacs – Integra stated that May 3-4 was an LNPA working group meeting.

Susan Lorence – CenturyLink offered to move the date to May 2, 2016 from 10:00-11:30 AM MT. There were no objections.

Mark Coyne – CenturyLink asked to take a few minutes to review the CenturyLink proposed wording to get a head start on the issues to be proactive in advance of the next ad hoc call.

Susan Lorence – CenturyLink directed callers to the fourth document on the Wholesale Calendar following the monthly meeting that included the proposed CenturyLink wording. [NOTE: For document references, the Ad Hoc meeting is now on the May 2, 2016 Wholesale calendar entry.]

Mark Coyne – CenturyLink stated that the first proposal in Section 2.1 was accepted by CLECs. He then advised that the next proposed wording example was in Section 2.1.2 and presented the fact that CenturyLink’s intention was to take both exclusion wording proposed by the CLECs and the inclusion wording proposed by CenturyLink and present both in the document to cover the concerns of both parties.

Kim Isaacs – Integra asked for examples prior to the Ad Hoc call of the last sentence in Section 2.1.2 of the CenturyLink proposed language which states: If CLEC equipment is installed or work is done that is not installed solely in a “Caged Location” area or a “Cageless Location” space and/or potentially affects the CenturyLink network, the MOP standard shall apply.

Mark Coyne – CenturyLink asked Kim and other customers if the additional CenturyLink proposed wording was acceptable with the exception of the addition of the examples.

Kim Isaacs – Integra stated that she wants to discuss the wording with her business units but that the wording appears to be moving in the right direction.

Mark Coyne – CenturyLink said he thought the use of the words “may” and “shall” addressed the concerns on both sides. Mark then moved to Section 2.1.4.2 and presented the proposed Integra wording and the CenturyLink proposed changes saying the intent is to have both parties covered. Mark asked if there were any questions on this prior to the Ad Hoc call.

Kim Isaacs – Integra also asked for examples for this section ahead of the Ad Hoc call. She asked if the term “facility footprint” could be further defined and for clarification of the information in the last sentence.

Susan Lorence – CenturyLink stated that she would review the last sentence wording with Jeff Bostow - CenturyLink to get it clarified.

Kim Isaacs – Integra requested examples of what work would require a Competency exam by a CLEC technician.

Liz Tierney – Global Capacity stated that she agreed that these efforts were moving in a positive direction. Liz said their ICAs don’t allow them in the CenturyLink space.

Mark Coyne – CenturyLink asked if there were any other questions on this CR. There were none.

3/16/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said the last Ad Hoc call for this CR was held on January 28, 2016. The main concern with the proposed changes to the Tech Pub 77350 within the CLEC community seems to be with the use of the term “Service Supplier” to refer to CLECs and their subcontractors. Mark said on February 19, 2016, CenturyLink had received proposed redlined language for Chapter 2 of the Tech Pub 77350 from Liz Tierney, Global Capacity. That redlined language is included in the CMP package on pages 24 thru 51. Mark said CenturyLink had reviewed the CLEC proposed language with our SME team which includes Regulatory and Compliance representatives. CenturyLink has provided some alternative wording to be added to Chapter 2, Paragraph 2.1.5.1 which is also in the CMP package on page 52. Mark said the current approach is to add a NOTE that defines when a CLEC/CLEC Subcontractor will not be considered a “service supplier” in the context of the Tech Pub. Mark said hopefully this approach makes it clearer. He said that customers will likely want to have some time to review this proposed language within their companies.

Armando Fimbres - Oregon Public Utility Commission asked when CLEC comments should be returned to CenturyLink.

Mark Coyne – CenturyLink said we would like CLEC comments back within the next week to 10 days and would then hold a call to review both this CR and the CLEC Competency Test CR toward the end of March or early April. He said we could also hold the review in the April meeting.

Liz Tierney – Global Capacity said the wording that CLECs proposed and the CenturyLink wording are saying the same thing. Liz said CLECs already have wording in their ICAs to restrict them from certain CO space. The CLEC wording identifies that the Competency Test is required when the CLECs needs to be in the shared space. Liz said she would review both sets of wording changes.

Mark Coyne – CenturyLink said our approach would be to use the original CenturyLink redline Tech Pub wording and the new CenturyLink NOTE which hopefully provides a more simplified approach to exclude a CLEC/CLEC Subcontractor when they are working in their own CO space.

Kim Isaacs – Integra said there is a sentence in Section 2.1.2 of the proposed Tech Pub that states that the Tech Pub applies to CLECs in their Caged or Cageless space. Kim said that wording and the new CenturyLink wording seems mutually exclusive and asked if that sentence was specific to the MOP. Kim said a further clarification may be required here to indicate something about the MOP standard applying.

Mark Coyne – CenturyLink asked CLECs to consider this section and the new CenturyLink proposed wording and see if there are any further CLEC proposed changes. He asked if any CLEC proposed changes could be provided by the end of the month.

Kim Isaacs – Integra said the CLECs would need two weeks to review and propose changes.

Mark Coyne – CenturyLink said once the CLEC proposed wording is received, CenturyLink will then determine if the meeting to review the changes will be during the April monthly meeting. He said the CenturyLink proposed wording being added in Section 2.1.5.1 also impacts the CenturyLink CR for the Competency Test.

Kim Isaacs – Integra said she did not understand when a CLEC tech would be required to take the Competency Test.

Mark Coyne – CenturyLink said he thinks it is anytime a CLEC is outside of their Collo space.

Liz Tierney – Global Capacity said the CLECs are restricted today from being outside that Collo space.

Kim Isaacs – Integra said with the CenturyLink NOTE and their ICA language, it does not appear that a CLEC would be in the CenturyLink space. The question is then when would a CLEC need to take the Competency Test.

Mark Coyne – CenturyLink said we would take that question back to our SME team.

02/17/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said two Ad Hoc calls had been held in September 2015 to review the planned updates to Tech Pub 77350. Two January calls were held to review Action Items and the CenturyLink responses to the Tech Pub review calls held last September. Mark said the CLEC community is considering clarifying language to add to the Tech Pub associated with the key Action Items. Once those additional redlines are received, CenturyLink will schedule another ad hoc call to review the CLEC proposed language. Mark asked if there were any questions. There were none.

01/28/16 Ad hoc meeting minutes FINAL Attendees: Larry Couch – Action Communications Kim Isaacs – Integra Nancy Swanson – Mobius Communications Victor Gaither – TW Cable Carl Caughran – CenturyLink Jeff Bostow – CenturyLink Renee Albersheim – CenturyLink Mark Coyne – CenturyLink John Hansen – CenturyLink Susan Lorence – CenturyLink

Susan Lorence – CenturyLink provided a brief history of this CR for those players that were new. Susan said that the CenturyLink SME team had met with Legal and Regulatory on one of the new Action Items from the January 7, 2016 Ad hoc meeting which was to consider adding wording specific to CLECs in Section 16 of the Tech Pub 77350 that the “ICA Controls”. Susan read the following response from the Legal and Regulatory team:

The CenturyLink Legal and Compliance teams have determined that no additional updates to Tech Pub 77350 are required. They believe the Tech Pub has general applicability. The ICA that is negotiated with each customer has the general terms that apply to all aspects of their business with CenturyLink. The Legal team believes that adding wording to the Tech Pub would be unnecessarily duplicative.

Susan said that any customer that has concern with this approach and wished to discuss it further should have their Legal representative contact the CenturyLink Legal representative Jeff Nodland at Jeff.Nodland@CenturyLink.com. Susan then provided a status on the second Action Item from the January 7 call which was to create a CR to provide documentation on the Competency Testing. The CR was initialed by Jeff Bostow – CenturyLink and was presented at the January monthly CMP meeting. That CR is PC011516-1, CLEC/CLEC Subcontractor Inside Plant (ISP) Competency Requirements and Testing on Technical Standards associated with CenturyLink Telecommunications Equipment Installation Guidelines (Tech Pub 77350), and there will be a separate Ad Hoc call for that new CR following this meeting.

Kim Isaacs – Integra said she was disappointed that CenturyLink was not going to add the “ICA Controls” wording to the Tech Pub. She said [2/8/16 Updates received from Integra in CAPS] CENTURYLINK’S DECISION this will require THAT INTEGRA COMPLETE an extensive legal review of the Tech Pub as they [ delete DO WITH] WOULD WITH ANY CHANGES TO THE TERMS OF with their ICA. Kim said that will add considerable time to the Tech Pub timeline and said AS AN ILLUSTRATION they have been in ICA negotiations for five years. Kim asked if Jeff understood the implications.

Jeff Bostow – CenturyLink asked if this issue only applied to the current revisions as the majority of the Tech Pub was from the last update in 2007 and would not be up for review and negotiation.

Kim Isaacs – Integra said the wording that a CLEC is synonymous with “Service Supplier” changes the [2/8/16 Updates received from Integra in CAPS] [delete SCOPE] APPLICABILITY of the Tech Pub and is a big issue. It was previously viewed that “Service Supplier” applied to a CenturyLink contractor vs. a CLEC or their contractors. Kim said the Tech Pub would now require their legal review to consider every instance of Service Supplier and insert Integra to determine impact ESPECIALLY ANY ADDITIONAL LIABILITY OR INDEMNIFICATION LANGUAGE IN THE TECH PUB.

Jeff Bostow – CenturyLink said that the use of Service Supplier in the Tech Pub means any CenturyLink employee, CLEC or subcontractor entity that is solely working in the shared local network space to conduct inside plant installation or removal activity. Jeff gave examples of the IOF area, footprint, stored program controls. Jeff said a caged space is exempt.

Kim Isaacs – Integra said there is no issue with the Tech Pub standards as listed. She said she has talked with her technicians and they understand it clearly. Kim said they already have language in their ICA that addresses indemnification and liability and this adds to it and will take a long time to review. Kim said it is not clear in the definition what shared space means [2/8/16 Updates received from Integra in CAPS] AND ANY EXCEPTIONS THAT APPLY TO CLECS.

Jeff Bostow – CenturyLink said with the scope of the Tech Pub77350, it already implies that the person this applies to is an Inside Plant Supplier (ISP).

Kim Isaacs – Integra said [2/8/16 Updates received from Integra in CAPS] IT IMPLIES BUT DOESN’T SAY AND the first time ISP is used is Section 2.1.11.

Jeff Bostow – CenturyLink read Section 2.1.4.2 which is also included under Action Item 1 of the Action Item matrix.

Kim Isaacs – Integra said that language needs to be [2/8/16 Updates received from Integra in CAPS] [delete MORE CLEAR] CLEARER.

Susan Lorence – CenturyLink asked if Integra would want to take that language back to their legal team for review and redline.

Carl Caughran – CenturyLink said he has reviewed this specific language in the field and they believe it is very clear and understandable that a customer can be in their cage without certification but if they are in the shared space, certification is required. Carl said he thinks Jeff has done a great job to protect CLECs since it was not clear previously.

Kim Isaacs – Integra agreed it was not clear previously and [2/8/16 Updates received from Integra in CAPS] IT STILL NEEDS TO CLEARER said she will work with her Ops team and legal to add more clarity.

Susan Lorence – CenturyLink said ICA terms are outside of CMP and wondered if Kim will have her legal team work with CenturyLink’s.

Kim Isaacs – Integra said she will send the redlined language to the CMP mailbox which allows review in CMP and then CenturyLink can review with legal. Kim said she will also include wording about how this applies to day to day operations.

Susan Lorence – CenturyLink said that will work great and then CenturyLink can send to the CenturyLink review team.

Jeff Bostow – CenturyLink said the title of the Tech Pub is key to what it applies to – equipment installation guidelines.

Victor Gaither – TW Cable said looking at Section 2, using the definition of a shared space, a level 4 lead would have to be certified to work there. Victor said this is different in how he deals with other ILECs for the shared space and said he thought CenturyLink should be consistent with how the industry handles cage and cageless which is an open environment. He said this document implies that any work in the cageless space requires a level 4 certification.

Kim Isaacs – Integra said she agreed.

Victor Gaither – TW Cable said his concern is that there needs to be clarity around the CLEC owned space, whether caged or cageless, and that a customer can work in their own space. He said he agreed that if the work extends out of the CLEC space, then the Level 4 certification applies.

Jeff Bostow – CenturyLink described two network terms used previously: CO Tech (Central Office Tech) who does the day to day work, and the COEIT (Central Office Installation Tech) who builds the network.

Victor Gaither – TW Cable said he works with two Collo teams across the nation and that ILEC Collo is more complex. He said their Tier 2 is likely the same as CenturyLink Level 1-3 and that their Tier 1 are those that do installs, test, and is allowed to do power work, etc. which may equate to CenturyLink Level 4. Victor said his local teams need to understand who can do which work for work assignment.

Kim Isaacs – Integra said she agreed with Victor. She said the Tech Pub is not clear and if they are bound to the Tech Pub, it needs to be specific with no wiggle room.

Carl Caughran – CenturyLink said again that he believes the CenturyLink field is very clear with the revised Tech Pub wording in Section 2.1.4.2 and that there is no confusion there.

Susan Lorence – CenturyLink said it sounds like Integra took an action item to redline Section 2.1.4.2 language to make it more clear. Then CenturyLink will take that wording back to the CenturyLink review team for consideration.

Victor Gaither – TW Cable said he thinks there is agreement that when looking at inside plant, cage or cageless, Level 1-3 can work in their own space but anything else requires Level 4 and thought that was consistent with the industry which was important. Victor said that needs to be clear in the document.

Kim Isaacs – Integra said she will review Section 2 in its entirety to propose some redline that will make it abundantly clear. Kim said she understands Jeff’s intent but does not think the Tech Pub [2/8/16 Updates received from Integra in CAPS] [delete SAYS THAT] CAPTURES CENTURYLINK’S INTENT.

Victor Gaither – TW Cable said if Kim can propose some words that are more exact, everyone wins.

There was further discussion and disagreement among those on the call as to whether the redlined Tech Pub language was clear or not. It was believed that the intent might be clear but that there could limitations that could be interpreted in the language.

Susan Lorence – CenturyLink said she thought the plan of action is for Kim to review Section 2 and propose some wording that will add clarity. CenturyLink will then review that wording with our Legal and Compliance team to see if we can resolve this main point of contention. She said the other action items do not seem like they will take much time.

Kim Isaacs – Integra agreed that the Tech Pub standards are not the problem and said she had reviewed the Action Items and did not have any concerns.

The Ad hoc meeting was adjourned at 1:55 PM MT.

01/20/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said two Ad Hoc calls had been held in September to review the Tech Pub 77350 updates. The CR originator, Jeff Bostow – CenturyLink, then investigated the identified Action Items from the two calls. On January 7, 2016, an Ad Hoc meeting was conducted to review the CenturyLink response to each Action Item. Another Ad Hoc call is scheduled for January 28, 2016 to continue to review the Action Item matrix and provide feedback on the meeting that the CenturyLink SME team agreed to hold with CenturyLink Legal. Mark said we hope to provide a response from the CenturyLink Legal team prior to the next meeting. As part of the discussion in the January 7, 2016 Ad Hoc call, CenturyLink agreed to issue a new CR to capture the process for Competency Testing for the CLEC technicians. Mark said if all goes well in the January 28, 2016 Ad Hoc call, CenturyLink will propose a Level 4 notice be sent by early February with an expected implementation date of mid March. Mark asked if there were any questions. There were none. [1/29/16 Updates received from Integra in CAPS] BASED STATEMENTS CENTURYLINK MADE ON THE 1/28/16 AD HOC CALL – IT IS INTEGRA UNDERSTANDING THAT THE INTENT OF THE CHANGES TO TECH PUB. 77350 ONLY WHEN THE CLEC CHOOSES TO HAVE ITS EMPLOYEES INSTALL OR DECOMMISSION A COLLOCATION SPACE; OR WORK WITH POWER. ONCE THE CLEC COLLOCATION SPACE IS ESTABLISHED, DAY TO DAY OPERATIONS, EQUIPMENT OR CARD ADDITIONS, TECH PUB 77350 STANDARDS MINIMALLY APPLIED TO THE CLEC’S ACTIVITY WITH THE EXCEPTION BEING HEALTH AND SAFETY.

01/07/16 Ad hoc meeting minutes Attendees: Brendan Hamel – Granite Telecommunications Laurie Roberson – Integra Kim Isaacs – Integra Carl Caughran – CenturyLink Jeff Bostow – CenturyLink Mark Coyne – CenturyLink John Hansen – CenturyLink Susan Lorence – CenturyLink

Susan Lorence – CenturyLink said this call was to review the CenturyLink responses to the Action Items that were taken during Ad Hoc calls on September 23, 2015 and September 30, 2015. The call participants referred to the Action Item matrix posted to the Wholesale calendar.

Action Item 1 - Section 2.1.4.2 Jeff Bostow – CenturyLink reviewed the proposed changes to Section 2.1.4.2 as listed in the matrix.

Kim Isaacs – Integra relayed that this was not the direction that she had expected the redline Tech Put language for this Action Item to take. She indicated she was expecting to see a statement that where terms differ or there is a conflict, the terms of the ICA control. She mentioned competency assessments and the need for a statement that their ICA controls if there are issues concerning these assessments. Kim said the entirety of the Tech Pub 77350 is part of the ICA and the redlined wording could imply these rules to be retroactive for customers. She did not understand the reference to “equipment placed” which she felt might be construed as requiring retrofit to meet standards.

Jeff Bostow – CenturyLink said there was no intent for this Tech Pub to imply any retrofitting. The scope was all on a going forward basis. He said he was trying to meld the needs of the business with needs of the CLEC community.

Kim Isaacs – Integra said there was a need to clearly delineate the difference between service supplier and the CLECs and that there are different terms that control. She said it is the same as Chapter 2, Par. 2.1.5.1 where there was an attempted definition of CLEC. This issue was problematic within most of the document and could open up for more misunderstanding and conflict.

Jeff Bostow – CenturyLink asked if that was the premise of other CLECs.

Brendan Hamel – Granite Telecommunications stated that Granite had no problems to this point but would continue to investigate.

Kim Isaacs – Integra asked if Granite currently takes the CenturyLink competency test.

Brendan Hamel – Granite Telecommunications said his role was to update the guides and would speak to his department directly.

Kim Isaacs – Integra said she will need additional time for review and would ask Integra techs about the possibility to take the test before they apply for and are granted an access badge. Kim said her concern was if they use the resource and there is a problem. The Tech Pub currently reads that the Integra techs must meet the Level 4 competency within the system. Jeff Bostow – CenturyLink said the issue is whether the tech is performing in a caged space or any part of the shared CenturyLink footprint. Jeff said the direction is not to be punitive but to insure the sanctity of the network and those working on it perform with competency.

Kim Isaacs – Integra said she understood that there is a need for all to meet OSHA, NEC, and UL standards but there is a history between CLECs and CenturyLink of being competitors and that CenturyLink could potentially use this requirement to not let Integra into the CO. Kim said with over 12 years of job experience, there was a need for clear language that CLECs can agree to and appropriate technical standards but that the ICA prevails. Susan Lorence - CenturyLink said we need to take this back to CenturyLink legal for guidance.

Kim Isaacs – Integra said she needed review by her legal team also but believed the legal folks from each company will also disagree.

Action Item 2 - Section 2.1.6 Jeff Bostow – CenturyLink reviewed the proposed wording change.

Kim Isaacs – Integra said as she had mentioned before, her concern is about CLEC synonyms and use of the term “service supplier.” She believed that some applied to CLEC and some applied to CenturyLink and that it was strange that these terms were synonymous.

Jeff Bostow – CenturyLink said with the Tech Pub 77350 initial mission/scope, that the existing terminology was correct. But as the Tech Pub title suggests, Telecommunications Equipment Installation Guidelines, it is not intended to be about personnel. He asked if that was acceptable.

Kim Isaacs – Integra said she would need to run it past her legal team. Action Item 3 - Section 2.1.11 and 15.2.3 Kim Isaacs – Integra said that the ICA identifies each partner’s responsibility for the build out of a location. CLECs have not previously had the requirement to take the competency test. That would be based on each customer.

Jeff Bostow – CenturyLink said if there was an outage, CenturyLink would be liable. He gave an example of an accidental human error that causes an outage during a hot power cutover. Jeff said a report would need to be filed with the PUC and that there could be a fine involved. Several Tech Pubs, 77350, 77351 and 77385, were being clarified across the CenturyLink 38 states as a company standard. Language was being tightened up and that technicians would get badged if deemed competent. He said, with due respect, the process is a defense mechanism for CenturyLink on who gets access to facilities.

Kim Isaacs – Integra said, also with due respect, there is a reason to be careful. Kim said the industry has matured but this requirement could be misconstrued to make competition more difficult. The technical specifications are not the issue. The issue is when a tech is in a facility, there is no ability to look at the ICA and how a violation has to be addressed. She said she does not know what to do with this as the CO techs have not had this competency requirement previously and with this, now they must access a web site and determine the required competency test(s).

Jeff Bostow – CenturyLink said vendors have access to the competency test outside the firewall and any vendor has access.

Kim Isaacs – Integra said there is no process or methodology in the PCATs or the ICA associated with CLECs and competency testing. The Tech Pub needs to address this. Kim said she is trying to protect Integra interests and consider what has occurred in the past.

Jeff Bostow – CenturyLink said nothing is going to change on how CLECs gain access to their enclosed space. He said he could see the point about embedded entity. Access is addressed under a separate umbrella as a CLEC customer. He stated that these access requirements are not to be misconstrued as retroactive.

Carl Caughran – CenturyLink said there is a distinction in regard to types of CO space. CenturyLink is protecting our interests and this is addressing general space not collocation space. If a CLEC tech is trying to install in the general space, rules are mandated. Carl said he understands that Kim is trying to protect against rogue CO managers and that the wording in the Tech Pub under Section 2.1.11 says if a CLEC tech is working in their space, there is no need to provide proof of competency.

Kim Isaacs – Integra stated that point is exactly what she is asking for but currently it is not clearly stated in the Tech Pub. Kim said the matrix says that for this Action Item but that wording is not in the Tech Pub and should be added. She asked where in 2.1.11 that was stated.

Jeff Bostow – CenturyLink confirmed it does not say that in the Tech Pub.

Kim Isaacs – Integra said she has two key points in the discussion that the Tech Pub needs to provide some protection for the CLECs: 1) The reference that the ICA controls. 2) The requirement around competency testing.

Jeff Bostow – CenturyLink said if a reference is added to the Tech Pub for a specific component of the ICA and that the ICA controls, the reference implies “separate but equal” and he does not want it to mislead anyone.

Kim Isaacs – Integra said there should be a specific section of the Tech Pub to address how the Tech Pub applies to CLECs and their ICA.

Susan Lorence – CenturyLink said CenturyLink needs to take a step back and let Legal figure out how they propose addressing this issue. If competency testing for CLECs remains, CenturyLink could then issue a CR to let the CLEC community know what was expected.

Kim Isaacs – Integra said Section 16 of the Tech Pub could be updated to elaborate on how the Tech Pub applies to CLECs and that a policy statement could be added at the beginning of the document to refer to Section 16 for CLECs.

Jeff Bostow – CenturyLink said that is a shield of defense of the customer to add the reference to the ICA in one section.

There was some discussion on how to best draft wording between CenturyLink and CLECs for Section 16 so that nothing is lost. There was agreement that CenturyLink would draft wording and review with their legal team and that it could be exchanged between CenturyLink and CLECs. It would then be available for review by all participants in the next ad hoc meeting.

Susan Lorence – CenturyLink proposed the next ad hoc meeting be scheduled for January 21, 2016 at 10 AM MT. A meeting notification would be sent. She said we only made it through three Action Items but thought that these three were critical to resolve and could impact the resolution on the remaining Action Items.

The Ad hoc meeting was adjourned at 11:00 AM MT.

NOTE: Due to conflicts, CenturyLink is moving the next ad hoc meeting planned for January 21, 2016 to January 28, 2016. A meeting notification will be sent by January18, 2016.

12/16/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said two ad hoc calls were held in September to review the Tech Pub 77350 updates. CenturyLink has created a matrix that provides the Action Items from those meetings. A CMP meeting notice was sent to schedule a call for December 17 at 9:30 AM MT. Mark said if the December 17 Ad hoc call goes as planned, we will propose sending the level 4 notice out for formal review and comment on the Tech Pub 77350 updates by the end of year with an expected implementation date in early February. Mark asked if there were any questions. There were none.

NOTE: Due to a last minute conflict, a meeting notification was sent on December 16, 2015 to relay the Tech Pub 77350 Ad Hoc call was moved to January 7, 2016 at 10 AM MT.

11/18/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said the SME team has been working on the Action Items. Considering various schedules and the Thanksgiving holiday, the meeting was planned for December 1 but has subsequently been moved to December 9. The matrix of the Action Items and the CenturyLink responses will be provided prior to the Ad hoc call.

NOTE: As of November 24, 2015, it appears the date will need to be moved again to later in December. Date and time to be confirmed via a Meeting notice.

10/21/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said there were two ad hoc calls to review the redlined Tech Pub 77350; one was held on September 23 and one on September 30. CenturyLink is creating a matrix of all of the Action Items from the two meetings and an ad hoc meeting is planned for November 5 to review the CenturyLink responses associated with each Action Item. The meeting notice will be sent soon.

Kim Isaacs – Integra stated that she would be traveling the first week of November and asked if the call could be rescheduled.

Mark Coyne – CenturyLink stated that we would check with Jeff Bostow as to his schedule for the week of November 9, 2015.

NOTE Update as of October 28, 2015: After review of Jeff Bostow’s schedule and consideration for the Thanksgiving Holiday, the follow up Ad Hoc meeting for this CR and Tech Pub 77350 will be December 1, 2015 at 9:00 AM. A meeting notice will be sent in November.

Mark Coyne – CenturyLink said if the meeting the week of November 9 goes as planned, CenturyLink will likely send a Level 4 CMP notification by mid November with an effective date planned for late December. Mark asked if there were any questions. There were none.

9/30/15 CMP Ad Hoc Meeting Attendees: Phil Thomas – Birch Laurie Roberson – Integra Kim Isaacs – Integra Laura Biel – Consolidated Telcom Jeff Bostow – CenturyLink Mark Coyne – CenturyLink John Hansen – CenturyLink Susan Lorence – CenturyLink

Susan Lorence – CenturyLink said the meeting minutes from the Ad Hoc call on September 23, 2015 had been sent that morning. Susan relayed that as agreed on that first Ad Hoc call, she had focused on capturing the Action Items and asked everyone to take a quick look at those to insure the approach was satisfactory. Susan said Action Item 2 was an important one and that a SME call had been held on September 29, 2015 to start the discussion but there was no resolution as of yet. If necessary, any new issues would be cross referenced back to Action Item 2. The plan was to use the same approach for this September 30 call and that once we get through the review of the redline Tech Pub 77350 updates, a matrix would be created of all of the Action Items. We would then track them on the matrix for moving them to Completion and cross reference any Tech Pub updates as appropriate.

Kim Isaacs – Integra said the initial list of Action Items looks good but she will need to check her own notes.

Jeff Bostow – CenturyLink began the call where we had left off with a review of redlines with Chapter 7.

Action Item 10 Section 8.2 – Correct the typo in the new sentence from “blank ink” to “black ink”.

Action Item 11 Section 8.1 – Review content of this section to insure that the redlined updates fully delete related content and that there are no remaining sentence fragments.

Action Item 12 Section 8.3.2 – Review and clarify whether this section is applicable to CLECs. This Action Item is associated with Action Item 2 and we will cross reference it to that one.

Kim Isaacs – Integra said this Tech Pub is included in their ICA. Kim wants the Tech Pub sections/content clear as to what applies to CLECs vs. CenturyLink and their suppliers/contractors. In that way, Kim said that will avert the potential for being considered in breach of their contract.

Jeff Bostow – CenturyLink said he understands and wants that clear also. Jeff then asked what the process will be to review the Action Item matrix in order to eventually close each one.

Susan Lorence – CenturyLink said the plan will be to schedule a follow-up Ad hoc call in several weeks to review the Action Item matrix. That will allow time for the Action Items to be resolved by Jeff and his SME team. In the Ad Hoc call, we will review each Action Item and any related Tech Pub updates to insure the Action Item can be closed.

Action Item 13 Section 8.8.1 – Remove “Standard Configuration document…” and replace with PEG. Relates to global Action Item 7.

The changes to Tech Pub Chapters 9, 10 and 11 are based on previous Tech Pub updates to Tech Pubs 77385, 77351 and 77355. The changes to these chapters came from both Curtis Ashton – CenturyLink and Jesse Olave – CenturyLink.

Action Item 14 Section 12.3 – Review paragraph for completeness. This section relates to Action Item 1 and reference to a customer’s ICA. There was a question as to whether the contacts listed in the Tables applied to both CenturyLink and CLECs.

Kim Isaacs – Integra said their ICA addresses the requirements for handling of hazardous materials and agreed updates related to Action Item 1 will help clarify roles and responsibilities.

Jeff Bostow – CenturyLink said that in Chapter 13 and 14 and the related workbook, the forms that are directly applicable to CLEC intervention are the General Method of Procedure (GMOP) and Detailed Method of Procedure (DMOP) forms. Jeff said the workbook changes were generally not changes to the forms themselves but were changes to contact information and changes related to rebranding. Jeff said he is willing to discuss any of the forms.

Action Item 15 Is the term and CenturyLink position of State Interconnect Collocation Manger (SICM) still valid? Should the term be replaced or deleted? Perform global search for this term.

Action Item 16 Chapter 15.9 – The Planned Network Activity Registration (PNAR) process is being replaced by the Network Change Management System (NCMS). Is that process/system and related documentation available outside the CenturyLink firewall? Similarly, is the Change Management Document 0013, Revision 1.0 Doc 0013 available outside of the firewall?

Jeff Bostow – CenturyLink completed the review the final Tech Pub Chapters and asked if there was anything that should be excluded or included in the Tech Pub.

Kim Isaacs – Integra said she may find additional questions during the formal review cycle but did not have any more at this time. The first couple chapters took the time but the remaining chapters went more quickly.

Susan Lorence – CenturyLink asked if any others on the call had any questions. There were none. Susan said in several weeks, she would schedule a one hour follow-up Ad Hoc call to review the status of the Action Item/Matrix. She thanked everyone for their patience and participation on the call.

The Ad hoc meeting was adjourned at 11:30 AM Mountain Time.

9/23/15 CMP Ad Hoc Meeting Attendees: Bernard Dawson – Birch Russ Coleman – Birch Scott Barnett – Birch Phil Thomas – Birch Russ Hamman – Birch Mike Krind – Birch Juan Ornelas – Birch Laurie Roberson – Integra Kim Isaacs – Integra Tracy Fisher – Integra David Boileau – Integra Jeff Bostow – CenturyLink John Hansen – CenturyLink Susan Lorence – CenturyLink

Susan Lorence – CenturyLink reviewed the purpose of the Ad Hoc call and provided a brief background on the CR PC042915-1 associated with updates to Tech Pub 77350. Susan proposed that the meeting minutes from the call consist of Action Items that are identified as each Chapter and sections of the redlined Tech Pub are reviewed. There were no objections.

Jeff Bostow – CenturyLink said the reason for the Tech Pub 77350 proposed changes was to merge the RBOC and ILEC requirements. Jeff said that the changes are consistent with previous updates to Tech Pubs 77351, 77355, and 77385. He said the changes are all future focused and are for new buildout or future building configurations and will not impact current installations. Jeff asked if that was a fair assessment.

Kim Isaacs – Integra said that was her understanding also but said there are some changes in Chapter 2 regarding certification testing that she had not seen before in other Tech Pubs.

Jeff Bostow – CenturyLink said these Tech Pub updates are consistent with the other Tech Pub updates and that they are seamless and benign in their CLEC impact. Jeff said all the page number and section references will be trued up with the final version once the redlines are accepted. There is a global change from Qwest to CenturyLink.

Kim Isaacs – Integra asked if there would be more detail added for the Reason for Reissuance and asked if the new requirements would be included in this section.

Jeff Bostow – CenturyLink said yes, it would and that the History Log would capture the changes in more detail.

Kim Isaacs – Integra said if the History Log will contain more detail of the changes, then it would work to point to the History Log for the details in the Reason for Reissuance.

Jeff Bostow – CenturyLink said he would include a high level view of the new requirements in the Reason for Reissuance and then reference more detail that would be provided in the History Log. Jeff than began review of the redlined Tech Pub.

Section 2.1.1.1 Kim Isaacs – Integra said she needed to check with her team on the fairness of the advance notification. Kim also asked what happens if their ICA differs from the requirements included in the Tech Pub.

Susan Lorence – CenturyLink said the CMP notifications include a statement that the ICA rules.

Action Item 1 Section 2.1.4.2 – CenturyLink will work with legal to add a reference to the ICA.

Action Item 2 Section 2.1.6 – CenturyLink will provide some clarity to roles and responsibilities relative to the terms a) Service Supplier, b) Contractor and c) CLEC/CLEC sub contractor(s). CenturyLink will work with legal to further delineate accountability and requirements in both a cage and cageless environment. Kim Isaacs – Integra said it is clear how Section 2.1.2 applies to equipment but it is not clear how the requirements apply to CLEC subcontractors.

Jeff Bostow – CenturyLink said this will be good to clarify the accountability if there was a disruption in service and who might have caused the situation in conjunction with PUC reporting requirements.

Section 2.11 – There was considerable discussion as to how CenturyLink insures CenturyLink CO Techs know what they are doing in the CO. They are required to take online competency exams and receive a specific clearance level.

Action Item 3 Since CLEC CO techs are not required to take the CenturyLink competency exams, there needs to be appropriate clarity in the Tech Pub on what standards apply to CLECs and which ones do not.

Kim Isaacs – Integra said this is to assist in preventing a CLEC from being expelled from a CO for reasons that are not quite clear.

Action Item 4 Will CenturyLink allow a CLEC or CLEC subcontractor to voluntarily take a competency exam which is outside of the firewall. If so, what would that process be.

Jeff Bostow – CenturyLink described the competency exam and how the exam is related to access requirements via the badge system.

Kim Isaacs – Integra said Integra has had issues with the badging process in the past.

Action Item 5 There needs to be a better understanding of the CenturyLink badging process for CLECs and how that may relate to the potential problem of an inability to gain building access. There have been problems with this in the past.

Action Item 6 There was a name change throughout the Tech Pub from CO Operations to Business and Consumer Markets group however the responsibilities are the same. CenturyLink needs to confirm the contact information did not change and should also investigate if a more generic term can be used to prevent future Tech Pub updates if there is a work group name change when there is not a corresponding contact number change.

Action Item 7 Section 2.4.8.1 and 2.4.8.2 – There is a reference to Planning and Engineering Guidelines (PEG). CLECs do not have access to the PEG so CenturyLink needs to also add applicable Tech Pub reference numbers. CLOSED Jeff Bostow – CenturyLink added a reference to Tech Pubs 77351, 77355, and 77385.

NOTE: A short break was taken.

Action Item 8 Section 3.1.7 – CenturyLink will perform a global search on PEG to also include the applicable Tech Pub reference(s). Jeff will review each occurrence and evaluate what updates are required.

Action Item 9 Section 3.9 – CenturyLink will perform a global search to change any Telcordia reference to Ericsson. Jeff will review each occurrence and evaluate what updates are required.

Jeff Bostow – CenturyLink completed the review of Chapter 6.

Kim Isaacs – Integra said once the information is received on Action Item 2, it will help with the review of the remaining chapters.

Susan Lorence – CenturyLink thanked everyone for their participation on the call and reminded those on the call that there is another review meeting on Wednesday, September 30, 2015. The meeting was adjourned at 11:00 AM Mountain Time.

9/16/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR has been on hold since May while Jeff Bostow – CenturyLink continued to resolve some remaining open points. The redlined chapters of Tech Pub 77350 were sent in by Jeff the first of this month. On September 9, 2015, a notification was sent to confirm the two ad hoc calls scheduled for September 23 and September 30. The redlined chapters of Tech Pub 77350 chapters have been posted to the Wholesale calendar and the cross reference matrix of related changes between Tech Pub 77351 and Tech Pub 77350 will also be posted.

Kim Isaacs – Integra said she wanted to confirm that the changes to Tech Pub 77350 will not be backward looking changes.

Mark Coyne – CenturyLink said he thought like the changes to Tech Pub 77351, these are forward looking changes. (9/25/15 Updates received from Integra in CAPS) [NOTE: ON THE 9/23/2015 TECH PUB 77350 AD HOC CALL – JEFF BOSTOW CENTURYLINK CONFIRMED THE CHANGES WERE FORWARD LOOKING AND RETROFITTING WOULD NOT BE REQUIRED.]

08/19/15 Product/Process CMP Meeting Susan Lorence – CenturyLink said this CR was presented in May by Jeff Bostow – CenturyLink. Jeff has been working on resolving some remaining open points and expects to have the final versions of the TP 77350 chapters by end of August. We have tentatively scheduled two ad hoc calls September 23, 2015 and September 30, 2015 that will each be two hour calls to review the proposed changes to TP 77350. A meeting notice will go out early September and we will post the two dates to the Wholesale calendar as placeholders. Susan asked if there were any comments. There were none.

07/15/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was presented in May by Jeff Bostow – CenturyLink. Mark said that there are a few open points that are still being resolved by Real Estate and the National Network SMEs. The plan is to have the final version of the Technical Publication by end of July and ad hoc calls will be scheduled in August. Mark asked if there were any questions. There were none.

6/17/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was presented last month by Jeff Bostow – CenturyLink and that there are a couple open points that are still being resolved associated with Real Estate and the National Network. Jeff has indicated that he hopes to have the final version of the Technical Publication by end of July and ad hoc calls will be scheduled then in early August. Mark asked if there were any questions. There were none.

5/20/15 Product/Process CMP Meeting Jeff Bostow – CenturyLink presented this new CR. He said this CR was the companion CR to a CR associated with Technical Publication 77351 related to Engineering which had a review completed previously this year. Jeff said the next step was to use those completed Engineering requirements to take an aggressive approach to realign CenturyLink under one plan associated with installation requirements. Jeff said there are significant differences across all CenturyLink states but that this Tech Pub will closely resemble the legacy Qwest 14 state region into a one company mindset.

Susan Lorence - CenturyLink said when Jeff was ready, we would schedule an ad hoc call to begin review of the redlined Tech Pub 77350 chapters.

Jeff Bostow – CenturyLink said he is working toward an August 1 date for a 45 day notification cycle.

Mark Coyne – CenturyLink asked if there were any questions for Jeff. There were none.

Susan Lorence - CenturyLink said ad hoc calls had been planned to start once this CR was introduced but just recently Jeff identified that there remain some open points with Real Estate and the National Network SMEs. Susan said Jeff is continuing to work with those teams on any remaining issues and that ad hoc calls will be scheduled as soon as those remaining issues are resolved which may be in July.

Kim Isaacs – Integra asked if these Tech Pub updates are based on the engineering changes that were reviewed previously. She said her understanding was that no rework was required as to what was currently installed with these Tech Pub updates unless there were safety violations.

Mark Coyne – CenturyLink said that was correct as stated with Tech P ub77351 updates.

Kim Isaacs – Integra asked for confirmation that Tech Pub 77350 changes would be on a go forward basis also and that the updates would not require re-engineering of the current environment.

Jeff Bostow – CenturyLink said that was correct. There would not be a need for retrofitting the embedded based with these changes to Tech Pub 77350.


Open Product/Process CR PC070115-1 Detail

 
Title: Grandfather some Resale Public Access Line Service USOCs
CR Number Current Status
Date
Area Impacted Products Impacted

PC070115-1 Completed
9/16/2015
Resale PAL
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Lorence, Susan

Description Of Change

Effective as soon as possible, CenturyLink will continue using the following USOCs: 5FO, 14C, A6F, 5FP, A6J, 12R, 12E, and 1NH on a “grandfathered” basis only for those customers who are currently receiving service under those USOCs in the legacy Qwest territory in all 14 states.


Status History


Project Meetings

9/16/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR to grandfather specific Resale PAL USOCs became effective August 19, 2015 and is in CLEC Test. There were no customer comments. Mark said we would like to move this CR to a Completed status and asked if there were any objections. There were none.

08/19/15 Product/Process CMP Meeting Susan Lorence – CenturyLink said this CR was presented by Lee Brummett – CenturyLink in the July CMP monthly meeting. A Level 4 notice was sent on July 16, 2015. The final Level 4 notice was sent on August 4, 2015 with an effective date of August 19, 2015. We will discuss moving it to Completed status next month. Susan asked if there were any questions. There were none.

07/15/15 Product/Process CMP Meeting Lee Brummett. – CenturyLink presented this new CR associated with grandfathering certain USOCs associated with resale PAL. Lee said the Level 4 notification would be sent on Thursday, July 16, 2015 with an effective date of August 19, 2015. Lee said CenturyLink will be making the appropriate tariff filings. He asked if there were any questions. There were none.


Open Product/Process CR PC071515-1 Detail

 
Title: Eliminate FBDL Help Ticket reporting process
CR Number Current Status
Date
Area Impacted Products Impacted

PC071515-1 Completed
9/16/2015
Directory Listings
Originator: Gomez, Lee
Originator Company Name: CenturyLink
Owner: Gomez, Lee
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink established a process in early 2000 to allow customers the ability to receive a report of open/closed trouble tickets specific to Directory Listing issues. This process was initially established to assist wholesale customers in understanding status of multiple trouble tickets that their company representatives had opened.

This report has not been requested by any customer in at least 10+ years. CenturyLink is planning to eliminate this process and reporting capability.

Related documentation is included in the Directory Listing Provider Business Procedure at http://www.centurylink.com/wholesale/clecs/dirlistuser.html.

Expected Deliverables/Proposed Implementation Date: October 2015


Status History


Project Meetings

9/16/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was presented by Lee Gomez – CenturyLink last month. We received agreement last month to send a Level 2 notification vs. a typical level 4 notification since customers had not requested this report for over 10 years. There were no customer comments so a final notice was not required. The CR was moved to CLEC test on September 15, 2015. Mark asked if there were any objection so to moving this CR to a Completed status.

Kim Isaacs – Integra asked if this change was due to the change in vendor for Directory listings.

Lee Gomez – CenturyLink said this had nothing to do with the change in the Listing vendor. Lee said she was reviewing some process documentation and realized we still had this FBDL Help Ticket report available. After some checking, she saw this report process had not been used by customers in over 12 years.

Mark Coyne – CenturyLink said with that in mind, was it OK to move this CR to Completed status.

Kim Isaacs – Integra said that was OK.

08/19/15 Product/Process CMP Meeting Lee Gomez – CenturyLink presented the CR and stated that this was to eliminate a report that had not been used in over 12 years.

Kim Isaacs – Integra asked if this was related to the Call Center Ticket report.

Lee Gomez – CenturyLink stated that it was not; this report is specific to FBDL.

Susan Lorence – CenturyLink asked if CLECs would oppose sending this notice as a Level 2 versus a Level 4 notice. The document to be updated is the Directory Listing Provider Business Procedure. There were no objections.


Open Product/Process CR PC011516-1 Detail

 
Title: CLEC/CLEC Subcontractor Inside Plant (ISP) Competency Requirements and Testing on Technical Standards associated with CenturyLink Telecommunications Equipment Installation Guidelines (Tech Pub 77350)
CR Number Current Status
Date
Area Impacted Products Impacted

PC011516-1 Completed
8/17/2016
Network
Originator: Bostow, Jeff
Originator Company Name: CenturyLink
Owner: Bostow, Jeff
Director:
CR PM: Lorence, Susan

Description Of Change

Create a new CenturyLink Business Procedure for CLEC Competency Testing on Telecommunications Equipment Installation Guidelines.

CenturyLink is updating Technical Publication 77350, Telecommunications Equipment Installation Guidelines that includes a requirement for CLECs and all CenturyLink-approved Inside Plant (ISP) Service Suppliers to meet certain competency levels 1-4 for authorization to perform central office-based installation /removal services within CenturyLink Local Network Facilities. This new Business Procedure will specify the process and timeline for CLEC representatives to obtain a successful competency certification to the CenturyLink Central Office Engineering/Installation/Technical Standards Policy. Competency certification will be obtained for Service Suppliers by accessing the following link and determining individually which level of certification is needed based on Scope of Work and subcontracted necessity: http://www.centurylink-supplier-certification.com/.


Status History


Project Meetings

8/17/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR has also been in CLEC Test since July 1, 2016. He relayed that an additional change in process had occurred associated with the CLEC Badge Access Request web site to include wording changes about the Badge acknowledgement process. That change has a proposed effective date of August 19, 2016. Mark said since the original reason for the CR has been implemented, we would like to move this CR to a Completed status.

Kim Isaacs - Electric Lightwave said if CenturyLink moves the CR to a Completed status, it would be over their objections. Kim said Electric Lightwave has objected to the legal terms that CenturyLink has added to the Badge Access Request web site. Kim said they are continuing to ask CenturyLink to remove the terms or make a modification to them.

Mark Coyne – CenturyLink said that the CenturyLink has made note of the concerns that Electric Lightwave has expressed. Mark said he thinks we are at the point of agreeing to disagree.

Kim Isaacs - Electric Lightwave said her concern is that the legal language added to the Badge Access Request web site does not appear to provide any benefit to CenturyLink and the change in wording is requiring Electric Lightwave to change their process so that they have someone that can respond to the legal aspect of the badge process. Kim said with the ICAs and the Tech Pub, what benefit does this wording provide CenturyLink.

Mark Coyne – CenturyLink said we have captured the Electric Lightwave objections in the minutes. In checking with the CenturyLink legal team, not all of the ICAs have the specific wording to protect the shared facility space so this additional language is necessary. Mark said the terms protect not just CenturyLink but all customers. CenturyLink has always been in agreement that the terms of the ICA supercede the PCATs. Mark said we will capture this exchange in the minutes and move the CR to a Completed status.

Armando Fimbres – Oregon PUC asked what are the consequences of the additional language.

Mark Coyne – CenturyLink said if a dispute were to arise, CenturyLink would fall back on the terms of the agreement.

Kim Isaacs - Electric Lightwave said this change is being implemented over their objection and that they reserve the right to reopen this if the process becomes a problem. Kim said she is not sure how CenturyLink will implement this.

Mark Coyne – CenturyLink said we will leave it up to our Legal team.

7/20/16 Product/Process CMP Meeting PC042915-1 Technical Publication 77350, CenturyLink, Telecommunications Equipment Installation Guidelines PC011516-1 CLEC/CLEC Subcontractor Inside Plant (ISP) Competency Requirements and Testing on Technical Standards associated with CenturyLink Telecommunications Equipment Installation Guidelines (Tech Pub 77350) Mark Coyne – CenturyLink said he would provide an update on these two CRs at the same time. Both CRs are in CLEC Test as of July 1, 2016. Mark said a Level 3 notice was sent on July 6, 2016 to implement a further change to the CLEC Badge Access Request web site and the CLEC Badge Access Request Job Aid to include a wording update about the Badge acknowledgement process; the wording had originally been included as part of the final notice for these two CRs that was distributed on June 16, 2016. Mark said CenturyLink received a postponement request from Integra to delay implementation of the additional wording changes. Due to the postponement request, CenturyLink retracted that update and resent the redlined language as a Level 3 change on July 6, 2016 with an effective date of August 19, 2016. Mark said the specific information about the postponement request is available as Postponement #3 on the CMP Oversight Committee & Escalation/Dispute Information website at http://www.centurylink.com/wholesale/cmp/escdisp.html under Postponement Archive.

Kim Isaacs – Integra said she submitted comments on the Level 3 change that states Integra objects to the added language in the Badge Access tool. Kim said the process is covered by their ICA and has similar terms governing collocation access. (7-29-16 Updates received from Integra in CAPS) CENTURYLINK ALLOWS ONLY [delete WITH] one point of contact (POC) for each company [delete ALLOWED], that POC is an administrator and is not the right person to acknowledge the process for each badge holder or for their company.

Mark Coyne – CenturyLink said CenturyLink will review the Integra comments with our legal and SME team.

Kim Isaacs – Integra said her concern is that CenturyLink is (7-29-16 Updates received from Integra in CAPS) TRYING TO USE [delete USING] this same badge access site for CLECs and [delete THEIR SUB-CONTRACTORS] CENTURYLINK’S CONTRACTORS and those CenturyLink relationships are different. Kim said she thinks the badge acknowledgement language is redundant since the CLEC has an ICA but said she can understand the language being necessary when there is not an ICA.

Mark Coyne – CenturyLink said it might be that CenturyLink needs to include additional language like “unless otherwise specified within the ICA”.

Liz Tierney – Global Capacity said that she thinks adding requirements at the Collocation Access site is not needed. Liz said the ICA is explicit regarding access and that we need to remove barriers. Mark Coyne – CenturyLink said we will consider the comments and provide the CenturyLink response with the Final notice due August 4, 2016. Mark asked if there were questions. There were none.

6/15/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said he would provide an update on this CR and CR PC011516-1at the same time since they are related. He said there were several notifications that were distributed associated with these changes: two level 4 notices and one Level 3. The initial notices were sent on May 25, 2016 that included a formal comment cycle that ended June 9. CenturyLink did receive customer comments. The final notices and response to comments are due on June 16, 2016. The changes will become effective on July 1, 2016. The CRs will then be moved to CLEC Test and will be reviewed in the July CMP meeting. Mark asked if there were questions. There were none.

5/18/16 Product/Process CMP Meeting Mark Coyne – CenturyLink reminded callers that this CR is tied to the Tech Pub 77350 CR and was also reviewed on the Ad Hoc call on May 2, 2016. Mark said Jeff Bostow – CR provided a high level review of the proposed Competency Test process which includes a new Business Procedure which was created by the SME team. This CR also requires additional revisions to the Collocation Badging Process to tie it to the Competency certification. On a side note, Mark relayed that the Collocation Badging Process rewrite of the website and the CenturyLink Premises Access Overview Business Procedure Version 8 became effective today, May 18, 2016. Mark said the planned timeline for the Competency Test is the same as the Tech Pub 77350 which has the July 1, 2016 effective date. Mark asked if there were any questions. There were none.

05/02/16 CMP Ad Hoc Meeting Attendees: Brendan Hamel – Granite Kim Isaacs – Integra Laurie Roberson – Integra Jeff Bostow – CenturyLink Rita Urevig – CenturyLink Mark Coyne – CenturyLink John Hansen – CenturyLink Susan Lorence – CenturyLink

Susan Lorence – CenturyLink went over an agenda for the meeting and then a brief history of the two CRs, PC042915-1 and PC011516-1. Susan said that during the meeting, she would like to take down specific Action Items that need to be resolved versus capturing detailed discussion of the examples that may be included in the Tech Pub.

CR PC042915-1 Technical Publication 77350 Jeff Bostow – CenturyLink then reviewed the CenturyLink proposed Tech Pub 77350 language dated April 28, 2016 that is posted to the CMP calendar entry for the meeting. The wording updates are associated with the CenturyLink response to questions posed during the CMP monthly meeting on April 20, 2016. Jeff spoke to Section 2.1.2 of the Tech Pub and said there are two types of Methods of Procedure (MOP) – General and specific. The MOP is required for CenturyLink and their subcontractors due to PUC requirements in case there is a service interruption; it shows the scope of the work and who is performing it. A MOP is not required if a CLEC is working solely within their space – caged or cageless. Jeff said the wording updates to Section 2.1.2 are to show a MOP is required if any work is performed in the shared space and has included examples in the Tech Pub wording to show when a MOP will be required. Jeff asked if the new language met what the group intended.

Kim Isaacs – Integra said she needed to run the newly proposed language passed her CO technicians. She said she did not think the CLEC could do any of the work listed.

Jeff Bostow – CenturyLink said that was correct but there have been some occasions where a CLEC has started performing some of this work themselves.

Kim Isaacs – Integra thanked Jeff for the examples and said she would review the new Tech Pub wording internally but that the proposed CenturyLink wording since mid April has been a good balance. Kim said she thought there would not likely be issues with these newly proposed updates. With the April 15, 2016 CenturyLink wording in Section 2, Integra believes they are protected for the day to day work they perform in their collocation space.

Jeff Bostow – CenturyLink said excellent. Susan Lorence – CenturyLink said the examples were added due to the Integra requests during the April monthly CMP call. She then referred call participants to Section 2.1.4.2 to review those wording changes. Susan said she thought Integra had reviewed the 04-15-16 wording and Jeff had made some updates to address the requests from the Monthly call.

Kim Isaacs – Integra said she liked Jeff’s 04-28-16 updates which make the responsibilities clearer.

Jeff Bostow – CenturyLink said the wording is intended to say a CLEC can perform their normal business routine in their collocation space but when work is required in the shared space, the Tech Pub wording applies.

Susan Lorence – CenturyLink asked if there were any other changes in Section 2 that had to be discussed. There were none. Susan then referred call participants to the Action Item list from September 2015 posted to the calendar to see if open items remain. She thought the open items were originally related to the Tech Pub wording changes that were just discussed and the Competency Test/badging wording which will be discussed next. Susan asked about the Action Item 16 related to Network Change Management System (NCMS) process.

Kim Isaacs – Integra said she was fine on that one.

Jeff Bostow – CenturyLink said the NCMS process now covers all of CenturyLink – Local and National.

Susan Lorence – CenturyLink said we will show Action Item 16 completed. She asked about Action Item 5 related to the badging process and whether she could refer that item to the Competency Test CR. No one disagreed. Susan said we will now show all of the Action Items Completed. Susan asked about discussion of a timeline.

Jeff Bostow – CenturyLink said Integra needed some time to review the wording.

Kim Isaacs – Integra said she could reply back by May 11, 2016 as to the whether Integra was OK with the most recently proposed Tech Pub 77350 wording changes.

Susan Lorence – CenturyLink asked Brendan Hamel – Granite if Granite could also meet a May 11, 2016 to provide any concerns.

Brendan Hamel – Granite said he could meet that date.

Susan Lorence – CenturyLink asked for any concerns to be sent to the CMPCOMM@centurylink.com mailbox by May 11, 2016.

PC011516-1 CLEC/CLEC Subcontractor Inside Plant (ISP) Competency Testing Susan Lorence – CenturyLink then pointed call attendees to the third document posted to the Wholesale calendar associated with the CLEC Competency Test CR. Susan said this draft document was created by John Hansen - CenturyLink in a Business Procedure format from the draft Competency Test Process Guide that Jeff had reviewed in the ad hoc meeting in January 2016.

Jeff Bostow – CenturyLink said this document has basically the same content as the CenturyLink internal document but has more of a CMP format. He said this document only applies to work outside of normal CLEC business activities. When a CLEC needs to expand their current model, an Inside Plant Central Office Installation Technician would be required which is an industry title that has been in existence for 30 years or so. Jeff said the Competency Test was developed after some problems in network installation attributed to human error. The Competency Test was aligned with the badging process depending on the work that is to be performed. Jeff said there are two types of testing that are aligned with Telcordia/Ericsson levels: Central Office Equipment (COE) Installer only (Level 1-3) and COE plus Power (Level 4). If the person taking the test successfully passes the Competency Test questions, their badge reflects certification to work in the CO to that level and it allows CenturyLink to be aware of subcontractor capabilities. Jeff said CenturyLink has been pleased with the result of the Competency Test process.

Kim Isaacs – Integra said she has reviewed the Business Procedure and asked how the Competency Test would appear.

Jeff Bostow – CenturyLink said a button would be added to the newly revised CenturyLink badging process to have a CLEC self identify up front to see if they are performing their normal work activities. That should allow no disruption to a CLECs current process. The Competency Test only is required if the CLEC indicates they are going to perform installation work. Jeff said he was not aware of when the newly revised badging website was to be reinstated.

Susan Lorence – CenturyLink said the newly revised badging website and Collocation – CenturyLink Premises Access Overview Business Procedure are to be effective May 18, 2016. CenturyLink is working on the response to CLEC comments that will be posted on May 3, 2016. Following the effective date of May 18, 2016, CenturyLink will work with the SME team to revise this Competency Test documentation and possibly the Collocation – CenturyLink Premises Access Overview Business Procedure to incorporate any changes in the process for CLEC testing.

John Hansen – CenturyLink said he wants to insure there is only one location to update associated with each of the processes.

Kim Isaacs – Integra said she wants to minimize confusion on these processes. Integra has a special point of contact (SPOC) for badging.

John Hansen – CenturyLink said the original information in the Competency Test documentation was not correct as it pointed to the old badging process and it will have to be updated. The first iteration of the badging tool does not have the Competency Test information included since the Tech Pub 77350 and Competency Test related issues were not yet resolved. CenturyLink wanted to get the revised badging website in production before making these Tech Pub related changes. John said there will be some radio buttons that ask what the CLEC scope of work will be. If it is the normal CLEC Collocation work, then the process will flow as today. If the work includes a broader scope, e.g., power work, it will stop the process and require the Competency Test. John asked if that made sense.

Kim Isaacs – Integra said yes.

Susan Lorence – CenturyLink said we will need to clarify in the documentation if a CLEC technician already has a badge and that needs to be expanded to include a further scope of work, e.g., COE or COE plus power, how does the process of competency testing and re-badging occur.

Kim Isaacs – Integra said she will have a chance to review the revised process when the CMP notice is sent. She is thinking if a MOP is required, it could be a trigger internally for Integra to determine if a Competency Test is required.

Jeff Bostow – CenturyLink said the process will apply to both the CLEC and their subcontractor. He said today a CLEC does not have to file a MOP if they are working in their space.

Kim Isaacs – Integra said if their project meets the requirements for a general or detail MOP, their internal process might be tied to the MOP to indicate the Competency Test may be required. Kim said Integra already uses the approved CenturyLink subcontractors for work and they probably have already been tested.

Susan Lorence – CenturyLink said it sounds like we can talk about a timeline for submitting the two Level 4 changes. With the May 11 date for CLEC responses for review of the most recent Tech Pub 77350 updates, the May 18 date for the effective date of the Badging website, Susan proposed that we notify with the two level 4 notifications as of May 19, 2016 with a 45 day timeline.

John Hansen – CenturyLink said he thought that would work from a documentation perspective.

Kim Isaacs – Integra agreed that the two processes for the Tech Pub and the Competency Test should be notified separately.

Brendan Hamel – Granite said he was OK with the May 19 date.

Susan Lorence – CenturyLink proposed that we may need to tweak the notification timelines somewhat but that we would work the various dates to make the changes become effective as of July 1, 2016.

Jeff Bostow – CenturyLink said that will be Issue O of Tech Pub 77350 that will become effective.

All agreed that it was very exciting to think that after the lengthy discussions, these Tech Pub and Competency Test changes will become effective as of July 1, 2016.

Susan Lorence – CenturyLink thanked everyone for their time and said CenturyLink will relay the timeline in the May CMP meeting.

The Ad hoc meeting was adjourned at 11:00 AM MT.

4/20/16 CMP ProdProc Meeting Mark Coyne – CenturyLink reminded callers that this CR is tied to the Tech Pub 77350 CR and is also related to an update to the Collocation Badging Process. Mark said a Level 3 Notice associated with the badging website rewrite is out for review with a comment cycle end date of April 27, 2016 and an effective date of May 18, 2016. There is a download associated with the Competency Test proposed Process that has been placed in the CMP template format that will be reviewed in the ad hoc call.

Kim Isaacs – Integra stated that they had intended to ask for clarifications during the Tech Pub Ad hoc call and now the comment cycle would end prior to the Ad hoc call.

Mark Coyne – CenturyLink asked if Integra could follow the CLEC comment protocol and submit comments to the CMP mailbox so that CenturyLink could try to be prepared to discuss during the Ad Hoc call.

Kim Isaacs – Integra said that would be acceptable but would include a statement that there may be more questions brought up in the Ad Hoc call.

Susan Lorence – CenturyLink advised callers that during the original discussion in January, 2016, Jeff Bostow had provided a draft procedure of the Competency Testing procedure. John Hansen – CenturyLink has placed the information in a CMP template form and that version has been attached to the ad hoc meeting calendar entry. Revisions will be necessary, but that draft is available for review prior to the Ad Hoc call.

3/16/16 CMP ProdProc Meeting Mark Coyne – CenturyLink said the CenturyLink SME team has been reviewing the Competency Test process and how it relates to the Collocation - Premises Access Overview Business Procedure. We had hoped the Tech Pub 77350 wording would help to clarify the process. Mark said we had planned to schedule a call at the end of March to review the redline business procedure and how it relates to the Competency Test screen shots but we will wait to determine when to schedule the next ad hoc call.

Kim Isaacs – Integra said she had previously asked to review the Competency Test questions to confirm they apply to the activities that a CLEC would perform in the CO shared space.

Mark Coyne – CenturyLink said he thought that might occur as part of the review in April.

Susan Lorence – CenturyLink said she was not sure if Jeff Bostow – CenturyLink wanted to share the actual Competency Test questions but we can see if anything has changed.

Kim Isaacs – Integra said that a CLEC would never touch a power plant so those questions on the Competency Test would not pertain to the work a CLEC would perform.

Liz Tierney – Global Capacity said she was not sure why Jeff would have concerns about sharing the questions and why they would be proprietary.

Mark Coyne – CenturyLink said we will take that Action Item back to Jeff. Mark asked if there were any other questions. There were none.

02/17/16 CMP ProdProc Meeting Mark Coyne – CenturyLink said this new CR was presented last month by Jeff Bostow – CenturyLink and there was lots of discussion about the CR associated with Competency Test requirements when a CLEC is performing installation or removal work in the common space. Jeff Bostow – CenturyLink said he has information on the Action Item on the current mode of access and the future mode. Kim Isaacs – Integra said the question [03/07/16 Updates received from Integra in CAPS] ASKED was WHETHER AND how the Competency Test would be tied to the access badge. There is also concern that the Competency Test will have questions that are not associated with work a CLEC would perform and that Integra would like to review the Competency Test questions.

Jeff Bostow – CenturyLink said the Competency Test content has not been divulged. He said there was an Action Item to see how access is provided today. Jeff said the current process identifies the use of the Collocation Web site however that site is being rewritten. Jeff then described the current manual process: The Wholesale CLEC application form is completed and then sent to a contact within CenturyLink depending on the CLEC location. The form is processed internally and once approved, the badge number is assigned and the badge is sent to the CLEC individual requesting the access. Jeff then described the planned process once the Collocation website is back in production which is to designate a point of contact. [NOTE: Any changes to the current process associated with the rewrite of the Collocation web tool will be notified via CMP.] Jeff said there will be two buttons that will be associated with different types of CLEC access to CenturyLink space. Depending on the button selected, the requestor will be routed appropriately. If the Competency Test is not required, Jeff said the assumption is that the CLEC will be working in their defined space.

Kim Isaacs – Integra said a CLEC may have an employee that does work in their defined space as well as performing installation or removal work in the shared space.

Jeff Bostow – CenturyLink said if there is specific power work, it would be covered in a MOP and CenturyLink has responsibility to do that power work so a Competency Test Level 4 is not required.

Susan Lorence – CenturyLink recapped that Jeff is currently working within the CenturyLink SME team to determine how the current process will be revised to accommodate the Competency Test.

Jeff Bostow – CenturyLink said that was correct and that he is working with the SME team to update the screen shots and will revise [03/07/16 Updates received from Integra in CAPS] [delete THE]what was previously shared.

Kim Isaacs – Integra said her understanding of the January 28, 2016 Ad Hoc Call was that a CLEC employee/subcontractor will need the Competency Test if they are building a new collocation (caged or cageless) or decommissioning a collocation.

Jeff Bostow – CenturyLink said if the CLEC is in their cage, they perform that work today with no restrictions.

Kim Isaacs – Integra asked how that works if the CLEC/subcontractor is bringing in equipment through the shared space. She said that is where the revised Tech Pub is unclear as to what will be required. It appears things are working fine currently and there are no issues with the competency of the CLEC employee/subcontractor. Kim said the Tech Pub says CenturyLink can ask a CLEC to leave if there is a concern and said the proposed process seems open to interpretation.

Jeff Bostow – CenturyLink said if a CLEC is moving in equipment and bumps into a power source, those accidents can occur and this is intended as protection of the CenturyLink network. Jeff said this requirement is a safeguard for CenturyLink to insure that any construction or removal of equipment – especially in an unstaffed office – is performed successfully. It is not intended to be restrictive. Jeff said if things are working fine and the CLEC is working just within their cage, that is not prohibited but asked what happens if there is an incident.

Kim Isaacs – Integra said she understands the need for protection and standards but [03/07/16 Updates received from Integra in CAPS] DOES not UNDERSTAND CENTURYLINK’S [delete THE] need to make a CLEC synonymous with a CenturyLink Service Supplier.

Jeff Bostow – CenturyLink said there was a situation with a collocator which did not go well which reaffirmed the need for more standards.

Susan Lorence – CenturyLink asked about the CLEC Action Item to propose clarifying language in Section 2. Then CenturyLink would take the proposed wording to the CenturyLink legal team.

Mark Coyne – CenturyLink said he thought CenturyLink was waiting to send out the formal 45 day notice until the various revisions could be fit together and reviewed with the CLEC community. Mark said we could review the changes on a CMP call.

Jeff Bostow – CenturyLink said yes, the process would be reviewed by Mark Rice – CenturyLink Physical Security. Jeff asked if it was typical to take a poll of call attendees to understand if others on the call had the same concerns as Integra.

Liz Tierney – Global Capacity said she is concerned if there is no documentation that defines the Competency Test. Liz said Global Capacity is nationwide in CenturyLink COs and have not had issues so far. Liz said she needs to understand how the current process might change.

Susan Lorence – CenturyLink asked if the CLECs could propose some language to Section 2 and that CenturyLink would then schedule a call at the end of the March CMP call to review the proposed process.

Kim Isaacs – Integra said the [03/07/16 Updates received from Integra in CAPS] CLEC PROPOSED language HAS BEEN [delete SHE HAS] drafted AND has been sent out for review which WILL also INCLUDE [delete INCLUDES] Integra legal review since the Tech Pub is part of their contractual requirements so she was not sure whether it would be available for review in the March meeting.

Mark Coyne – CenturyLink said we could wait until the April CMP meeting which may tie in with the Event Notice associated with the Collocation portal that has a planned effective date for end of 1st quarter.

Susan Lorence – CenturyLink said we may be in a chicken and egg situation if we have to agree on the Tech Pub language as part of the introduction of the updated Collocation portal and the CLEC review of the revised process of the Competency Test.

Kim Isaacs – Integra [03/07/16 Updates received from Integra in CAPS] AGREED WITH SUSAN AND ASKED CENTURYLINK TO CONFIRM WHETHER [delete SAID] these revisions are not due to a current problem with CLECs but are due to CenturyLink moving to a more contractual workforce.

Jeff Bostow – CenturyLink said CenturyLink has to trust that vendors know what they are doing and the only thing CenturyLink has is the Competency Test to provide an assessment of skill level before work begins in a shared space.

Mark Coyne – CenturyLink asked if there were any other questions. There were none.

01/28/16 CMP Ad Hoc Meeting Attendees: Liz Tierney – Global Capacity Kim Isaacs – Integra Valerie Starr – LS Networks Dave Rands – LS Networks Mark Anderson – LS Networks Scott Church – LS Networks Victor Gaither – TW Cable Frankie Nelson – Windstream Jeff Bostow – CenturyLink Carl Caughran – CenturyLink Mark Coyne – CenturyLink John Hansen – CenturyLink Susan Lorence – CenturyLink

Susan Lorence – CenturyLink provided a brief background of this Change Request (CR) that is related to CenturyLink CR PC042915-1, Technical Publication 77350, associated with Telecommunications Equipment Installation Guidelines. Susan said the most recent meeting for the Tech Pub77350 CR was held on January 7, 2016 and there were two Action Items that were the result. The first Action Item was specific to considering additional language in the Tech Pub. The second Action Item was to create a CR that would provide the process and parameters around the use of a Competency Test by the CLEC community.

Jeff Bostow – CenturyLink said the Inside Plant (ISP) Competency Test was originally developed due to some outages that were determined to be due to human error. With the merger of Legacy-Qwest and Legacy-CenturyLink, there was the need to insure that no matter which facility footprint was being accessed, the Central Office Equipment Installation Tech (COEIT) has the experience and knowledge required to perform the installation as required in Tech Pub 77350. The document provides the five steps to utilize the Competency Test tool. Jeff said the first step in the process is to route the person to the correct site, Inside Plant (ISP), Outside Plant (OSP), or National. If OSP is selected, then the ISP Competency Test is not required.

Kim Isaacs – Integra said this is the first time OSP has come up. Kim said if the CLEC is working in the CO common space – performing installation or removal work, they will require the Competency Test. If it is a day to day job, no Competency Test is required.

Jeff Bostow – CenturyLink said that was true.

Kim Isaacs – Integra asked if the test was required to run conduit.

Jeff Bostow – CenturyLink said that the OSP work did not apply since there was no bandwidth nor was there the knowledge to take the Competency Test. He said they still access the Competency Test, designate “OSP” via the radio button to signal to CenturyLink an acknowledgement of their need to get an access badge but will not be permitted in certain workspace.

Kim Isaacs – Integra asked if the test was tied to the badging process for CLEC access.

Jeff Bostow – CenturyLink said he did not think so since that is tied to the ICA. He said the Central Access Control Center has a process to differentiate OSP, ISP and CLEC access needs. If ISP, they will route the person to the Competency Test. Levels 1-3 are for basic entry level work and Level 4 is for critical work, e.g., working with power, work that might require back out, etc. Jeff said this is especially beneficial for everyone involved if the office is not staffed.

Scott Church – LS Networks asked about a CLEC caged Collo and a cageless Collo since that is open.

Jeff Bostow – CenturyLink relayed some different types of work to be completed but said the Competency Test does not apply to work being done in the CLEC specific space – caged or cageless – as long as the tech is not going outside of their space.

Scott Church – LS Networks asked about a third scenario of CLEC to CLEC cabling and gave the examples of a common room.

Jeff Bostow – CenturyLink said if the CLEC to CLEC is going through any shared space for any reason, then the Competency Test is necessary but if it CLEC to CLEC directly in a common room, then the Competency Test would not be required.

Scott Church – LS Networks said that makes sense.

Liz Tierney – Global Capacity said her understanding is if a tech is only in the CLEC space, no certification is required. If a CLEC hires their own contractor to work in common space, certification is required but it would not be required if they hire CenturyLink to do the work.

Jeff Bostow – CenturyLink said that was correct.

Scott Church – LS Networks said the Competency Test is required if it goes out of the Collo area but if it stays in their space or a segregated Collo space, it is not required.

Jeff Bostow – CenturyLink said that was correct.

Victor Gaither – TW Cable said based on the scenarios just discussed, he did not have an issue.

Kim Isaacs – Integra asked for an example of a Level 1 type job.

Jeff Bostow – CenturyLink said the main difference between Levels 1 through 3 is the experience. The tech performs the same functions. Jeff then provided a detailed example of the set up work in a new environment.

Kim Isaacs – Integra said those activities are required if a CLEC is building a new caged or cageless space and asked if there is another scenario once the space is established, e.g., adding a shelf to a bay.

Jeff Bostow – CenturyLink said if the CLEC is in their own space with no other interconnectivity, certification is not required for that.

Victor Gaither – TW Cable asked if CenturyLink provides a list of certified contractors.

Jeff Bostow – CenturyLink said CenturyLink has a list of suppliers that have passed the Competency Test. He said if a person has failed the Competency Test, they are allowed one additional attempt otherwise the person must wait one week to retest.

Victor Gaither – TW Cable said he was looking for a current list of CenturyLink certified contractors.

Jeff Bostow – CenturyLink said that information is proprietary and he could not provide it.

Kim Isaacs – Integra said per their ICA, that list was available.

Victor Gaither – TW Cable said their company has access to the approved contractor list and also has a list of approved equipment. Victor said that seems consistent with the industry.

Jeff Bostow – CenturyLink said once a contractor has demonstrated a specific competency level, a CLEC can subcontract to them and no additional Competency Test is required if another company works with that contractor.

Victor Gaither – TW Cable said a company can do the work for themselves or hire someone certified who can.

Jeff Bostow – CenturyLink said the Competency Test is mandatory within CenturyLink for all 38 states.

Liz Tierney – Global Capacity asked if those certified will have a different access card and whether those that currently have a badge are impacted.

Jeff Bostow – CenturyLink said he will need to investigate that. NOTE: 2/8/16 UPDATE from Jeff Bostow -- The badge is the access card; they are one and the same (unless a different arrangement was made for the CLECs via the ICA process). The only difference is the Competency Level designation (there is a “P” placed on the badge of those who certify to Competency Level 4). Investigation is continuing on this Action Item.

Victor Gaither – TW Cable said that is important to confirm the impact to the badging process. He said his understanding is that a CLEC can perform work in their environment but if they want to veer out, the Competency Test is required.

Jeff Bostow – CenturyLink said nothing changes in how a CLEC wants to do work in their space. If the CLEC does work outside their space, they must be certified. Jeff said the competency levels have been around at least 35 years since they were established he thought through BellCore which was changed to Telcordia and is now Ericsson. He said there is a National site like this local network site and the Competency Test is required to do work in each but there are certain differences between the two tests. Jeff provided some information specific to the National access process.

Susan Lorence – CenturyLink said we are here for the Local process and that we will take an Action Item to figure out how the badging process works with the Competency Test.

Liz Tierney – Global Capacity said she thought the current badging process does not provide access to inside plant and that there will be some differentiation between those certified and not to identify where they are allowed. Liz said she wants to confirm the badging process will not change.

Jeff Bostow – CenturyLink said he thinks once a customer has an access badge, they are allowed in the inside plant space. The intent is that a company stay in their own space. Today a customer can begin doing inside plant work with no certification but going forward, if they begin work outside their space, it will be determined if that person has the required certification.

Carl Caughran – CenturyLink said during the MOP process, it would be determined if certification was required.

Liz Tierney – Global Capacity said she did not want her techs to be caught with no access under their ICA.

Susan Lorence – CenturyLink said we have this as an Action Item.

Valerie Starr - LS Networks asked about the online badging process and said since last October, the Collocation access site has been down. Valerie said she was not notified the site of this and it is very frustrating to have to go through the old process filling out a form and then having to check multiple times for status.

Victor Gaither – TW Cable said if there was a significant business change, the process would be taken through CMP.

Susan Lorence – CenturyLink said yes but this problem was originally identified as a trouble ticket so an Event Notification was sent. The original thought was that it was a simple fix but then IT determined a larger problem existed and the tool is being rewritten. Susan said the Collocation site should be available end of 1st quarter and that CenturyLink would take an Action Item to follow-up on this and to send a broad notification when the site is to be back up. Mark Coyne - CenturyLink said there is a Trouble Ticket associated with this problem which is tracked each month in the Systems CMP package. Mark said there was now a dedicated person to work the requests until the site is back up and hoped it was working better.

Valerie Starr - LS Networks said no, it is not. She said the web site flowed smoothly but this manual process does not. Valerie said she has been cc’ing her Account manager on each request to get some help.

Susan Lorence – CenturyLink asked how the Collo access site fits into the Competency Test.

Jeff Bostow – CenturyLink said the Collo access site is for a CLEC or vendor and is used to gain access to outside plant or to the vault. Once there is an indication that the person is an ISP, they will be routed to the Competency Test for the appropriate testing level.

Kim Isaacs – Integra said she did not think her techs would identify as an ISP.

Jeff Bostow – CenturyLink said he agreed they would identify as a CLEC to get the badge and not have to go through the Competency Test.

Kim Isaacs – Integra asked if there would be a CLEC button.

Jeff Bostow – CenturyLink said no and that was the basis of the “Service Supplier” issue that is under discussion associated with the Tech Pub 77350 CR.

Scott Church - LS Networks asked if the CLEC tech was supposed to identify as a Service Supplier.

Jeff Bostow – CenturyLink said yes if they were going to work in the ISP space.

Susan Lorence – CenturyLink asked if there was a general understanding of the Competency Test process, who and when the test applied.

Victor Gaither – TW Cable said yes but would like it included in the meeting notes.

Kim Isaacs – Integra asked if their techs would be tested on work they would not perform.

Jeff Bostow – CenturyLink said the test is benign and that the test is aligned with the existing Tech Pubs. It is an open Tech Pub test that is assessing how successful previous training has been.

Susan Lorence – CenturyLink asked if Jeff could provide examples of some of the questions on the Competency Test.

Jeff Bostow – CenturyLink said no.

Frankie Nelson – Windstream asked if they were building racks within their cage, does the Competency Test apply.

Jeff Bostow – CenturyLink said the test does not apply. He said CenturyLink would not be involved in a CLEC space unless a blatant fire, life or safety issue was observed.

Scott Church - LS Networks asked about construction of bays in a caged and cageless space.

Jeff Bostow – CenturyLink said the Competency Test is required to install a bay in cageless space but thought CenturyLink did that work.

Kim Isaacs – Integra asked if a CLEC Tech could take Levels 1-3.

Jeff Bostow – CenturyLink said there is no charge when a CLEC Tech takes the test for the first time. For example, if they take the COE Only test (Level 1-3) and pass, everything is good. If the same CLEC Tech then wants to test for COE plus Power, they are required to pay a one-time charge for the second test and there is no history of the first test.

Susan Lorence – CenturyLink asked if the Action Items are resolved surrounding the Competency Test, can CenturyLink proceed with CMP notification without the Tech Pub issues being resolved.

Kim Isaacs – Integra said the timing is strange.

Jeff Bostow – CenturyLink said he thought the Tech Pub should be resolved first and then the Competency Test.

Susan Lorence – CenturyLink thanked everyone for the discussion. There are two Action Items and we will try to include the responses in the meeting minutes: 1) The question about how the Competency Test ties into the badging process; 2) The status of the Collo web site.

The Ad hoc meeting was adjourned at 3:00 PM MT.

01/20/16 CMP ProdProc Meeting Jeff Bostow – CenturyLink presented this new walk-on CR submitted by CenturyLink associated with the Tech Pub 77350 rewrite. Jeff said with the one company approach within CenturyLink, there is a desire to insure the Tech Pub 77350 is followed which includes an assessment of anyone who will attain an access badge for any CO work. The Competency Test is to insure that those requesting access have the wherewithal to perform the work. The CR is associated with capturing the web site and process to be used. Jeff said this Competency Test is not intended to train anyone but is to assess what should already be known. Kim Isaacs – Integra said she had been on the January 7, 2016 call and that she disagreed with Jeff’s statement that it was agreed the CR would be beneficial. Kim said Integra is not aware of any persistent problem with [1/29/16 Updates received from Integra in CAPS] [Delete INTEGRA] WITH THE CLEC’S employees skill level.

Jeff Bostow – CenturyLink said the Competency Testing is for anyone that would leave their dedicated CO space which includes CenturyLink employees, external contractors/suppliers, CLECs and CLEC subcontractors.

Kim Isaacs – Integra asked if a customer’s caged spaces are not subject to this Competency Testing but cageless spaces would require the Competency Testing. Kim said her understanding is that any job that requires a MOP will require a Competency level 4 lead resource to supervise the job. CenturyLink has not demonstrated that there is a persistent issue and thus this is adding an extra burden to CLECs. Kim said that she has not seen the test so she is not aware what it covers but wants to insure the test [1/29/16 Updates received from Integra in CAPS]WOULD ONLY [Delete COVERS] COVER the work activities that a CLEC [Delete WILL] WOULD perform IN A CO. Her concern is that a “one size fits all” Competency Testing might not fit since there are actions that a CLEC may never do in a CO. [1/29/16 Updates received from Integra in CAPS] BASED STATEMENTS CENTURYLINK MADE ON THE 1/28/16 AD HOC CALL – IT IS INTEGRA UNDERSTANDING THAT COMPETENCY TESTING IS ONLY REQUIRED FOR CLEC EMPLOYEES WHEN THE CLEC CHOOSES TO HAVE ITS EMPLOYEES INSTALL OR DECOMMISSION A COLLOCATION SPACE; OR WORK WITH POWER. ONCE THE CLEC COLLOCATION SPACE IS ESTABLISHED, DAY TO DAY OPERATIONS, EQUIPMENT OR CARD ADDITIONS DO NOT FALL UNDER THE COMPETENCY TESTING REQUIREMENTS.

Mark Coyne – CenturyLink said the purpose of the call today is to present the CR and that Kim is bringing up good questions. Mark said the next step is for CenturyLink to conduct an Ad Hoc call to review the CR and the Competency Testing process. He said CenturyLink would like to establish an Ad Hoc call to immediately follow the Tech Pub 77350 call on January 28 and that a separate meeting notice would be sent.

Kim Isaacs – Integra said she is concerned that the in depth calls related to a CR are not handled on the CMP monthly call. The CMP monthly calls are a standing two hour call and have been for over ten years and believes that time should be used to allow more people to participate and provide input. Kim said on the last Tech Pub 77350 Ad Hoc call, only Integra and Granite attended and that more CLEC participation is needed since these are impactful changes and having an Ad Hoc call is not working.

Mark Coyne – CenturyLink asked other customers on the call to weigh in and asked if they were supportive of extending the monthly call vs. holding a separate Ad Hoc call for those customers interested in a specific topic.

Victor Gaither – Time Warner Cable said he was flexible as to when CenturyLink would hold an Ad Hoc call but wanted more information on the scope of the new CR. Victor asked what type of work CenturyLink was talking about that would require the Competency Testing, for example, power work, fiber distribution panel, circuit work, etc. Victor said for work in a dedicated space, he did not think the Competency Testing is an issue for the CLEC employees/agents; the CLEC has the responsibility to insure their technicians are trained. Victor said he wants more information on the scope and when this might be implemented and that he also is concerned about his resources and that it seems like this is a big deal.

Jeff Bostow – CenturyLink said CenturyLink had a recent spate of installation related outages and found that some of the people erecting iron work, running cable, etc. did not have the proper training to do installation of inside plant. Jeff said he was talking about the technicians that build the network vs. those maintaining the network and used the example of the carpenter that builds a house vs. the owner of the house. Jeff said the installation job impacts the success of the next job and if someone does not know what they are doing and accidently causes an outage, CenturyLink is accountable to the PUC.

Kim Isaacs – Integra asked if the outages Jeff referred to were caused by a CLEC.

Jeff Bostow – CenturyLink said no, the outages were caused by human error. He said the Competency Testing is not fool proof but should help identify who knows how to perform the work and who does not.

Kim Isaacs – Integra said she does not have a problem with the Tech Pub 77350 standards but that a CLEC is contracted to CenturyLink to meet the standards and this Competency Testing seems like an extra step on who is allowed into a CO. Kim said the Competency Testing levels 1-4 may not be appropriate. In regard to how cageless space is handled, Integra has a workforce that is trained to work in that space and there has not been an issue the CenturyLink can point to. Kim said this is difficult to understand. Victor Gaither – Time Warner Cable asked if a cageless collocation is in scope.

Jeff Bostow – CenturyLink said yes it would be and gave examples of running cable or power or timing shelf synchronization.

Victor Gaither – Time Warner Cable asked if there was differentiation on the types of work to be done and the level of competency.

Jeff Bostow – CenturyLink said yes that the competency levels are taken from what was originally Telcordia (now Ericsson). Jeff said the four competency levels are industry standard and gave some examples of level 1-4 with the highest level requiring power certification. Jeff said when there is an outage, it has to be explained and how it was done incorrectly. The Competency Testing is to protect the network especially in a shared space.

Kim Isaacs – Integra said the Tech Pub 77350 now reads that if there is a MOP being worked by a level 1-3 technician, a level 4 lead is required to supervise the work.

Jeff Bostow – CenturyLink said that is correct.

Kim Isaacs – Integra said the Tech Pub 77350 requires CLECs/subcontractors to follow the same standards.

Victor Gaither – Time Warner Cable said if they have level 4 work, they resource that differently. Victor said he needs to read the Tech Pub and join the call next week.

Susan Lorence – CenturyLink asked if there was agreement to schedule a call for this CR following the Tech Pub call on January 28, 2016 since those resources may be the same.

Kim Isaacs – Integra said when contentious issues are pushed to an Ad Hoc call, attendance is lower.

Mark Coyne – CenturyLink said he will get with the CMP team to see if we can incorporate more discussion on the monthly CMP call. Depending on the topic, we will need to weigh what is most appropriate.

Armando Fimbres – Oregon PUC said he thought the recent discussion was good and wondered if the Ad Hoc calls can be added to the end of the CMP call.

Mark Coyne – CenturyLink said we have done that in the past but it also depends on the timing of when the CR is submitted. Mark asked if there were any more questions for Jeff. There were none.


Open Product/Process CR PC020216-1 Detail

 
Title: Eliminate Directory Listing Migration Daily Report
CR Number Current Status
Date
Area Impacted Products Impacted

PC020216-1 Completed
5/18/2016
Directory Listings
Originator: Gomez, Lee
Originator Company Name: CenturyLink
Owner: Gomez, Lee
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink currently offers CLECs the option to request a Directory Listing Migration Daily Report to use to verify the completion of Conversion/Migration orders to FBDL.

This report has not been requested by any customer in at least 10+ years. CenturyLink is planning to eliminate this process and reporting capability.


Status History


Project Meetings

5/18/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR is associated with the elimination of this daily Directory Listings Migration report that customers have not requested in over 10 years. No comments were received on the level 4 notification to update the Directory Listing Providers Business Procedure. Mark said this CR has been in CLEC Test since May 5, 2016 and we would like to move it to a Completed status. There were no objections.

4/20/16 Product/Process CMP Meeting Mark Coyne – CenturyLink stated that this CR was presented in the February meeting by Lee Gomez. The Level 4 notification to update the Directory Listing Providers Business Procedure was distributed March 21, 2016 via a Process notification. The comment cycle ended on April 5, 2016 and no comments were received. Mark said the final notice is due to be distributed April 20, 2016 with a proposed effective date is May 5, 2016. There were no comments.

3/16/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was presented in the February meeting and that a level 4 notification to update the Directory Listing Providers Business Procedure had gone out March 15, 2016 with a proposed effective date of April 29, 2016.

CenturyLink NOTE: The level 4 notification to update the business procedure was distributed on March 21, 2016 and has a proposed effective date May 5, 2016.

02/17/16 Product/Process CMP Meeting Lee Gomez – CenturyLink presented this new CR. Lee said is does not appear any customer has ever requested this report and we would like to eliminate it. Lee asked if there were any questions. There were none.


Open Product/Process CR PC021116-1 Detail

 
Title: Eliminate Busy Line Verify and Busy Line Interrupt
CR Number Current Status
Date
Area Impacted Products Impacted

PC021116-1 Completed
12/14/2016
Operator Services
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Lorence, Susan

Description Of Change

UPDATE March 15, 2016:

CenturyLink will eliminate the Busy Line Verify and the Busy Line Interrupt features from Operator Services Products and Services in the legacy Qwest fourteen states. This change is targeted for May 6, 2016 in all states except OR and WA. Oregon is most likely to be effective July 1, 2016. The WA date is pending.

ORIGINAL ENTRY: Effective May 6, 2016, CenturyLink will eliminate the Busy Line Verify and the Busy Line Interrupt features from Operator Services Products and Services in the legacy Qwest fourteen states.


Status History


Project Meetings

12/14/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said all states are in effect. Mark said we would like to move this CR to a Completed status. There were no objections.

11/16/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said all states are in effect. All states except Nebraska, Washington, and Oregon went into effect as of May 6, 2016. Oregon was effective on October 1, 2016. Washington was effective as of October 7, 2016. Nebraska went into effect November 15, 2016. Mark said we will leave the CR in CLEC Test and will review it in December. Mark asked if there were any questions. There were none.

10/19/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said the status of this CR is the same as last month. There are multiple effective dates dependent on the state: All states are in effect as of May 6, 2016 except Nebraska, Washington, and Oregon. Oregon is now in effect as of October 1, 2016. Washington is now in effect as of October 7, 2016. Nebraska has a proposed effective date of November 15, 2016. The related level 4 notices were sent on September 30, 2016. Mark asked if there were any questions. There were none.

9/21/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said the status is the same as last month for this CR that has multiple effective dates. All states are in effect as of May 6, 2016 except Nebraska, Washington, and Oregon. For Oregon, the effective date is October 1, 2016. For Washington, the final notice is to go out on September 22, 2016 with an effective date of October 7, 2016. Nebraska has a proposed effective date of November 15, 2016. The Nebraska level 4 notices will be sent early October.

8/17/16 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed that all states went in effect on May 6, 2016 except Nebraska, Washington and Oregon. Oregon has an effective date of October 1, 2016. Washington still has a planned effective date of October 7, 2016; a level 4 CMP notice will be sent in August. Nebraska now has a planned effective date of November 15, 2016 and a level 4 notice will be sent the end of September. Mark asked if there were questions. There were none.

7/20/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said there are multiple effective dates for this CR. As relayed last month, all states are in effect except Nebraska, Washington and Oregon. Oregon has an effective date of October 1, 2016. Washington now has a planned effective date of October 7, 2016; a level 4 CMP notice will be sent in August. The effective date for Nebraska is still pending. Mark asked if there were questions. There were none.

6/15/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said there are multiple effective dates for this CR. All states are in effect except Nebraska, Washington and Oregon. Oregon has an effective date of October 1, 2016. The effective dates for Washington and Nebraska are yet to be determined.

5/18/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said there are multiple effective dates for this CR that was presented in February. For all states except Washington and Oregon, a set of Level 4 Product and Process notices was sent with an effective date of May 13, 2016. Another set of Product and Process notices was sent for Oregon that originally had an effective date of June 1, 2016 but CenturyLink will instead send the Level 4 final notices for Oregon with an effective date of October 1, 2016.

Armando Fimbres – Oregon PUC asked if the new date for Oregon was the result of discussion.

Mark Coyne – CenturyLink said yes, per the SME team, the date was moved to October 1, 2016.

NOTE: As of May 25, 2016, the effective date for Nebraska is NOT May 13, 2016 afterall. Implementation in Nebraska is on HOLD at this time.

4/20/16 Product/Process CMP Meeting Mark Coyne – CenturyLink stated that this CR was presented in the February meeting by Lee Brummett. There are multiple effective dates for this CR. One set of Level 4 Product and Process notices were sent on April 12, 2016 for all states except Washington and Oregon to be effective on May 13, 2016. Mark noted that the tariff effective date is actually May 6, 2016 but our Level 4 notifications were delayed. The Level 4 Product and Process notices for Oregon were sent on April 18, 2016 with an effective June 1, 2016. Currently, no date has been set to discontinue services in Washington. There were no comments.

3/16/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was also presented in the February meeting and that there were some questions in the meeting about the status of tariff filings. Mark said Lee Brummett – CenturyLink had submitted an update to the CR on March 11, 2016 which indicated that this change is targeted for May 6, 2016 in all states except Oregon and Washington. Oregon is most likely July 1, 2014. The Washington date is pending.

Lee Brummett – CenturyLink then reviewed the update that he provided to the CR on March 15, 2016. The update states: For the CenturyLink ILEC companies, the only FCC tariffs with BLV/BLI are the access tariffs. There will be an FCC 214 application for legacy Qwest which will be filed at a later date. All other tariffs with BLV and BLI are intrastate tariffs which will be filed with the state public utility commissions in accordance with their rules and filing requirements. A revised CR was also posted to the CMP wholesale calendar. Lee asked if there were any questions.

Kim Isaacs – Integra said with the FCC 214 application to be filed later, she wondered when it would be coming through.

Mark Coyne – CenturyLink asked if there were any other questions. There were none.

02/17/16 Product/Process CMP Meeting Lee Brummett – CenturyLink presented this new CR to eliminate the Busy Line Verify and the Busy Line Interrupt features in the legacy Qwest fourteen states effective May 6, 2016. Lee said the reseller notice will be issued soon.

Kim Isaacs – Integra asked if this impacts CLSP [CenturyLink Local Services Platform]. Kim asked if there had been a 214 FCC filing and what date that would occur and also asked about the state filings to discontinue service.

Lee Brummett – CenturyLink said it would impact CLSP but would have to check on the date of the 214 FCC filing.

Kim Isaacs – Integra said AT&T is doing something similar and has a 214 filed with the FCC. Kim asked if the May 6, 2016 date is for Retail and Wholesale. Kim said Integra would need to update their tariffs also to follow CenturyLink dates.

Lee Brummett – CenturyLink said it is for both Retail and Wholesale and will have to check on the dates of the various state and federal filings.

Mark Coyne – CenturyLink [03/07/16 Updates received from Integra in CAPS] SAID IF POSSIBLE CENTURYLINK WOULD INCLUDE THE ANSWERS TO THESE QUESTIONS IN THE MEETING MINUTES AND THEN asked if there were any other questions. There were none.


Open Product/Process CR PC033016-1CM Detail

 
Title: Change to the CMP document to remove the references to CORA and EXACT 5/10/16 UPDATE: to include EXACT
CR Number Current Status
Date
Area Impacted Products Impacted

PC033016-1CM Completed
7/20/2016
Wholesale CMP document
Originator: Coyne, Mark
Originator Company Name: CenturyLink
Owner: Coyne, Mark
Director:
CR PM: Lorence, Susan

Description Of Change

With the upcoming Access Service Ordering and Billing Systems Consolidation project, the access ordering system CenturyLink Online Request Application (CORA) will no longer be a production system. The references to CORA [5/10/16 UPDATE in caps] AND EXACT on the current Change Request form will be removed and replaced with “Wholesale ACCESS Ordering Interface” as a more generic term.

5/10/16 UPDATE: Remove reference to EXACT and also Include the word “Access” as in “Wholesale Access Ordering Interface” on the revised CR form.


Status History


Project Meetings

7/20/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said a Level 1 Process notification was distributed on July 12, 2016, effective immediately, to update the CMP Document and the CR form to use the term “Wholesale Access Ordering Interface” instead of CORA or EXACT. Mark said the CR is in CLEC Test and asked if there were any objections to moving it to a Completed Status. There were none.

6/15/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR to revise the CMP CR form to replace CORA and EXACT with “Wholesale Access Ordering Interface” was unanimously voted on last month to allow the change. He said a Level 1 CMP notification would be sent soon.

5/18/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was revised following the April monthly call to include the removal of EXACT along with CORA on the redlined CR form and to update the new CR systems entry to be specific to Access ordering, i.e., “Wholesale Access Ordering Interface”. A Vote notification was sent on May 11, 2016 along with a redlined CMP CR form with those updates and they are all included in the CMP package. Mark said a unanimous vote is required to update the CMP document.

Susan Lorence – CenturyLink then reviewed the CMP Vote process as included in Section 17.0 of the CMP document which is available at http://www.centurylink.com/wholesale/cmp/index.html. The key points of the CMP voting process are: each entity is entitled to a single vote regardless of any affiliates and quorum must be established. Susan said quorum will be based on 62.5% of the average CLEC and CenturyLink entities in attendance at the last six monthly CMP meetings, November 2015 through April 2016. The average number of entities in attendance during this period was eight so the quorum for today’s vote meeting is five. Quorum was easily met since there are nine entities in attendance. Susan then reviewed what a vote of “Yes” and “No” meant as depicted on the voting Ballot in the CMP package and asked if there were any questions. The vote was then conducted and the results are listed in the table:

Voting Carrier Voting Participant VOTE Midcontinent Communications Emily Davis (by phone) YES AT&T Jacob Rubin (by phone) YES Granite Judi O’Day (by phone) YES Integra Kim Isaacs (by phone) YES Global Capacity Liz Tierney (by phone) YES LS Networks Valerie Starr (by phone) YES Custom Call Jay Bodapati (by phone) YES TW Cable Sultan Kahn (by phone) YES CenturyLink Mark Coyne (by phone) YES

The vote was unanimous to make the changes to the CMP CR form. Susan proposed that we make the update with a Level 1 CMP notice and said she did not think we needed to wait until the effective date of the Access System Consolidation which is August 1, 2016. She asked if there were any objections to that approach. There were none.

4/20/16 CMP ProdProc Meeting Mark Coyne – CenturyLink presented the CR and advised callers that it is associated with the Access Service System Consolidation project. The CR is attached and includes a redlined CMP CR form for both EXACT and CORA to change systems names to a generic “Wholesale Ordering Interface.” He advised that the original CR only included CORA, but CenturyLink realized that EXACT should be removed as well. CenturyLink will revise the CR. The CMP vote to update the CMP document is proposed for the May meeting and a unanimous vote is required to proceed.

Kim Isaacs – Integra suggested that the replacement verbiage on the form be considered as “Wholesale Access Ordering Interface.”

Mark Coyne – CenturyLink stated that in light of forthcoming local service ordering changes, that would be included with the planned update to the CR.

Armando Fimbres – Oregon PUC asked for clarification regarding the voting process and asked if it would be a majority of those on the call at the time of the vote.

Mark Coyne – CenturyLink clarified that a unanimous vote is required to update the CMP document as long as we have established quorum on the call.

Susan Lorence – CenturyLink added that there is an email option as well if people cannot attend the monthly meeting in May. The meeting notice defines the way to vote via email.

Mark Coyne – CenturyLink asked if there were any other questions. There were none.


Open Product/Process CR PC051216-1 Detail

 
Title: Discontinuation of 64k voice grade requirements on fiber when a copper network is retired
CR Number Current Status
Date
Area Impacted Products Impacted

PC051216-1 Completed
8/17/2016
Process and Documentation
Originator: Karpowich, Steve
Originator Company Name: CenturyLink
Owner: Karpowich, Steve
Director:
CR PM: Lorence, Susan

Description Of Change

[NOTE: CR revisions as of 06-14-16 are included in all caps.]

The FCC has relieved LECs of the requirement to provide a voice channel in the event the LEC retires its copper network IN A FIBER TO THE CURB (FTTC) AND FIBER TO THE HOME/PREMISE (FTTH, FTTP) AREAS. The CenturyLink Product team has determined it will no longer provide a 64Kbps voice channel in areas where it has undertaken such a fiber overbuild and copper retirement.

In its Memorandum Opinion and Order (FCC 15-166), issued December 28, 2015, the Federal Communications Commission relieved LECs of the obligation to provide a 64Kbps voice channel on fiber when the LEC overbuilds its copper network with fiber and retires its copper plant in a service area.

CENTURYLINK WILL CONTINUE TO OFFER THE CLEC COMMUNITY A 64 KBPS CHANNEL AS A REPLACEMENT OF AN ANALOG VOICE GRADE COPPER LOOP IN AREAS WHERE CENTURYLINK IS REPLACING THE FEEDER PORTION OF THE LOOP WITH FIBER.

CenturyLink will continue to make Voice Resale available in areas affected by copper retirements. CenturyLink will also work with any impacted customers to review its service offerings and to suggest any potential alternatives.

Proposed Implementation Date:7/1/16


Status History


Project Meetings

8/17/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was moved to CLEC Test as of August 1, 2016. He asked if there were any objections to moving it to a Completed status. There were none.

7/20/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was presented in May. Following an Ad Hoc call on June 7, 2016, the CR was revised and the updates were reviewed in the June CMP monthly meeting. A level 4 notice was distributed on June 22, 2016 and the associated final notice was sent on July 15, 2016 with an effective date of August 1, 2016. We will review the CR in the August CMP meeting. Mark asked if there were questions. There were none.

6/15/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was a Walk-on that was presented in May. An Ad Hoc call was held on June 7, 2016 that included considerable discussion regarding how a hybrid loop is defined in relation to this CR. Mark said the draft meeting minutes were sent for review June 14, 2016 along with a revision to the CR that was submitted by the originator. A revised copy of the CR has since been posted to the CMP calendar which Mark then reviewed. With the revisions that had been made, CenturyLink would like to send the Level 4 notice after June 22, 2016. Mark said there were no documentation updates to be made associated with this CR so it would be a notification only.

Kim Isaacs – Integra said the updates look OK but that her assumption about the revised CR wording is that it means (6-24-16 Updates received from Integra in CAPS) THAT THE 64 K CHANNEL IS NOT AVAILABLE ONLY when CenturyLink retires its copper network and replaces it with fiber to the curb and fiber to the premise. She asked if that was correct.

Jamal Boudhaouia – CenturyLink said that was correct.

Susan Lorence – CenturyLink said it sounded like a CR revision was not required and that the meeting minutes were sufficient to capture the clarification.

Kim Isaacs – Integra said that was fine and she could not think of any documentation that needed to be updated.

06-07-16 FINAL meeting minutes from Ad hoc call Attendees: Bonnie Johnson – MN DOC Bruce Linseheid– MN DOC Diane Dietz – MN DOC Linda Jensen – MN DOC Greg Doyle – MN DOC Armando Fimbres – Oregon PUC Susan Travis – CO PUC Teresa Ferguson – CO PUC Lynn Notarianni – CO PUC Kim Isaacs – Integra Doug Denney – Integra Laurie Roberson – Integra Jamal Boudhaouia – CenturyLink Steve Karpowich– CenturyLink John Hansen – CenturyLink Susan Lorence – CenturyLink

Susan Lorence – CenturyLink went over the agenda for the meeting and then a brief history of the CR. Susan said Jamal Boudhaouia – CenturyLink had provided a copy of the FCC order, FCC-15-166A1, which was posted to the calendar.

Steve Karpowich– CenturyLink provided an overview of the CR and said the order FCC-15-166A1 came out last year and that CenturyLink had issued the CR to notify through CMP that CenturyLink would not provide 64Kbps voice channel when switching from copper to fiber.

Jamal Boudhaouia – CenturyLink referred call participants to paragraphs 55 to 66 of the FCC order which provides the specific requirements for the CenturyLink CR. Jamal said there is a new requirement to provide notification of copper retirement with 180 day lead time which used to be 95 days. He said he has provided some notifications to some call participants of some upcoming copper retirements for the 180 day lead time.

Kim Isaacs – Integra said the Copper retirement order is different than the 64Kbps Forbearance order.

Jamal Boudhaouia – CenturyLink said he agreed they are different orders. Jamal said the first FCC order is associated with when CenturyLink is putting fiber to the premise, to the DLC or to the curb and the requirement is now to issue the Network Disclosure at least 180 days prior to the planned cutover date. Jamal said the CenturyLink notification goes to the FCC and all customers. For those customers specifically impacted by the copper retirement, he provides the list of those impacted circuits that have to be moved to a different product. Jamal said the Forbearance order identifies if ILECs are retiring copper in an area and installing fiber to the home or curb, CenturyLink no longer is required to provide a 64Kbps channel. Jamal said the CLECs will no longer be able to order the 64Kbps loop in this situation.

Kim Isaacs – Integra said the FCC Forbearance order did not change the requirement for ILECs to provide the hybrid loops.

Jamal Boudhaouia – CenturyLink said it did. Jamal asked what is a hybrid loop channel.

Kim Isaacs – Integra said then read the following information from C.F.R 47 §51.319 that had been included in an email Kim sent on 5-18-16 following the CMP monthly call:

(iii) Narrowband services. When a requesting telecommunications carrier seeks access to a hybrid loop for the provision of narrowband services, the incumbent LEC may either: (A) Provide nondiscriminatory access, on an unbundled basis, to an entire hybrid loop capable of voice-grade service (i.e., equivalent to DS0 capacity), using time division multiplexing technology; or (B) Provide nondiscriminatory access to a spare home-run copper loop serving that customer on an unbundled basis.

Kim Isaacs – Integra said forbearance was not provided for these services.

Jamal Boudhaouia – CenturyLink said he needed to take this back to CenturyLink legal for review.

Doug Denney – Integra said CenturyLink needed to look at the hybrid loop definition and this would be more clear.

Teresa Ferguson – CO PUC asked for clarification of the footnote.

Jamal Boudhaouia – CenturyLink said the wording Kim referenced is in Footnote 172 of FCC-15-166A1.

Kim Isaacs – Integra said USTelecom did not ask for forbearance from this rule. Forbearance was specific to the 64Kbps rule.

Armando Fimbres – Oregon PUC asked if CenturyLink legal had provided their final review of this order.

Jamal Boudhaouia – CenturyLink said yes, for fiber to the home and fiber to the curb.

Kim Isaacs – Integra said this was the discussion during the CMP monthly meeting which was why the reference was sent after the meeting and questioned why there was no final response.

Jamal Boudhaouia – CenturyLink said that was not his understanding of the discussion. Jamal said now there are two architectures under discussion: fiber to the DLC and fiber to the curb and we need to get a good definition of a hybrid loop. He said the order under consideration has fiber and copper.

Kim Isaacs – Integra said the FCC defines a hybrid loop is a loop with both fiber optic cable and copper.

Doug Denney – Integra said in this case, Footnote 172 calls the hybrid loop a fiber loop and that CenturyLink needs to look at C.F.R 47 §51.319.

Jamal Boudhaouia – CenturyLink said he thinks so but needs to have further internal review.

Susan Lorence – CenturyLink said that the question of the definition of a hybrid loop is an open point. The next agenda item was grandfathered loops.

Jamal Boudhaouia – CenturyLink said once we agree on the definition, the existing 64Kbps loops would be grandfathered and would not be required to be disconnected. If the loop is copper, if a customer does not want them converted to fiber based, they must be removed according to FCC rules. Jamal said he would continue to issue the copper retirement notifications to all customers but now under the new timeline. The individual reports will go to the appropriate customers and will include the impacted circuits along with the timing of when a decision must be made.

Kim Isaacs – Integra said Copper retirement and the 64Kbps are two separate FCC orders. She asked if CenturyLink will use the copper retirement process for customers not getting a 64Kbps channel.

Jamal Boudhaouia – CenturyLink said yes, the two orders are separate. He said the copper retirement notices will continue to go to all customers as well as an FCC submittal. He said once forbearance is in effect, individual customers will follow the forbearance rules if there are LX- - loops that are impacted.

Bonnie Johnson – MN DOC said CenturyLink currently provides a report to each customer when copper loops are eliminated and asked if CenturyLink will do this for the 64Kbps.

Jamal Boudhaouia – CenturyLink said yes for those customers that are impacted.

Lynn Notarianni – CO PUC said there is a statement in Para 66 of FCC-15-166A1 that says: “…Meanwhile, a competitive LEC that has already requested and obtained access to an unbundled 64 kbps channel will have reasonably incurred costs in putting the channel to use, such as connecting the channel to a self-provisioned switch. Relieving an incumbent of its unbundling obligation in these circumstances would risk stranding the competitor’s investment with no clear offsetting benefit to the incumbent. Accordingly, we find it is appropriate to require incumbents to maintain access to channels made available under the 64 kbps unbundling requirement that are in use as of the adopted date of this order. “ Lynn asked how that paragraph is reconciled between the Copper retirement and Forbearance orders.

Jamal Boudhaouia – CenturyLink if there is an existing 64Kbps channel, those will stay in place. But once forbearance is in place, the 64 Kbps unbundling is not an option.

Lynn Notarianni – CO PUC said Paragraph 66 then only applies if the loop is already built out.

Jamal Boudhaouia – CenturyLink said yes, those loops are grandfathered so there is no stranded investment in place. Jamal asked if that answered the question.

Lynn Notarianni – CO PUC said that clarifies the CenturyLink interpretation.

Susan Lorence – CenturyLink asked if there were more questions about the reports.

Bonnie Johnson – MN DOC said no.

Kim Isaacs – Integra asked if the order impacts hicap circuits.

Jamal Boudhaouia – CenturyLink said no; these are not impacted.

Susan Lorence – CenturyLink said if CenturyLink can resolve the hybrid loop question, then CenturyLink will include the response in the meeting minutes. If there is an issue with the interpretation, Jamal will request another ad hoc call. When the meeting minutes are sent out for review, participants can then also identify if another ad hoc call is required.

Kim Isaacs – Integra asked if the CR would be revised.

Jamal Boudhaouia – CenturyLink said it would be. [NOTE: As of 6-14-16, Steve Karpowich – CenturyLink, CR originator, modified the CR to address the hybrid loop question. The revised CR is attached to the email associated with these meeting minutes.] Susan Lorence – CenturyLink asked if everyone is in agreement with the updates to the CR, CenturyLink would like to send the level 4 notification on June 21, 2016. She said that will provide a week after the meeting minutes are distributed to identify any issues.

Kim Isaacs – Integra and Jamal said that would be fine if there are no issues with the updated CR.

Armando Fimbres – Oregon PUC asked what CLECs are on the call.

Susan Lorence – CenturyLink said only Integra was on the call to represent the CLEC community. She said it was disappointing that there were not more CLECs that joined the call. She said the draft meeting minutes and updated CR would be available for the CMP meeting and the proposed timeline would be reviewed there.

The Ad hoc meeting was adjourned at 3:10 PM MT.

05-18-16 Content of EMAIL received from Kim Isaacs - Integra following CMP monthly meeting NOTE: Content in all caps was highlighted in email.

Clarification Needed on Change Request PC051216-1

I am hoping we will find that we are all the same page and I just misunderstood CenturyLink’s intent. As discussed on today’s CMP call, Integra believes that Change Request PC051216-1 Discontinuation of 64K voice grade requirements on fiber when copper network is retire needs to be modified to clarify that the discontinuation of the 64K voice grade channel apply only in cases where CenturyLink has deployed fiber to the premise (FTTP, FTTH). The forbearance the FCC granted in its Memorandum Opinion and Order (FCC 15-166) was “very limited” answering “USTelecom requests forbearance on a nationwide basis for all incumbent LECs from application of section 51.319(a)(3)(iii)(C) of the Commission’s rules, which requires unbundling of a 64 kbps voice-grade channel to provide narrowband services over fiber WHERE AN INCUMBENT LEC RETIRES A COPPER LOOP IT HAS OVERBUILT WITH A FIBER-TO-THE-HOME OR FIBER-TO-THE-CURB LOOP.” (¶ 55).

Rule: 51.319(a)(3)(iii)(C) says: (C) An incumbent LEC that retires the copper loop pursuant to paragraph (a)(3)(iv) of this section shall provide nondiscriminatory access to a 64 kilobits per second transmission path capable of voice grade service over the fiber-to-the-home loop or fiber-to-the-curb loop on an unbundled basis.

In the case where CenturyLink is retiring cooper but not deploying FTTH or FTTC, the FCC did not grant ILECs forbearance from C.F.R 47 §51.319 (a)(2) (iii)(A) Hybrid Loops for Narrowband services. (2) Hybrid loops. A hybrid loop is a local loop composed of both fiber optic cable, usually in the feeder plant, and copper wire or cable, usually in the distribution plant. (i) Packet switching facilities, features, functions, and capabilities. An incumbent LEC is not required to provide unbundled access to the packet switched features, functions and capabilities of its hybrid loops. Packet switching capability is the routing or forwarding of packets, frames, cells, or other data units based on address or other routing information contained in the packets, frames, cells or other data units, and the functions that are performed by the digital subscriber line access multiplexers, including but not limited to the ability to terminate an end-user customer's copper loop (which includes both a low-band voice channel and a high-band data channel, or solely a data channel); the ability to forward the voice channels, if present, to a circuit switch or multiple circuit switches; the ability to extract data units from the data channels on the loops; and the ability to combine data units from multiple loops onto one or more trunks connecting to a packet switch or packet switches. (ii) Broadband services. When a requesting telecommunications carrier seeks access to a hybrid loop for the provision of broadband services, an incumbent LEC shall provide the requesting telecommunications carrier with nondiscriminatory access to the time division multiplexing features, functions, and capabilities of that hybrid loop, including DS1 or DS3 capacity (where impairment has been found to exist), on an unbundled basis to establish a complete transmission path between the incumbent LEC's central office and an end user's customer premises. This access shall include access to all features, functions, and capabilities of the hybrid loop that are not used to transmit packetized information. (III) NARROWBAND SERVICES. WHEN A REQUESTING TELECOMMUNICATIONS CARRIER SEEKS ACCESS TO A HYBRID LOOP FOR THE PROVISION OF NARROWBAND SERVICES, THE INCUMBENT LEC MAY EITHER: (A) PROVIDE NONDISCRIMINATORY ACCESS, ON AN UNBUNDLED BASIS, TO AN ENTIRE HYBRID LOOP CAPABLE OF VOICE-GRADE SERVICE (I.E., EQUIVALENT TO DS0 CAPACITY), USING TIME DIVISION MULTIPLEXING TECHNOLOGY; OR (B) PROVIDE NONDISCRIMINATORY ACCESS TO A SPARE HOME-RUN COPPER LOOP SERVING THAT CUSTOMER ON AN UNBUNDLED BASIS.

I don’t see the need for an ad hoc call, if CenturyLink updates the PC051216-1 to say something similar to the following:

The FCC has relieved LECs of the requirement to provide a voice channel in cases where the LEC retires its copper network and has overbuilt with a fiber-to-the-home (FTTH) or fiber-to the-curb (FTTC) loop. The CenturyLink Product team has determined it will no longer provide new** 64Kbps channel in areas where it has retired a copper and overbuilt with a FTTH or FTTC. In its Memorandum Opinion and Order (FCC 15-166), issued December 28, 2015, the Federal Communications Commission relieved LECs of the obligation to provide a 64Kbps voice channel on fiber when the LEC retires copper loops it has overbuilt with FTTH and FTTP

CenturyLink will continue to make Voice Resale available in areas affected by copper retirements when it has overbuilt with FTTH or FTTC.

Proposed Implementation Date: 7/1/16 **Note** The FCC “grandparented” rule 51.319(a)(3)(iii)(C) so there will not be an impact to any embedded base of 64K channels being provided in service areas where copper has been retired and CenturyLink has overbuilt with FTTH and FTTC.

The above addresses only the clarity needed for change request PC051216-1. I haven’t had the opportunity to discuss the need for an amendment internally yet. Thank you. ** 5/18/16 Product/Process CMP Meeting Steve Karpowich – CenturyLink presented this Walk on CR. Steve said the FCC relieved LECs of the requirement to provide a voice channel (64 kb/s) when the copper network is retired. Steve said CenturyLink is planning to go that direction and is providing notice. He said we will work with customers to consider possible alternatives.

Kim Isaacs – Integra (5-27-16 Updates received from Integra in CAPS) STATED (delete ASKED IF) this ONLY APPLIES TO (delete IS) copper (delete ONLY) retired WHEN CENTURYLINK DEPLOYS FIBER to the premise.

Steve Karpowich – CenturyLink said he thought that was true but will investigate further. He thought we are getting rid of unbundled copper loop if we retire copper.

Bonnie Johnson - Minnesota Dept of Commerce said when there is a copper retirement, CenturyLink provides a spreadsheet 90 days ahead of time and asked if the report will include all loops in the future.

Steve Karpowich – CenturyLink said that was correct.

Jamal Boudhaouia – CenturyLink said we provide that list today and not just xDSL loops.

Kim Isaacs – Integra said (5-27-16 Updates received from Integra in CAPS) VOICE SERVICE IS ONLY IMPACTED if the copper is retired to the premise. (delete ,) WHEN COPPER IS RETIRED IN THE FEEDER, DISTRIBUTION, OR WHEN A FIBER BASED DLC IS DEPLOYED only xDSL loops are impacted. Voice (ANALOG DS0 UNE LOOPS) and DS1 LOOPS are not impacted.

Jamal Boudhaouia – CenturyLink said the Forebearance rule does not specify. When replacing copper with fiber, the 64Kbps channel will not be available which is the change of law.

Kim Isaacs – Integra said that she disagreed with that interpretation.

Jamal Boudhaouia – CenturyLink said if we disagree, we may need more discussion. Jamal said we will look at the rule again but DS1 was not impacted. Currently, Jamal said he sends all the copper loops and then the CLEC determines which ones can be transferred to 64K.

Kim Isaacs – Integra said (5-27-16 Updates received from Integra in CAPS) (delete THERE) are many EXISTING VOICE/ANALOG loops that are impacted and asked if all of those had to be changed to resale voice. [NOTE: THE FCC FORBEARANCE ORDER “GRANDPARENTED” THE 64K CHANNEL WHEN AN ILEC DEPLOYED FIBER TO THE HOME/PREMISE SO THE FORBEARANCE WILL NOT IMPACT EXISTING SERVICES PROVIDED ON 64K CHANNELS]

Jamal Boudhaouia – CenturyLink said if it is a DS0 channel and the copper is not retired, those are not impacted. If everything is moved to fiber to the premise, those are impacted. Jamal said for direct copper fed homes with no cross box that is being entirely replaced, or it is split, then copper is no longer available to premise. He will now send the retirement disclosure and ask customers to make a change based on this new rule.

Kim Isaacs – Integra said that the Order says the LEC is required to serve the CLEC with (5-27-16 Updates received from Integra in CAPS) VOICE GRADE DS0 LOOPS WHEN THERE IS A FIBER FED DCL AND THE PREMISE IS SERVED BY COPPER (delete A FIBER FED LOOP).

Jamal Boudhaouia – CenturyLink said that is not what the order says.

Kim Isaacs – Integra gave the example of new Greenfield fiber and said they don’t have access today. Kim said if it is fiber to the premise with a straight fiber circuit, there is no access to 64K.

Jamal Boudhaouia – CenturyLink said he did not think they would solve this and would need to review the language and suggested an Ad Hoc call to discuss.

Kim Isaacs – Integra agreed that an Ad Hoc is required.

Bonnie Johnson - Minnesota Dept of Commerce said her question is outstanding. When CenturyLink retires copper and notifies CLECs of the impacted xDSL loops, the voice grade loops swing to the fiber fed. Bonnie said it sounds like that will no longer occur and asked if the voice grade loops will now appear on the CenturyLink spreadsheets that are sent.

Jamal Boudhaouia – CenturyLink said if the loops are straight copper, they are all included today on the list that is sent. Jamal said if it is an F1 change, he asks for everything on the report not just xDSL.

Kim Isaacs – Integra said she disagrees; she only sees xDSL and some DS0 but does not see all loops. Kim said her ICA says DS0 are provided on hybrid loops.

Jamal Boudhaouia – CenturyLink said that is the change of law that allows CenturyLink to present this CR.

Bonnie Johnson - Minnesota Dept of Commerce asked if there will need to do an amendment before this process is changed.

Jamal Boudhaouia – CenturyLink said he needed to investigate that.

Mark Coyne – CenturyLink said Jamal will provide the language in the order for the minutes and we will set up an Ad Hoc call.

Susan Lorence – CenturyLink asked if some examples from Kim would be helpful before having a call.

Kim Isaacs – Integra said she could provide an example where all circuits are not provided. (5-27-16 Updates received from Integra in CAPS) [NOTE: EXAMPLE FROM CENTURYLINK’S FCC COPPER RETIREMENT FILING 5/4/2016 NETWORK DISCLOSURE 788 – INDICATES NON-LOADED LOOPS ARE IMPACTED (VOICE GRADE DS0 LOOPS ARE NOT CONSIDERED “NON-LOADED COPPER LOOPS”) ALL OTHER LOOP TYPES REMAIN AVAILABLE.

INTEGRA INSERTED TABLE BELOW (For a better view of this table, refer to the meeting minutes posted to the Wholesale calendar at http://wholesalecalendar.centurylinkapps.com/cal/2016/5)

STATE WIRE CENTER PLANNED COMPLETION OR RETIREMENT DATE DA (s) Job # Replacing AZ McClintock TEMPAZMC 07-15-2016 N/A N.067002 Growth in distribution area requires CenturyLink to cut facilities to fiber fed digital loop carrier system (DLC). After the cut to DLC, copper reliant services, such as non-loaded copper loops will not be supported. All other types of unbundled loops will still be available.] END TABLE

Liz Tierney – Global Capacity said she was trying to distinguish between xDSL and voice grade and what the difference was for conversion. Liz asked how the xDSL would be impacted.

Jamal Boudhaouia – CenturyLink said the LX-- for voice grade will move to a new NC/NCI combination and there are other loops impacted. Jamal said xDSL is impacted since it has to be copper all of the way.

Mark Coyne – CenturyLink asked if there were any other questions prior to the Ad hoc call. There were none.


Open Product/Process CR PC060116-1 Detail

 
Title: Eliminate Regional paper reports Report names are ECS1/2 in Central and 51034/5, 50414 in Eastern
CR Number Current Status
Date
Area Impacted Products Impacted

PC060116-1 Completed
9/21/2016
Originator: Pontinen, Tom
Originator Company Name: CenturyLink
Owner: Pontinen, Tom
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink would like to eliminate the CRIS originated paper reports that were developed pre-Divestiture related to Toll settlements. Reports are sent to all ILECs and CLECs which receive records from CenturyLink. A large number of customers have requested not to receive them. These report formats differ by CRIS region: Eastern/Western/Central.

Western Report distribution was halted over 15 years ago. Reports are named ECS1/2 in Central and 51034/5, 50414 in Eastern.

Data on the reports includes:

Record counts for Wireless, Wireline Transit records

Record count for originating and terminating Switched Access records (Jointly Provided Switched Access - JPSA)

Count of DA, National DA messages

Count of Operator Handled messages

Sent Collect/Received Collect messages

NOTE: An example of one of the reports can be provided.

Data on the reports reflect records sent from CenturyLink to the ILECs/CLECs in industry standard format (records for access billing, records for end user billing, copy records, etc.). If the related data is sent to a customer’s Service Bureau, these reports may be distributed to the Service Bureau vs. to the customer.

CenturyLink believes these paper reports can be discontinued because much of the data can be found in the following locations:

• The report file transmittal information accompanying these records

• The header and trailer records within the data files

• LEXCIS billing reflects much of the information on the paper reports.


Status History


Project Meetings

9/21/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR is in CLEC TEST as of September 1, 2016. There were no CLEC comments. Mark asked if there were any objections to moving this CR to a Completed status. There were none.

8/17/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said the initial Level 4 notice was sent on July 12, 2016 and the final notice was sent on August 11, 2016. There were no CLEC comments. Mark said there were no document updates for this CR but there is a document posted to the Document Review site that has examples of the paper reports that will be eliminated. To insure coverage, CenturyLink has been sending a copy of the initial notice along with the paper reports that are generated to the customers that normally receive the reports to let them also know the reports are being discontinued. The planned effective date for this change is September 1, 2016. Mark asked if there were questions. There were none.

7/20/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was presented last month. A Level 4 notification was sent on July 12, 2016. There are no documentation updates associated with this change but CenturyLink did post some information to the Document Review site associated with the notification that included some examples of the paper reports that are to be eliminated. The planned effective date for this change is September 1, 2016.

6/15/16 Product/Process CMP Meeting Tom Pontinen – CenturyLink presented this new CR. He said the report was originally designed before switched access and was for independent company settlements. Tom said CenturyLink does not think the reports are needed any longer and eliminating these paper reports will save thousands of print pages each month.

Kim Isaacs – Integra asked if the reports or data is available electronically vs. paper.

Kathy Pearce - CenturyLink said these are paper reports only distributed via US Mail.

Susan Lorence – CenturyLink said she thought the report data was available in other electronic forms.

Kathy Pearce - CenturyLink said the information on the paper reports has similar information as to what is on the electronic toll and access report files that are distributed. Kathy said the data and trailer records on the data files also carry totals and are currently available to customers.

Mark Coyne – CenturyLink said we will move forward with the CR then.


Open Product/Process CR PC062316-1 Detail

 
Title: Eliminate Directory Publisher List and Directory Delivery List products [7/20/16 Update to remove Directory Assistance List]
CR Number Current Status
Date
Area Impacted Products Impacted

PC062316-1 Completed
10/19/2016
Directory Listings Directory Listings
Originator: Gomez, Lee
Originator Company Name: CenturyLink
Owner: Gomez, Lee
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink currently has the following products available for Wholesale; Directory Publisher List and Directory Delivery List and these are products focused towards Publishers. Since the first availability of these products in 2004, there have been no inquiries or show of interest in either of these products.

CenturyLink would like to eliminate both products and the related documentation effective 9/1/2016.

7-20-2016 DESCRIPTION UPDATE TO REMOVE the product Directory Assistance List from the products being eliminated at this time.


Status History


Project Meetings

10/19/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR is in CLEC Test as of October 6, 2016. There were no CLEC comments. Mark asked if there were any objections to moving this CR to a Completed status. There were none.

9/21/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said there were no CLEC comments submitted on the level 4 notification that was sent on August 22, 2016. The final notice will be sent September 21, 2016 with the planned effective date of October 6, 2016.

8/17/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said Lee Gomez – CenturyLink presented this CR last month to eliminate three Directory Listings reports. Mark said that Kim Isaacs – Electric Lightwave had relayed in last month’s call that she found the Directory Assistance List product in their ICA in Section 10.6. Lee investigated this and on July 20, 2016, Lee revised the CR to remove the Directory Assistance List (DAL) product. Mark said a level 4 notification will be sent in August with a planned effective date of October 6, 2016. Mark asked if there were questions. There were none.

7/20/16 Product/Process CMP Meeting Lee Gomez – CenturyLink presented this new CR to eliminate three Wholesale Directory Listing products: Directory Publisher List, Directory Delivery List and Directory Assistance List. Lee said the products are focused on publishers who want to create a phone book and those who provide directory assistance. The products have been available since 2004 but have had no show of interest from customers.

Kim Isaacs – Integra asked if the products are in the Interconnection Agreement (ICA).

Lee Gomez – CenturyLink said they are not in the ICA but are documented in the PCATs.

Kim Isaacs – Integra said she found the Directory Assistance List product in their ICA in Section 10.6 and read a portion of that section.

Lee Gomez – CenturyLink said it could be a terminology issue but that she could be wrong. Lee said she will take the question back to her legal team for review.

Mark Coyne – CenturyLink said if possible, CenturyLink will provide an update with the meeting minutes.

NOTE: As of 7-20-16, Lee Gomez - CenturyLink revised the CR to remove the Directory Assistance List (DAL) product as there is reference to it in the ICA. Lee will be meeting with legal to discuss possible changes.


Open Product/Process CR PC090611-1 Detail

 
Title: Eliminate 5 USOCs in Nebraska.
CR Number Current Status
Date
Area Impacted Products Impacted

PC090611-1 Completed
2/15/2012
Resale
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink will be eliminating the following USOCs in Nebraska: 1VT and 1V3 (Measured package service), ESY6N and ESY65 (Custom Calling Feature Package) and SSV (Secretarial Answer Service). All USOCs have previously been grandfathered. Currently there are no wholesale/resale customers with these services.


Status History


Project Meetings

02/15/2012 Product Process Monthly Meeting Mark Coyne – CenturyLink said the effective date for this CR was 1-7-12 and that the CR was now in CLEC Test. Mark asked if CenturyLink could move the CR to a Completed status. There were no objections.

01/18/12 Product Process Monthly Meeting Mark Coyne – CenturyLink said the effective date was January 7, 2012 and that the CR was now in CLEC Test. Mark indicated we would revisit the CR in February.

12/14/11 Product Process Monthly Meeting Mark Coyne – CenturyLink said a Level 2 notice would go out on December 16, 2011 with an effective date of January 7, 2012.

11/16/11 Product Process Monthly Meeting Mark Coyne – CenturyLink advised that it would be a Level 2 notice to go out on December 16, 2011 with an effective date of January 7, 2012.

10/19/11 Product Process Monthly Meeting Mark Coyne – CenturyLink stated the CR had been presented last month and that there was agreement that since there were no customers, a level 2 notice would be sent in December with an effective date of January 7. No other questions were raised.

9/21/11 Product Process Monthly Meeting Lee Brummett – CenturyLink presented the CR that was associated with five previously grandfathered USOCs in Nebraska that were now to be eliminated. He said the implementation date had been pushed from November to January 7, 2012. Lee requested that since there were no Wholesale customers, we would like to reduce the notice to a Level 2.

Mark Coyne – CenturyLink said since no one had objected, CenturyLink would proceed with a Level 2 notice.


Open Product/Process CR PC030712-1 Detail

 
Title: 7/12/12 Revised Eliminate 23 Billing USOCs and 105 Universal Special Assembly Codes. ORIGINAL TITLE Eliminate 26 Billing USOCs and 166 Universal Special Assembly Codes.
CR Number Current Status
Date
Area Impacted Products Impacted

PC030712-1 Completed
9/19/2012
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Lorence, Susan

Description Of Change

CR Revised 07-12-12 CenturyLink will be eliminating 23 billing USOCs across the 14 states: 13FBE, 1LC2N, 1LC2Y, 1LC4N, 1LC4Y, 1LMFS, 27ECD, 48C, 4N9, 91V, 91X, FW4, LCQSF, LCQSZ, P5V, SC4, SSV, SV7SM, WK1SK, WK5SK, WP5SX, ZZ3BR, ZZ3HJ.

07-12-12 CenturyLink will NOT be removing P5P, SVGSK, SVMSK AND VMT.

CR Revised 07-12-12 CenturyLink will be eliminating 105 USACs across the 14 states: #AAAO, #AAC9, #ACA3, #ADA5, #AEAT, #AECQ, #AFH6, #AFLJ, #AFM9, #AFNA, #AGCK, #AJDU, #AJF9, #AJJJ, #AJL3, #AJLJ, #AJMD, #AJME, #AJMF, #AJNE, #AJNF, #AJNJ, #AJNL, #AJNM, #AKC2, #AKC5, #AKC7, #BAC1, #BAE9, #BAEA, #BAES, #BAEV, #BAF6, #BAFA, #BAG1, #BAG2, #BAG3, #BAG8, #BAGH, #BAGO, #BAHA, #BAHK, #BAHL, #BAHN, #BAHO, #BAHP, #BBAE, #BBCR, #BBDC, #BBEA, #BBEN, #BBEP, #BCEL, #BCF6, #BCG5, #CAJ2, #CAJ3, #CAJ4, #CAJ5, #CAKK, #CAMG, #CANE, #CANL, #CANM, #CANN, #CANO, #CANP, #CANQ, #CANR, #CANS, #CBBN, #CDA6, #CHDP, #CJEM, #CJEN, #CJEO, #CKEM, #CLHM, #CMF1, #CMF2, #CMFY, #CMFZ, #CMKE, #CML9, #CMLU, #CMMD, #CMTS, #DHPA, #DHPB, #DHSS, #DHST, #DHWN, #DHY8, DKBR, #DKBS, #DKBU, DKBY, #DKBZ, #DKCA, #DKCG, #DKCL, #DKCM, #DKCN, #DKCP, #DKDO, #DKDV, #DKF2 , #DKF6 , #DKF7 , #DKF9 , #DMFT , DMFU , #DMFV , #GHAD , #GLAR , #LALY, and #LAFB

07-12-12 CenturyLink will NOT be removing #AADP, #CBCK, #CBCR, #CBDH, #CBF4, #CBGC, #CEAX, #CFB3, #CFB4, #CFB7, #CFCF, #CFD3, #CFD4, #CFD5, #CFEE, #CJEJ, #CJEK, #CMBD, #CMDC, #CMPX, #CMQ3, #CMQ4, #DCF2, #DCFC, #DHAL, #DHFX, #DHQQ, #DHTP, #DHXB, #DHXC, #DHXE, #DHYW, #DKBM, #DKBQ, #DKDW, #DKDX, #DKDY, #DKEG, #DLA1, #DMC6, #DMC7, #DMFS, #FFB1, #GPHQ, #LACB, #LAG8, #LAKA, #LALF, #LAMN

CenturyLink will be eliminating 26 billing USOCs across the 14 states: 13FBE, 1LC2N, 1LC2Y, 1LC4N, 1LC4Y, 1LMFS, 27ECD, 48C, 4N9, 91V, 91X, FW4, LCQSF, LCQSZ, P5P, P5V, SC4, SSV, SV7SM, SVGSK, SVMSK, WK1SK, WK5SK, WP5SX, ZZ3BR, ZZ3HJ.

3-16-12 Update: There is one Resale customer that has the USOC LCQSZ.

CenturyLink will be eliminating 166 USACs across the 14 states: #AAAO, #AAC9, #AADP, #ACA3, #ADA5, #AEAT, #AECQ, #AFH6, #AFLJ, #AFM9, #AFNA, #AGCK, #AJDU, #AJF9, #AJJJ, #AJL3, #AJLJ, #AJMD, #AJME, #AJMF, #AJNE, #AJNF, #AJNJ, #AJNL, #AJNM,

#AKC2, #AKC5, #AKC7, #BAC1, #BAE9, #BAEA, #BAES, #BAEV, #BAF6, #BAFA, #BAG1, #BAG2, #BAG3, #BAG8, #BAGH, #BAGO, #BAHA, #BAHK, #BAHL, #BAHN, #BAHO, #BAHP, #BBAE, #BBCR,

#BBDC, #BBEA, #BBEN, #BBEP, #BCEL, #BCF6, #BCG5, #CAJ2, #CAJ3, #CAJ4, #CAJ5, #CAKK, #CAMG, #CANE, #CANL, #CANM, #CANN, #CANO, #CANP, #CANQ, #CANR, #CANS, #CBBN, #CBCK, #CBCR, #CBDH, #CBF4, #CBGC, #CDA6, #CEAX, #CFB3, #CFB4, #CFB7, #CFCF, #CFD3, #CFD4, #CFD5, #CFEE, #CHDP, #CJEJ, #CJEK, #CJEM, #CJEN, #CJEO, #CKEM, #CLHM, #CMBD, #CMDC, #CMF1, #CMF2, #CMFY, #CMFZ, #CMKE, #CML9, #CMLU, #CMMD, #CMPX, #CMQ3, #CMQ4, #CMTS, #DCF2, #DCFC, #DHAL, #DHFX, #DHPA, #DHPB, #DHQQ, #DHSS, #DHST, #DHTP, #DHWN, #DHXB, #DHXC, #DHXE, #DHY8, #DHYW, #DKBM, #DKBQ, #DKBR, #DKBS, #DKBU, DKBY, #DKBZ, #DKCA, #DKCG, #DKCL, #DKCM, #DKCN, #DKCP, #DKDO, #DKDV, #DKDW, #DKDX, #DKDY , #DKEG , #DKF2 , #DKF6 , #DKF7 , #DKF9 , #DLA1 , #DMC6 , #DMC7 , #DMFS , #DMFT , DMFU , #DMFV , #FFB1 , #GHAD , #GLAR , #GPHQ , #LACB, #LAG8, #LAKA, #LALF, #LALY, #LAMN, and #LAFB

3-16-12 Update: There are no CLEC or Resale customers that have any of the USAC codes.

NOTE: The spreadsheet of USOCs and USACs with a description (if available) will also be attached to the CR whenever it appears in the CMP Product Distributuion package and when CMP notification is provided.


Status History


Project Meetings

09/19/12 Product/Process CMP Meeting Mark Coyne - CenturyLink said the effective date for both CRs was 8/31/12 and that both are in CLEC Test and we would like to move them to Completed. There were no objections.

08/15/12 Product/Process CMP Meeting Mark Coyne - CenturyLink said the Level 4 final notices for both CRs are due 8/16/12 with a planned effective date of 8/31/12 for both.

07/18/2012 CMP Monthly Prod/Proc Meeting Mark Coyne - CenturyLink recapped the Change Request, stated that the title and description and been revised, and asked Lee Brummett to provide an update.

Lee Brummett – CenturyLink provided an update on these two CRs stating that the effective date of August 31, 2012.

Mark Coyne – CenturyLink stated that the Level 4 notice on these was scheduled for July 19, 2012.

Kim Isaacs – Integra asked if a clean list of USOCs would be included with the notice.

Susan Lorence – CenturyLink asked for clarification that the CLECs would rather see the list as depicted in the package or as a final list with only the affected USOCs listed.

Kim Isaacs – Integra asked for a clean list.

06/20/2012 CMP Monthly Prod/Proc Meeting Lee Brummett – CenturyLink provided an update on these two CRs stating that the final list of USOCs would be available for the July monthly meeting and that the Level 4 notice would be sent afterwards with an effective date of August 31, 2012.

Mark Coyne – CenturyLink asked if there were any questions. There were none.

05/16/12 Product Process Monthly Meeting Mark Coyne – CenturyLink relayed that a NOTE had been included on the list of USOCs on the second CR to clarify discussion from the prior monthly meeting and read the following Note: IF A USOC APPEARS IN THE DEFINITION COLUMN THAT IS DIFFERENT FROM THE USOC IN COLUMN 2, CENTURYLINK IS PROVIDING ABBREVIATED USOC AS A GENERAL REFERENCE. THIS IS NOT AN INDICATION THAT THE ABBREVIATED USOC IS BEING REMOVED. Mark said the SME team is continuing to review the list of USOCs and do not yet have an effective date. When we do have an actual date, the normal notification process will be followed. Mark asked if there were any questions. There were none.

4/18/12 Product Process Monthly Meeting Mark Coyne – CenturyLink advised that a list was included in the package. He relayed there were questions last month regarding the definitions and that the SME team has included an update in the package. Lee Brummett – CenturyLink added that the list is still being cleaned up and there is not a concrete date for the grandfathering or making the USOCs obsolete. If any changes are needed to any accounts, CenturyLink will work with the individual CLECs to make those changes. Kim Isaacs – Integra stated that they had concerns that there were USOCs on the list that were indicated as not found, yet were in PCATs. She said Integra has customers for some of these USOCs, for example, the ESX USOC, Call Waiting. Lee Brummett – CenturyLink clarified that the ESX USOC itself is not being removed, but rather those with additional characters such as “ESX /” and “NNK /”. The ESX and NNK USOCs would remain, but others such as the example given were being addressed and would be removed. Kim Isaacs – Integra noted that the list did include that ESX = Call Waiting next to “ESX /”. Mark Coyne – CenturyLink indicated that was to let the CLEC community know what service or feature the basic USOC described, but that the feature or service itself was not being eliminated. Bonnie Johnson – Integra asked if it could be assumed that if any CLEC had “ESX /” on a CSR, it would be changed to reflect “ESX”. Lee Brummett – CenturyLink stated that was correct. Susan Lorence – CenturyLink stated that in the future, CenturyLink would add a note to the USOC lists to clarify why the general USOC definition was included.

3/21/12 Product Process Monthly Meeting Lee Brummett – CenturyLink stated that CenturyLink will be eliminating 26 billing USOCs across the 14 states. That specific USOC will be replaced with another as soon as it’s decided the replacement code.

Bonnie Johnson – Integra asked if these were specifically billing USOCs.

Lee Brummett – CenturyLink stated that there were no rates associated with the codes.

Susan Lorence – CenturyLink stated that and that there is one Resale customer that has the USOC LCQSZ and that there were no customers with the Universal Special Assembly Codes.

Kim Isaacs – Integra asked what was meant about replacements.

Lee Brummett – CenturyLink stated that the USOC will be replaced with another as soon as it’s decided the replacement code.

Kim Isaacs – Integra asked for confirmation that the USOCs would be eliminated.

Lee Brummett – CenturyLink agreed.


Open Product/Process CR PC030712-2 Detail

 
Title: 7/12/12 Revised Eliminate 264 Billing USOCs . ORIGINAL TITLE: Eliminate 330 Billing USOCs.
CR Number Current Status
Date
Area Impacted Products Impacted

PC030712-2 Completed
9/19/2012
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Lorence, Susan

Description Of Change

CR Revised 07-12-12 CenturyLink will be eliminating 264 billing USOCs across the 14 states.

These USOCs are:

13C1S, 18LA1, 18LSO, 1FLPL, 1LFCK, 1LFOK, 1LFSK, 1M84X, 1M8OO, 1M8SX, 1M8WO, 255PC, 27EKT, 29F5J, 29O1J, 29O1R, 29OBJ, 2EGAB, 2EGO1, 2EH14, 2EH2O, 2EHAB, 2EHO1, 2EJA1, 2EJA2, 2EJOO, 2HG , 2T3 , 38G , 38G28, 3KKVY, 43C , 45NF1, 48JA8, 48JO1, 48NAB, 48NDB, 48NDC, 4N9ST, 4OT , 4RC2A, 4TBXX, 4TGAB, 4TMG8, 4TMOO, 4TNAA, 4TNBA, 4TNNT, 4TNOC, 4TNSX, 4TO , 4TP , 59Y , 5LKSX, 8CJBT, 8QX28, 8QXKS, 96T , 96TAA, 96VAB, 96VO1, 96Y14, 96YAB, 96YDB, 96YO1, 96YSX, 98M35, 98MNI, 98MSC, A69SX, A6X , ACB , AMH , B1T , BECSK, BECSY, BFM , BMH , BP1AX, BP2AX, C16E6, C16V6, CBT99, CJD , CTY, CW1SX, CW9 , D2A2S, D56SX, D8D35, D8D81, D8DOT, D8DS1, D8DSX, D8FBX, D8FS1, D8FSX, DAZ17, DAZ25, DAZ33, DAZ99, DAZAA, DAZOO, DCMAA, DDX29, DGHOO, DGK , DGKAA, DGKST, DHSSZ, DJGA1, DJHO9, DL5SC, DLC25, DLC27, DLC49, DLCC4, DLCSX, DLJ18, DLJ23, DMVEX, DMZ , DNY2O, DP3OA, DQL99, DQLOO, DR5/R, DSDO1, DSEG8, DUXN4, E9B , ED7 , EJ9AX, ESCH3, ESN , ETAXA, EWUS4, EXBJX, EXLCF, EXLCH, EXTSO, EZUC2, FO3NP, FVW5Q, FVW5Z, FVWKQ, G4888, GHA2O, GHB28, GHB2O, H2YFA, H2YFD, H3JT7, H5FDX, HOGO3, HOHTC, HOLPE, HOPTF, HOQ , HUJ , HUJSW, IN501, JK94P, JKHDR, JKHSX, JKWS4, JKWS6, JKWSB, JKWST, JKWSX, K1JXX, K59 , K5B2X, K5BST, K5BSX, K6HS6, K6HSX, KEMCB, KEMCM, KU2SK, KV2 , LPDXG, LPZXJ, LTG , LTTDA, LXP2X, LXP4X, LXPXX, MAW , MBZSC, MCL15, ME5 , MPL , MPQSX, MRAGC, MWXSX, NDS , NF2WA, NF2WB, NF2WC, NF2WD, NTF , NTFM4, NTFM6, NTFX3, P89.., PCHSG, PCHSN, PNXCH, PNXSX, PRMCU, PTZAP, PXBSY, QAS , RCTO6, RJCO2, RTCXN, RTCXQ, RTVXH, RX7SO, S4841, S4843, S4847, S4857, S4859, S4PST, S4PSZ, S7VS6, S7VST, SCL , SCT , SD7MS, SD7SC, SDM25, SDM2F, SV7 , SVM , T1YAZ, T3S , TAX , TAXS6, TAXSN, TCC , TEEPN, TFA , TFASC, TFAST, TFSST, TFSSX, TL9AC, TL9AX, TL9AZ, TLAB1, TLAB3, TLAS1, TLAS2, TLAS3, TLASC, TLASG, TLASW, TNE2X, TNE4X, VUMAA, W3PBJ, W3PBT, WUPSN, L1VF8

07-12-12 CenturyLink has added one USOC to the original list - L1VF8.

07-12-12 CenturyLink will NOT be removing 1CP, 24MAB, 24MBC, 27ESX. 2EJAA, BOA, BZV, CUDXX, D8FS3, DHSCC, DHSSX, DHSSZ, DJFOO, DJG2S, EE8AX, ESK, ESX /, EWW, F84, FMRSC, GQD, KV2, KVW, L1V, L1VF8, MO6P, MO6Z, NNK /, NPB, PMKAE, PMKBE, PMKBF, RFNC1, RFNC2, RFNC3, RFNCA, RFNG1, RFNG2, RFNG3, RFNG4, RFNG5, RFNG6, RFNN1, RFNN2, RFNN3, RFNNA, RFNR1, RFNS1, RFNU1, RFNU2, RFNU3, RFNU4, RFNU5, RFNU6, SDM, SEA72, SEA92, SET, SJ63X, SR63X, TCJS6, TCJST, , TNEXX, TTP, UCDAZ, YYOAX, ZZZ

ORIGINAL DESCRIPTION: CenturyLink will be eliminating 330 billing USOCs across the 14 states.

These USOCs are:

13C1S, 18LA1, 18LSO, 1CP , 1FLPL, 1LFCK, 1LFOK, 1LFSK, 1M84X, 1M8OO, 1M8SX, 1M8WO, 24MAB, 24MBC, 255PC, 27EKT, 27ESX, 29F5J, 29O1J, 29O1R, 29OBJ, 2EGAB, 2EGO1, 2EH14, 2EH2O, 2EHAB, 2EHO1, 2EJA1, 2EJA2, 2EJAA, 2EJOO, 2HG , 2T3 , 38G , 38G28, 3KKVY, 43C , 45NF1, 48JA8, 48JO1, 48NAB, 48NDB, 48NDC, 4N9ST, 4OT , 4RC2A, 4TBXX, 4TGAB, 4TMG8, 4TMOO, 4TNAA, 4TNBA, 4TNNT, 4TNOC, 4TNSX, 4TO , 4TP , 59Y , 5LKSX, 8CJBT, 8QX28, 8QXKS, 96T , 96TAA, 96VAB, 96VO1, 96Y14, 96YAB, 96YDB, 96YO1, 96YSX, 98M35, 98MNI, 98MSC, A69SX, A6X , ACB , AMH , B1T , BECSK, BECSY, BFM , BMH , BOA , BP1AX, BP2AX, BZV , C16E6, C16V6, CBT99, CJD , CTY , CUDXX, CW1SX, CW9 , D2A2S, D56SX, D8D35, D8D81, D8DOT, D8DS1, D8DSX, D8FBX, D8FS1, D8FS3, D8FSX, DAZ17, DAZ25, DAZ33, DAZ99, DAZAA, DAZOO, DCMAA, DDX29, DGHOO, DGK , DGKAA, DGKST, DHSCC, DHSSX, DHSSZ, DJFOO, DJG2S, DJGA1, DJHO9, DL5SC, DLC25, DLC27, DLC49, DLCC4, DLCSX, DLJ18, DLJ23, DMVEX, DMZ , DNY2O, DP3OA, DQL99, DQLOO, DR5/R, DSDO1, DSEG8, DUXN4, E9B , ED7 , EE8AX, EJ9AX, ESCH3, ESK , ESN , ESX./, ETAXA, EWUS4, EWW , EXBJX, EXLCF, EXLCH, EXTSO, EZUC2, F84 , FMRSC, FO3NP, FVW5Q, FVW5Z, FVWKQ, G4888, GHA2O, GHB28, GHB2O, GQD , H2YFA, H2YFD, H3JT7, H5FDX, HOGO3, HOHTC, HOLPE, HOPTF, HOQ , HUJ , HUJSW, IN501, JK94P, JKHDR, JKHSX, JKWS4, JKWS6, JKWSB, JKWST, JKWSX, K1JXX, K59 , K5B2X, K5BST, K5BSX, K6HS6, K6HSX, KEMCB, KEMCM, KU2SK, KV2 , KVW , L1VF8, LPDXG, LPZXJ, LTG , LTTDA, LXP2X, LXP4X, LXPXX, MAW , MBZSC, MCL15, ME5 , MO6P , MO6Z , MPL , MPQSX, MRAGC, MWXSX, NDS , NF2WA, NF2WB, NF2WC, NF2WD, NNK /, NPB , NTF , NTFM4, NTFM6, NTFX3, P89.., PCHSG, PCHSN, PMKAE, PMKBE, PMKBF, PNXCH, PNXSX, PRMCU, PTZAP, PXBSY, QAS , RCTO6, RFNC1, RFNC2, RFNC3, RFNCA, RFNG1, RFNG2, RFNG3, RFNG4, RFNG5, RFNG6, RFNN1, RFNN2, RFNN3, RFNNA, RFNR1, RFNS1, RFNU1, RFNU2, RFNU3, RFNU4, RFNU5, RFNU6, RJCO2, RTCXN, RTCXQ, RTVXH, RX7SO, S4841, S4843, S4847, S4857, S4859, S4PST, S4PSZ, S7VS6, S7VST, SCL , SCT , SD7MS, SD7SC, SDM , SDM25, SDM2F, SEA72, SEA92, SET , SJ63X, SR63X, SV7 , SVM , T1YAZ, T3S , TAX , TAXS6, TAXSN, TCC , TCJS6, TCJST, TEEPN, TFA , TFASC, TFAST, TFSST, TFSSX, TL9AC, TL9AX, TL9AZ, TLAB1, TLAB3, TLAS1, TLAS2, TLAS3, TLASC, TLASG, TLASW, TNE2X, TNE4X, TNEXX, TTP , UCDAZ, VUMAA, W3PBJ, W3PBT, WUPSN, YYOAX, ZZZ.

3-16-12 Update: There are three customers that have the USOC MPL. The remainder of these USOCs do not have any customers.


Status History


Project Meetings

09/19/12 Product/Process CMP Meeting Mark Coyne - CenturyLink said the effective date for both CRs was 8/31/12 and that both are in CLEC Test and we would like to move them to Completed. There were no objections.

08/15/12 Product/Process CMP Meeting Mark Coyne - CenturyLink said the Level 4 final notices for both CRs are due 8/16/12 with a planned effective date of 8/31/12 for both.

07/18/2012 Monthly CMP Prod/Proc Meeting Mark Coyne - CenturyLink recapped the Change Request, stated that the title and description and been revised, and asked Lee Brummett to provide an update.

Lee Brummett – CenturyLink provided an update on these two CRs stating that the effective date of August 31, 2012.

Mark Coyne – CenturyLink stated that the Level 4 notice on these was scheduled for July 19, 2012.

Kim Isaacs – Integra asked if a clean list of USOCs would be included with the notice.

Susan Lorence – CenturyLink asked for clarification that the CLECs would rather see the list as depicted in the package or as a final list with only the affected USOCs listed.

Kim Isaacs – Integra asked for a clean list.

06/20/2012 Monthly CMP Prod/Proc Meeting Lee Brummett – CenturyLink provided an update on these two CRs stating that the final list of USOCs would be available for the July monthly meeting and that the Level 4 notice would be sent afterwards with an effective date of August 31, 2012.

Mark Coyne – CenturyLink asked if there were any questions. There were none.

05/16/12 Product Process Monthly Meeting Mark Coyne – CenturyLink relayed that a NOTE had been included on the list of USOCs on the second CR to clarify discussion from the prior monthly meeting and read the following Note: IF A USOC APPEARS IN THE DEFINITION COLUMN THAT IS DIFFERENT FROM THE USOC IN COLUMN 2, CENTURYLINK IS PROVIDING ABBREVIATED USOC AS A GENERAL REFERENCE. THIS IS NOT AN INDICATION THAT THE ABBREVIATED USOC IS BEING REMOVED. Mark said the SME team is continuing to review the list of USOCs and do not yet have an effective date. When we do have an actual date, the normal notification process will be followed. Mark asked if there were any questions. There were none.

4/18/12 Product Process Monthly Meeting Mark Coyne – CenturyLink advised that a list was included in the package. He relayed there were questions last month regarding the definitions and that the SME team has included an update in the package. Lee Brummett – CenturyLink added that the list is still being cleaned up and there is not a concrete date for the grandfathering or making the USOCs obsolete. If any changes are needed to any accounts, CenturyLink will work with the individual CLECs to make those changes. Kim Isaacs – Integra stated that they had concerns that there were USOCs on the list that were indicated as not found, yet were in PCATs. She said Integra has customers for some of these USOCs, for example, the ESX USOC, Call Waiting. Lee Brummett – CenturyLink clarified that the ESX USOC itself is not being removed, but rather those with additional characters such as “ESX /” and “NNK /”. The ESX and NNK USOCs would remain, but others such as the example given were being addressed and would be removed. Kim Isaacs – Integra noted that the list did include that ESX = Call Waiting next to “ESX /”. Mark Coyne – CenturyLink indicated that was to let the CLEC community know what service or feature the basic USOC described, but that the feature or service itself was not being eliminated. Bonnie Johnson – Integra asked if it could be assumed that if any CLEC had “ESX /” on a CSR, it would be changed to reflect “ESX”. Lee Brummett – CenturyLink stated that was correct. Susan Lorence – CenturyLink stated that in the future, CenturyLink would add a note to the USOC lists to clarify why the general USOC definition was included.

3/21/12 Product Process Monthly Meeting Lee Brummett – CenturyLink stated that CenturyLink will be eliminating 330 billing USOCs across the 14 states and that there were three customers that have the USOC MPL. That specific USOC will be replaced with another as soon as the replacement code is determined.

Kim Isaacs – Integra stated that the USOCs all had “definition unknown” but that there were familiar USOCs on the list: NDS, NNK, and some RTB USOCs. (4/2/12 Updates received from Integra in CAPS) KIM SAID SHE WAS SURE SOMEONE HAD CALLER ID.

Janean Van Dusen – CenturyLink stated that she wasn’t sure why the list stated that there was no definition except that in the look-up table it was not defined.

Bonnie Johnson – Integra confirmed that they looked familiar to her (4/2/12 Updates received from Integra in CAPS)AND CONFIRMED THAT ESX WAS CALL WAITING FOR ALL 14 STATES IN CL’S USOC FINDER.

Susan Lorence – CenturyLink stated that CenturyLink would work to get a revised list and include it with the meeting minutes if possible.

Mark Coyne – CenturyLink asked Lee if the date of elimination of these USOCs was undetermined.

Lee Brummett – CenturyLink said that was true.


Open Product/Process CR PC071312-1 Detail

 
Title: Elimination of Call Queuing
CR Number Current Status
Date
Area Impacted Products Impacted

PC071312-1 Completed
10/17/2012
Call Queuing
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink is planning on eliminating the Call Queuing product. This product is available in all 14 states.

Call Queuing is an Advanced Intelligent Network (AIN) product that provides end-users with the ability to offer callers, who would normally reach a busy signal or voice mail, the opportunity to stay on the line (in queue) and have their call answered in person.

Customer documentation is available at http://www.centurylink.com/wholesale/clecs/features/callqueuing.html.

There are currently no Resale customers that have this product.


Status History


Project Meetings

10/17/12 Product/Process CMP Meeting Mark Coyne – CenturyLink said the effective date for the level 2 notice was 10/2/12. There were no (10/26/12 Updates received from Integra in CAPS) WHOLESALE customers. Mark said the CR is in CLEC Test and we would like to move the CR to Completed status.

There were no comments.

09/19/12 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR was presented in July. CenturyLink had proposed sending the customer notice as a level 2 since there were no customers and there were no objections. Mark relayed the tariff effective date for elimination is 10/1/12 but CenturyLink did not send the notice in time so the documentation update will be effective October 2, 2012. Mark relayed again there were no customers.

08/15/12 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed the CR was presented last month. Because there were no customers, CenturyLink had proposed sending the customer notice as a level 2 and there were no objections. Mark relayed the planned effective date for elimination is 10/1/12 so the initial notice will go out early September.

07/18/12 Product/Process CMP Meeting Mark Coyne – CenturyLink stated that this was a walk-on item.

Lee Brummett – CenturyLink presented the CR and indicated that this product would be eliminated in all 14 States. There are no Resale customers with this product. The effective date for elimination is October 1, 2012.

Mark Coyne – CenturyLink asked if Lee was proposing a Level 2 request since there were no customers.

Lee Brummett – CenturyLink agreed.

Mark Coyne – CenturyLink asked if there were any objections from CLECs that this be presented as a Level 2 change. There were none.


Open Product/Process CR PC073112-1 Detail

 
Title: Retirement of MOE UNI Combinations – TLS to SPP and TLS to SMP
CR Number Current Status
Date
Area Impacted Products Impacted

PC073112-1 Completed
12/12/2012
Metro Ethernet
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Hansen, John

Description Of Change

08/15/12 REVISED Description

Eliminating combinations of EVCs and UNIs services as a result of Network changes, specifically the EVCs connecting a TLS UNI combined with Service Provider Ports (SPP) or TLS UNI combined with Service Multiplexer Ports (SMP). No Moves, Adds, or Changes on these existing service configurations. Repair will continue to operate business as usual.

Original Description of Change: Eliminating combinations of UNI services as a result of Network changes, specifically the TLS UNI combined with Service Provider Ports (SPP) or TLS UNI combined with Service Multiplexer Ports (SMP).


Status History


Project Meetings

12/12/12 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR had an effective date of 11/17/12 and that we would like to move the CR to a Completed status. There were no objections.

11/14/12 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed the level 4 retirement notice was sent on 11/2/12 with an effective date of 11/17/12. There were no CLEC comments. A Technical Publication notice was sent on 11/02/12 also with an effective date of 11/17/12. Mark said CenturyLink would move the CR into CLEC Test on that date and would review the CR in December.

10/17/12 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed the level 4 retirement notice was sent on 10/3/12 with an effective date of 11/17/12. A Technical Publication notice will be sent on 11/02/12 also with an effective date of 11/17/12. Mark relayed there are wholesale customers on this product.

09/19/12 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed this CR was presented last month and subsequently revised the same day. Mark said the CR was revised to include EVCs combinations and also included the following statement: No Moves, Adds, or Changes on these existing service configurations. Repair will continue to operate business as usual. Mark said there is also a revised effective date which will now be mid November 2012. There will be two notices that are distributed associated with this CR – a level 4 retirement notice and additionally a Technical Publication notice. Mark asked if there were any questions. There were none.

08/15/12 Product/Process CMP Meeting Lee Brummett – CenturyLink presented the CR. Lee said he will be revising this CR to include EVCs combinations. NOTE: CR WAS REVISED ON 8/15/12. REVISIONS ARE AVAILABLE AT http://www.centurylink.com/wholesale/cmp/cr/CRPC073112-1.html. The revision includes the following statement: No Moves, Adds, or Changes on these existing service configurations. Repair will continue to operate business as usual.

Kim Isaacs – Integra asked what “retirement” means. She asked if “retirement” means the current combinations can remain on an account. She asked how this impacts moves/add/changes and if a configuration exists and a change is required, will customers be required to remove the combination.

Lee Brummett – CenturyLink said yes, current combinations that exist today can remain on an account. He said he will need to verify what occurs if there are moves, adds or changes and provide that information later. He said what exists today can stay. Lee said the planned effective is October 15, 2012.

Kim Isaacs – Integra asked what the volumes are and what the business reason was for the change. Lee Brummett – CenturyLink said he did not know the volumes but that there are wholesale customers. Lee said the equipment is no longer supported for these combinations.

Mark Coyne – CenturyLink said we will then keep this as a level 4 notification.

Susan Lorence – CenturyLink asked if we can include the information in the meeting minutes as well as updating the CR. There were no objections.

Kim Isaacs – Integra asked if something happens to the equipment, will it be supported or require a change out.

Lee Brummett – CenturyLink said existing connections will be supported but that he will validate whether there was enough equipment if something happens to an existing combination. Mark Coyne – CenturyLink asked if there were any questions. There were none.


Open Product/Process CR PC090612-1 Detail

 
Title: Collocation Transfer of Responsibility Spreadsheet
CR Number Current Status
Date
Area Impacted Products Impacted

PC090612-1 Completed
12/12/2012
Collocation
Originator: Morlan, Sue
Originator Company Name: CenturyLink
Owner: Morlan, Sue
Director:
CR PM: Hansen, John

Description Of Change

Collocation - Transfer of Responsibility Spreadsheet. The Transfer of Responsibility Spreadsheet has been updated to include the following products: LSR Type Circuits, LIS Facilities and Trunks, and ACESS – Private Line Circuits.


Status History


Project Meetings

12/12/12 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR had an effective date of 11/5/12. There were questions in the November meeting and the CR was left open. Mark said we would like to move the CR to a Completed status. There were no objections.

11/14/12 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed the level 4 final notice was sent on 10/19/12 with an effective date of 11/5/12. There were no CLEC comments. Mark said the CR is in CLEC Test and we would like to move the CR to Completed status.

Kim Isaacs – Integra said she would like to confirm that the only change on this CR was to combine the ASR and LSR products on the one spreadsheet.

Mark Coyne – CenturyLink said that is what he thought as well but we will confirm that with the originator.

Susan Lorence – CenturyLink asked if the response to Kim’s question could be included in the meeting minutes.

Kim Isaacs – Integra said yes. FOLLOW-UP NOTE: Sue Morlan – CenturyLink provided the following response after the CMP call. The only change that was made to the Transfer of Responsibility Spreadsheet was to add LIS Facilities and Access Private Line Circuits products to it. There were no other changes made to the process or products.

10/17/12 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed the level 4 initial notice was sent on 9/20/12 and had a comment cycle that ended on 10/5/12. There were no CLEC comments. The final notice is due 10/19/12 with an effective date planned for 11/5/12.

09/19/12 Product/Process CMP Meeting Sue Morlan – CenturyLink presented the CR. She said the spreadsheet currently has one tab and that the CR is proposing that new tabs will be added for additional products, e.g., Private Line Circuits.

Kim Isaacs – Integra said per the CR description, the spreadsheet was also to include LIS Facilities and Trunks.

Sue Morlan – CenturyLink said the current spreadsheet is out of date.

Kim Isaacs – Integra said today (10/1/12 Updates received from Integra in CAPS) THE PROCESS IS TO [delete THEY] submit separate spreadsheets and asked if the new process is to put them all on the same spreadsheet.

Sue Morlan – CenturyLink said yes – all on the same spreadsheet is the intent which will make it easier. Sue asked if there were any other questions; there were none.

Mark Coyne – CenturyLink said the level 4 notice would be sent 9/20/12 with an 11/5/12 effective date.


Open Product/Process CR PC092712-1 Detail

 
Title: Discontinue Frame Relay Service Term plans
CR Number Current Status
Date
Area Impacted Products Impacted

PC092712-1 Withdrawn
1/16/2013
Resale
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink will discontinue the offering of Frame Relay Service term plans that are longer than 12 months.


Status History


Project Meetings

1/16/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR was discussed last month. The CR had been placed in a Pending Withdrawal status and that CenturyLink would like to move it to Withdrawn. Mark asked if there were any additional questions. There were none.

12/12/12 Product/Process CMP Meeting Mark Coyne – CenturyLink said that last month a question had been raised about a product resale notice. Mark relayed a reseller notice was sent on 11-15-12 to relay that at this time, CenturyLink no longer plans to discontinue the offering of FRS term plans that are longer than 12 months. Mark asked if there were any additional questions. There were none.

11/14/12 Product/Process CMP Meeting Mark Coyne - CenturyLink said the original plan was for CenturyLink to send the level 4 notice for this CR with a planned effective date of 11/17/12 but that the effective date is still being determined. There are wholesale customers so this will remain a level 4 notification.

Lee Brummett – CenturyLink said he had no further update on the effective date at this time.

Kim Isaacs – Integra said she thought a notice had been distributed on this product change with an effective date of 11/17/12.

Lee Brummett – CenturyLink said a reseller notice had been sent but that date had been changed.

Kim Isaacs – Integra said no notice had been sent and Integra was still under the assumption the change was to occur. Kim requested a follow-up notice be sent. Lee Brummett – CenturyLink said he would check.

Mark Coyne – CenturyLink asked if there were any other questions. There were none.

FOLLOW-UP NOTE: A reseller notice was sent on 11-15-12 to relay that CenturyLink no longer plans to discontinue the offering of FRS term plans that are longer than 12 months at this time. See Notice number PROD.RESL.11.15.12.F.10696.MOEFR14States.

10/17/12 Product/Process CMP Meeting Lee Brummett - CenturyLink presented this new CR. Lee said that CenturyLink was initially looking at an effective date of Mid November but said that date may change. Mark Coyne - CenturyLink asked if there were any questions. He said there were wholesale customers so this would be issued as a level 4 notification.


Open Product/Process CR PC032613-1 Detail

 
Title: Eliminate Scan Alert USOCs in WA & OR
CR Number Current Status
Date
Area Impacted Products Impacted

PC032613-1 Completed
5/21/2014
Scan-Alert
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Hansen, John

Description Of Change

CenturyLink will be eliminating Scan Alert in WA & OR. CenturyLink will not offer a replacement product. The following USOCs will be eliminated: ASP, SNK, SEPSB, NR9SA, REAFO. The target implementation date is July 31, 2013.

6-12-13 UPDATE: The most current effective date for the withdrawal of Scan Alert is now AUGUST 31, 2013.

7-16-13 UPDATE: Effective August 31, 2013, Scan Alert will be grandfathered in the states of Oregon and Washington. Effective December 1, 2013 Scan Alert will be eliminated in the states of Oregon and Washington.


Status History


Project Meetings

5/21/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR has been in CLEC Test since August 31, 2013 when it was grandfathered in Washington and Oregon. The product was terminated as of April 30, 2014 and orders were written for any last remaining customers. Mark said we would like to move the CR to Completed status. He asked if there were any objections. There were none.

4/16/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR remains in CLEC Test. The Scan Alert product was grandfathered in Washington and Oregon effective last August 31, 2013. The product will be eliminated as of April 30, 2014. On April 21, 2014, CenturyLink will send a level 1 courtesy reminder notice that Scan alert will be terminated as of April 30, 2014.

3/19/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR remains in CLEC Test. The product grandfathering effective date in Washington and Oregon was August 31, 2013 and the product will be eliminated as of April 30, 2014. CenturyLink pulled a list of remaining customers mid March. Any accounts with the product will be contacted by their Service Manager. CenturyLink will send a level 1 notice as a reminder that Scan Alert will be terminated April 30, 2014. Mark asked if there were any questions. There were none.

2/19/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR remains in CLEC Test. The product grandfathering effective date in Washington and Oregon was August 31, 2013 and the product will be eliminated as of April 30, 2014. CenturyLink will be pulling a list of remaining customers in early March. CenturyLink will send a level 1 notice at the end of April as a reminder that Scan Alert will be terminated April 30, 2014. Mark asked if there were any questions. There were none.

Discussion following coverage of CR PC090413-1 Laurie Roberson – Integra asked if CenturyLink would be pulling another list of Scan Alert USOCs to see what remains. Laurie said she thought they had removed all of theirs but would like a checkpoint.

Susan Lorence – CenturyLink said CenturyLink plans to pull the Scan Alert list again in March and will send the results through Service Management.

1/15/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR remains in CLEC test. CenturyLink will be pulling a customer list in March to see what customers still have the product. We will send a level 1 notice to customers toward the end of April as a reminder that Scan alert will be terminated as of April 30, 2014. Mark asked if there were any questions. There were none.

12/11/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR remains in CLEC test. The planned effective date to grandfather the product in WA and OR was August 31, 2013 with a revised plan to eliminate the product now as of April 30, 2014. Notification of this revised date was sent in November. Mark said CenturyLink will send a level 1 notice to customers at the end of April to provide a reminder that Scan alert will be terminated as of April 30, 2014.

Kim Isaacs – Integra asked if CenturyLink will provide another report of customer accounts to see if any Scan alert USOCs remain. Kim said she thought Integra had addressed all of their accounts but would appreciate confirmation.

Mark Coyne – CenturyLink said CenturyLink will provide another list of any Scan alert USOCs that remain in the early March timeframe.

11/20/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said the effective date for grandfathering was August 31, 2013 with the plan to eliminate the Scan alert product as of December 1, 2013. On November 15, 2013, a regulatory notice and a revised CMP final notification was also sent that extends the product elimination date for both Washington and Oregon until April 30, 2014. In regard to the Final notice for the Tech Pub 77333, Mark said that the final notice was also sent last Friday. CenturyLink is continuing with the removal of the Tech Pub 77333 as of December 1, 2013 since no new scan alert products could be ordered since August 31, 2013. Mark said CenturyLink will send a level 1 reminder notice to customers around the end of April to remind customers that Scan alert will be terminated as of April 30, 2014. Mark asked if there are any questions. There were none.

10/16/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said the status for this Change Request is the same as last month. The CR is in CLEC Test. The effective date for grandfathering was August 31, 2013. CenturyLink will send a level 1 reminder notice to customers on November 27 to remind customers that Scan alert will be terminated as of December 1, 2013.

Laurie Roberson – Integra asked since December 1, 2013 is a Sunday, will the product stop working on Monday, December 2.

Lee Brummett - CenturyLink said he believes it is December 1. He said he would validate that and CenturyLink would include the information in the meeting minutes.

NOTE: Following the CMP call, Lee Brummett - CenturyLink confirmed that the product will not stop working on December 1. CenturyLink will begin writing the disconnect orders with a December 2 due date for any accounts that still have the Scan alert product.

09/18/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR has been moved to CLEC Test as of the planned effective date of August 31, 2013 for grandfathering Scan Alert in Washington and Oregon. Scan Alert will then be eliminated in these states as of December 1, 2013. Mark said a current list of impacted customers has been distributed by the service management team. Janean Van Dusen – CenturyLink confirmed that the list had been sent by Service mangers to impacted customers.

Kim Isaacs – Integra confirmed she had received the list.

Al Finnell – Windstream also confirmed the list had been received.

Mark Coyne – CenturyLink said a level 1notice would be sent on November 27 to remind customers that Scan alert will be terminated as of December 1.

08/21/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said the planned effective date for grandfathering is August 31, 2013 and that Scan Alert will be eliminated in Washington and Oregon with an effective date of December 1,2013. Mark said CenturyLink will send a level 1 notice to customers on November 27 to remind customers that Scan alert will be terminated as of December 1.

Kim Isaacs – Integra asked whether CenturyLink Service Managers would send out a list of customers that still had the product and to insure that no new customers had added the product before the grandfather effective date as of August 31.

Mark Coyne – CenturyLink said we would follow-up to have another list sent out after the August 31 date.

07/17/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said the planned effective date is August 31, 2013 however, CenturyLink now plans to grandfather services as of August 31 instead of terminating the service as of that date. Scan alert in Washington and Oregon will now be eliminated with an effective date of December 1, 2013. CenturyLink will send the initial Level 4 notice on July 19; the notice will indicate both the August 31 date to grandfather the product and the December 1 date to eliminate the product. Mark said CenturyLink will also send a level 1 notice to customers on November 27 to remind customers that Scan alert will be terminated as of December 1.

Kim Isaacs – Integra asked whether CenturyLink would continue to accept only disconnect orders as of August 31 and asked if the service would continue to work. She said retail flyers were sent in Washington that the service was going away and asked if additional notice will be sent.

Mark Coyne – CenturyLink said disconnect orders would continue to be accepted. He said we will check on whether another Washington notice will be sent and would include that information in the meeting minutes if possible. Mark asked if there were any other questions. There were none.

FOLLOW-UP NOTE: At this time, CenturyLink Retail does not plan on sending any additional update in Washington until possibly the November timeframe.

06/19/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said the revised planned effective date is now August 31, 2013. The initial level 4 notice will be sent around July 17. Mark relayed a Resale notification was sent on April 23.

Kim Isaacs – Integra asked whether the resale notice will be updated with the new date.

Mark Coyne– CenturyLink said we typically do not renotice with the change in date. He said the resale notices include the statement “This is to advise you of changes to a CenturyLink retail service offering. Please be advised that retail offers that are subject to Commission approval may change. Resellers should monitor filings since CenturyLink will not provide notification of changes.”

05/15/13 Product/Process CMP Meeting Susan Lorence – CenturyLink said the CR was presented by Lee Brummett in April and that there had been quite a bit of discussion around the notification process and identification of impacted customers.

Lee Brummett – CenturyLink relayed that a Reseller notification had been sent on April 23. Lee also relayed that the list of impacted customers had been sent out on April 18 to Service Managers and that the effective date now appears as if it will be mid August vs. July 31.

Kim Isaacs – Integra asked whether the notice will be sent as a level 4 change.

Susan Lorence– CenturyLink said it would be a level 4 since there are customers.

Kim Isaacs – Integra asked why there was a change in the effective date.

Lee Brummett – CenturyLink said the change in effective date was due to CenturyLink system and order work that needed to be completed.

Kim Isaacs – Integra asked if the alarm companies have been notified. She asked if the retail side had contacted the alarm companies.

Lee Brummett – CenturyLink said Wholesale has not notified the alarm companies but the retail side had contacted them.

Susan Lorence– CenturyLink asked if there were any questions. There were none.

04/17/13 Product/Process CMP Meeting Lee Brummett – CenturyLink presented the new CR. Lee said there will not be a replacement product and there is a list of USOCs associated with this product elimination. The planned effective date is July 31, 2013.

Kim Isaacs - Integra asked the difference of the product being eliminated vs. grandfathered and asked if customers will actually be taken down.

Lee Brummett – CenturyLink said the product is being eliminated. Lee said customers can contact the existing alarm providers to request cellular back up.

Kim Isaacs - Integra identified that the timeline and logistics to make changes and to contact customers for this type of product was tight.

Curtis Ashton – CenturyLink asked if the scenario was that the CLEC buys alarm transport from CenturyLink.

Janean Van Dusen – CenturyLink said yes.

Curtis Ashton – CenturyLink said there was reference to using a cellular modem instead but said some more internal discussion needs to talk place as cell phones are currently not allowed in the Central Office.

Kim Isaacs - Integra said in this instance the service is provided to the end user and asked if the modem would be located at the end user location or the Central Office.

Lee Brummett – CenturyLink said he thought the equipment was at the end user site.

Kim Isaacs - Integra asked the number of wholesale customer that have this product. She thought Integra had some.

Janean Van Dusen – CenturyLink said there were less than 200 in Wholesale.

Nancy Taylor - Integra asked for the list of customers within each impacted company.

Mark Coyne – CenturyLink said there was approximately 90 days before the product was being eliminated and asked when the CMP notice would be distributed.

Susan Lorence – CenturyLink said the CMP Level 4 notice timeline for this is 45 days. We will get the list of impacted customers to each Service Manager so they can work with their customers. Susan said we may set up an ad hoc call to discuss the process.

Mark Coyne – CenturyLink said the notice would go out mid June.

Kim Isaacs - Integra said she was concerned if things did not get moved to wireless that alarms could go down. She said getting the list of accounts to start work with customers was important so the customer could then contact their alarm service. The alarm service then needs to take action which can all take time.

Janean Van Dusen – CenturyLink said the alarm companies on the retail side are being notified that this is coming and that the service has been failing for years. Janean relayed the vendor no longer provides equipment and there are no replacement parts.

Kim Isaacs - Integra said she agreed it has been failing for awhile but some customers are less savvy and may not have a good reason to change. The CLEC may not have a wireless service where they are.

Mark Coyne – CenturyLink said we would provide the list of customers and get an ad hoc call together if necessary.

Kim Isaacs - Integra said a 90 day notice was required and she was not comfortable to take systems off line causing security systems and alarms to fail.

Susan Lorence – CenturyLink said we have the concerns captured and if we have additional information or follow-up, we will provide that in the meeting minutes. The customer lists will be distributed through each Service Manager.

Kim Isaacs - Integra asked what the regulatory requirements were to notify customers and indicated that may be different per state.

Janean Van Dusen – CenturyLink said that is the reason for these Wholesale notices through CMP and that we are not notifying end users. [NOTE: The customer lists for this product have been provided to Service Managers to share with impacted companies.]

Kim Isaacs - Integra said if Integra has to notify their end users, a certain amount of advance notice is required especially if the service is eliminated. Kim said she was concerned current timing may not allow enough advance notice to occur.

Mark Coyne – CenturyLink asked if Kim was asking for someone from CenturyLink to investigate notification timelines.

Kim Isaacs - Integra said she will investigate date requirements but that the schedule must include the regulatory requirements.

Mark Coyne – CenturyLink asked if there were any questions. There were none.


Open Product/Process CR PC050113-1 Detail

 
Title: Eliminate Free DA Call Allowance in AZ
CR Number Current Status
Date
Area Impacted Products Impacted

PC050113-1 Completed
8/21/2013
Directory Assistance
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink will be eliminating the one free call allowance for Directory Assistance in Arizona. The planned effective date is Aug 1, 2013.


Status History


Project Meetings

8/21/13 Product/Process CMP Meeting Mark Coyne– CenturyLink relayed that the planned effective for this CR was August 1, 2013 and that the CR is in CLEC Test. No CLEC comments were received during the Comment cycle. Mark said we would like to move this CR to a Completed status. There were no objections.

7/17/13 Product/Process CMP Meeting Mark Coyne– CenturyLink relayed that this CR was presented in the May meeting. The Level 4 CMP notice was sent in June. No CLEC comments were received. The final notice will go out on July 17 with an effective date of August 1, 2013.

6/19/13 Product/Process CMP Meeting Mark Coyne– CenturyLink relayed that this CR was presented last month and that a Level 4 CMP notice will go out today, June 19, with an effective date of August 1, 2013.

5/15/13 Product/Process CMP Meeting Lee Brummett – CenturyLink presented this new CR which has an effective date of August 1, 2013.

Susan Lorence– CenturyLink relayed that this will be a level 4 CMP notice that will be sent mid June.


Open Product/Process CR PC073113-1 Detail

 
Title: Eliminate default to live operator feature for Intercept
CR Number Current Status
Date
Area Impacted Products Impacted

PC073113-1 Completed
2/18/2015
Resale Intercept
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink will be eliminating the default live operator functionality for Intercept Service in Iowa, Minnesota, Nebraska, North Dakota, and South Dakota. The intercept platform is manufacture discontinued and CenturyLink is upgrading to new technology. This live operator functionality was previously discontinued in the other legacy Qwest states when the intercept platform was upgraded in 4th quarter 2010.

Expected Deliverables/Proposed Implementation Date: These changes will be phased in by state/lata between late November 2013 through March 2014.


Status History


Project Meetings

2/18/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said CenturyLink had migrated the last state of Nebraska from the live operator feature as of February 13, 2015. Effective as of that same date, a Level 1 notification was sent to synch up documentation and remove the related wording in the PCAT. Mark said we would like to move this CR to a Completed status and asked if there were any objections. There were none.

1/21/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said the Migration for Iowa, North Dakota, South Dakota and Minnesota has been completed. Mark said the it was determined that the planned Nebraska migration end date was not going to be met so a time critical correction notice was sent January 20, 2015 to update the Nebraska Migration Completion date to be February 13, 2015. Mark asked if there were any questions. There were none.

12/17/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR remains in CLEC Test. Mark said the Migration for Iowa, North Dakota and South Dakota has been completed. Mark said the Minnesota migration dates to default to a live operator for Intercept were incorrect in our PCAT matrix and a notice was sent on December 12, 2014 to correct the Minnesota Migration Start Date to be December 4, 2014 and the Minnesota Migration Completion date to be January 6, 2015. In the November CMP monthly meeting, we relayed the SME team was looking at moving the state of Nebraska migration into 2014. That will not occur afterall. As indicated in the matrix, Nebraska will start on January 7, 2015 and end no later than January 23, 2015.

11/19/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR remains in CLEC Test. Mark said the Migration for Iowa and North Dakota has been completed and South Dakota is on track to complete December 3 or earlier. The date for Minnesota for the migration to be completed is December 10. Mark said the SME team has indicated that they may move the state of Nebraska up to 2015 from a January 7, 2014 start date. If that is the case, a notice will be forthcoming.

10/15/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR has been in CLEC Test since December 2, 2013 and the status the same as last month. With the notice sent in August, some migration Start and Completion Dates were revised as well as the states of Minnesota and Nebraska were moved to be the last states to migrate. The list of specific migration dates are in the Intercept PCAT.

9/17/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR has been in CLEC Test since December 2, 2013. A notice was sent on August 22, 2014 to revise the Migration Start Dates and Migration Completion Dates and change the order of the migrations moving Minnesota and Nebraska to the end.

8/20/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR has been in CLEC Test since December 2, 2013. A notice was sent mid June to relay a delay of 90 days in the migration start dates. Mark said CenturyLink would be sending another Level 1 notice in the next few days to further revise the timeline for the Eastern states in the Intercept PCAT.

Kim Isaacs – Integra asked if the OS DA date delays are associated with problems in the CenturyLink IP platform.

Mark Coyne – CenturyLink said he could not answer that and that no SMEs were on the call but that we would include a response in the meeting minutes.

NOTE – CMP CALL FOLLOWUP: Per the CenturyLink SME team, the new CenturyLink OS/DA network, including the conversion to IP signaling, is very large and complicated due to the number of End offices involved and trunking requirements. The design, engineering and provisioning processes have taken somewhat longer than originally anticipated.

7/16/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR has been in CLEC Test since December 2, 2013. A notice was sent June18, 2014 to relay that the migration start dates were pushed out by approximately 90 days. Mark said all eastern state timelines had been revised and the revised timeline is included in the Intercept PCAT. The examples of Iowa and South Dakota were provided that they would be completed October 9, 2014 and November 11, 2014 respectively. Mark asked if there were any questions. There were none.

6/18/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR has been in CLEC Test since December 2, 2013. He said a notice had been sent to relay that the migration start dates have been pushed out by approximately 90 days and provided the example of Iowa which now has a migration Start Date of September 30, 2014. He said all eastern state timelines are being revised and the revised timeline will be included in the Intercept PCAT.

5/21/2014 Product/Process CMP Meeting Mark Coyne – CenturyLink said the status is the same as last month. This CR has been in CLEC Test since December 2, 2013 and will remain there until October 20, 2014 when South Dakota completes migration. Mark said the first state to begin migration is Iowa which will begin on June 26, 2014. All eastern state timelines were revised and the revised timeline has been included n the Intercept PCAT. Mark asked if there were any questions. There were none.

4/16/2014 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR has been in CLEC Test since December 2, 2013. The CR has a new completion date of October 20, 2014. Mark said the migration for Iowa was to begin on March 17 but CenturyLink sent a notice in March relaying a delay to the migration start date for the five states. Iowa will now begin migration as of June 26, 2014. Mark said the state migration timelines were revised and has been included in the PCAT.

3/19/2014 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR has been in CLEC Test since December 2, 2013 and will remain there until June 16, 2014. Mark said the migration for Iowa began March 17 and is expected to be completed April 11. The detailed dates for the other eastern states are in a table in the Intercept Services PCAT. CenturyLink will send a Level 1 notice to remove the “live operator” intercept language and the state implementation table from the PCAT when the last state has migrated.

2/19/2014 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR will remain in CLEC Test until June 16, 2014 when the last state of South Dakota is migrated from the live operator feature. The detailed dates for the Eastern region state migration are included in a matrix in the Intercept Services PCAT. Mark said once the final implementation date is reached, CenturyLink will send a Level 1 notice to remove the “live operator” intercept language and the state implementation table from the PCAT.

1/15/2014 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR has been in CLEC Test since December 2, 2013 and will remain there until June 16, 2014 when the last state of South Dakota is migrated from the live operator feature. The detailed dates for the Eastern region state migration are included in a matrix that is in the Intercept Services PCAT. Mark said once the final implementation date has passed, a Level 1 notice will be sent to remove the “live Operator” intercept language and the state implementation table from the PCAT.

12/13/2013 Product/Process CMP Meeting Mark Coyne – CenturyLink said the final notice was sent November 15 and the CR was moved to CLEC Test on December 2. The CR will stay in CLEC Test until June 16, 2014 when the last state of South Dakota is migrated from the “live operator” feature. Mark said that once South Dakota has migrated, a Level 1 notice will be sent to remove the “live operator” intercept language and the state implementation table from the PCAT.

11/20/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said the Level 4 initial notice was submitted on October 17, 2013. It included the plan for staggered elimination dates for Intercept services default to a live operator on a state by state basis. Mark relayed the effective dates that were included in the initial notice began with Iowa effective December 2, 2013 and extended thru April 3, 2014 for the last state of South Dakota. The final notice was due last Friday, November 15 and it was sent with a revised matrix that relayed that the elimination dates have been postponed until a start date of March 17, 2014 for Iowa and ending in South Dakota effective June 16, 2014. Mark said the effective date of December 2 will remain for the Intercept Services PCAT. The PCAT is being updated to include the detailed list of revised effective dates on a state by state basis. Once the final implementation date has passed for the last state, a Level 1 notice will be sent to remove from the PCAT the “live Operator” intercept language and the state implementation table. Mark asked if there were any questions; there were none.

10/16/13 Product/Process CMP Meeting Lee Brummett – CenturyLink said the plan to implement this Change Request is to submit a level 4 notice that will include a Notice timeline that shows an effective date for the first state that the live operator feature will be eliminated. CenturyLink will also include a table in the PCAT that provides the phased implementation date by state. Lee said the effective dates range by state from early December 2013 through early April 2014. Once the final implementation date has passed for the last state, a Level 1 notice will be sent to remove the intercept language and the state implementation table from the PCAT.

Kim Isaacs – Integra asked if the implementation is a whole state at a time.

Lee Brummett – CenturyLink said yes.

Susan Lorence – CenturyLink said we will not send a CMP notice for each state but will send one notice that includes a matrix with the phased state implementation dates.

09/18/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was presented last month. Mark said one level 4 notice will be going out soon. The notice would include phased implementation dates by state/lata starting between late November 2013 ending through March 2014. He said the effective dates are still being determined.

Lee Brummett – CenturyLink said that was correct.

8/21/13 Product/Process CMP Meeting Lee Brummett – CenturyLink presented the new CR that eliminates the live operator feature in Nebraska, Minnesota, North Dakota, South Dakota and Iowa. Lee said this capability was eliminated in the other legacy Qwest states in late 2010. The CR would have a phased effective date by state/lata beginning in late November 2013 through March 2014.

Kim Isaacs – Integra asked for further information about the product elimination.

Lee Brummett – CenturyLink said the product is associated with the Intercept functionality when a phone has been disconnected. There will no longer be a live operator that will be available as the default option that explains the service has been disconnected. Mark Coyne– CenturyLink said this was only in the Eastern region and that it had been previously eliminated in the other states.


Open Product/Process CR PC090413-1 Detail

 
Title: Eliminate Business Complete a Call (BCAC)
CR Number Current Status
Date
Area Impacted Products Impacted

PC090413-1 Completed
3/19/2014
Resale
Originator: Brummett , Lee
Originator Company Name: CenturyLink
Owner: Brummett , Lee
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink will be eliminating Business Complete a Call (BCAC). Due to enhancements in the Operator Services (OS)/Directory Assistance (DA) platform, the BCAC product will no longer be supported or available. BCAC is a service in Minnesota, New Mexico and Oregon where business pay a fee to allow customers to use directory assistance and complete the call to their business and not charge the customer for DA call completion. There are no substitute products available.


Status History


Project Meetings

3/19/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR has been in CLEC Test since December 15, 2013 when BCAC was eliminated in Oregon. The elimination date for Minnesota and New Mexico was February 28, 2014. CenturyLink sent a level 1 reminder notice with an effective date of February 28, 2014 to decommission the BCAC PCAT and remove references to BCAC from other documents. As of February 28, CenturyLink began writing orders to remove BCAC from accounts where it still existed and that effort has since been completed. Mark said we would like to move this CR to Completed status and asked if there were any objections. There were none.

2/19/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR will remain in CLEC Test until February 28, 2014 which is the effective date for Minnesota and New Mexico. BCAC was eliminated in Oregon as of the December 15, 2013. Mark said a level 1 reminder notice will be sent on February 27 with an effective date of February 28 to remove references to BCAC from the Resale Features Matrix and the Complete-A-Call documents. The BCAC document will be removed from the Wholesale web but a copy of the document will remain on the Document Review Archive site.

Susan Lorence – CenturyLink said this week the SME team pulled a list of the accounts that still have the BCAC feature and 10 remain in the two states. CenturyLink will issue orders after February 28 to remove the feature.

1/15/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR is in CLEC Test as of December 15, 2013 and will remain there until February 28, 2014 which is the effective dates for Minnesota and New Mexico. Mark asked if there were any questions. There were none.

12/11/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR was presented in September to eliminate BCAC in Minnesota, New Mexico and Oregon. In the November meeting, Kim Isaacs - Integra asked about a tariff notice and whether one had been sent. Mark relayed Tariff notices had not previously been sent for this product elimination. The tariff notice for Oregon was then sent on November 25, 2013 with a December 15, 2013 effective date. The tariff notice for Minnesota and New Mexico was sent on November 27, 2013 with a February 28, 2014 effective date. The CMP final notice was sent on November 27 that included the two different effective dates for the three states. The CR will be moved to CLEC Test as of December 15, 2013.

11/20/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said CR was presented in September to eliminate BCAC in Minnesota, New Mexico and Oregon. The list of impacted customers was sent out through the Service Management team in Mid October.

Kim Isaacs - Integra said they had just received the list of impacted customers from their Service Manager and had to ask for the list. Kim asked if BCAC was a tariffed product. She said they had not received any tariff notices so the assumption is that this is not tariffed.

Lee Brummett – CenturyLink said he did not think they were tariffed

Susan Lorence – CenturyLink said we will investigate and include in the meeting minutes.

NOTE: Tariff notices had not previously been sent for these products. The tariff notice for Oregon was sent on November 25, 2013 with a December 15, 2013 effective date. The tariff notice for Minnesota and New Mexico was sent on November 27, 2013 with a February 28, 2014 effective date.

Kim Isaacs - Integra asked, similar to Scan Alert, what was the number of days required for a regulatory notification to eliminate the product. She said if the product is not tariffed, she assumed there was no regulatory lead time.

Mark Coyne – CenturyLink said we would include the information in the meeting minutes. Mark said the Final notice is due November 27 and will include the proposed effective date of December 15, 2013.

10/16/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said Lee Brummett presented this new Change Request in September to eliminate the Business Complete a Call service in Minnesota, New Mexico and Oregon. A level 4 notice will be sent the end of October to meet the proposed effective date of December 15, 2013. Mark said CenturyLink planned on sending out the lists of impacted customers through the Service Management team and asked if those had been received. Meeting participants indicated those lists had not been received.

Lee Brummett – CenturyLink said a new list had been created and will be sent through the Service Management team in the next several days.

Mark Coyne – CenturyLink asked if there were any questions; there were none.

09/18/13 Product/Process CMP Meeting Lee Brummett – CenturyLink presented this new CR to eliminate the BCAC service in Minnesota, New Mexico and Oregon. Lee said the proposed effective date is targeted for December 15, 2013.

Kim Isaacs – Integra asked if the feature is available to all customers and whether it is a USOC or FID.

Lee Brummett – CenturyLink said it is available for all in the identified three states. Lee said CenturyLink is pulling a list of wholesale customers.

Kim Isaacs – Integra said that was good that wholesale customers would receive a list of existing accounts.

Mark Coyne – CenturyLink said that since there are customers on this service, CenturyLink would send out a level 4 notification associated with the change.


Open Product/Process CR PC090413-2 Detail

 
Title: Change facility types for ordering of OS and DA services.
CR Number Current Status
Date
Area Impacted Products Impacted

PC090413-2 Completed
9/16/2015
Ordering Operator Services (OS) and Directory Assistance (DA) and Coin
Originator: Karstens, MIke
Originator Company Name: CenturyLink
Owner: Karstens, MIke
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink is planning on changing how Operator Services (OS) and Directory Assistance (DA) traffic is terminated in CenturyLink facilities. This will require customers to issue new orders for OS and/or DA services and busy line verify and busy line interrupt. As part of this change in facilities, Coin traffic will be separated into unique trunk groups. NOTE: Actual functional and system ordering requirements are not changing. New trunk orders will involve changing Z locations, combining of traffic and signaling types.

Expected migration is to begin as early as 1st quarter 2014 thus requiring customer order issuance beginning sometime late 4th quarter 2013.


Status History


Project Meetings

09/16/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR remains in CLEC Test. He said there are still a few CLEC customers that have not migrated despite CenturyLink’s continued efforts since second quarter to contact them to determine what their plans are. These remaining customers do not currently have OS, DA or COIN service under the previous MF trunking and will have to go through the “business as usual” process now instead of working with the CenturyLink Network migration team to establish service under the new platform. Mark said we are proposing that we move this CR to a Completed status and asked if there was any objection. There was none.

08/19/15 Product/Process CMP Meeting Susan Lorence – CenturyLink said this CR remains in CLEC Test but CenturyLink had a milestone to report. As of July 24, 2015, CenturyLink successfully completed the Operator Services (OS) and Directory Assistance (DA) and Coin network changes. There were a few customers that had not migrated prior to that date and our SME team is working with them. Susan said on July 24, CenturyLink sent a Product and Web notice to update the PCATs and Questionnaires to remove information that was temporarily placed in the documents to assist customers during the migration process. The final step is for customers to complete an update to the CLEC questionnaire to insure it matches their OS and DA offering. The CR will remain open for another month while we complete the transition for those few customers. Susan asked if there were any questions. There were none.

07/15/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR remains in CLEC Test. CenturyLink is in the final days of completing the OS and DA migrations. The SME team is working to contact any remaining customers to test and migrate them prior to the critical date of July 24, 2015. Mark said that as he indicated in the June meeting, a notification was sent in early June to remind customers that they will not have any OS, DA or COIN service if those customers have not migrated by 5 PM July 24. Mark asked if there were any questions. There were none.

6/17/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR remains in CLEC Test and CenturyLink is in the last weeks of completing the OS and DA migration activities. The SME team is focusing on migrating all customers by July 24, 2015. In the CMP package, there is a copy of the Level 1 notification that was sent to remind companies of the July 24, 2015 date. Service Managers are continuing to contact customers regarding testing and migration activities. Mark said CenturyLink is requesting that customers have appropriate technical support available when migration calls are scheduled so the planned migration does not have to be rescheduled. The last step will be that customers update the CLEC questionnaire to match their OS and DA offering.

5/20/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR remains in CLEC Test as CenturyLink is in the last months of completing the OS and DA migration activities. Mark said the SME team recently modified the CLEC and ILEC migration schedule to focus on the completion of Eastern migrations by May 29, 2015. The focus would then be on the Western states by June 24, 2015 and finally the Central region states by July 24, 2015. A Level 1 CMP product notification was sent late April to relay that revised schedule. Mark said since the team is focused on trying to work with each customer just once, customers that have services across regions may migrate sooner but all CLEC and ILEC traffic is expected to be migrated by July 24, 2015. Mark asked if there were any questions. There were none.

4/15/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR remains in CLEC Test. Mark said the CenturyLink SME team is continuing to monitor the service order schedule and planned migration date which is scheduled to be completed by May 21, 2015 but they believe there is a possibility that the CLEC and ILEC migration dates may slip by several weeks. He said we will share any updates as soon as we know. The service order issuance matrix from the PCATs is again in the CMP package for reference purposes.

3/18/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR continues to remain in CLEC Test. The revision to the Directory Assistance PCAT associated with the process change for requesting Directory Assistance Call Completion (DACC) became effective March 12. Mark said the Service order issuance matrix from the PCAT was again in the CMP package for reference purposes. Service managers have continued to contact customers regarding service order issuance. Planned customer service order issuance is occurring more slowly than expected. CenturyLink is continuing to monitor the project schedule. As of now, the planned migration dates appear to be on track with the expectation that it will be completed by May 21, 2015.

2/18/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR also remains in CLEC Test. Mark relayed Service managers have continued to contact customers according to the planned service order issuance schedule by state. For reference purposes, we have included the current Service order issuance matrix from the PCATs in the CMP package. Planned customer service order issuance is occurring albeit somewhat slower than expected. Mark said we are continuing to monitor the service order and planned migration schedules but as of now, we appear to be on track.

1/21/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR remains in CLEC Test. Based on a recent SME team review, CenturyLink sent a notification to revise the matrix to indicate a change in the planned migration start dates in some of states, specifically, the plan is to focus on the completion of the Eastern region migration dates first. There have also been some delays within CenturyLink due to migration complexity. Mark relayed the revised Service order issuance matrix from the PCATs is included in the CMP package for reference purposes. CenturyLink anticipates migration completion by May 21, 2015.

12/17/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR remains in CLEC Test. Service managers are continuing to work with customers as the Start Dates for Service Order Issuance for each state roll around. Mark said that next month we will include the SERVICE ORDER ISSUANCE TIMELINE matrix from the PCAT in the CMP package for reference purposes to allow us to more easily track the migration start dates for the remaining states each month going forward. Mark asked if there were any questions. There were none.

11/19/14 Product/Process CMP Meeting Mark Coyne – CenturyLink reminded call participants what this CR was associated with updates to the OS and DA PCAT that went into effect October 16. That PCAT update included dates for the Planned Network migration to begin. Mark said Service managers have been working with customers for awhile. The planned network migration for Iowa began on November 17, 2014 and is expected to complete mid December. Mark said North Dakota, South Dakota and Minnesota are to begin their network migration in early December. He also provided a reminder that as each state migration progresses, customers will need to disconnect the OS/DA MF trunks approximately thirty days from the migration start date. Mark said there is a download in the OS and DA PCATs that have the planned dates for each state.

10/15/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said the final notices for the CLEC and Resale Customer Questionnaires and the OS and DA updates were sent in mid September and early October. The effective date for the update to the OS and DA PCAT is October 16 and it includes the begin dates for the Planned Network migration. Mark reminded call participants that this planned network change requires orders to be written to create new SS7 trunks and then to disconnect the OS/DA MF trunks. Service managers continue to work with customers based on each state timeline. All Traffic Migration is expected to be completed by May 21, 2015.

9/17/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said a final web notice for the customer questionnaire updates was sent on September 12 with an effective date of September 27. The OS and DA PCAT updates were sent on September 11 that included dates for the Planned Network migration to begin. Mark asked if there were any questions. There were none.

8/20/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said a web notice was sent on August 12 to relay updates are being made to the CLEC and Resale Customer Questionnaires associated with a change in process. The updates are to Sections OD.1 through OD.8 to incorporate changes in how customers order Operator Services (OS), Directory Assistance (DA) and Coin traffic. Mark said the notice also relayed updates to the Resale Questionnaire to add Section OD.1. Mark said the August 12 notification confirmed a response to Integra that had been asked in the prior meeting. CLECs will be required to complete and submit a new Questionnaire associated with the change from MF trunking to SS7 signaling.

Kim Isaacs – Integra asked if a customer was not using CenturyLink for OS or DA, would the customer still be required to update the Questionnaire?

BL Marcom - CenturyLink said he thought that the update would be relatively minor.

Kim Isaacs – Integra said there will be option then to indicate a customer was a facilities-based provider but not using CenturyLink. Mark Coyne – CenturyLink said the Customer Questionnaires will include effective dates on a state by state basis and the effective dates will be shared with the CMP final notification. He said the state effective dates will be approximately 30 to 60 days from the Proposed Finish date that is on the Service Order Issuance Timeline available in the OS or DA PCATs. Mark said service managers have begun working with customers for the state of Iowa and North Dakota on the orders that will be required to update their network.

Susan Lorence – CenturyLink said the sixty day lead time by state for the Service Manager customer contact was per customer request when the CR was initially reviewed.

Kim Isaacs – Integra asked how it was going to look on the Questionnaire with the state by state effective dates. Would customers be required to enter updates multiple times as each state is effective.

BL Marcom - CenturyLink said he thought that once a customer indicated they were not using CenturyLink, multiple updates would not be required. He said he would confirm if it matters if you enter for all states or by state.

Kim Isaacs – Integra that was good to confirm responses.

NOTE – CMP CALL FOLLOWUP: Per the CenturyLink SME team, with the Level 3 Customer Questionnaire final notification to be sent on September 11, 2014, a further revision will be made to the CenturyLink Questionnaire to add another high level checkbox - and related check boxes per state - to indicate if a customer that currently has OS/DA service wishes to disconnect their service with CenturyLink. If a current customer does check the “disconnect” box(es), they can disconnect by state if desired or they can disconnect all of their states at one time. At that point, no further action is required for this Section of the Questionnaire. It is up to the customer as long as they disconnect the trunks by the end of the migration. If customers are migrating, they should update the Questionnaire as their state(s) migrate to allow CenturyLink to have accurate information on a state by state basis. This update will be clarified as part of the final Level 3 CMP notification.

7/16/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR remains in CLEC Test and that last month, Anne Trees – CenturyLink had provided a project status and had relayed there was a planned change in the state by state service order issuance dates. A notice was sent out on June 23 to relay the revised dates. Mark said to meet the 60 day lead time requested by customers during previous discussion related to this CR, Service managers will begin contacting customers for Iowa early August with the orders that are required. There are PCAT and CLEC Questionnaire updates required and Mark said the notice will be going out approximately the first week in August. Mark relayed that last month, Integra had asked whether new Questionnaires will be required for the revised sections for OS and DA and that Anne Trees had said she thought so but would know for sure in August.

6/18/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR is currently in CLEC Test and the Process SME Anne Trees – CenturyLink is on the call to provide a project status.

Anne Trees - CenturyLink provided a recap of the purpose of the CR. She then relayed that due to unforeseen circumstances related to the Network build-out, there is a planned change in the start date by state for customers that require service orders to be written. Anne said a notice will be sent June 23 to relay there will be an approximate 60 day delay to that service order issuance timeline. Anne said as previously agreed upon, the CenturyLink Service Managers will be contacting customers approximately 60 days prior to the service order issuance start date in the timeline for each state with the required information. Anne said the Operator Services (OS) and Directory Assistance (DA) PCATs and the CLEC Questionnaire updates are in progress and will be sent approximately the first week of August.

Kim Isaacs – Integra asked whether customers would have to complete a CLEC Questionnaire update for the modified OS and DA sections or whether a customer’s current settings would be migrated.

Anne Trees - CenturyLink said she was still working through that with the IT team but that she believed customers would have to update the Questionnaire since the current content was for MF signalling and the network configuration and trunking would be different. Anne said CenturyLink would provide that update as to what needs to occur in August.

Mark Coyne – CenturyLink asked if there were any questions. There were none.

5/21/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR is also currently in CLEC Test. On April 1, 2014, a notice was sent to revise the customer Service Order Issuance timeline for OS and DA services. The first state will be Iowa which has a planned start date for service order issuance of August 4. Mark said the CenturyLink SME Anne Trees will be on the call next month to provide a project status and to talk about the reports that will be sent to customers for the first states to require orders to be written. She will also talk about the CLEC Questionnaire updates. Mark asked if there were any questions. There were none.

4/16/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR is also currently in CLEC Test. On April 1, 2014, a notice was sent to relay a delay of another 90 days to the customer Service Order Issuance timeline for OS and DA services. Mark said the first state of Iowa will now begin on August 4 with a proposed finish date of September 15. The updated timeline has been included in the impacted PCATs.

3/19/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR remains in CLEC Test. CenturyLink had sent a notice mid January to relay a delay in the network build out and that the Service Order Issuance timeline had been updated to reflect a 90 calendar day delay. Mark said the current schedule indicates Iowa customers will need to start writing orders in May but that we will have an updated status in the April CMP meeting.

2/19/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR is currently in CLEC Test. CenturyLink sent a notice on January 21, 2014 to relay that due to unforeseen circumstances related to completing the network build out, all of the dates in the timeline for customer Service Order Issuance were delayed approximately 90 calendar days. Mark said that CenturyLink will send a notice during the second quarter to make related updates to the Customer Questionnaire and PCAT.

1/15/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR is currently in CLEC Test. He said in December 2013, Anne Trees – CenturyLink provided a project update to review the status of the reports being sent to customers for the first states to require orders to be written. Mark said the CenturyLink network team is in the process of completing the network build out and that out SME team is monitoring that effort closely for any impacts to planned dates. Our SME team is planning on providing the planned migration dates per state in the February meeting. Mark said we are planning to update the PCAT with the Service Order Issuance Timeline dates but we are holding off a little bit longer so we can hopefully also include the planned migration dates. Mark asked if there were any questions. There were none.

12/11/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR is currently in CLEC Test and said Anne Trees – CenturyLink Process would provide an update on the customer next steps.

Anne Trees – CenturyLink provided a brief update on the purpose of the CR and the customer impacts. Anne said the conversion is by state and that Service Managers will be contacting each impacted customer approximately 60 days prior to the planned order writing date. The Service Manager will verify a customer’s trunks, provide the new trunks and the new Z location for orders to be written to change from MF to SS7, and the dates for the orders. Anne said the first states are Iowa and North Dakota with five customers that will be contacted this week. Anne said even if a customer is located in multiple states, they will still convert on a state by state basis and then provided the approximate number of customers for each state. Anne said if a customer is an ILEC and CLEC, the ILEC Service Manager will also be contacting them with a different process for ILECs. After the Due Date, someone from either CenturyLink Service Management or Network will contact each customer to let them know when the traffic will be migrated and the date that the disconnect orders would need to be written. Anne said initial order writing will begin in February and go through approximately July and disconnect orders will go through the end of 2014.

Al Finnell – Windstream asked for a copy of the state by state timeline.

Anne Trees – CenturyLink said the timeline was originally provided in the notice.

Susan Lorence – CenturyLink said we would post the migration timeline in the PCAT so it is readily available there and send a copy of the migration timeline out.

Al Finnell – Windstream said that would help inform his contacts to let them know what is coming so they can better prepare.

Anne Trees – CenturyLink said a customer’s Service Manager will also have the timeline and can relay the schedule for each customer. Anne said we are also working on updating the PCAT and the customer questionnaire and those proposed updates should go out in late January for review.

Kim Isaacs – Integra said she understands the trunk Z Loc is changing to an IP switch. Kim asked if CenturyLink (12/20/13 Updates received from Integra in CAPS) [delete WAS] IS using THE IP SWITCH [delete THAT] for DA and asked when CenturyLink retail was migrating.

Anne Trees – CenturyLink said CenturyLink retail was following the same migration schedule and process as CLEC customers on a staged conversion beginning in Iowa.

Kim Isaacs – Integra asked what were CenturyLink plans if something did not work as planned and asked would the project timeline be pushed out if that should occur.

Anne Trees – CenturyLink said that is always possible but that the timeline between each state should be sufficient to accommodate addressing any problems. Anne also said the schedule was based on picking smaller states to begin the transition to allow issues to be resolved but if there was a bigger issue and it could not be corrected in time, CenturyLink would notify customers of any changes in the timeline.

Kim Isaacs – Integra asked if this change should be seamless to end users.

Anne Trees – CenturyLink said definitely.

Mark Coyne – CenturyLink asked if there were any questions. There were none.

11/20/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was reviewed in detail in the October CMP monthly meeting. CenturyLink sent the level 4 notice on October 21 to relay the planned changes to all CLEC and resale customers. The comment cycle ended November 5, 2013. No comments were received. The final notice was sent on November 15. Mark said included in that final notice was information that identified we have made some changes to the initially proposed migration dates. CenturyLink has made revisions to the Service Order Issuance Timeline to establish the new trunks. A document that includes those revisions has been posted to the Document Review Archive site associated with the initial notification. Mark said the main updates were to extend the migration periods for each state from a 22 day window to a 30 day window and to modify slightly the order of the state migrations. Mark also said updates to the CLEC questionnaire will occur as we get closer to the planned migration of traffic.

10/16/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said this Change Request was presented in September associated with planned changes that CenturyLink will be making to our network/facilities associated with Operator Services (OS) and Directory Assistance (DA) services. A CMP notice was sent out on October 2 to relay that we would be discussing this Change Request in the October CMP monthly meeting. Mark proposed that since all customers are not impacted by this change that we wait to review this Change Request until we complete the regular Product/Process and System CMP meetings. Mark said we have several SMEs that are on the call to review this Change Request in more detail and that we will also review the Walk on from Integra associated with this Change Request at that time.

* NOTE: The following meeting minutes are a summary of discussion that occurred at the end of the System CMP meeting but are being included here associated with the OS DA Change Request.

Participants that were on this portion of the monthly call included representatives from Charter Communications, Iowa Network Services, Integra, Sprint, Popp, Valley Telecom Group, Comcast, and CenturyLink.

Mark Coyne – CenturyLink recapped that the Change Request was presented in the September CMP meeting by Ryan Blackman and pointed participants to where to locate the “white paper” in the Product Process CMP Distribution package that would be reviewed. Mark said following the document presentation, we would review the Walk on request from Integra associated with the Change Request.

Marty Cruze – CenturyLink began the more detailed discussion by asking participants to go to the Call Flow diagrams that were identified as Attachment B following the Change Request whitepaper. Marty said there was a Call Flow included for PMO (Present Method of Operation) and FMO (Future Method of Operation); he then walk through each of the Call Flows. When the Call Flow review was complete, Marty then went back to the beginning of the OS DA white paper and reviewed the content on a paragraph by paragraph basis. Marty said the Customer Existing Service Scenarios in the document relate to the possible service combinations and indicate what would be required from each customer as far as order writing for each of the nine scenarios. Marty said the process is basically the same to address each of the Service Scenarios. It is to create new SS7 trunks (for separate OS and DA trunks or combined trunks) and then to disconnect the OS/DA MF trunks. Marty asked if there were any questions about the various Service Scenarios.

Kim Isaacs – Integra asked a question about Coin and BLV/BLI and whether the Z loc would be changing.

Marty Cruze – CenturyLink said yes it probably would change. Marty said the orders would likely be written from the CLEC end office to the new Operator Services switch. The facilities will only go to the tandem but the trunk orders will go through to the operator switch location. Kim Isaacs – Integra asked how long the MF trunks would remain up related to the disconnect.

Marty Cruze – CenturyLink said the trunks would likely remain up approximately 30 days. Marty then reviewed Attachment A which is the Proposed Service Order Issuance Timeline. Marty said the order issuance timeline is not the same as the migration timeline. He said the idea is to get the trunks in and tested before migration begins. The migration would include customer traffic as well as CenturyLink traffic. Marty asked if there were any questions; there were none.

Janet Harper – Charter said the document appears to be thorough but said there would likely be questions as they get deeper involved.

Mark Coyne – CenturyLink said the best approach to deal with questions is for customers to send them to either the CMPComm@centurylink.com or the CMPCR@centurylink.com mailboxes.

Janet Harper – Charter asked when the BLV/BLI trunks will remain MF, will they have a different Z location.

Marty Cruze – CenturyLink confirmed that was correct. The Service Manager team will tell customers what the Z location will be.

Janet Harper – Charter asked how soon that information would be received and asked the type of interval which would be used.

Anne Trees – CenturyLink said we do not have an exact timeframe yet since it depends on what state a customer is in. Anne said she would be meeting with the Service Managers soon to provide them the specific CLEC information and then the Service Managers will be getting with each customer. Anne said the plan is to get information to customers at least 22 to 30 days prior to order issuances begins.

Janet Harper – Charter requested confirmation that customers would hear back at least 30 days prior to order issuance beginning.

Kim Isaacs – Integra requested the information sooner than that and asked if CenturyLink knew approximately how many ASRs would be required to be issued for each customer.

Anne Trees – CenturyLink asked what timeframe would work best and said she would then get with Service Management.

Kim Isaacs – Integra suggested that it would be good to get high level information, e.g., volume, about 60 days prior to ASR issuance, and then provide more detailed information 30 days prior.

Janet Harper – Charter said that would work well for them also.

Anne Trees – CenturyLink said that was good feedback and that she would try to work toward the 60 day lead time for high level info and then more details at a 30 day time period.

Susan Lorence - CenturyLink said there was some initial discussion that customers might not need to follow an exact timeframe by state and asked whether that was the case now.

Anne Trees – CenturyLink said she would need to look at that for each customer. She said orders for ILECs and Qwest end offices were being done at the same time which would make a difference. Anne said there is some flexibility but it could be an issue if orders are issued too early.

Diana Rasmussen – CenturyLink it could be and that would have to be looked at individually for each customer but would like to keep it at a 22 day interval.

Lori Burchett – CenturyLink asked if it made a difference if customers were going to make additional changes to their network.

Anne Trees – CenturyLink that would make a difference is changes are made. She said it really depends on the customer and their volume. Anne said meetings will continue with Service Managers in November and December to get them prepared. She said she would work toward the 60 day lead time but asked about CMP notification.

Susan Lorence - CenturyLink said now that the CR and information had been presented in this meeting, we still had to send the level 4 notice to all customers. She said there were no external documentation updates required so the planned approach was to post the whitepaper for review and follow the normal 45 day CMP notice timeline. Susan said we may need another ad hoc call if there were too many questions from customers who had not attending this call today. If the questions were more customer specific, Service managers could work directly with their customer. Susan the plan was to get the notice issued by early November with a mid December effective date. Susan suggested we could start the process sooner and send the level 4 notice earlier and get an effective date of early December. She asked if there were any issues with that. There were none.

Mark Coyne – CenturyLink asked if there were any other questions for the SME team on this. There were none. Mark asked if the Integra earlier question had been addressed.

Kim Isaacs – Integra said it had.

Mark Coyne – CenturyLink said we would then look at the ICA question that Integra had sent in as a Walk on for this Change Request. Mark said the first ICA section that was referenced, Section 7.2.2.9.5 7.2 in the Walk on document, indicates that OS ad DA trunking would rely on MF signaling but said if you look further at that section, it indicates that if SS7 options become available, parties would work toward that. Mark said the CenturyLink Contract and Legal believes that language covers this situation and that an amendment is not required. Mark said if customers felt an amendment was required, we would work with them on that. Mark asked if that addressed the Integra concern.

Kim Isaacs – Integra said she would take it back to her Contract and Legal team for further review.

Mark Coyne – CenturyLink asked if there were any other questions for the SME team on this. There were none.

09/18/13 Product/Process CMP Meeting Ryan Blackmun – CenturyLink presented this new CR for Mike Karstens. Ryan said there would be a CMP ad hoc call in the next couple weeks to address this CR and that following the call, service managers would work with impacted customers.

Kim Isaacs – Integra asked whether this was going to be considered an administrative change to change the Z Location and whether charges would apply.

Ryan Blackmun – CenturyLink said he did not know specifics for each company but he did not think there would be charges for this change.

Kim Isaacs – Integra said the prior CR (9/27/13 Updates received from Integra in CAPS) [PC090413-1 ELIMINATE BUSINESS COMPLETE A CALL] indicated CENTURYLINK WAS MAKING changes in the OS and DA platform and asked if that was why the Z location had to change.

Marty Cruze – CenturyLink confirmed this CR was due to changes in the CenturyLink platform to go to an IP architecture where it can. Marty said the Coin traffic was different because dumb payphones require special handling.

Kim Isaacs – Integra asked if (9/27/13 Updates received from Integra in CAPS) [delete AN] IP architecture was mandated for OS DA.

Marty Cruze – CenturyLink said IP is mandated for the platform that CenturyLink is moving to.

Kim Isaacs – Integra said if a customer had OS DA TDM traffic, it would change to IP.

Marty Cruze – CenturyLink said no, CenturyLink would change signaling to IP. Customers would change to go from MF signaling to SS7 for OS and DA.

Kim Isaacs – Integra confirmed for OS DA, the change was to SS7.

Marty Cruze – CenturyLink said Coin and BLV and BLI would remain on MF.

Kim Isaacs – Integra said she looked forward to the ad hoc call.

Mark Coyne – CenturyLink said the ad hoc call would take place in the next couple weeks.

Al Finnell – Windstream asked for clarification on when the call would actually take place.

Mark Coyne – CenturyLink explained CenturyLink was waiting to schedule the call based on whether we have a Face to Face CMP meeting in October.


Open Product/Process CR PC101413-1 Detail

 
Title: Change to NG911 Trunks Standard Interval
CR Number Current Status
Date
Area Impacted Products Impacted

PC101413-1 Completed
1/15/2014
Ordering NG911
Originator: Carroll, Jim
Originator Company Name: CenturyLink
Owner: Carroll, Jim
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink will be lengthening the Next Generation (NG) 911 Trunk Standard Interval for provisioning from the standard 12-business day Due Date to a 22 business day Due Date. This will allow the appropriate timeline for complex translations to occur.

Expected Deliverables/Proposed Implementation Date

Mid December 2013 or earlier


Status History


Project Meetings

1/15/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR is currently in CLEC Test as of December 16, 2013. On that date, the interval due date of 22 business days became effective due to the increased complexity of turning up the NG911 circuits. Mark said we would like to move this CR to a Completed status and asked if there were any objections. There were none.

12/11/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said when the CR was presented in October, CenturyLink requested that we send a level 2 notification vs. a level 4 notification. The level 2 notice to change the current interval due date to a longer due date interval of 22 business days was sent on November 25 with an effective date of December 16. Mark said on December 16 we will move the CR to CLEC Test.

11/20/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was presented last month associated with Next Gen 911 Trunk FOC Coordination. Jim Carroll, CenturyLink, had provided some background indicating that CenturyLink is replacing the current 911 network infrastructure with an IP based network and that it is a multi stage process that includes considerable complexity to turn the circuits up. This CR includes plans to change the current interval due date which is a standard 12-business days to a longer due date interval of 22 business days. Mark relayed that the planned effective date for the new Due date interval is mid December so we will be sending out the level 2 notice soon.

10/16/13 Product/Process CMP Meeting Next Gen 911 Trunk FOC Coordination and CenturyLink Walk On Change Request PC101413-1 - Change to NG911 Trunks Standard Interval Mark Coyne – CenturyLink reviewed the walk on request from Integra.

Jim Carroll – CenturyLink said the approach with Next Generation (NG) 911 is to replace the current network infrastructure with an IP based network. Jim said it is a multi stage process. The current stage is for carriers to move to new routers which go by a variety of terms for these emergency gateways. Jim said that the complexity to turn the circuits up has grown significantly. Because of this, Jim said he issued the Walk on CMP Change Request to extend the Due Date to account for the extra work that is required. Jim then presented the new CenturyLink Change Request PC101413-1 which extends the current due date of a standard 12-business day Due Date to a 22 business day Due Date.

Kim Isaacs – Integra said Thank you and requested a place holder for the OS DA Change Request to see if the trunking orders may be impacted similarly.

Mark Coyne – CenturyLink said that CenturyLink would like to propose that the Change Request be implemented on a level 2 21 day timeline vs. the normal timeline for this type of change which would be 45 days. Mark asked if there were any objections. There were none.

David Garland – Iowa Network Services asked if the new Change Request was limited to specific states and whether it would impact Iowa.

Jim Carroll – CenturyLink said the Change Request is not limited to specific states but to where the Emergency services trunks are migrating to the CenturyLink NG platform. Jim said in Iowa there is an interesting layering but this change only applies when CenturyLink migrates away from legacy analog for wireline in Iowa. Jim said it does impact activity associated with TCS which is a layer.

Mark Coyne – CenturyLink asked if there were any other questions. There were none.


Open Product/Process CR PC111413-1 Detail

 
Title: Remove Tech Pub 77354 Guidelines for Product Change Notices
CR Number Current Status
Date
Area Impacted Products Impacted

PC111413-1 Completed
2/19/2014
Documentation - Technical Publications
Originator: Brown, JB
Originator Company Name: CenturyLink
Owner: Brown, JB
Director:
CR PM: Lorence, Susan

Description Of Change

Remove Tech Pub 77354 from the CenturyLink external website as it is obsolete. CenturyLink is utilizing the Telcordia Document GR 209 in place of this Tech Pub.

Expected Deliverables/Proposed Implementation Date: January 2014


Status History


Project Meetings

2/19/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said there had been a question last month about the initial level 4 notice for this CR that was answered as part of the meeting minutes. This CR was moved to CLEC Test on January 24, 2014. As of that date, the obsolete Tech Pub 77354 was removed from the CenturyLink website. Mark said CenturyLink would like to move this CR to Completed status. There were no objections.

1/15/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR is associated with removing the obsolete Technical Publication 77354 from the CenturyLink external website. CenturyLink is utilizing the Telcordia Document GR 209 in place of this Tech Pub. Mark said the planned effective date is January 24, 2014 and we will move the CR to CLEC Test at that time.

Kim Isaacs - Integra said there was a problem on the initial notice and somehow Integra did not receive a copy of it. Kim said she had reviewed the Document Review site when she received the Final notice and wanted to confirm that this Tech Pub is for suppliers of telecommunications to Legacy Qwest and not for purchasing services from Legacy Qwest.

Susan Lorence – CenturyLink said we would need to follow-up on this and get back with Kim since the CR originator was not on the call. She said we would investigate and include the information in the meeting minutes and also a separate email.

Kim Isaacs - Integra said that was fine. Kim asked if there were any other CLECs that had not received the initial notice.

Randee Ryan – Comcast said she did not specifically remember the notice.

Susan Lorence – CenturyLink said this is the first she has heard of a problem and would look into the problem further. Susan said if this was a big concern, we could extend the effective date to remove the Tech Pub from the website.

Kim Isaacs - Integra said she reviewed the Tech Pub and that she thought it was for companies supplying Legacy Qwest with equipment. She said if CenturyLink can confirm that, she did not think a delay to removing the Tech Pub was necessary.

Susan Lorence – CenturyLink she would investigate that and get back as soon as possible. Susan said she would send an email to all customers on the CMP call to provide that information.

Mark Coyne – CenturyLink asked if there were any other customers that might have a problem with removing the Tech Pub as of January 24, 2014.

Al Finnell – Windstream said that it was fine with him if in the email, we confirmed the purpose was not for CLEC/Resellers.

Frank Behnke - ATT said that was fine also.

NOTE: The following email was sent on January 21, 2014 to CLECs participating in the CMP January call with an explanation as to what occurred with the “mailout” of the initial notice and next steps in regard to this CR.

This is a follow-up from the January 15, 2014 CMP Product Process monthly meeting in regard to CR PC111413-1, Remove Tech Pub 77354 - Guidelines for Product Change Notices.

Kim Isaacs – Integra identified on the call that she had not received the initial Level 4 notice in conjunction with this CR PC111413-1. (That initial notice that was sent December 13, 2013 is attached.) Upon further investigation, it has been determined that the notice was inadvertently distributed to Legacy CenturyLink CLECs rather than Legacy Qwest CLECs. We apologize for that error. That explains why no one from Integra or Comcast -- nor any Legacy Qwest CLEC -- received the initial notice. However Legacy Qwest CLECs did receive the final Level 4 notice that was sent on January 9, 2014 associated with this change. (That notice is also attached.) NOTE: Legacy Qwest Resellers did receive the initial and the final notice.

With that said, I checked with the CR originator JB Brown and JB confirmed that this Tech Pub 77354 is not for services purchased from legacy Qwest. The Tech Pub is associated with the process to maintain “goods”, i.e., Equipment and Software. It outlines the requirements and agreements between legacy Qwest and our Suppliers for maintaining those products that have been purchased. As stated in the CR, CenturyLink is currently utilizing the Telcordia Document GR 209 (Issue 6) in place of this obsolete Tech Pub.

With that response from JB, it confirms the point made by Kim Isaacs during the monthly call that this Tech Pub 77354 is for suppliers of telecommunications TO Legacy Qwest and not for purchasing services FROM Legacy Qwest.

Based on that point, we believe that those on the January call agreed that we could move forward with removing the Tech Pub 77354 from the Centurylink Tech Pub site.

If that is NOT the case and anyone believes that we need to HOLD on retiring the Tech Pub 77354, please let me know before January 24, 2014.

12/11/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said this was a walk on CR last month associated with plans to remove Tech Pub 77354 from the CenturyLink external website. Mark said CenturyLink will be sending the level 4 notice on December 13, 2013 with the expected implementation date of January 24, 2014. Mark asked if there were any questions. There were none.

11/20/13 Product/Process CMP Meeting JB Brown – CenturyLink presented this new walk on CR to remove an old USWest Tech Pub 77354 from the CenturyLink external website. Jim said in 2011, CenturyLink purchased Telcordia Document GR 209 which replaces this Tech Pub.

Mark Coyne – CenturyLink said CenturyLink will send a level 4 - 45 day CMP notice before the end of the month to meet a proposed implementation date of January 2014. Mark asked if there were any questions. There were none.


Open Product/Process CR PC010907-1 Detail

 
Title: Changes To Scheduled Customer Due Dates
CR Number Current Status
Date
Area Impacted Products Impacted

PC010907-1 Denied
3/21/2007
Ordering LNP
Originator: Kagele, Tim
Originator Company Name: Comcast
Owner: Heiland, Venessa
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

To implement a process enhancement that allows a CLEC to change (sup order) the customer’s scheduled due from the current scheduled date to the next day for simple porting of customer telephone numbers when the end customer is unable to be home on scheduled date, rather than wait the standard 4 business day interval to reschedule the port.

Comcast believes the requested process change is technically feasible for the following reasons: 1) Qwest’s current porting process retains the customer’s telephone number in the switch for up to 48 hours after the 10 digit trigger is placed on the line, 2) NPAC subscription has already been created and concurred - no additional work would be needed by either party, and 3) CLEC would be obligated to send an order supplement through normal channels to change the scheduled DD to the next day thereby keeping ordering and billing records correct.

Expected Deliverable:

To Be Discussed


Status History

01/09/2007 - CR Submitted

01/09/2007 - CR Acknowledged

01/09/2007 - Customer Contacted For Clarification Meeting Availability


Project Meetings

March 21, 2007 Product Process CMP Meeting: Mike Whaley-Qwest stated that Qwest received this request, from Comcast, and has internally reviewed it. Mike stated that Qwest’s processes are based on the standard LNP working group meetings and the OBF ATIS National Forums. Mike noted that this change would only be for 1 company and Qwest interfaces with many companies. Mike then stated that Comcast also expressed that they would also need to make system changes on their side for this request and agreed that the request would only impact their company. Mike stated that this request is denied due to no reasonable or demonstrable business benefit. Mark Coyne-Qwest asked if there were any questions or comments. There were none. This CR is Closed in Denied Status.

February 21, 2007 Product Process CMP Meeting: Tim Kagele-Comcast presented the CR and stated that the Industry Process is that when a CLEC schedules a port, the interval is 4-days and noted that Comcast has issues when the customer cannot be home at the time of the appointment. Tim stated that Qwests current process is to leave the number in the switch up to 48-hours. Tim stated that Comcast would like the process revised for a next day assurance on a supp. Tim noted that he Comcast wants an FOC on a 1-day due date change, instead of waiting for the standard 4-day norm. Tim noted that a discussion with the CLECs has occurred. Mark Coyne-Qwest asked if there were any questions regarding this request. There were none brought forward. Mark Coyne-Qwest stated that Qwest will review and evaluate the request and would provide the response in March.

-- January 17, 2007 Clarification Meeting Attendees: Kim Isaacs-Eschelon, Steph Prull-Eschelon, Tim Kagele-Comcast, Peggy Esquibel Reed-Qwest, Venessa Heiland-Qwest, Denise Martinez-Qwest, Jamal Boudhaouia-Qwest, Vicki Dryden-Qwest, Connee Moffatt-Qwest, Anne Pent-Qwest, Cindy Buckmaster-Qwest Review Requested (Description of) Change: Peggy Esquibel Reed-Qwest reviewed the CR, and asked to confirm that this request is for LNP. Tim Kagele-Comcast said yes. Peggy Esquibel Reed Then asked if there was any additional information to share. Tim Kagele-Comcast stated that this request is for when they have a customer who is unable to be home on the scheduled due date and may need to reschedule the appointment for the following day or for the next day. Tim stated that the Industry is a 4-day process and he is requesting a process change for a next day supp. Tim then noted that the last data that he received from Qwest indicated that 10-11% of Comcast’s volume would benefit from this change. Venessa Heiland-Qwest asked if Comcast calls their customers a day ahead of the appointment to confirm the appointment with the end user. Tim Kagele-Comcast stated that they usually do in order to make sure that the time has not changed for the end user. Venessa Heiland-Qwest stated that of that 10%, two-thirds of them are due date changes and late notifications, to Qwest, on or after the due date of the Qwest order. Venessa then noted that Qwest is notified during the 48-hour interval and that it causes problems for Qwest. Venessa stated that if the LSR due date is today and it falls into that 10% category, Qwest would receive a due date change of the next day or the next day, on two-thirds of the LSRs. Tim Kagele-Comcast asked if Venessa was saying that Comcast is currently following up with a supp to change the due date. Venessa Heiland-Qwest said yes. Tim Kagele-Comcast noted that was the current process. Venessa Heiland-Qwest stated that a concern for Qwest is that the orders would not flow through and would be handled manually. Tim Kagele-Comcast asked if then the interval would be re-FOC’d. Venessa Heiland-Qwest said correct and if the request (LSR) was sent 24-hours later it would result in a missed FOC. Tim Kagele-Comcast stated that was because it is live in the switch and they would then send a supp. Venessa Heiland-Qwest noted that is why the timer starts over. Anne Pent-Qwest asked if Comcast could notify Qwest earlier, if that would help. Venessa Heiland-Qwest stated that it would help considerably. Tim Kagele-Comcast stated that Comcast could adjust their process to notify in advance but is looking for flexibility in the process. Peggy Esquibel Reed-Qwest asked if there were any additional questions or comments. Tim Kagele-Comcast stated that this request should not impact any other CLECs ordering processing. Steph Prull-Eschelon asked Tim if Comcast was sending the supp after the Qwest order due date and asked how they are sending orders, if via EDI or GUI. Tim Kagele-Comcast said they send 95% of their orders via EDI. There were no additional questions or comments regarding the request. Peggy Esquibel Reed-Qwest stated that this CR would be scheduled for presentation at the February 21, 2007 CMP Meeting and noted that the Qwest Response would be provided around March 13, 2007.


CenturyLink Response

Qwest Response

March 7, 2007

To: Tim Kagele, Comcast

CC: Venessa Heiland, Qwest LNP process manager Peggy Esquibel-Reed, Qwest Change Management This letter is in response to CLEC Change Request number PC010907-1 'Changes To Scheduled Customer Due Dates' with regard to Local Number Portability.

CR Description: To implement a process enhancement that allows a CLEC to change (sup order) the customer’s scheduled due from the current scheduled date to the next day for simple porting of customer telephone numbers when the end customer is unable to be home on scheduled date, rather than wait the standard 4 business day interval to reschedule the port.

Expected Deliverable: Comcast requests modification of current flow through processes and systems. This includes changes to permit order supplements to be sent through normal channels to change the scheduled due date to the next day to keep ordering and billing records correct.

History: Qwest held a clarification meeting on January 17, 2007, with Comcast and other members of the CLEC Community.

Qwest Response: Qwest has completed an analysis for PC010907-1 and has determined that a change as proposed does not provide a reasonable demonstrable business benefit.

Qwest’s LNP sup intervals are compliant with the industry recommended standards. Qwest does not implement changes to accommodate requests that are not consistent with industry standards. Qwest’s policy is to adhere to industry standards. Therefore, Qwest respectfully denies your request for CR PC010907-1 'Changes To Scheduled Customer Due Dates'

Sincerely, Qwest Corporation


Open Product/Process CR PC010705-1 Detail

 
Title: Reduce the Interval Time Required for a 'simple' Port
CR Number Current Status
Date
Area Impacted Products Impacted

PC010705-1 Denied
3/16/2005
Ordering LNP
Originator: Law, Rachel
Originator Company Name: Comcast
Owner: Rein, Kathy
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Reduction in business day interval from three business days to one business day for a simply residential one line account. Comcast request would be for a resident 'CB' REQTYP 'Z' ACT


Status History

01-07-2005 - CR Submitted

01-10-2005 - CR Acknowledged

01-10-2005 - Email Sent to Linda Minasola, Comcast, Requesting Clarification Meeting Availability.

01-11-2005 - Email Received from Comcast, with Meeting Availability

01-11-2005 - Clarification Meeting Scheduled for January 17, 2005

01-17-2005 - Clarification Meeting Will be Rescheduled.

02/16/2005 - Discussed in the February Product Process Monthly CMP Meeting

03/16/2005 - Discussed in the Monthly Product/Process CMP Meeting


Project Meetings

April 27, 2005 Email Sent to Liz Balvin, Covad: Liz, This email is to provide you with information that you requested from Jill Martain. Comcast is aware of the denial and had no comments or questions. In response to your questions regarding PC010705-1 Reduce the Interval Time Required for a ‘simple’ Port: Q: How are work-back orders handled today? A: How work backs are handled is defined in the LNP PCAT-the issue is not how work backs are handled but the fact that Qwest believes the shortened interval will increase the number of work backs and the risk of the end user customer being out of service.

Q: How would the trigger setting be affected? A: Triggers must be set by 11:59PM the day before the port. With a 3 day interval it gives Qwest 2 days to correct issues and problems that may occur on a port request, to comply with the 11:59PM deadline. With a 1 day interval, Qwest would only a have few hours to detect problems and correct them and trigger intervals would be missed. Having the 10 digit trigger set allows calls to properly route to the CLEC’s switch when to port is activated.

April 21, 2005 Email Received from Liz Balvin, Covad: Jill, Here are the questions I had regarding last months CMP meeting minutes: Comment: Was the initiator (Comcast) present during this readout? Please provide more details. How are work back orders handled today? How would the trigger setting be affected? Thanks in advance for your help, Liz Balvin Covad Communications

- March 16, 2005 Product Process CMP Meeting Discussion: Kathy Rein-Qwest stated that the requested change to the due date interval purposes a risk to Qwest and to the end user customer. Kathy noted that with the current interval, there are work back orders that need to be done and a shortening of the interval would increase the number of the work back orders. Kathy also stated that a shortening of the intervals would affect the triggers and it would not allow sufficient time to correct errors or detect issues. Kathy stated that Qwest is respectfully denying this request for no demonstrable business benefit and asked for questions or comments. None were brought forward. Jill Martain-Qwest stated that this CR would be closed in Denied Status.

-- February 16, 2005 Product Process CMP Meeting Discussion: Nancy Sanders -Comcast presented the CR. Liz Balvin-Covad asked if this was for a 10-digit trigger. Nancy Sanders-Comcast stated yes and noted that this request was for 1-line only. Jill Martain-Qwest stated that this CR would move to Presented status.

January 27, 2005 Clarification Meeting Minutes: ATTENDEES: Linda Minasola-Comcast, Amanda Silva-VCI, Peggy Esquibel Reed-Qwest, Kathy Rein-Qwest, Russ Urevig-Qwest Peggy Esquibel Reed-Qwest reviewed the CRs Description and asked Comcast if there was additional information. Linda Minasola-Comcast stated that this request is for ACT=Z, as is. Linda then stated that the title should be 'simple', not 'simply'. Peggy agreed to make the correction for Comcast. Kathy Rein-Qwest asked if this request was for a POTS Type residential End User. Linda Minasola-Comcast stated yes, via EDI and GUI. Kathy Rein-Qwest asked if Comcast was requesting the same work back availability with a 1-day port. Linda Minasola-Comcast stated yes, it would follow the same current procedure. Russ Urevig-Qwest asked if Comcast if the request would not come through IIS if cannot sunmit via IMA. Linda Minasola-Comcast stated that this would not be for a manual order, at all. Amanda Silva-VCI asked to confirm that ACT=Z was for porting. Kathy Rein-Qwest stated that Z or V or for porting. Linda Minasola-Comcast stated that ACT=Z is for a cutover with 1 order porting to 1 single line, 1 TN only. Order is to port as is with no directory listing change and a 1-day turnaround. Linda stated that this request is for 1 new line, no additions, no sharing, 1 TN only and is very clean and simple. Russ Urevig-Qwest asked if the request included if there was 1 TN moving off of an account. Linda Minasola-Comcast stated is 1 account, 1 conversion only with no back-end needed for managing the account. There were no additional questions or comments. Peggy Esquibel Reed-Qwest stated that this CR is scheduled for presentation, by Comcast, at the February CMP Meeting.

January 20, 2005 Email Sent to Comcast: Good Morning Linda, I have scheduled the Clarification Call to occur as follows: DATE: Thursday, January 27, 2005 TIME: 11:00 a.m. MT CALL IN: 1-877-564-8688, conference id 8571927# Thank you, Peggy Esquibel-Reed Qwest CMP CRPM

January 20, 2005 Email Received from Comcast: Peggy I am available Monday 24th @1100 AM, Thursday 27th @ 1100 AM. Kerri Burke on our team would also be available for Monday 24th after 1:00 PM to the end of day. Linda

- January 19, 2005 Email Sent to Comcast: Linda, Unfortunately the proposed date/time, below, did not work as it is the date/time of the monthly Qwest/CLEC CMP Meeting. A Clarification Call is really required in order for Qwest and the CLEC Community to ask clarifying questions regarding your submitted request. Questions on the call and the responses to those questions sometimes do prompt other questions. Open dialogue is critical. Can someone attend, for Comcast, on your behalf that will be able to answer questions? Or, can you tell me when you will be available for a call? Thank you, Peggy Esquibel-Reed Qwest CMP

- January 18, 2005 Email Received from Comcast: Peggy I am sorry I was not available for this call yesterday. Is it possible to send me question or concerns you might have in reference to Comcast's CR proposal? I do have from 9-11 open Wednesday, January 19. I will be behind close doors after Wednesday working on a project! Linda LindaMinasola@cable.comcast.com

January 17, 2005 Email Sent to Comcast: Linda, We missed you on the call today. Please advise me of your availability, several options would be great, and I will reschedule the Clarification Call. Thank you, Peggy Esquibel-Reed Qwest CMP CRPM

January 12, 2005 Email Received from Comcast: Peggy Thank you, I have updated my calendar for this meeting. Linda

January 11, 2005 Email Sent to Comcast: Good Morning, I have scheduled the Clarification Call for PC010705-1 to take place as follows: DATE: Monday, January 17, 2005 TIME: 3:00 p.m. MT CALL IN: 1-877-564-8688, 8571927# Thank you, Peggy Esquibel-Reed Qwest CMP CRPM

- January 10, 2005 Email Received from Comcast: Peggy It looks like Wednesday, January 12th after 1:00 PM, then again Monday after 10:00 AM Linda Hobmann-Minasola

- January 10, 2005 Email Sent to Comcast: Hi Linda, Please advise me of your availability for the Clarification Meeting to discuss your submitted CMP CR requesting to Reduce the Interval Time Required for a 'Simply' Port. As soon as I receive your availability, I will schedule the call and send you the call-in information. Thank you, Peggy Esquibel-Reed Qwest CMP CRPM


CenturyLink Response

March 8, 2005

For Review by the CLEC Community and Discussion at the March 2005 CMP Meeting

Linda Minasola Comcast

This letter is in response to CLEC Change Request number PC010705-1, dated 1/7/2005, and titled: Reduce the Interval Time Required for a 'simple' Port.

CR Description as written by Comcast: "Reduction in business day interval from three business days to one business day for a simply residential one line account. Comcast request would be for a resident 'CB' REQTYP 'Z' ACT"

Qwest Response: Qwest’s three business day interval is currently shorter than the 4 days recommended by the FCC which includes 24 hours for the FOC. Qwest’s three day interval absorbs the FOC interval, whether the request is electronic or manual.

The proposed change to the due date interval would pose potential risks to Qwest and to the customer. Porting triggers must be set by 11:59PM the day before the due date. A shortened interval to 1 day would not allow Qwest sufficient time to correct errors or detect issues when the triggers are not automatically set. Additionally, with the current interval today, Qwest is often requested to work back port orders due to out of service conditions. A shortening of the porting interval would most likely increase the number of customer service issues and result in increased work backs for Qwest.

Qwest is therefore denying your request for PC010705-1, Reduce the Interval Time Required for a 'simple' Port for no demonstrable business benefit due to the increased risk of customers service outages and due to the fact that shortening the interval would increase the risk of the triggers not being set and worked timely within the NPAC existing interval of 18-business hours.

Sincerely, Qwest


Open Product/Process CR PC010702-1 Detail

 
Title: For Qwest to develop appropriate blocking for Directory Assistance and National Directory Assistance for Resellers
CR Number Current Status
Date
Area Impacted Products Impacted

PC010702-1 Completed
2/20/2002
Ordering, Billing & Other Resale: Toll restriction, possible new USOC
Originator: Harsila, Roy
Originator Company Name: Comm South Companies, Inc.
Owner: Van Dusen, Janean
Director:
CR PM:

Description Of Change

At this time, Comm South Companies, Inc. uses the appropriate toll restriction USOC for our blocking; however, the toll restriction does not block any types of Directory Assistance calling. Qwest provides to their customer's the product of Dial Lock, which is USOC: OC4, that blocks Directory Assistance. Qwest has stated that this product was not developed to be used by Resellers. Other RBOC's include this type of blocking in the toll restriction option. I would like to see Qwest add the Directory Assistance blocking feature in the toll restriction. At this time, Comm South Companies, Inc. is being billed thousands of dollars for Directory Assistance and then we have to bill our end users, if Qwest would add this Directory Assistance blocking functionality in their toll restriction product it would help reduce these charges.


Status History

1/7/02 - CR Submitted by Comm South Companies, Inc.

1/7/02 - CR acknowledged by P&P CMP Manager

1/9/02 - Comm South contacted to coordinate clarification call. Call scheduled for 1/15/02

1/15/02 - Clarification call held.

1/15/02 - Draft meeting minutes from clarification call issued to Comm South Companies

1/25/02 - Draft response dated 01/24/02 posted to CMP database and issued to Comm South Companies. Status changed to "Presented"

2/19/02 - E-mail from Comm South asking follow-up questions

2/20/02 - February CMP meeting: Qwest response dated 01/24/02 presented to CLECs. Comm South agreed their request had been answered. CR status changed to "Completed". Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the P/P CMP Meeting Distribution Package 03/20/02

2/22/02 - Formal response dated 01/24/02 issued to CLECs - Document Number: CMPR.02.22.02.F.01229.CR_Responses

3/20/02 - CR Open/Closed status changed to closed and inactive and checked for Archive 2002


Project Meetings

02/19/02 E-mail from Comm South asking follow-up questions Subject: CR Form PC010702-1 Date: Tue, 19 Feb 2002 12:52:25 -0600 From: Roy Harsila To: "'tmead@qwest.com'" To whom it may concern: Thank you for the response to the CR that I submitted. I do have some questions pertaining to CustomNet, and these questions are as follows: The definition of CustomNet is as follows: "CustomNet provides operator screening when originating a call by dialing 0/0+, thereby restricting the types of calls billed to third number, collect or calling card depending on the Call Screening Code used." My questions are as follows. 1) Could a call get passed the operator without the call being alternately billed? If this is possible, who is responsible for the bill of this call, Qwest or Comm South or the end user? 2) When will the nonrecurring charge for the CustomNet be applicable? On every order type? Thank you for your time. Sincerely, Roy Harsila Comm South Companies, Inc. 972-643-6417

--

01/15/02 Alignment/Clarification Meeting 10:00 a.m. (MST) / Tuesday 15th January 2002

Attendees: Roy Harsila / Comm South Companies Todd Mead / Qwest Janean Van Dusen / Qwest Jolene Wees / Qwest

Review Requested (Description of) Change: Roy introduced the CR. Janean asked whether the Directory blocking was for local or long distance? Roy responded for both local and National. Jolene asked whether retail have this product? Need someone from retail on the call. Jolene recommended Sandy Foster.

Area Impacted: Ordering, Billing & Other Products Impacted: Resale: Toll restriction, possible new USOC

Confirm Right Personnel Involved: Janean is the owner for this CR. She will need to coordinate with people in retail to assist with response.

Identify/Confirm CLEC’s Expectation: For Qwest to add the Directory Assistance blocking functionality in the toll restriction product or develop a USOC that can be used by Reseller's to block all types of Directory Assistance.

Establish Action Plan: This CR can be walked on this month. However, the General Clarification will take place during the February CMP Meeting (02/20/02). Qwest response will be presented in the March CMP Meeting (03/20/02)


CenturyLink Response

FORMAL RESPONSE

January 24, 2002

Roy Harsila Carrier Relations Manager Comm South Companies, Inc.

CC: Bill Campbell

This letter is in response to your CLEC Change Request Form, number PC010702-1 – For Qwest to develop appropriate blocking for Directory Assistance and National Directory Assistance for Resellers.

REQUEST: At this time, Comm South Companies, Inc. uses the appropriate toll restriction USOC for our blocking; however, the toll restriction does not block any types of Directory Assistance calling. Qwest provides to their customer's the product of Dial Lock, which is USOC: OC4 that blocks Directory Assistance. Qwest has stated that this product was not developed to be used by Resellers. Other RBOC's include this type of blocking in the toll restriction option. I would like to see Qwest add the Directory Assistance blocking feature in the toll restriction. At this time, Comm South Companies, Inc. is being billed thousands of dollars for Directory Assistance and then we have to bill our end users, if Qwest would add this Directory Assistance blocking functionality in their toll restriction product it would help reduce these charges.

RESPONSE: Qwest understand the problem Comm South is facing with unapproved charges being made against its network. Qwest has a product called CustomNET that will provide the National and International Directory Blocking product for Comm South. Details about this product can be found at:

http://www.qwest.com/wholesale/clecs/features/customnet.html#prod

If you have any questions or would like to purchase this product, please contact your Service Manager.

Sincerely,

Janean Van Dusen Product Manager


Open Product/Process CR PC011502-1 Detail

 
Title: Joint testing of Qwest installed transmission cables
CR Number Current Status
Date
Area Impacted Products Impacted

PC011502-1 Completed
4/15/2009
Ordering, Maintenance/Repair Colocation, UDIT, Unbundled loop, UNE, LIS / Interconnect
Originator: Zulevic, Michael
Originator Company Name: Covad
Owner: Campbell, Ben
Director:
CR PM: Harlan, Cindy

Description Of Change

Provide a 60 calendar day "window of opportunity" for joint testing, at no additional charge, of newly installed transmission cables and cables associated with installation of virtual splitter collocation, to ensure no electrical faults (ie; opens, grounds, reversals, etc.) between the CLEC collocation arrangement and the Qwest DS0, 1 or 3 ICDF.

Additional Information: Covad has experienced a significant number of cable augments with electrical faults, requiring a technician dispatch to the central office.


Status History

01/14/02 - CR Submitted by Covad.

01/15/02 - CR acknowledged by P/P CMP Manager.

01/18/02 - Coordinated optional dates/times for Clarification Meeting with Covad.

01/23/02 - Conducted Clarification Meeting with Covad.

01/28/02 - Issued Clarification Meeting Minutes to Covad.

02/20/02 - CMP Meeting - CLEC Community Clarification held. It was agreed that the CR would move to Evaluation. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02.

03/13/02 - Issued Qwest's Draft Response dated March 11, 2002 to Covad.

03/20/02 - CMP Meeting - Qwest presented its Draft Response dated March 11, 2002. The participants agreed that the CR could move into Development. Qwest to contact Covad, who was not in attendance, to confirm that they agree to move the CR to Development.

03/21/02 - Telephone conversation with Covad - Qwest reviewed its response and explained the discussions at the CMP Meeting. Covad was in agreement to move into Development and see how the facility installations are improving.

03/22/02 - Formal response dated March 11, 2002 issued to CLECs. Notification CMPR.03.22.02.F.01240.CR_Responses.

04/17/02 - CMP Meeting - Qwest provided a status on the process development. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. CR status will remain in Development.

05/15/02 - CMP Meeting - Qwest provided a status on the process development. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. CR status will remain in Development.

06/19/02 - CMP Meeting - Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. CR status will remain in Development.

06/27/02 - Issued Mailout notification of CLEC conference call to review product description. Notification CMPR.06.27.02.F.01284.ICDF_Meeting.

07/11/02 - CLEC conference call held to review the ICDF Joint Testing product offering and the Test Access Points document

07/17/02 - CMP Meeting - Meeting minutes posted to this CR's Project Meetings section. CR status "Development" was not changed.

08/06/02 - Issued Mailout notification of CLEC conference call scheduled for 8/16/02 to review revised product description. CMPR.08.06.02.F.01308.Joint_Testing_Mtg.

08/09/02 - Issued Mailout notification with meeting material for 8/16/02 conference call. Notification CMPR.08.09.02.F.01313.Mtg_Material.

08/21/02 - CMP Meeting - Qwest provided a status on issuance of the Level 3 notification. Minutes on this CR to be posted to the Project Meetings section. Status to remain in Development.

09/18/02 - CMP Meeting - Qwest provided a status on issuance of the Level 3 notification. Minutes on this CR to be posted to the Project Meetings section. Status to remain in Development.

10/16/02 - CMP Meeting - Qwest provided a status on issuance of the Level 3 notification. Minutes on this CR to be posted to the Project Meetings section. Status to remain in Development.

10/17/02 - Contacted Covadd to advise new issue identified and process document is still under review.

11/05/02 - Notification due out 11-06, comment cycle 11-07 - 21, publish plan date 11-21.

11/20/02 - CMP Monthly Meeting agreed to move this CR to CLEC Test status.

12/06/02 - No comments received. Final Notification sent out 11-27 effective 12-12. Move to close this CR at the December CMP meeting.

12/10/02 - Contacted Covad to check if process working. No orders have gone through this process as of yet so we will plan on leaving this project in CLEC Test.

12/18/02 - December P/P CMP Meeting minutes will be posted to the Project Meeting section. PCAT completed and no comments came in. Qwest and Covad discussed the forms that are used to order this product and agreed that the product has not been ordered yet so we will leave the CR in CLEC Test until the product is ordered and working.

01/15/03 - CMP Meeting - CR remains in CLEC Test.

02/19/03 - Feb CMP Meeting - CR remains in CLEC Test. Product has been ordered and is going through the entire process. Should be able to close this CR after order is completed. CMP Meeting minutes will be posted to the Project Meeting Section.

3/11/03 - Qwest Steve Nelson checking on 3 pending jobs for Covad - quote has been issued but not accepted yet. Nelson will be advised when the jobs go to joint testing.

3/19/03 - March CMP Meeting minutes will be posted to the database

4/16/03 - April CMP Meeting minutes will be posted to the database

5/16/03 - May CMP Meeting minutes will be posted to the database

6/18/03 - June CMP Meeting minutes will be posted to the database

7/16/03 - July CMP Meeting minutes posted to the database


Project Meetings

07/16/03 July CMP Meeting Minutes John Berard – Covad advised on one test there was a scheduling issue between the technicians. Steve Nelson – Qwest explained that was at the Dry Creek Central Office and the technicians were not able to coordinate their schedules. Qwest has completed multiple tests successfully with Covad and Integra. The SICMs were present at all tests. One of the tests included 400 DSO lines, which were tested without any defects. The test with Integra had one defect, which was later cleared. Qwest reviewed the process and explained if there are problems we will continue to work with the CLECs. John Berard – Covad agreed to close this CR.

06/18/03 June CMP Meeting Minutes Steve Nelson – Qwest reported the Dry Creek test is still pending. Qwest and Covad completed the test in Washington. They tested 200 cables, all were good, and we found 2 splitter card problems that we resolved. The joint test took 1 hour to do the test, and 1-hour travel time each way. Qwest will reduce the interval to 1 hour. Mike Zulevic-Covad advised we need to work on sharing and recording test results. Covad requested to leave in CLEC Test one more month.

05/21/03 May CMP Meeting Minutes Steve Nelson – Qwest reported he is monitoring two RFS; one for Covad and one for Cyber Mesa. There is a call scheduled today which will set up the time for the Joint Test to occur. Steve and Mike will try to attend the Joint test. Steve will advise Cindy Macy when the joint test is scheduled and completed. This CR will remain in CLEC Test.

04/16/03 April CMP Meeting PC011502-1: Joint Testing of Qwest Installed Transmission Cables

Steve Nelson – Qwest reported a total of 13 joint test results have been submitted and are pending from 3 different CLECs. None are completed as of yet so we are unable to report on the test results until they go through that phase. These requests came in with Augment orders. Steve advised Qwest will be updating the document to include improvements on the process. Steve is working with the CPMC and will get the RFS dates and call Mike Zulevic. Mike advised he would like to keep this CR open until an order has gone through the entire process. This CR will remain in CLEC Test status.

03/19/03 March CMP Meeting Steve Nelson – Qwest reported Covad has issued orders and Qwest is waiting for Covad to accept the quote. After Covad accepts the quote Steve Nelson will monitor the process to make sure the joint test goes okay. Mike Zulevic agreed to check and see why Covad has not accepted the quote as of yet. Steve Nelson agreed to call Mike with BAN numbers.

02/19/03 Steve Nelson-Qwest and Mike Zulevic-Covad advised they have updated the Interconnection Agreement and Covad has placed augment orders. We are now waiting for the orders to go through the entire process which normally has a 45-60 day interval to complete. After the orders go through the entire process we will determine a close date.

01/15/03 January CMP Meeting

White-Qwest described the CR. Zulevic-Covad stated that Qwest and Covad were in the process of amending Covad’s interconnection agreement and that when that was complete Covad would begin placing orders. This CR remains in CLEC Test.

12/18/02 December CMP Monthly Meeting Minutes Qwest - Nelson advised the PCAT was published and no comments were received. Nelson reported he is working with Covad to clarify how to order the product. Section M of the Collocation Order Form and the Joint Testing at ICDF Form is used for ordering. Covad advised an amendment to their Interconnect Agreement will be issued to modify the increments. The team agreed another CR would need to be issued and handled as a Level 2. This CR will be left in CLEC Test until an order is placed for the product or until the team determines otherwise.

11/20/02 November CMP Monthly Meeting Minutes Qwest (Steve Nelson) reported the PCAT was updated and posted for review with the comment cycle ending 11-21. It was agred to move this CR to CLEC Test.

10/18/02 October CMP Monthly Meeting Minutes Qwest reported the process document for the Test Access Points is under review and anticipated to be available for review effective October 18, 2002. The Qwest documentation review team surfaced an issue after the CMP meeting that is currently under investigation. This issue will impact the October 18 availability date. The document will remain in review and this project will remain in Development status.

09/18/02 September CMP Monthly Meeting Minutes

Qwest advised that documentation on the Joint Test Process should be published by the end of next week. Comments from the last collaborative review meeting are being incorporated into the document and the Collo Application form is being updated. The CR will remain in Development

-

08/21/02 August CMP Monthly Meeting Minutes

Qwest provided a status update on issuance of the Initial Notification. They indicated that the process with being revised to incorporate the CLECs request to have Qwest contact the CLEC to notify when they are ready and that there would be no additional QPF. Covad advised that they had a conversation with the Collocation Product Manager and he provided the same update.

-

07/17/02 - July CMP Meeting Minutes: Qwest stated a meeting was held July 11, 2002 to discuss the proposed product offering. Qwest stated another meeting is planned for the first week of August with the CLECs to discuss proposed resolutions to the questions raised during the July 11 meeting. Qwest will issue a notice to the CLEC community containing proposed dates for the meeting.

CLEC conference call held to review the ICDF Joint Testing product offering and the Test Access Points document

10:00 a.m. (CST) / Thursday, July 11, 2002 Conference Call TEL: 877.521.8687 CODE: 5699655 PC011502-1 Joint testing of Qwest installed transmission cables

Attendees Brent Debrock Cbeyond Communications Al Villiam Allegiance Steve Marks Allegiance David Stauter Allegiance Mike Zoulvik Covad Beckey Neesen Covad Byron Dowing Alltel Laurel Burke Qwest Jerry Bocke Eschelon Lana Messenger FreeTel Communication Mike Keegan Qwest Benjamin Campbell Qwest Johnathan Spangler AT&T

Introduction of the participants on the Conference Call was made. Qwest explained that the purpose of the call was to review the IDCF Joint Testing product offering and the Test Access Points document.

Qwest discussed the new process offering of Joint Testing, and the Test Access Points Document. The CLEC community expressed that they want: 1) Qwest to take an active role in the test process during Joint Test 2) CLECs do not want to pay for the Joint Test if there are errors found in the Qwest installed Cable.

Qwest stated it would explore these two requests to see if they can be incorporated into the new product offering. Based upon this new feedback, Qwest will delay delivery of the Joint Test Process until resolution on these additions have been resolved. Qwest stated that it would set up another meeting to review the Joint Test Process once a decision is made on their request.

Qwest asked Eschelon if the Test Access Points Document provided the detail requested by Eschelon at the June 19, 2002 CMP meeting (reference Action Item AI041702-1 "Prepare high level documented process of what CLECs are allowed to do in Qwest Central Offices". Eschelon replied the document has not yet been reviewed.

CLEC Change Request Clarification Meeting

12:30 p.m. (MDT) / Wednesday 23 January 2002 Conference Call TEL: 877.554.8688 CODE: 3269208 PC011502-1 “Joint Testing of Qwest Installed Transmission Cables”

Attendees: Michael Zulevic, Covad Jeffery B. Cook, Qwest Richard Martin, Qwest Peter Wirth, Qwest

Introduction of Attendees Introduction of the participants on the Conference Call were made and the purpose of the call discussed

Review Requested (Description of) Change Mike indicated that he recognized that at the time the tie cables are placed, they do not do an actual test when the tie cables are terminated to the equipment. They were looking to be able to do continuity tests, etc before they terminated to the equipment and wanted a period of time for them to do their test and acceptance. Jeff asked why Covad wanted to test DS1 & 3 cables. Mike advised that they wanted to ensure that installation was correct. It was agreed that Covad didn’t want to limit the scope to the cables at the colo splitter arrangement and wanted to cover actual installation(s) at their colo location. Mike confirmed that they were looking for a formal test and turnover process and wanted an acceptance period after actual installation of the facility took place. This would be a joint testing process. Mike indicated that he would be willing to have discussion on the interval time of 60 days. Covad is limited to the number of techs that cover various states and a reasonable time would be required for their techs to get from place to place.

Confirm Areas & Products Impacted It was confirmed that Covad would like any products covered to be included in the process. . Confirm Right Personnel Involved Jeff indicated that Laurel Burke would probably take ownership of the CR and he would help facilitate.

Identify/Confirm CLEC’s Expectation It was confirmed that Covad is looking for a process for Test and Turnover of facility installations to their collocations.

Identify any Dependent Systems Change Requests There is no corresponding System CR

Establish Action Plan (Resolution Time Frame) Ric advised that the CR would be clarified with the CLEC Community at the next CMP Meeting and Qwest will verbally present potential solutions.


CenturyLink Response

March 11, 2002

Michael Zulevic Director Technical Regulatory Support Covad Communications

SUBJECT: Qwest’s Change Request Response - CR # PC011502-1 Joint Testing of Qwest Installed Transmission Cables

This letter is in response to your Change Request PC011502-1 requesting a formal test and turn up process and an acceptance period after the collocation installation work completes – after Ready For Service (RFS). Covad envisions this process as joint testing at no additional cost to take place within 60 days of the RFS that allows for scheduling of their technicians.

Qwest is committed to providing quality facilities installations by the RFS date and Qwest’s warranty obligations will be enforced. Qwest installation forces perform continuity testing where appropriate when the collocation is turned over to Covad for acceptance. We perform quality audits on a random basis to check the quality of our work on the collocation CLEC cable installations. Streaker tests are performed on Line Sharing installations.

Recent results of Qwest internal quality audits have identified the following as it relates to the line sharing installations performed as a project in the summer of 2000: ? Of 249 jobs checked, 25.7% had some percentage of defects. ? One way to describe it is in # of pairs provisioned - (1 pair/job w/problem) x (25.7% of jobs w/connection problems)/300 pairs/job = 0.086% of all terminations wired had problems open/cross/reversal problems. ? This type of error is not common, but not unheard of in Telecommunications Installation. ? 7 jobs (3%) had the cards not seated in the splitter. Normally, Central Office Equipment installation hands off cards to the CO Operations for final test/turn-up. Line Sharing differed from this ingrained work-norm, and thus resulted in 2% of those jobs exhibiting this problem. ? 3 (1%) of the jobs had items that were found to be attributed to CLEC-issues (e.g. telling Qwest to cannibalize circuits that already had jumpers run for CLEC-customers, and 1 item that was traced back to the Customer Premise - end user equipment). ? 5 jobs had a combination of the above issues.

Given the newness of the product and associated processes and technologies, this project proved more challenging than any standard collocation build. Thus, the quality of those standard builds are even better than the Line Sharing results.

After the facility installation has been turned-over and the CLEC has had the opportunity to terminate their bulk end of the cable, full testing of the terminations between their collocation space and the vertical side of the ICDF can be done by the CLEC. In the case that these CLEC test indicate Qwest-defects, Qwest is willing to revisit the site and resolve any such defects for no additional charge should they exceed a 2% threshold. The attached diagram captures the existing test points as they are defined today in the Unbundled Loop process and collocation test access.

The piece of cable between the CLEC’s collocation space and the vertical side of the ICDF (commonly referred to as CLEC cabling) is the responsibility of CLEC and is paid for by the CLEC, as part of the collocation build out. With that stated, the CLEC is responsible for the testing, maintenance and subsequent repair if they were to find trouble in this cable “piece” after any acceptance or continuity test on their part requiring Qwest installation revisit initially.

Qwest evaluated the possibility of having a coordinated Joint Test on a regularly scheduled basis, but determined quality results indicate it would not be productive to do so and would indeed be costly. Nevertheless, we are willing to Joint Test should a CLEC still feel the need for such a service and agree to do so under our Special Request process and price the service accordingly.

We are committed to define the Joint Test process over the next few months.

Sincerely,

Steve Nelson Group Product Manager-Collocation

Cc: Laurel Burke Mary Retka William Campbell

(See end of this CR Detail Report for Attachment)


Open Product/Process CR PC011502-2 Detail

 
Title: Collocation Point of Demarcation cross connect wiring documentation
CR Number Current Status
Date
Area Impacted Products Impacted

PC011502-2 Completed
7/17/2002
Ordering, Maintenance/Repair Collocation, UDIT, Unbundled Loop, UNE, LIS / Interconnect
Originator: Zulevic, Michael
Originator Company Name: Covad
Owner: Burke, Laurel
Director:
CR PM:

Description Of Change

Provide documentation at every Point of Demarcation cross-connect point, clearly available to both Qwest and CLEC technicians, which clearly describes the appropriate method of making cross-connects, in order to eliminate reversed circuits and/or incorrectly wired circuits. This documentation will provide a consistent product for CLECs and establish a common understanding between the CLEC and Qwest technicians as to the proper wiring of DS0 (UNE and Line Shared), DS1 and DS3 circuits, eliminating unnecessary trouble reports and costly dispatches.

Additional Information: Covad has experienced a significant number of incorrectly wired customer circuits. These include incorrectly wired DS0 UNE and Line Shared services and also DS1/3 services which have been delivered with the transmit and receive conductors reversed, requiring a technician dispatch to the central office.


Status History

01/14/02 - CR Submitted by Covad.

01/15/02 - CR acknowledged by P/P CMP Manager.

01/18/02 - Coordinated optional dates/times for Clarification Meeting with Covad.

01/21/02 - Clarification Meeting conducted with submitting CLEC.

01/21/02 - Clarification Meeting minutes transmitted to submitting CLEC.

02/18/02 - Follow-up clarification meeting conducted with submitting CLEC.

02/20/02 - CMP Meeting - CLEC community clarification conducted. CR status changed to "Evaluation." Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

03/12/02 - Qwest draft response posted to database and sent to submitting CLEC

03/13/02 - Qwest draft response posted to Web

03/20/02 - CMP Meeting - Qwest presented its Draft Response dated March 20, 2002. Covad not present at meeting. It was agreed that the CR status be changed to Development . Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

03/21/02 - Revised draft response dated March 20, 2002 sent to Covad and posted to database.

03/21/02 - Telephone conference with Covad - Qwest explained the discussion at the CMP Meeting. Covad requested another call for more clarification regarding Qwest draft response.

03/21/02 -2nd Telephone conference call with Covad. Covad agreed to provide list of busiest CO's where they would like to see diagrams for DS1 and DS3 posted in bays at cross connects. This list will be sent to CRPM by March 29. Qwest will investigate cost of getting decals of the diagrams created in order to maintain fire rating in the bays.

03/21/02 - Snap shot of the diagrams for DSX1 & 3 crossconnection taken directly from the T1X1 T1.102 ANSI Standard document sent to Covad

04/10/02 - Revised response sent to originating CLEC and posted to CMP database

04/17/02 - CMP Meeting - Qwest presented its final response . CR status as Development unchanged. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

04/19/02 - Formal response dated April 10, 2002 issued to CLECs. Notification CMPR.04.19.02.F.01258.Final_CR_Responses.

05/15/02 - CMP Meeting - CR status "Development" unchanged. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

06/19/02 - CMP Meeting -- Covad was not present at meeting. CR status "Development" unchanged. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

07/17/02 - CMP Meeting - Meeting minutes posted to this CR's Project Meetings section. CR status was changed to Completed.


Project Meetings

07/17/02 - July CMP Meeting Minutes: Qwest stated all collocation point of demarcation cross-connect wiring documentation had been placed in the central offices. Covad agreed to change status to closed.

9:00 a.m. (MDT) / Monday 18th February 2002 Conference Call TEL: 877.554.8688 CODE: 3269208 PC011502-2 "Collocation Point of Demarcation cross-connect wiring diagram" [Follow-up Meeting]

Michael Zulevic, Covad Laurel Burke, Qwest Steven Hilleary, Qwest Michael Lanoue, Qwest Peter Wirth, Qwest

1.0 Introduction of Attendees Attendees introduced.

2.0 Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Description: Provide documentation at every Point of Demarcation cross-connect point, clearly available to both Qwest and CLEC technicians, which clearly describes the appropriate method of making cross-connects, in order to eliminate reversed circuits and/or incorrectly wired circuits. This documentation will provide a consistent product for CLECs and establish a common understanding between the CLEC and Qwest technicians as to the proper wiring of DS0 (UNE and Line Shared), DS1 and DS3 circuits, eliminating unnecessary trouble reports and costly dispatches. Additional Information: Covad has experienced a significant number of incorrectly wired customer circuits. These include incorrectly wired DS0 UNE and Line Shared services and also DS1/3 services which have been delivered with the transmit and receive conductors reversed, requiring a technician dispatch to the central office.

Additional discussion occurred regarding specifics of the request. Covad indicated that it would like to have wiring diagrams in the collocation areas for the cross connects for DS0/DS!/DS3 circuits. Steve Hilleary & Michael Lanoue, Qwest indicated that current test procedures should identify polarity (transmit/receive) reversals, unless "loop backs" are utilized during testing. Qwest will review procedures and determine if "loop backs" are allowable. Laurel Burke, Qwest requested more recent specific examples dealing with the CR from Covad. Qwest will conduct the CLEC community clarification in the 20-Feb-02 meeting, to solicit any additional input.

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} Appropriate products & areas identified in CR.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Qwest & Covad confirmed appropriate personnel were in attendance.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC " what does Qwest have to do in order to close this CR? (in measureable terms ie provide a documented process, change a process to include training etc)"} Covad is requesting Qwest to provide process/documentation available to both Qwest and CLEC at the ICDF detailing the correct cabling (& terminations) for a cross-connection.. Qwest to evaluate CR. During the February 2002 Monthly P&P CMP Meeting, Qwest will either solicit input from CLEC community & provide potential solutions to the CR.

--

10:00 a.m. (MDT) / Monday 21th January 2002 Conference Call TEL: 877.554.8688 CODE: 3269208 PC011502-2 "Collocation Point of Demarcation cross-connect wiring diagram"

Michael Zulevic, Covad Shirley Tallman, Qwest Peter Wirth, Qwest

1.0 Introduction of Attendees Attendees introduced.

2.0 Review Requested (Description of) Change: Description: Provide documentation at every Point of Demarcation cross-connect point, clearly available to both Qwest and CLEC technicians, which clearly describes the appropriate method of making cross-connects, in order to eliminate reversed circuits and/or incorrectly wired circuits. This documentation will provide a consistent product for CLECs and establish a common understanding between the CLEC and Qwest technicians as to the proper wiring of DS0 (UNE and Line Shared), DS1 and DS3 circuits, eliminating unnecessary trouble reports and costly dispatches. Additional Information: Covad has experienced a significant number of incorrectly wired customer circuits. These include incorrectly wired DS0 UNE and Line Shared services and also DS1/3 services which have been delivered with the transmit and receive conductors reversed, requiring a technician dispatch to the central office.

Michael Zulevic, Covad reviewed CR stressing the following: 1) focus primarily on DS1 and DS3 cross-connects utilizing ICDF’s; 2) polarity (Transmit/Receive) of connections incorrectly wired; and 3) need process/documentation for access by both Qwest & CLEC to completed connection correctly, thus avoiding cross-connection re-work. Examples were cited in the Seattle, WA and Minneapolis, MN CO’s. Covad indicated that Susan Early, Qwest [Covad account manager] is aware of incorrect wiring examples. Incorrect wiring results in service affecting conditions, along with need for re-work.

Shirley Tallman, Qwest asked clarifying questions and indicated that research with the methods group appears to be warranted to identify current Qwest practice, and determine what could be done to address the CR.

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} Appropriate products & areas identified in CR.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Qwest & Covad confirmed appropriate personnel were in attendance.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measureable terms ie provide a documented process, change a process to include training etc)} Covad is requesting Qwest to provide process/documentation available to both Qwest and CLEC at the ICDF detailing the correct cabling (& terminations) for a cross-connection.. Qwest to evaluate CR. During the February 2002 Monthly P&P CMP Meeting, Qwest will either solicit input from CLEC community & provide potential solutions to the CR; or provide an expedited response to the CR.


CenturyLink Response

April 10, 2002

COVAD Communications Michael Zulevic Director Technical Regulatory Support

SUBJECT: Qwest’s Change Request Response - CR # PC011502-2 Collocation Point of Demarcation cross-connect wiring documentation

This letter responds to COVAD Communications’ Change Request PC011502-2 requesting the posting of the DS1/3 circuit wiring diagram on the Central Office ICDF DSX frames. Covad indicated that the purpose of the diagram posting was to eliminate reversed circuits as in line sharing situations and other incorrectly wired circuits as well as to provide cross connection wiring consistency between CLEC and Qwest technicians.

Qwest maintains responsibility for correctly provisioning cross connections on all order types. Qwest Central Offices contain a large and variable number of InterConnection Distribution Frame ("ICDF") Digital Signal Level X(DSX) frames, estimated to exceed 10, 000 frames, that would in turn require a large number of DSX circuit cross connection diagrams. Qwest also recognizes that concerns and questions arise surrounding the provisioning of DS1 or DS3 cross connections. Therefore, Qwest will provide a copy of the Qwest Method and Procedure ("M&P") in each Central Office location. Central Office personnel responsible for provisioning and repairing DS1/DS3 circuits will be able to access the M&P. The M&P will be available beginning in June 2002. Further, after following the office wiring steps loaded into Qwest systems for the order, Qwest ensures that the proper transmit to receive connectivity has been achieved by performing the proper post wiring tests.

Qwest reiterates its commitment to correctly wire cross connections on all types of orders and believes that providing the Qwest M&P in each Central Office will alleviate the concerns expressed. If Covad has information related to specific instances of improper wiring, Qwest continues to request that Covad provide such information so that Qwest can take the appropriate action.

Sincerely,

Laurel L. Burke Staff Adovcate Technical Regulatory Interconnection Planning Local Networks

cc: Deborah Heckart, Director Program/Project Management Mary Retka, Director Legal Issues


Open Product/Process CR PC011502-4 Detail

 
Title: Documentation of block and splitter port numbering for Virtual Splitter Collocation
CR Number Current Status
Date
Area Impacted Products Impacted

PC011502-4 Completed
5/15/2002
Ordering, Maintenace / Repair Colocation, UDIT, UNE, LIS / Interconnect
Originator: Zulevic, Michael
Originator Company Name: Covad
Owner: Cook, Jeff
Director:
CR PM:

Description Of Change

Provide documentation at every ICDF cross-connect point, clearly available to both Qwest and CLEC technicians, which clearly describes the relationship between the Covad tie cable numbering, splitter port/card numbering and the numbering of the combined voice/data and voice only cross-connect blocks on the Qwest side of the ICDF. Qwest’s decision to cable and number using a 1 to 96 numbering convention instead of 1 to 100, as is the convention used by Covad’s tie cables and equipment, has resulted in serious provisioning and trouble isolation problems.

Additional Information: Qwest agreed to provide this documentation when this problem was discovered during the initial deployment of splitters. Covad preferred to have the installations re-wired using the 1 to 100 convention, but agreed to the posting of documentation. This documentation is not currently posted in Qwest central offices. When a trouble report is identified with a customer using Covad tie pair 26, Qwest technicians must know that the customer’s service is on pair 25 on the Qwest cross-connect blocks. Without clear and available documentation available to the Qwest and CLEC technicians, service could be interrupted for the wrong customer, and resolution of the original trouble report will be further delayed.


Status History

01/14/02 - CR Submitted by Covad.

01/15/02 - CR acknowledged by P/P CMP Manager.

01/18/02 - Coordinated optional dates/times for Clarification Meeting with Covad.

01/23/02 - Clarification Meeting conducted with submitting CLEC.

01/23/02 - Clarification Meeting minutes transmitted to submitting CLEC.

02/07/02 - Draft response (dated 02/06/02) transmitted to submitting CLEC and posted in CMP data base.

02/20/02 - CMP Meeting - Qwest presented "Draft" response. CR status changed to "Development. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

02/22/02 - Qwest "Formal" response (dated 02/06/02) posted in CMP data base.

02/28/02 - Qwest "Formal" response reissued to incorporate an updated Qwest / CLEC Interconnect Distribution Frame (ICDF) Cable Numbering table

03/20/02 - CMP Meeting - Qwest povided update. It was announced that the Job Aid will be complete and deployed in the Central Offices by April 1, 2002. Covad was not at the meeting. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

03/21/02 - Telephone conference with Covad - Qwest explained the discussion at the CMP Meeting. It was agreed CR status would remain in Development.

04/17/02 - CMP Meeting - CR status changed to CLEC Test. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

05/15/02 - CMP Meeting - CR status changed to Completed. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.


Project Meetings


CenturyLink Response

February 28, 2002

Michael Zulevic Director, Technical Regulatory Support Covad Communications

The following response was originally issued in a letter dated February 6, 2002. It is being reissued to incorporate an updated Qwest / CLEC Interconnect Distribution Frame (ICDF) Cable Numbering table (see attachment).

SUBJECT: Change Request Form Number PC011502-4 “ Documentation of Block and Splitter Port Numbering for Virtual Splitters,” dated January 14, 2002.

Qwest has evaluated the Change Request (CR) PC011502-4, and has determined the following:

? Covad is correct with their assessment of the potential confusion that may arise from the different cable wiring schemes utilized by Qwest and the CLECs at the Interconnection Distribution Frame (ICDF). Qwest or CLEC technicians may incorrectly install or service these connections, resulting in potential customer service impacts.

? Qwest will draft a “Job Aide Table” identifying the relationship between the Qwest and CLEC cable wiring schemes. The table will augment the existing information in the current internal Central Office Job Aide. The table will be placed within the vicinity of the individual ICDF(s) in the Central Office (CO) on the back of the previously agreed to existing job aide as discussed with the Federal Communications Commission (FCC). The target date for issuing the “Job Aide Table” is March 31, 2002. Qwest will notify the CLEC community of formal issuance via the Notification Process through the Change Management Process (CMP).

Sincerely,

Jeff Cook Network Planner – Technical Regulatory Qwest

Cc: Mary Retka, Director Legal Issues, Qwest Brett Fesler, Associate Product Manager, Qwest

Attachment (See Supplemental Information)


Open Product/Process CR PC011502-3 Detail

 
Title: Provide test documentation for all collocation activity including transport cable augments
CR Number Current Status
Date
Area Impacted Products Impacted

PC011502-3 Completed
4/17/2002
Ordering, Maintenance / Repair Collocation, UDIT, Unbundled Loop, UNE, LIS / Interconnect
Originator: Zulevic, Michael
Originator Company Name: Covad
Owner: Burke, Laurel
Director:
CR PM:

Description Of Change

Provide documentation to CLECs upon completion of new collocation activity or augments to existing collocations, that specify all tests performed to ensure that the work completed by Qwest, or a Qwest designated vendor, was completed properly. These test records must reflect the absence of any physical or electrical faults, including incorrect numbering of cables or cross-connect blocks. Completion of test records is a requirement of Covad’s non-ILEC contractors and the same requirements must apply to Qwest. This requirement has always been placed upon Qwest’s contractors when they are performing work for Qwest.

Additional Information: Covad has experienced a significant number of incorrectly cabled, or designated tie cables from Qwest which has resulted in our not being able to remotely provision customer service.


Status History

Evaluation."01/14/02 - CR Submitted by Covad.

01/15/02 - CR acknowledged by P/P CMP Manager.

01/18/02 - Coordinated optional dates/times for Clarification Meeting with Covad.

01/21/02 - Clarification Meeting conducted with submitting CLEC.

01/21/02 - Clarification Meeting minutes transmitted to submitting CLEC & posted in CMP data base.

02/20/02 - CMP Meeting - CLEC community clarification conducted. CR status changed to "Evaluation." Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

03/12/02 - Qwest draft response posted to database and sent to submitting CLEC

03/13/02 - Qwest draft response posted to Web

03/20/02 - CMP Meeting - Qwest presented its Draft Response dated March 1, 2002. Covad not present at meeting. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

03/21/02 - Telephone conference with Covad - Qwest explained the discussion at the CMP Meeting. Covad was in agreement that the CR would move into CLEC Test.

03/22/02 - Formal response dated 03/01/02 issued to CLECs. Notification CMPR.03.22.02.F.01240.CR_Responses

04/17/02 - CMP Meeting - CR status changed to Completed. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.


Project Meetings

10:30 a.m. (MDT) / Monday 21th January 2002 Conference Call TEL: 877.554.8688 CODE: 3269208 PC011502-3 "Provide test documentation for all collocation activity including transport cable augments"

Michael Zulevic, Covad Laurel Burke, Qwest Cathy Paradiso, Qwest Peter Wirth, Qwest

1.0 Introduction of Attendees Attendees introduced.

2.0 Review Requested (Description of) Change: Description: Provide documentation to CLECs upon completion of new collocation activity or augments to existing collocations, that specify all tests performed to ensure that the work completed by Qwest, or a Qwest designated vendor, was completed properly. These test records must reflect the absence of any physical or electrical faults, including incorrect numbering of cables or cross-connect blocks. Completion of test records is a requirement of Covad’s non-ILEC contractors and the same requirements must apply to Qwest. This requirement has always been placed upon Qwest’s contractors when they are performing work for Qwest. Additional Information: Covad has experienced a significant number of incorrectly cabled, or designated tie cables from Qwest which has resulted in our not being able to remotely provision customer service.

Michael Zulevic, Covad reviewed the CR and added the following points: 1) Covad is requesting testing/acceptance documentation for collocation augment and new location builds; 2) documentation to be available upon turn-over to CLEC; 3) provides some assurances to CLEC that collocation space has been properly installed/tested; and 4) Covad’s experiences have been that some problems (i.e., grounding, cable labeling, etc). Covad also suggested that some type of co-acceptance by Qwest & the CLEC may assist in this request.

Examples of occurrences were requested by Laurel Burke & Cathy Paradiso, Qwest. Examples were transmitted earlier to Laurel Burke.

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} Appropriate products & areas identified in CR.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Qwest & Covad confirmed appropriate personnel were in attendance.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measureable terms ie provide a documented process, change a process to include training etc)} Covad is requesting Qwest to provide documentation available to both Qwest and CLEC for collocation space augments/builds to document install/testing status for acceptance. Qwest to evaluate CR. During the February 2002 Monthly P&P CMP Meeting, Qwest will either solicit input from CLEC community & provide potential solutions to the CR; or provide an expedited response to the CR.


CenturyLink Response

March 1, 2002

Michael Zulevic Director Technical Regulatory Support Covad Communications

SUBJECT: Qwest’s Change Request Response - CR # PC011502-3 Testing Documentation

This letter provides a draft response to your CLEC Change Request Form, number PC011502-3 dated January 14, 2002 - "Provide test documentation for all collocation activity including transport cable augments". Covad requested that documentation be provided upon the completion of collocation activity specifying all tests that performed to ensure cabling work by Qwest or a Qwest designated vendor, was completed properly. During the Change Management Process forum, February 20, 2002, Covad provided further clarification indicating that they would limit this request to virtual and line sharing collocations. Since no discussion included remote collocation applications, this response only addresses central office based virtual collocation and the installation of line sharing.

As part of its standard procedure, Qwest performs cable tests where needed and appropriate. As the CLEC community recognized during the forum, testing of the bulk cable in the physical collocation job does not provide much value as the cable is not terminated to CLEC equipment. However, continuity testing associated with virtual like collocations, including line sharing does not have the same limitation. Thus, on a going forward basis, Qwest agrees to provide the completed Cable Test Record (COE) document RG47-0157 (attached to this response), beginning April 1, 2002, to CLECs involved with new or augmented virtual collocations and line sharing orders, upon CLEC request.

Sincerely,

Laurel L. Burke Staff Advocate Technical Regulatory Interconnection Planning, Local Networks Qwest

cc: Mary Retka, Director, Technical Regulatory Interconnection Planning David Fong, Director, Qwest Central Office Technologies Installation Chuck Points, Director, Qwest Central Office Technologies Installation


Open Product/Process CR PC020502-1 Detail

 
Title: Eliminate Requirement to Provide Tie Cable Specification (Reference Systems CR # SCR020502 1x)
CR Number Current Status
Date
Area Impacted Products Impacted

PC020502-1 Completed
5/15/2002
Ordering, Maintenance/Repair Collaction, Private Line, UDIT, Unbound Loop, UNE, LIS /Interconnect
Originator: Zulevic, Michael
Originator Company Name: Covad
Owner: earley, Susan
Director:
CR PM:

Description Of Change

This Change Request seeks to eliminate the requirement to provide tie cable type or technical specifications of tie cable on LSRs and ASRs.

Products Impacted: Any products requiring tie cables to a collocation arrangement.

Qwest policy currently requires Covad to provide specific information relative to the tie cable assigned for use on a LSR/ASR. This information includes the type and gauge of cable of the assigned facility (CFA). If this information is not included or is not in agreement with Qwest records, the LSR/ASR is rejected, which results in delays for Covad customers. Covad believes that it should not be necessary to provide tie cable technical specifications on an LSR. This information is available to Qwest, as they originally installed the tie cables and determined the appropriate technical specifications at that time. This information should be available to them in TIRKS, if required. Further, Qwest is the only ILEC that requires this information to be provided on an LSR/ASR, indicating that the Qwest process is not consistent with industry "Best Practices."

Covad has experienced a significant number of order rejections for DS0, 1 and 3 services due to the omission of tie cable technical information or perceived discrepancies relating to these specifications resulting in delayed customer service provisioning.


Status History

02/04/02 - CR Submitted by Covad

02/05/02 - CR acknowledged by P/P CMP Manager.

02/06/02 - Left voice mail messages on M Zulevic's office and cellular phone to advise of available time for clarification conference call.

02/11/02 - Scheduled Clarification meeting with Covad for 2/15/02.

02/15/02 - Conducted clarification meeting with Covad.

02/19/02 - Issued Clarification Meeting Minutes to Covad.

02/21/02 - Sent Covad e-mail requesting response to a couple of questions.

03/01/02 - Sent e-mail to Covad requesting an additional clarification meeting be scheduled. Changed Owner in dBase to Crystal Soderlund.

03/07/02 - Conducted additional Clarification Meeting with Covad.

03/11/02 - Issued additional Clarification Meeting Minutes to Covad.

03/18/02 - Covad sent e-mail with an example.

03/20/02 - CMP Meeting - Qwest presented the CR to the participants in Covad's absence. Qwest indicated that to implement the CR would require a Systems Change Request. Qwest will provide its response next month. It was agreed that the CR would move to Evaluation. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

03/21/02 - Telephone conference with Covad - Qwest explained the discussion at the CMP Meeting. Covad was in agreement that the CR would move into Evaluation.

04/10/02 - Issued Qwest's Draft Response dated April 3, 2002 to Covad.

04/17/02 - CMP Meeting - Qwest presented its response. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. It was agreed that a Systems Cross Over CR would be created on behalf of Covad. Qwest to respond to Action Items.

04/19/02 - Formal response dated April 3, 2002 issued to CLECs. Notification CMPR.04.19.02.F.01258.Final_CR_Responses.

04/24/02 - Issued Systems CR to cmpcr@qwest.com on behalf of Covad.

04/24/02 - Sent e-mail to Covad requesting ILEC contacts.

04/24/02 - Received e-mail from Covad requesting that Qwest work through the TIRKS User Group or Telcordia.

04/30/02 - Sent e-mail to Covad inquiring on CO identification.

04/30/02 - Received e-mail from Covad advising that they were waiting on a TIRKS report from Qwest.

05/02/02 - Sent e-mail to Covad responding to Covad's 4/30/02 e-mail.

05/07/02 - Conducted Clarification call with Covad to review the requirements for Action Item No. 1.

05/10/02 - Issued Meeting Minutes from 5/7/02 conference call to Covad.

05/15/02 - CMP Meeting - Qwest advised that a Systems CR was issued and provided its response to the Action Item. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. It was agreed to close the CR, track the Systems CR and open a Global Action Item for CFA validation..


Project Meetings

CLEC Change Request Additional Clarification Meeting

May 7, 2002 9:00 am (MDT) Conference Call TEL: 877-564-8688 CODE: 8973036 PC020502-1, Action Item No. 1

Attendees: Mike Zulevic, Covad Judy Hotovec, Covad Becky Neessen, Covad Ric Martin, Qwest Susan Earley, Qwest Crystal Soderlund, Qwest

Introduction of Attendees and Purpose of Meeting Introduction of the participants on the Conference Call was made. Ric explained that the purpose of the call was to clarify the action item requirements identified in April’s CMP meeting versus the requirement that was discussed in a Covad/Qwest conference call after the CMP meeting.

Review of Action Item Requirements Ric explained that it was Qwest’s understanding from the April CMP meeting that Covad was to identify a Central Office (CO) to Qwest (Susan) and Qwest Crystal would validate the CFA information at that CO. A subsequent conference call between Qwest and Covad identified the action that Qwest was to advise if a report could be generated from TIRKS to provide all of Covad’s CFA information for all COs. Ric asked which direction Covad wanted Qwest to take. Mike advised that there is a miss-match with the cable gauge information on the final CFA and what is in TIRKS. He understood the System CR needs, but indicated that would take a while to get through the process. He would like to have a 100% validation of their CFA information. Becky indicated that at the call between Qwest and Covad, Bill Fellman was to do a sampling of COs. Susan advised that she could do a sampling of a few offices. It was agreed that Covad would provide 4 COs which Qwest would validate the CFA information for each CO. Covad is to provide their APOT information, which Qwest will validate against. Becky advised that it would be a day or two before she could provide the information. Mike re-emphasized the need to have a 100% validation and would like to get a mechanized dump from TIRKS. Susan advised that she wasn’t aware if there had ever been an electronic dump. Susan will follow-up to determine if this is feasible. Judy indicated that there should be an OVC & APOT dump query. Qwest advised that they would respond to the items by May’s CMP meeting, or sooner.

Subject: RE: CFA Validation Date: Thu, 2 May 2002 12:24:11 -0600 From: "Susan Earley" To: "Michael Zulevic" CC: "Richard Martin" , "Susan Earley" , "Crystal Soderlund" , "Beckie Neesen (E-mail)"

In the meeting we had last month on line sharing and line splitters. I thought Becky brought this up and Bill Fellman was going to check with Tirks staff to see if they could run some kind of report to pull the CFA information for all of Covad's collos. Other then pulling up each one individually Bill and I knew of no way to pull all the collo information at once. I have left Bill a message asking about this. I will get back to you as soon as I hear from Bill.

Susan

--

Subject: RE: CFA Validation Date: Tue, 30 Apr 2002 17:08:49 -0700 From: "Michael Zulevic" To: "Richard Martin" CC: "Susan Earley" , "Crystal Soderlund" , "Beckie Neesen (E-mail)"

Ric,

According to Beckie, we are still waiting to see how you can provide us with a report from TIRKS that will allow us to validate it against our systems. Maybe Susan has an update on this.

Mike Z.

From: Richard Martin [mailto:rhmart2@qwest.com] Sent: Tuesday, April 30, 2002 2:04 PM To: Mike Zulevic Cc: Susan Earley; Crystal Soderlund Subject: CFA Validation

Mike,

At the last month CMP meeting, you requested that Qwest validate CFA information. Crystal Soderlund would work with Susan Early on this. You were to get with Susan to identify a Central Office they can take a look at.

Please let me know if this was your understanding and if you have had a chance to provide the information to Susan.

Thanks

Ric

--

Subject: RE: Action Item from April's CMP on CR PC020502-1 Date: Wed, 24 Apr 2002 16:07:48 -0700 From: "Michael Zulevic" To: "Richard Martin"

Ric,

I would like Qwest to find out why your TIRKS system has this requirement when other ILECs don't. My thought was for Qwest to use it's contacts from TIRKS user groups, or Telcordia, to determine if there is an easy way to address this. I don't think any contacts we may have would be useful in making this determination.

Mike Z.

--

Subject: Action Item from April's CMP on CR PC020502-1 Date: Wed, 24 Apr 2002 15:18:52 -0600 From: Richard Martin Organization: Qwest Communications International, Inc. To: Mike Zulevic

Mike,

At April's CMP meeting, we took an action item to contact ILECs regarding their practice of not requiring cable gauge information.

With the issuance of the Systems CR, do you still want Qwest to pursue this item. If so, could you provide the various contacts at the other ILECs that you deal with on the subject.

Thanks

Ric

Subject: APOT cable gauge problem Date: Mon, 18 Mar 2002 15:08:30 -0700 From: "Michael Zulevic" To: "Richard Martin" CC: "Judi Hotovec"

Ric,

Here is another example of the problem we are having with the cable guage. I'm told this office in Denver has become a major problem.

Thanks for your help.

Michael Zulevic Director- External Affairs Office(520)575-2776 Cel(303)884-5657 Fax (520)575-2785

Order# 1900877, pon# 1519719 out of central office DNVRCOCH on pair 8 > has the cable gauge info as 24-NL. The correct cable gauge for this CO > is pairs 1-300 = 26-NL pairs 301-900= 24-NL. Could you change this > information for me?

-

CLEC Change Request Additional Clarification Meeting

March 7, 2002 8:00 am (MDT) Conference Call TEL: 877-564-8688 CODE: 8973036 PC020502-1, ASR/LSR Cable Specification

Attendees: Mike Zulevic, Covad Judy Hotovec, Covad Richard Martin, Qwest Diana Rasmussen, Qwest Crystal Soderlund, Qwest

Introduction of Attendees Introduction of the participants on the Conference Call was made and the purpose of the call discussed

Additional Change Request Clarification Covad provided clarification that they would provide the cable name and/or cable pair number as required. They do not inventory the cable specification (i.e. cable gauge) and would prefer not to provide this. They indicated that no other ILEC required cable gauge information. They advised of past experience where the cable gauge changed and they were not aware. Qwest advised that they use TIRKS to inventory the cable information. Covad indicated that they thought the other ILECs also used TIRKS. Qwest advised that from the ASR stand point, the CLEC was required to provide the cable information if they were responsible for the cable assignment. Qwest advised that they would need to check what IMA validates in TIRKS and what is required for a partial/full flow through. It was agreed that the product type would cover UBL, UDIT and maybe Private Line, but would exclude shared loop. Qwest confirmed that the cable information is provided with the APOT and any revisions would generate a revised APOT.

Action Plan Qwest advised that they would be prepared to provide verbal options at the next CMP meeting.

Subject: CR PC020502-1 Date: Thu, 21 Feb 2002 10:50:24 -0700 From: Richard Martin Organization: Qwest Communications International, Inc. To: Mike Zulevic CC: Karen Kraas , Diana Rasmussen , Laurel Burke

Mike,

Could you please address the following questions:

1. What field(s) on the LSR and ASR do you populate with the tie cable specifications that causes the reject/delay?

2. I believe the LSR numbers you provided on our clarification call are Covad's internal LSRs. They do not appear in our system. Could you provide the corresponding Qwest LSR or PON.

Thanks

Ric

CLEC Change Request Clarification Meeting

2:30 p.m. (MDT) / Friday February 15, 2002 Conference Call TEL: 877-564-8688 CODE: 8973036 PC020502-1, Collocation Point of Demarcation cross-connect wiring

Attendees: Mike Zulevic, COVAD Richard Martin, Qwest Jeff Cook, Qwest Diana Rasmussen, Qwest Karen Krass, Qwest Laurel Burke, Qwest Bob Mohr, Qwest

Introduction of Attendees Introduction of the participants on the Conference Call were made and the purpose of the call discussed

Review Requested (Description of) Change Mike advised that on LSRs and ASRs information requested relates to the make-up of the specific tie-cable (1.e. 22/24 ga. Or 734/735 cable). Qwest provides the cable information. If COVAD doesn’t provide the cable information, or the cable information is different than what is in Qwest’s database, their order is delayed or rejected. Qwest advised that the cable information was part of the APOT number. It was confirmed that in IMA, this is a mandatory field. Qwest asked if there was a timing issue with providing the cable specification. Mike advised that there wasn’t a timing issue, but was concerned that there is no real value for the information, since Qwest has the information. Qwest advised that the cable information is provided in the APOT. COVAD indicated that sometimes the preliminary & final do not match up. COVAD provided the LSR examples: 1773574, 1738856, and 1850263. Qwest will look into these examples to determine what the downstream impact would be if the cable specification wasn’t provided.

Confirm Areas & Products Impacted COVAD advised that they would be interested in addressing any product that requires a tie cable going back to their Collo. . Confirm Right Personnel Involved Ric advised that we would need to identify another SME for this CR. The examples provided were for LSR. The SME on the call was responsible for Collo and dealt with ASRs. Qwest will identify the appropriate SME. Ric advised that if an additional clarification meeting were required, they would coordinate.

Identify/Confirm CLEC’s Expectation COVAD confirmed that they would like to remove the mandatory requirement to provide the cable specifications with the LSR/ASR.

Identify any Dependent Systems Change Requests It was confirmed that there is no corresponding Systems Change Request.

Establish Action Plan (Resolution Time Frame) Qwest to obtain appropriate SME(s). The CR will be open to the CLEC community clarification at March’s CMP Meeting.


CenturyLink Response

April 3, 2002

Michael Zulevic Director, Technical Regulatory Support Covad Communications

SUBJECT: Qwest’s Change Request Response - CR #PC020502-1 Eliminate Requirement to Provide Tie Cable Specification

This letter is in response to Covad’s Change Request PC020502-1 requesting that Qwest revise its LSR and ASR requirement for providing tie cable type or technical specification (i.e. cable gauge).

The APOT CFA data for cable gauge information is a requirement for the Qwest TIRKS database. If the cable gauge information is not passed via the service order, it does not allow the order to flow through without manual design intervention. This could cause delays for the CLEC and an increase in costs and resources for Qwest to perform this manual work. Increasing manual intervention defeats Qwest’s goal to promote flow through mechanization.

Programming for retrieving the cable gauge information from TIRKS and passing it to the order would require multiple systems changes. A Systems Change Request would be required to accomplish this. If Covad would like to pursue the systems changes that could accommodate their Change Request, Qwest will open a Systems Change Request on Covad’s behalf.

Sincerely,

Crystal Soderlund Sr Process Analyst

Cc: Diana Rasmussen Karen Kraas Susie Bliss


Open Product/Process CR PC101802-1 Detail

 
Title: Electronic Access to Demarc Information
CR Number Current Status
Date
Area Impacted Products Impacted

PC101802-1 Crossover
7/27/2009
Ordering, Repair UNE and line shared loops, Unbundled Loop
Originator: Cutcher, Minda
Originator Company Name: Covad
Owner: Buckmaster, Cindy
Director:
CR PM: White, Matt

Description Of Change

Revised Description of Change

Submitted 02-11-03

PC101802-1 – Description of Change

Currently, Covad obtains demarc information from Qwest as part of the joint acceptance testing process. In the event that demarc in not transmitted at that time, Covad can obtain demarc info by calling Qwest’s Interconnect Group. By making demarc info available offline, electronically, Qwest will eliminate the need to staff this function and Covad and other CLECs can access that information at any time. All CLEC’s require demarc information on any install performed by Qwest regardless of the product. The CLEC itself or a Vendor will need to finish or extend the install to the customer and often cannot locate the line or circuit. The result is a call to obtain the information.

Expected Deliverable

Electronic Access to demarc information

==============

Currently, Covad obtains demarc information from Qwest as part of the joint acceptance testing process. In the event that demarc in not transmitted at that time, Covad can obtain demarc info by calling Qwest’s Interconnect Group. By making demarc info available offline, electronically, Qwest will eliminate the need to staff this function and Covad and other CLECs can access that information at any time.

Expected Deliverable

Electronic Access to demarc information


Status History

10/18/02 - CR Submitted by Covad

10/18/02 - CR acknowledged by P/P CMP Manager.

10/23/03 - Qwest and CLEC mutually agreed to hold Clarification Meeting on 11/5

11/05/03 - Held Clarification Meeting

11/20/02 - CR Presented at CMP Meeting

12/11/02 - Qwest response e-mailed to originator

12/11/02 - Qwest response inserted in the interactive report and posted to the Web site

12/18/02 - Qwest response presented at the CMP Meeting

01/15/03 - Qwest revised response presented at the CMP Meeting

02/07/03 - Qwest conducted Ad Hoc Meeting

02/12/03 - Qwest response e-mailed to originator

02/19/03 - Qwest response presented at CMP Meeting

03/17/03 - Qwest conducted Ad Hoc Meeting

03/19/03 - Discussion at CMP Meeting

04/16/03 - Discussion at CMP Meeting

05/21/03 - Discussed at CMP Meeting - Crossed over to systems


Project Meetings

05-21-03 - CMP Meeting

Buckmaster-Qwest presented the response and stated that the CR would cross over to the systems side for development and implementation. The CR was crossed over.

======================================

04-16-03 - CMP Meeting

Buckmaster-Qwest stated that Qwest had researched the Eschelon request from the March meeting and determined that it would signifigantly change the scope and cost of the solution. She suggested that current testing had shown that 100 percent of the samples included binding post information. She cautioned that Qwest could not guarantee that information would be in the report. She asked the CLECs to evaluate the strength of the Qwest solution and submit another CR if they felt that it did not meet their specific needs. The CR was moved to development status.

================================================

03-19-03 - CMP Meeting

White-Qwest stated that an Ad Hoc meeting to discuss this CR was held on 3/17. He stated that Qwest presented a proposed solution at this meeting and, based on questions here, would present a formal response to the web after this meeting and present it at the April CMP Meeting. Johnson-Eschelon asked if binding post information would be available to the CLECs. Buckmaster-Qwest stated that binding post information would be available for POTS and designed services when it was available. She stated that the focus of this CR was on the information that was in WFA/C for designed services; primarily the location of the demarc. She stated that this database may include additional information, and that Qwest would provide all information it had. She stated that she had reviewed several examples and that all of them had the information Bonnie was interested in. Johnson-Eschelon stated that she did not want to alter this CR and would submit a separate CR if there were many instances where there was no binding post information. Buckmaster-Qwest pointed out that Qwest provides the CLECs demarc information two times, by voice and e-mail, immediately following the completion of work. Mendoza-Allegiance stated that the Qwest technicians should provide binding post information. Buckmaster-Qwest stated that the description of change for this CR did not include changing the processes for Qwest technicians. Zulevic-Covad agreed that the CR was only written to obtain access to demarc information. Thomte-Qwest asked Zulevic and Johnson if they would be amenable to opening an additional CR for this if necessary. Johnson-Eschelon and Zulevic-Covad stated that they would.

==================================================

Ad Hoc Meeting 10:00 a.m MT, March 17, 2003

Attendees Matt White – Qwest Cindy Buckmaster – Qwest Dan Busetti – Qwest Jeanne Whisenant – Qwest Dave Hahn - Qwest John Berard – Covad Rick Paine – US Link Lori Mendoza – Allegiance Liz Balvin – WorldCom Terrance Morgan - WorldCom Erica Beamus – WorldCom Jeff Gelwick - WorldCom Stephanie Prull – McLeod USA Bonnie Johnson – Eschelon

White-Qwest welcomed attendees and explained the purpose of the meeting. He asked Buckmaster to review the potential solution Qwest had identified for the CR.

Buckmaster-Qwest reviewed the issues identified on the prior Ad Hoc call and stated that Dan Busetti came up with a potential solution. Busetti-Qwest reviewed the solution. He stated that Qwest would add functionality in CEMR to meet this request. He stated that for non-design circuits, CLECs would go to the non-design services action page and select a radial button to view the demarc information. He stated that a similar process would be in place for design services.

Mendoza-Allegiance asked if this functionality would include orders that have been dispatched or only those that have not been dispatched. Buckmaster-Qwest stated that Qwest would provide any information Qwest has. She explained that there would be occasions when Qwest doesn’t have all the information. She clarified that Qwest would not dispatch just to provide information to the database. She stated that the information for Designed Services would be pulled from WFA/C. She stated that information is populated into the database by Qwest technicians at many different locations. Johnson-Eschelon stated that at the previous Ad Hoc meeting Buckmaster had stated that the times when information was not available would be rare. Buckmaster-Qwest stated that at the previous Ad Hoc call the participants discussed that the Demarc information is most important in multi-tenant environments. She stated that binding post information was ancillary to the original request. She explained that Qwest would provide all the information that it can. Johnson-Eschelon asked if Qwest would provide binding post info if it is available. Buckmaster-Qwest stated that Qwest would.

Mendoza–Allegiance asked how the information got into the database if the order was not dispatched. Buckmaster–Qwest stated that if a technician anywhere provides the information, it would provided to the CLECs. She stated that Qwest was not modifying the existing processes for Qwest technicians. She stated that any information in the databases would be available to the CLECs. She explained that POTS has a different source than the Design Services side. Busetti–Qwest stated that LMOS was the database that Qwest would be be pulling the POTS information from. He stated that this database, if properly populated, includes terminal and binding post information.

Berard–Covad asked if specials would be pulled from WFA-C. Busetti–Qwest stated that the would.

Berard–Covad asked if Qwest was setting up a separate database and if Qwest could send the information to the CLECs. Busetti–Qwest stated that Qwest would not send reports to the CLECs, but that the functionality would take a live look at the data in WFA/C and LMOS at the time of the request. Berard–Covad stated that he was happy to hear that it was a live look. He confirmed that when CLECs went into CEMR and made a request it would be live look. Busetti–Qwest stated that the information would be pulled directly from WFA/C and LMOS.

Mendoza-Allegiance asked how the data would be in these databases. Busetti–Qwest stated that it would be in the database as long as the circuit is alive. Prull–McLeod asked how long it took the technicians to update the information in the database. Buckmaster–Qwest stated that she would check. She stated that it was updated within the same workday and that the practice is to do it as soon as the work is completed.

Mendoza–Allegiance asked if the technicians would go out on the plant test date for designed services. Buckmaster–Qwest stated that she needed to check to get an accurate answer to that question.

White-Qwest asked if this met Covad’s intent for the request. Berard–Covad stated that Covad would still like the information sent to them, but that this was a good solution. Buckmaster-Qwest stated that the information is delivered to the CLECs twice for Designed Service circuits: verbally upon closure, and via e-mail within 48 hours of closure. Berard-Covad stated that was good to hear. He stated that Covad could work with that.

White-Qwest stated that Qwest would present a verbal response at the March 19 CMP Meeting and would post a written response on the interactive report following the meeting. He thanked the attendees and adjourned the meeting.

==================================================================

02-19-03 - CMP Meeting

Buckmaster-Qwest presented the Qwest response. Zulevic-Covad stated that his preference was to have the information sent to the CLECs, and his second preference was to have Qwest make the information available to the CLECs. Buckmaster-Qwest stated that she understood that this CR requested three things: 1. An electronic means of accessing information regarding the Demarc and Binding Post location - for orders that were provisioned by Qwest at the CLEC’s request. 2. The CLECs would like this information for both Designed and POTS. 3. Provided as soon as possible upon completion of Qwest’s work. There were no further questions.

==========================================================

Ad Hoc Meeting 02-07-03

Attendees Matt White – Qwest Cindy Buckmaster – Qwest Deni Toye - Qwest Bonnie Johnson - Eschelon Rick Paine – U.S. Link Kelly Hamilton – U.S. Link Karla Kaatz – 180 Communications Mike Zulevic – Covad Glenn Gill – ATG

White-Qwest announced attendees and explained that the purpose of this meeting was to allow Qwest to ask Covad some questions about the CR.

Buckmaster-Qwest stated that she thought the Covad was requesting demarc information in an accessible form so the company could route its technicians properly. Zulevic-Covad stated that this was the gist of the request. Johnson-Eschelon stated that she would like Qwest to give the demarc information including the where the cross-connect is made. She would like the information to include terminal and binding post information. Zulevic-Covad stated that he would revise the Description of Change to reflect this information.

Buckmaster-Qwest asked if the location of the demarc information was only important for large (primarily commercial) buildings. Zulevic-Covad stated that the majority of the sites they wanted demarc information for were commercial sites or large buildings, but there were some unique residential locations they also needed it for.

Buckmaster-Qwest stated that the demarc information may not be available on 100% of the circuits. Zulevic-Covad asked if the Qwest installation technicians reported the demarc information into WFA. Buckmaster-Qwest stated that she did not know. Toye-Qwest stated that the demarc information was communicated via the PTA e-mail after and order is completed. Johnson-Eschelon stated that the e-mail did not include binding post information except for T1’s. She stated that they CLECs were asking for a report that included POTS.

Buckmaster-Qwest stated that she might have to issue a response that commits to only giving the CLECs the information that Qwest currently has. Johnson-Eschelon stated that she understood that the information might not be everything the CLECs would like. Buckmaster-Qwest stated that currently the demarc information is supplied to the CLECs at two different times: verbally when the order is closed and electronically (via e-mail) within 48 hours after the order is closed.

Johnson-Eschelon stated that the real issue was the CLECs are having a problem finding demarc locations and binding post assignments. As a result, the CLECs call QCCC. She stated that completing this CR would result in a small call flow to the center. Zulevic-Covad stated that Covad calls the QCCC to determine demarc information for every order their technicians went on. He stated that he was not sure that Qwest had the complete information for every call.

Buckmaster-Qwest recapped that the CLECs were looking for an electronic method to access information on demarc and binding post locations. Gill-ATG stated that the appropriate means to communicate this information would be on the loop DLR/DSR. Johnson-Eschelon stated that the DLR is not available soon enough. Buckmaster-Qwest reviewed that the CLECs want access to the information about the physical location that Qwest did its work. Johnson-Eschelon stated that Buckmaster had adequately summarized the essence of the request. Zulevic-Covad stated that the CLECs wanted this information as soon as the Qwest technicians finish their work.

Zulevic-Covad stated that he was not familiar with the PTA e-mail results. He stated that that method of communication would not work for POTS.

Buckmaster-Qwest recapped that the CLECs were looking for: 1. An electronic means of accessing information regarding the Demarc and Binding Post location - For orders that were provisioned by Qwest at the CLEC’s request 2. The CLECs would like this information for both Designed and POTs services 3. Provided as soon as applicable after the close of the order

There were no further questions. White-Qwest and Buckmaster-Qwest thanked the attendees and adjourned the meeting.

===================================================================

01/15/03 - CMP Meeting

Moreland-Qwest presented the Qwest response. White-Qwest recommended the CR be placed in Evaluation status when it is crossed over. Johnson-Eschelon asked if a representative from IT could explain in more detail why the CR needed to be crossed over. Schultz-Qwest stated that they could. The CR was crossed over to systems with a status of Evaluation.

===================================================================

12/18/02 - CMP Monthly Product/Process Meeting

Moreland-Qwest described the CR and presented the Qwest response. Berard-Covad stated that Qwest was looking at a database but Covad was open to Qwest introducing any type of electronic means of presenting the information, not just EDI. He stated that Covad would prefer EID, however. Boudhaouia-Qwest stated that stated that Verizon doesn’t have a database and Qwest is trying to determine if there is a feasible way for Qwest to make this information available to the CLECs. Johnson-Eschelon stated that regardless of how Verizon delivers, the fact is that they do make the information available and Qwest does not. She continued that this would be a good change for all companies involved. The attendees agreed to move the CR into Evaluation status.

===================================================================

11/20/02 - CMP Monthly Product/Process Meeting

Berard-Covad presented the CR. He stated that Covad wanted electronic access to demarc information and was given that access by other ILECs. White-Qwest asked which ILECs provided this information and how they provided it. Berard-Covad stated that Verizon provides CLECs a downloadable file that contained demarc information and updated this file four times a day. He stated that the information included floor/closet/binding post or language like “northwest corner of the basement.” Schultz-Qwest asked how having electronic access to this information helped Covad. Berard-Covad stated that it allowed them to access the information at any time and that Covad was hoping to streamline the process in the future to allow JAT without a phone call. Berard-Covad stated that Covad would prefer a file be sent to them every day, but would be happy with a download. Spangler-AT&T and Johnson-Eschelon stated that they would prefer delivery as well and that this should apply to all resale products as well. The CR status was updated to Presented.

===================================================================

CLEC Change Request – PC1018002-1 Clarification Meeting 2:00 PM (Mountain Time) / Tuesday, November 5, 2002

1-877-550-8686 2213337#

Attendees Matt White – CRPM Minda Cutcher – Covad Brett Fesler – Qwest Neil Houston - Qwest

Introduction of Attendees White-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Cutcher-Covad reviewed the CR and stated that Covad was seeking the same information about the physical location of demarcs at customer prems through electronic means as they got when they called the interconnect center QCCC. She said an example would be to say the demarc was in the northwest corner of the basement of a building.

Houston-Qwest confirmed that Covad was seeking a physical description so the Covad Technician could find the demarc.

Cutcher-Covad stated that they currently get the information during Joint Acceptance Testing, and that she would like a means to access the information electronically. She stated that Qwest must have a database in which it records this information and surmised that to grant this request, Qwest could design a means for Covad to access that database.

Houston-Qwest asked if Covad was seeking a Web site format.

Cutcher-Covad stated that they weren’t necessarily seeking a Web site that could be accessed 24x7, just a means of getting the information electronically during normal business hours. She stated that other ILECs (Verizon and PacBell) had offered this functionality to Covad.

Houston-Qwest stated that he would work with some of his contacts at those companies to understand how they offered this information to CLECs.

Confirm Areas and Products Impacted White-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted. Confirm Right Personnel Involved White-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation White-Qwest reviewed the request to confirm Covad’s expectation.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for Covad to present the CR at the November Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

May 14, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the May 21, 2003, CMP Product/Process Meeting

Mike Zulevic Director - GEA Covad Communications

SUBJECT: Qwest’s Change Request Response - CR #PC101802-1

Qwest accepts this change request. Qwest will implement a solution to this request in the CEMR release currently scheduled for implementation in first quarter 2004.

Functionality, scheduled for inclusion in this release, will include: - For Designed services – any information related to demarc location and binding post termination available - For Non-Designed services – any information related to binding post termination available.

There may be instances when no information is available in the source data. In such instances, the information will not be available via the new functionality. Additionally, Qwest will continue to provide customers with all applicable demarc/binding post information, by voice and e-mail, immediately following completion of work to connect a designed services circuit.

Qwest will provide updates on the progress of the implementation of this solution at Monthly CMP Product/Process Meetings.

Sincerely, Cindy Buckmaster Product Manager

==============================================================================

February 12, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the February 19, 2003, CMP Product/Process Meeting

Mike Zulevic Director - GEA Covad Communications

SUBJECT: Qwest’s Change Request Response - CR #PC101802-1

Qwest recently conducted an Ad Hoc Clarification meeting with several CLECs that revealed additional complexity in this CR. Qwest recommends this CR remain in Evaluation Status while Qwest fully explores a potential solution. Qwest will provide a status of Qwest’s research at the March CMP meeting.

Sincerely, Cindy Buckmaster Product Manager

=================================================================================

January 6, 2003

REVISED RESPONSE For Review by CLEC Community and Discussion at the January 15, 2002, CMP Product/Process Meeting

Minda Cutcher VP Government and External Affairs Covad Communications

SUBJECT: Qwest’s Change Request Revised Response - CR #PC101802-1

This is a revised response regarding Covad CR PC101802-1.

The scope of this request is extremely large and detailed, as there are literally tens of thousands of demarc locations in Qwest’s fourteen-state region.

Qwest has researched the requirements to accomplish this request and has found it to be technically feasible. Implementing this request, however, will require changes to IMA. As a result, Qwest recommends that this CR cross over to become a Systems CR.

Sincerely,

Heidi Moreland Staff Advocate Policy and Law Qwest

=================================================================

December 6, 2002

DRAFT RESPONSE For Review by CLEC Community and Discussion at the December 18, 2002, CMP Product/Process Meeting

Minda Cutcher VP Government and External Affairs Covad Communications

SUBJECT: Qwest’s Change Request Response - CR #PC101802-1

This is a preliminary response regarding Covad CR PC101802-1.

The scope of this request is extremely large and detailed, as there are literally tens of thousands of demarc locations in Qwest’s fourteen-state region.

Covad indicated that Verizon provides a database for CLECs to get this information themselves, eliminating the need to call. Qwest research determined that Verizon currently supplies CLECs with demarc location information on an order by order basis using an existing database called Wholesale Provisioning Tracking System (WPTS) which they created for CLECs to track orders (see URL below). Demarc location information is only available for orders that have been dispatched and completed. Verizon’s system does not accumulate the information as an ongoing repository for general searches, thus there is no Verizon demarc database. At this time, Qwest does not have a similar WPTS-type database available and this request would require development of such a database.

Qwest recommends that this CR be placed in Evaluation status until Qwest completes an evaluation of the scope and feasibility of the process changes necessary to implement the Covad request.

Sincerely,

Heidi Moreland Staff Advocate Policy and Law Qwest


Open Product/Process CR PC101802-3ES Detail

 
Title: Interval reduction for Line Sharing, Line Splitting and Loop Splitting Services from 3 to 2 days
CR Number Current Status
Date
Area Impacted Products Impacted

PC101802-3ES Completed
2/19/2003
Provisioning Line sharing, line splitting and loop splitting
Originator: Zulevic, Michael
Originator Company Name: Covad
Owner: Buckmaster, Cindy
Director:
CR PM: White, Matt

Description Of Change

Covad would like a shorter interval for Qwest’t completion of Line Shared LSRs. The current 3 day interval does not meet our business needs and given the maturing of the provisioning process, a reduction to 2 days seems both reasonable and realistic. This is particularly true in light of BellSouth’s recent voluntary reduction of their interval to 2 days. This interval should also be applicable to Line Splitting and Loop Splitting.

Expected Deliverable

Reduction of interval from 3 to 2 days effective Dec. 1, 2002


Status History

10/18/02 - CR Submitted by Covad

10/18/02 - CR acknowledged by P/P CMP Manager.

10/22/02 - Qwest and CLEC (Mike Zulevic) mutually agreed to hold clarification meeting on 11/06/02

11/06/03 - Held Clarification Meeting

11/20/02 - CR Presented at CMP Meeting

12/11/02 - Qwest response e-mailed to originator

12/11/02 - Qwest response inserted in the interactive report and posted to the Web site

12/18/02 - Qwest response presented at the CMP Meeting

01/15/03 - Qwest revised response presented at the CMP Meeting

01/29/03 - Qwest conducted Ad Hoc Meeting.

02/12/03 - Qwest response e-mailed to originator

02/19/03 - Qwest response presented at CMP Meeting

03/05/03 - CR escalated by Covad

03/06/03 - AT&T indicated Escalation participation


Project Meetings

02-19-03 - CMP Meeting

Buckmaster-Qwest presented the revised Qwest denial. Zulevic-Covad stated that he found the number of resources Qwest claimed it required to shorten the interval by one day to be mind-boggling. He asked if Qwest’s DSL was a flow-though process. Buckmaster-Qwest stated that she did not know if it was a flow through process. Zulevic-Covad stated that the Qwest DSL interval was a 5 day end-to-end interval. He stated that the intervals for Line Sharing, Line Splitting and Loop Splitting services were not end-to-end. Covad often took more than 2 days to finish their portion of the provisioning process. He stated that this was not parity. He stated that Qwest could continue with whatever recommendation it liked. White-Qwest stated that Qwest was denying the CR. Zulevic-Covad stated that he would escalate the CR.

=========================================================

Ad Hoc Meeting 01-29-03

Attendees Matt White – Qwest Cindy Buckmaster – Qwest Deb Smith – Qwest Judy Schultz - Qwest Mike Zulevic – Covad Liz Balvin – WorldCom Sam Tenerelli – WorldCom Sharon Van Meter – AT&T

White-Qwest announced attendees and explained that the purpose of this meeting was to allow Qwest to clarify its reason for denying this CR and to answer and CLEC questions that were not addressed at the January CMP Meeting. He asked Buckmaster-Qwest to review the Qwest Response to the CR. Buckmaster-Qwest reviewed the response. She stated that Qwest was denying the CR for economic infeasibility because of resources impacts, including addition of resources, and volume of orders. She stated that the cost to Qwest when taken into consideration with the volume of Line Sharing orders compared to the volume of like orders resulted in the economic infeasibility conclusion.

Balvin-WorldCom stated that there was discussion at the Monthly Meeting around products with two-day intervals. Buckmaster-Qwest stated that the only Qwest products with two-day intervals involved record work. She explained that none of these products had any technician intervention.

Van Meter-AT&T stated that she would like to see more detail in the response. Schultz-Qwest stated that Qwest would revise the response.

Balvin-WorldCom stated that there was a Systems CR that involved flowthrough that might influence Qwest’s decision to deny this CR. Schultz-Qwest suggested that the Product/Process CR remain in Denied status and that Buckmaster-Qwest review the Systems CR to further analyze its relevance to the Product issues. Zulevic-Covad stated that it would be fine to leave the CR in Denied status but that he wanted Qwest to consider that there was another ILEC that had voluntarily changed their intervals. He also asked that Qwest reevaluate this request when the flowthrough CR was completed.

Balvin-WorldCom stated that she would like to see a more detailed discussion of the rationale for denying the CR for economic infeasibility. White-Qwest asked if there were any additional questions. There were none. Schultz-Qwest thanked the attendees.

======================================================================================

01/15/03 - CMP Meeting

Smith-Qwest presented the Qwest response. Zulevic-Covad stated that he had forwarded additional information to Qwest after Qwest had distributed the response. He asked if that information changed Qwest’s response to the CR. Smith-Qwest stated that it did not. Buckmaster-Qwest stated that the information had not changed Qwest’s response, that Qwest was exceeding their obligation of parity with retail, and that the request was economically infeasible. She continued that there was an agreement between Qwest and Covad in March 2002 when Qwest had voluntarily revised the interval from 5 to 3 days that Covad would not approach Qwest for another interval reduction. Balvin-Worldcom asked for clarification of the reason the CR was economically infeasible. Buckmaster-Qwest stated that the work to implement the CR was extremely manually intensive and costly, especially in light of the relatively low volume of orders. Balvin-Worldcom asked if there was a systems CR open that might help this process change be less expensive. Zulevic-Covad stated that there was a systems CR open for line sharing flow through. Buckmaster-Qwest stated that the change requested in PC101802-3 would not be facilitated by the systems CR. She stated that this change did not involve order fallouts. She continued that there were three manual changes Qwest would need to make to the IMA system, the FOC system and the Operations system to implement this change. Zulevic-Covad asked if the same cost would apply if the interval were reduced to 4 days. Buckmaster-Qwest stated that the same costs would still apply. She stated that in order for this interval to change in any way, Qwest would have to implement extensive manual handling of orders. She stated that the issue behind the denial of this CR was the amount of manual operations and the relatively low volume of orders. Zulevic-Covad stated that he did not recall any agreement that Covad would not request an additional reduction of this interval. Balvin-Worldcom recommended that the CR remain open for an additional month for Qwest to conduct additional research. Buckmaster-Qwest stated that additional would not change Qwest’s response. Zulevic-Covad recommended rewriting the response to more clearly emphasize the reasons that the CR was economically not feasible. Thomte-Qwest stated that Qwest would hold an ad hoc meeting before the next monthly meeting to discuss this CR. The CR remains in Evaluation.

=========================================================================================

12/18/02 - CMP Monthly Product/Process Meeting

Smith-Qwest presented the Qwest response. The attendees agreed to move the CR into Evaluation status.

=========================================================================================

11/20/02 - CMP Monthly Product/Process Meeting

Zulevic-Covad presented the CR. He stated that BellSouth already offered shorter intervals, and that Qwest should be able to as well. Burke-Qwest stated that she had no questions. The CR status was updated to Presented.

=========================================================================================

CLEC Change Request – PC1018002-3 Clarification Meeting 10:30 AM (Mountain Time) / Wednesday, November 6, 2002

1-877-550-8686 2213337#

Attendees Matt White – CRPM Laurel Burke – Qwest Crystal Soderlund – Qwest Deb Smith – Qwest Mike Zulevic – Covad Make Lanoue - Qwest

Introduction of Attendees White-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Zulevic-Covad reviewed the CR. He stated that Covad would most prefer an interval of 1 day, but would be happy with a 2 day interval.

Confirm Areas and Products Impacted White-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted.

Smith-Qwest stated that the current interval for line splitting and line sharing was 3 days, and the interval for loop splitting was 5 days.

Zulevic-Covad stated that loop splitting was not a product Covad currently used (although that may soon change) and that Covad was OK with an interval other than 2 days for Loop Splitting, but they want some reduction of the current interval. Confirm Right Personnel Involved White-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation White-Qwest reviewed the request to confirm Covad’s expectation.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they knew of any related change requests.

Burke-Qwest stated that the current Line Sharing CR may be related to this one.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for Covad to present the CR at the November Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

February 12, 2003

AMENDED RESPONSE For Review by CLEC Community and Discussion at the February 19, 2003, CMP Product/Process Meeting

Mike Zulevic Director - GEA Covad Communications

SUBJECT: Qwest’s Change Request Revised Response - CR #PC101802-3

This letter is in response to CLEC Change Request PC101802-03. This CR is a request by Covad to reduce the interval for Line Sharing, Line Splitting and Loop Splitting from 3 days to 2 days as Covad suggested that BellSouth had done.

This response confirms Qwest’s denial of this CR, for the reasons identified in the January 8, 2003, response, and clarifies the justification for the economically not feasible reason for denial. The following are the major reasons supporting Qwest’s decision to consider the CR economically not feasible:

Line Sharing Volumes: - Total In-Service Line Sharing Orders as of 12/31/02 – 26,083 (average 1,400 incremental lines per month). - Total In-Service UBL* Orders as of 12/31/02 – 483,308 (average 14,000 incremental lines per month). - Line Sharing represents just 5% of the total of these 2 product lines (10% of the average monthly volumes). - This is considered a Low Volume of requests.

Process Changes: - One additional Resource in the Service Center to move Orders more quickly. - A minimum of 60 to 90 additional Central Office Resources across Qwest’s 14 state region to move Orders more quickly. (Line Sharing is currently ordered in 12 of Qwest’s 14 in-region states)

The economic magnitude of adding the indicated resources is too large for the small number of orders. Therefore, Qwest has determined that reducing the interval on Line Sharing orders is economically not feasible. Qwest respectfully declines this change request.

The Line Sharing product is already provisioned in an interval that is shorter than the Retail interval. As the requirement is parity with retail, this requirement is more than met with the current interval.

Qwest continuously evaluates its ability to deliver products in a more timely fashion. If such an opportunity presents itself in the future, Qwest will implement and notify CLECs via the established processes.

Sincerely, Cindy Buckmaster Product Manager

*The comparison made to UBL is made solely on the basis of the functions required to install both services. These functions are comparable for both the Order Processing and Central Office provisioning.

==========================================================================

January 6, 2003

REVISED RESPONSE For Review by CLEC Community and Discussion at the January 15, 2002, CMP Product/Process Meeting

Mike Zulevic Director - GEA Covad Communications

SUBJECT: Qwest’s Change Request Revised Response Response - CR #PC101802-3

This letter is in response to CLEC Change Request PC101802-03. This CR is a request by Covad to reduce the interval for Line Sharing, Line Splitting and Loop Splitting from 3 days to 2 days as Covad suggested that BellSouth had done.

At this time, Qwest has no plans to reduce the interval for the Line Sharing, Line Splitting and Loop Splitting Products. Qwest is denying this request because it is economically not feasible. The following are the major reasons supporting Qwest’s decisions:

Installation intervals for these products were negotiated during the ROC TAG forums held in 2001 and 2002. SGAT Exhibit C Service Interval Tables provides the agreed upon intervals. Qwest will continue to be consistent with these agreements.

Qwest retail interval for the DSL product is 5 business days. As the wholesale interval is already less than retail, Qwest is not inclined to reduce the wholesale interval further. This is consistent with the discussions that took place with the CLECs earlier in 2002, when Qwest reduced the interval from 5 to 3 business days on Line Sharing and Line Splitting.

Both system and process changes would be required. System changes are required any time an interval is modified. These system changes are both manually intensive and time consuming, therefore costly. Due to low volumes of new Line Sharing and Line Splitting requests, and the lack of Loop Splitting requests, changes to the system for the small volume of Line Sharing products would be prohibitive. (The Line Sharing, Line Splitting and Loop Splitting products represent less than 5% of the total product volumes.) In addition, Qwest processes cannot guarantee a 2-business day interval causing potential problems with missed commitments for the end user customer.

Upon reviewing BellSouth’s service interval guide, Qwest has found that Qwest is already providing a comparable interval to BellSouth’s, if not superior in some cases. BellSouth applies their interval differently than Qwest. BellSouth applies their 2-business day interval after the request goes through their LSR processing interval. The LSR processing interval ranges from 10 business hours (or 1 business day) to 24 business hours (or 2 ½ business days). Total order completion interval for BellSouth is their service interval added to their LSR processing interval, which is 3 – 4 ½ business days. Qwest, on the other hand applies their 3 business day interval at the time the LSR is received (application date). Qwest includes the LSR processing time within their 3-business day interval; thus Qwest’s total order completion interval is 3 days.

In any case, it is Qwest’s understanding that BellSouth applies the interval that matches their retail offering. Qwest’s retail offering is currently 5 business days.

Therefore, Qwest respectfully declines this change request.

Sincerely, Debra Smith Product Manager

=================================================================

December 6, 2002

DRAFT RESPONSE For Review by CLEC Community and Discussion at the December 18, 2002, CMP Product/Process Meeting

Mike Zulevic Director - GEA Covad Communications

SUBJECT: Qwest’s Change Request Response - CR #PC101802-3

This is a preliminary response regarding Covad CR PC101802-3.

Qwest has reviewed the current Line Sharing provisioning interval. There are a number of issues to be analyzed in answering this request. For this reason, Qwest would like to move this Change Request into the Evaluation Status to provide a complete answer to this request.

Qwest will provide a status update at the January CMP meeting and will outline their response at that time.

Sincerely,

Debra Smith Product Manager Qwest Corporation


Open Product/Process CR PC102102-1 Detail

 
Title: Dual Inventory of DSL tie cables in TIRKS and SWITCH/FOMS
CR Number Current Status
Date
Area Impacted Products Impacted

PC102102-1 Completed
10/21/2002
Ordering Collocation, Physical, Virtual
Originator: Zulevic, Michael
Originator Company Name: Covad
Owner: Cook, Jeff
Director:
CR PM: White, Matt

Description Of Change

Revised Request: Covad requests that beginning April 1, 2003, we have the capability to check the availability of or place orders to use our DS0 tie cables for either Line Sharing or UNE/second line DSL services. This capability would not be required for existing TIE cables that are used for Line Sharing, Line Splitting or Loop Splitting in conjunction with a Common Area Splitter Collocation arrangement. These TIE cables are cabled to the splitter port either directly or through a hard-wired arrangement using the existing 410 block. Currently, we must designate the type of service we intend to provide on each cable in advance and if we find we need to re-designate the use of a specific tie cable, we are assessed a cable reclassification charge. SBC currently provides the capability to check the availability of both Line Sharing and UNE/second line DSL services. Having to declare the use of tie cables in advance greatly inhibits our ability to efficiently use our investment in tie cable.

Expected Deliverable

April 1, 2003

Original Request: Covad requests that our collocation DS0 tie cables be inventoried in both TIRKS and SWITCH/FOMS so that we can use our available inventory of tie cables for either Line Sharing or UNE/second line DSL services. Currently, we must designate the type of service we intend to provide on each cable in advance and if we find we need to re-designate the use of a specific tie cable, we are assessed a cable reclassification charge. The concept of dual inventorying has been proven in SBC and is no longer an issue. Having to declare the use of tie cables in advance greatly inhibits our ability to efficiently use our investment in tie cable.

Expected Deliverable

Dec. 1, 2002


Status History

10/21/02 - CR Submitted

10/21/02 - CR Acknowledged

10/25/02 - Qwest and CLEC (Mike Zulevic) mutually agreed to hold clarification meeting on 11/06/02

11/06/03 - Held Clarification Meeting

11/20/02 - CR Presented at CMP Meeting

12/11/02 - Qwest response e-mailed to originator

12/11/02 - Qwest response inserted in the interactive report and posted to the Web site

12/18/02 - Qwest response presented at the CMP Meeting

01/02/03 - Held additional Clarification Meeting

01/03/02 - Covad submitted revised Description of Change

01/06/03 - Qwest hosted Ad Hoc Meeting

01/15/03 - Qwest presented revised response as CMP Meeting. Attendees agreed to cross CR over to Systems. New CR number will be SCR102102-1X.


Project Meetings

01/15/03 - CMP Meeting

Cook-Qwest presented the Qwest response. White-Qwest recommended the CR be placed in Evaluation status when it is crossed over. Zulevic-Covad stated that this was fine. The CR was crossed over to systems with a status of Evaluation.

===========================================

Ad Hoc Meeting 1:00 PM (Mountain Time) / Monday, January 6, 2003

Attendees Matt White – Qwest Jeff Cook – Qwest Becky Neesen – Covad John Berard – Covad Kim Issacs – Eschelon Bonnie Johnson - Eschelon Sharon Van Meter – AT&T

Introduction of Attendees White-Qwest welcomed all attendees and described the purpose of the meeting. He explained that Qwest and Covad had had further discussions about the request over the last several weeks and that Qwest had identified several differences between Qwest and SBC’s architecture that made the request, as written, difficult to implement. After discussion of these differences, Covad had revised their description of change. White-Qwest asked Cook-Qwest to describe the network architecture differences. Cook-Qwest explained the differences between the Qwest network architecture and the SBC architecture. He stated that in order to grant the Covad request as it was currently written Qwest would have to rewire much of its existing network in order to allow CLECs using Common Area Splitter Collocation the ability to use its DSL terminations from the DSLAMs for either xDSL Unbundled Loops or Line Sharing-type services. He stated that he had some questions about Covad’s request as it pertained to their intentions to use it to provision xDSL Unbundled Loops through the data only 410 termination block.

Neesen-Covad stated that her understanding was that this request now asks that Covad will be able to look up all future and presently unused facilities on the same functionality. Cook-Qwest stated that this was his impression. Neesen-Covad asked if this only applied to collocated splitters or for both collocated and common area splitters. Cook-Qwest stated that it only applied to only collocated splitters. Neesen-Covad stated that Covad has set a soft due date of April 1, 2003. She explained that Covad is doing an internal OSS change and may end up changing the date.

White-Qwest stated that Qwest’s analysis had revealed that in order to fully meet Covad’s request there were IMA changes that needed to be made. He explined that this required the CR to be crossed over into the systems side of CMP. Berard-Covad asked for an explanation of the IMA implications. Cook-Qwest stated that Qwest was looking at doing a dual look into both inventories and implementing an up-front ability to look into both systems on a pre-order basis.

Neesen-Covad stated that Covad’s original objective was to minimize collocation costs, use existing inventory on command and reduce wiring errors. Berard-Covad asked how this would work to convert existing blocks? Jeff-Qwest stated that there had been no discussion of blocks would be converted. He explained that if a block used a common area splitter, it would not be converted.

White-Qwest asked if there were any other questions. There were none. White-Qwest thanked the participants and adjourned the meeting.

=======================================================================

Additional Clarification Meeting 2:00 PM (Mountain Time) / Thursday, January 2, 2003

Attendees Matt White – CRPM Jeff Cook – Qwest Scott Sharket – Qwest Mike Zulevic – Covad Becky Neesen – Covad

Introduction of Attendees Cook-Qwest welcomed all attendees and reviewed the request and his reason for calling the meeting. He explained the differences between the Qwest network architecture and the SBC architecture. He stated that in order to grant the Covad request as it was currently written Qwest would have to rewire much of its existing network in order to allow CLECs using Common Area Splitter Collocation the ability to use its DSL terminations from the DSLAMs for either xDSL Unbundled Loops or Line Sharing-type services. He stated that he had some questions about Covad’s request as it pertained to their intentions to use it to provision xDSL Unbundled Loops through the data only 410 termination block.

Zulevic-Covad stated that Covad was trying to establish a situation where Covad could convert existing DSO’s to line sharing without extensive delays.

Neesen-Covad stated that Qwest currently enforces a 90 day interval and completed work often includes errors.

Cook, Zulevic and Neesen discussed several potential ways to overcome the gap between the request and what was physically possible on the Qwest network. The three agreed that this request would be better implemented of the description was rewritten to be more forward looking.

Sharkey-Qwest asked if Covad was interested in this functionality for pre-order as well as ordering.

Neesen-Covad stated that they were.

White-Qwest stated that he and Cook would revise the Description of Change and forward it to Zulevic and Neesen for review.

==================================================================

12/18/02 - CMP Monthly Product/Process Meeting

Cook-Qwest described the CR and presented the Qwest response. Zulevic-Covad stated that if Qwest had any questions when it was deciding options to pursue it should contact Covad for an ad hoc meeting. Van Meter-AT&T asked that she also be included in the ad hoc meeting. She also asked how Qwest would determine the best solution. Cook-Qwest stated that Qwest would decide based on the most efficient option that fully satisfied the CLEC request. Balvin-WorldCom stated that Qwest should document all the options it is considering and why it chooses to pursue, or not pursue, each. Zulevic-Covad stated that he would like to see this option because Covad may opt to use the SCRP to fund a systems change that Qwest feels is too expensive. White-Qwest stated that he would work with Cook-Qwest and Zulevic-Covad to set up an ad hoc meeting. The CR was moved into Evaluation status.

===================================================================

11/20/02 - CMP Monthly Product/Process Meeting

Zulevic-Covad presented the CR. He stated that SBC had already allowed its wholesale customers to do a one-time conversion of DSO tie cables to both databases for no charge. Cook-Qwest stated that he had no questions. The CR status was updated to Presented.

===================================================================

CLEC Change Request – PC102102-1 Clarification Meeting 2:00 PM (Mountain Time) / Wednesday, November 6, 2002

1-877-550-8686 2213337#

Attendees Matt White – CRPM Jeff Cook – Qwest Brett Fesler – Qwest Mike Zulevic – Covad Becky Neesen – Covad

Introduction of Attendees White-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Zulevic-Covad reviewed the CR. He stated that there is a delay if Covad uses the existing inventory for tie pairs with line sharing because the pairs need to be reclassified from UNE to line sharing. He stated that this was because Qwest maintains two different databases for the two inventories. He continued that there was a similar problem at SBC until SBC solved by adopting a dual inventory system where the same pairs were inventoried in TIRKS and SWITCH/FOMS. He summarized that Covad wanted some way to utilize tie cables from either service without additional cost of delay to transfer.

Zulevic-Covad stated that he had recently come from a meeting with Steve Nelson. He stated Nelson was aware of this CR and would probably send someone to work on it.

Fesler-Qwest stated that he worked with Nelson’s group and was the product SME for this CR.

Confirm Areas and Products Impacted White-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted. Confirm Right Personnel Involved White-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation White-Qwest reviewed the request to confirm Covad’s expectation.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for Covad to present the CR at the November Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

January 6, 2003

REVISED RESPONSE For Review by CLEC Community and Discussion at the January 15, 2002, CMP Product/Process Meeting

Mike Zulevic Director - GEA Covad Communications

SUBJECT: Qwest’s Change Request Revised Response - CR #PC102102-1

Qwest conducted a meeting on January 6th to discuss with the CLECs Covad’s request for dual inventory of tie cables. From this meeting, it was determined that one solution to Covad’s request is to have the IMA systems automatically check SWITCH and TIRKS to ensure that the requested pair is not in use in either system. This verification will be required on all Line Sharing, Line Splitting, Loop Splitting (excluding orders requesting the use of Common Area Splitters), and xDSL capable loops. Qwest recommends that this CR crossover to become a Systems CR. It should be understood that Qwest cannot agree to implement this solution until Qwest determines its operational functionality and/or the cost associated with it.

Sincerely,

Jeff Cook Staff Advocate – Policy & Law

===============================================================

December 6, 2002

DRAFT RESPONSE For Review by CLEC Community and Discussion at the December 18, 2002, CMP Product/Process Meeting

Mike Zulevic Director - GEA Covad Communications

SUBJECT: Qwest’s Change Request Response - CR #PC102102-1

Currently, Qwest does not have an automated process in place to inventory the DS0 terminations in both the TIRKS and SWITCH systems. Duplicating DS0 terminations in both systems requires there be a mechanism to synchronize assignments for DS0 terminations between the systems. As a result, manual processes would be necessary to ensure the DS0 inventories in TIRKS match those in SWITCH.

To better understand this issue and to gain clarity around how SBC has successfully employed this capability, Qwest pursued a very high-level explanation from SBC of the SWITCH/TIRKS enhancements implemented by SBC. While on the surface it appears that SBC does maintain a dual inventory of DS0 terminations, Qwest has not yet been able to determine how SBC maintains the data in both systems to ensure inventory consistency and accuracy.

Qwest would like to move this Change Request into the Evaluation Status in order to explore the potential options available to address this request. Qwest will provide a readout of where we are at the December CMP meeting and will outline the next steps to be accomplished at the January CMP meeting.

Sincerely,

Jeff Cook Staff Advocate – Policy & Law Qwest


Open Product/Process CR PC122302-1 Detail

 
Title: Removal of DAML's to allow installation of DSL
CR Number Current Status
Date
Area Impacted Products Impacted

PC122302-1 Completed
4/15/2009
Pre-Ordering, Provisioning, Ordering Unbundled Loop - Line Share DSL
Originator: Berard, John
Originator Company Name: Covad
Owner: Boudhaouia, Jamal
Director:
CR PM: Harlan, Cindy

Description Of Change

In the 1990's many customers began to request a second line into their homes for dial up modem internet access. This created a high demand for outside plant facilities. In order to meet this demand, Qwest deployed DAML technology which multiplexed one copper line into two lines. As customers now desire the always on DLS Technology in many cases it is no longer necessary to use a DAML to serve thses customers since DSL is deployed over a single copper line.

Covad requests that Qwest remove DAML's at locations where the end users are currently only served one voice line to the premise. In addition, Covad would like Qwest to create a process where we can request the removal of a DAML when the customer is currenlty using their second line for dial up and are now seeking DSL.

DAML - Digital Added Main Line

Expected Delivery:

A process to flag DAML's that are currently only serving one voice line that is served via a DAML and allow for the removal of the DAML in the placement of the DSL order. (This order should be allowed to be placed against DAML's that have one or two working voice lines to the premise.


Status History

12/23/02 - CR Acknowledged

12/27/02 - CR posted to CMP Database

12/27/02 - Contacted customer- Covad, John Berard. John is out of office until 1/6/03. I will schedule clarification meeting with John on 1/6/03.

01/02/03 - Scheduled Clarification Meeting with Covad and Qwest SME for 1/8/02.

01/08/03 - Held Clarification Meeting with Covad and Qwest SME. John Berard advised Mike Z will present this CR at the January CMP meeting as he will not be attending the January Qwest CMP meeting.

01/09/03 - Clarification Meeting notes entered in database and provided to Covad

01/15/03 - CR presented at CMP Meeting

02/11/03 - Initial Response posted to database and emailed to Covad

2/19/03 - February CMP Meeting minutes will be posted to the Project Meeting section. Changed status to Evaluation.

3/11/03 - Posted Response to database

3/12/03 - Emailed Response to Covad

3/13/03 - Corrected Response to reflect 5 day interval and emailed to Covad

3/19/03 - March CMP Meeting minutes are posted in the Project Meeting section

4/16/03 - April CMP Meeting minutes are posted in the Project Meeting section

5/21/03 - May CMP Meeting minutes are posted in the Project Meeting section


Project Meetings

05/21/03 - May CMP Meeting Minutes Jamal – Qwest advised the State, TN and Wire Center data is available on the ICONN web site as of April 15, 2003. Covad agreed to close this CR.

04/16/03 - April CMP Meeting PC122302-1: Removal of DAMLs to allow installation of DSL

Jamal B – Qwest advised this report is available on the ICONN web site as of today. The CLEC can access by wire center/TN. This CR will move to CLEC Test and potentially close in May. John Berard – Covad asked if there is a DAML against the order and there is 1 line or DAML is removed, do we get a jep back? Jamal replied that if you place an order and line has a single line DAML the order will be jep. For the double line DAML the order will be rejected. Mike Zulevic asked what the intervals are. Jamal advised removal of a DAML is 5 days, and conditioning interval is 15 days. Mike asked if the process is going to be documented in one place with dates for each procedure. Cindy Buckmaster replied there is a link from the PCAT to the assignments document. This discussion will continue when we get to the CR that this conversation relates to.

03/19/03 - CMP Meeting Neil Houston – Qwest reported the CR has been accepted and Qwest also has initiated a CR that addresses this. Neil reported we are currently developing a process for flagging DAMLs and this will be placed on the ICONN web site by April 15, 2003. Mike Zulevic asked when the prototype will be ready. Neil advised approximately 2 weeks. We agreed to move this CR to Development status until April 15 and then move to CLEC test.

02/19/03 - CMP Meeting

Neil Houston–Qwest provided the initial response to this CR. Qwest advised we do not presently remove DAMLs for our retail customers. However, should Qwest change this policy Qwest will remove DAMLs for Wholesale customers in substantially the same time and manner. Qwest advised they are reviewing this in more detail. Qwest also described how the CLECs can use the Raw Loop Data Tool to determine the presence of a DAML. Qwest advised this CR will stay in evaluation status until our analysis is complete. An update will be provided at the March CMP meeting. Mike Zulevic-Covad clarified they would like to request the removal of DAMLs when there are 2 lines, one is disconnected and the 2nd line is used for high speed data transmission.

01/15/03 - CMP Meeting

Zulevic-Covad presented the CR. The CR moves to Presented.

Clarification Meeting January 8, 2003 1-877-561-8688 7385723# CR PC122302-1 Removal of DAMLs to allow installation of DSL

Attendees Name/Company: John Berard Covad Neil Houston Qwest Russ Urevig Qwest Brett Fesler Qwest Heidi Moreland Qwest Cindy Macy Qwest

Meeting Agenda: 1.0 Introduction of Attendees Team members introduced themselves. Neil Houston will be the lead SME on the CR

2.0 Review Requested Change John Berard Covad reviewed the CR with the team. We discussed what DAML (Digital Added Main Line) or UDC (Universal Digital channel) technology is. John and Russ explained it is a piece of network equipment that is placed on a facility. It multiplexes the TN across the facility so the provider is able to service multiple lines from one facility (analog service is provided). John explained 2 situations how this service could be used: 1st- end user that has a second line in house and provided a UDC. This 2nd line has been disconnected but is being serviced via a UDC and now the customer wants DSL. We would need to disconnect the UDC.

2nd-end user has 2nd line served over UDC and is using a dial up and now wants DSL. We would need to convert or disconnect the UDC.

Qwest confirmed to remove the UDC it would require a dispatch

Qwest should be able to identify if the customer has UDC via LFACS and Raw Loop Data Tool. It is identified as a carrier, not via a usoc on the CSR.

The team clarified this CR only applies when the end user who has a UDC is the only customer on the line. If the end user had a second line and the UDC is servicing more than one customer we could not remove the UDC. This CR would only apply to single customer situations.

Qwest asked John to provide examples / account information of customers that have UDC so we can investigate this CR and determine what the account looks like in our systems and identify the impacts of this CR. John will send to Cindy Macy-Qwest account examples. Accounts in different states would give us the best sample to investigate. We would like data on UDC that serve 1 and 1+ customers in multiple states.

Heidi Qwest asked if other ILEC/CLECs provide this data and Neil Houston advised Bell South may provide this data.

3.0 Confirm Areas & Products Impacted Unbundled Loop, Lineshare DSL, Line splitting, Distribution Feeder, Customers with existing service or service already in place at location. Pre Ordering, Ordering, Provisioning IMA EDI GUI and Bulk Extract Pre Qual Database and EDI

4.0Confirm Right Personnel Involved Yes

5.0 Identify/Confirm CLEC’s Expectation John confirmed he is looking for a process to FLAG these customers. Potentially something in Raw Loop Data tool that would identify the customer has UDC, or be able to extract data and perform a query against the data to identify the TNs that have UDC

6.0 Identify any Dependent Systems Change Requests none

7.0Establish Action Plan (Resolution Time Frame) Next steps will be for John or Covad representative to ‘Clarify this CR’ at the January CMP meeting. John advised he will not attend the January meeting but Mike Z will be there to clarify the CR. John will send to Qwest Cindy Macy examples of customers with UDC on their service so we can investigate. Qwest will meet internally and begin investigation of this CR to determine the impacts.


CenturyLink Response

For Review by CLEC Community and Discussion at the March 19, 2003 CMP Meeting

March 11, 2003

Covad Communications John Berard

SUBJECT: Qwest’s Change Request Response - CR # PC122302-1 Process to remove DAMLs off line to provide DSL to Qwest Customers

This letter is in response to Covad Communications Change Request (CR) PC122302-1. This CR requests that Qwest create a process to remove Digitally Added Main Lines (DAMLs) off of working residential lines, to enable Covad Communications to provide DSL data service to Qwest’s voice customers.

Qwest uses many different technologies to provision voice services to its end user customers. DAMLs, also known as Universal Digital Channels (UDCs) in Qwest’s Network, are one of these technologies and are deployed throughout the Network to meet growth and service demands for POTS (voice) service. The voice paths that are constructed by use of the DAMLs are local loops and the DAML is an essential element of such loops. In addition to customer requests for POTS voice service, loops derived from DAMLs can be used to provision resold, UNE-P and Internet dial-up services to CLECS.

Qwest accepts this Change Request with the conditions identified below and will remove DAMLs for wholesale customers in the same time and manner that DAML’s are removed for Qwest’s retail customers. This process will align with the process change currently being submitted by Qwest on CR PC022403-7, Perform UDC Removal for Line Shared orders at no charge to the CLEC/DLEC. DAMLs will be removed at no charge and only where the following conditions apply: - Loop used for line sharing will be non-design - DAML serves only one end user customer premise - 2 line DAML only - Only 1 voice line in service (only 1 channel is being used, the other channel is vacant) - 5 day provisioning interval will apply to the orders for DAML removal

This CR also requests that Qwest implement a process to flag DAMLs that are currently only serving one voice line. Qwest is presently investigating the appropriate means to inform the CLECs and Qwest retail of the existence of this situation. This information will be available via the ICONN web site by April 15, 2003.

Qwest requests that this CR remain in the Evaluation Status. Qwest will provide an update at the April CMP.

Sincerely,

Neil Houston Staff Advocate Policy & Law

Cc: Mary Retka

INITIAL RESPONSE For Review by CLEC Community and Discussion at the February 19, 2003 CMP Meeting

February 12, 2003 Covad Communications John Berard

SUBJECT: Qwest’s Change Request Response - CR # PC122302-1 Process to remove DAMLs off line to provide DSL to Qwest Customers

This letter is in response to Covad Communications Change Request (CR) PC122302-1. This CR requests that Qwest create a process to remove Digitally Added Main Lines (DAMLs) off of working residential lines, to enable Covad Communications to provide DSL data service to Qwest’s voice customers.

Qwest uses many different technologies to provision voice services to its end user customers. DAMLs are one of these technologies and are deployed throughout the Network to meet growth and service demands for POTS (voice) service. The voice paths that are constructed by use of the DAMLs are local loops and the DAML is an essential element of such loops. In addition to customer requests for POTS voice service, loops derived from DAMLs can be used to provision resold, UNE-P and Internet dial-up services to CLECS.

Qwest does not presently remove DAMLs for its retail customers in order to provision digital services. However, should Qwest change this policy, Qwest will remove DAMLs for wholesale customers in substantially the same time and manner.

This CR also requests that Qwest implement a process to flag DAMLs that are currently only serving one voice line. Qwest presently has a process in place that identifies the use of DAMLs. The Raw Loop Data Tool (RLDT) indicates the presence of a DAML when queried, the Pair Gain Type field will indicate UDC where the loop is provisioned via a DAML. Additionally, telephone numbers and addresses served by a DAML will indicate UDC in the Terminal I and Cable Name fields.

Qwest requests that this CR be placed in Evaluation Status. Qwest will provide an update at the March CMP.

Sincerely,

Neil Houston Staff Advocate Policy & Law

Cc: Mary Retka


Open Product/Process CR 4302321 Detail

 
Title: CSR Form Sub Account Number Field
CR Number Current Status
Date
Area Impacted Products Impacted

4302321 Withdrawn
2/18/2000
Originator: Grigsby, Geoff
Originator Company Name: Covad
Owner: Routh, Mark
Director:
CR PM: Routh, Mark

Description Of Change

Begin placing a field on the CSR form that USW would populate with the sub-account number. This is necessary because the sub-account number is required to disconnect and USW does not tract this number, which may happen many years after the installation was completed.


Status History

11/17/99 Submitted11/19/99 Received email submission11/22/99 Logged and provided title/complete email. Received status of New – To be industry reviewed. Sent email to Geoff Grigsby on CR status.

12/15/99 During the industry team meeting questions arose as to whether there maybe a misunderstanding and the CR might be a training issue. Barbara Peterson has the action item to contact you about this one. Also, Tona is to contact Geoff. Status change “New – To be clarified”

12/30/99 Sent email to Geoff on CR status change and requested quick clarification.12/31/99 Cory Hamiltorn, Training and Services, responded to this CR to Geoff to clarify training issue.

02/02/00 Sent email to Goeff and Bogdan on CR Form update to version 04, included text of Cory’s email above, and noted the CR has a status of “New – To be clarified”

02/18/00 Status change to Cancelled – Clarification not completed. Sent email to Geoff and Bogdan that CR is cancelled per CICMP. That is, a CR is automatically cancelled if it remains in New – To be clarified for 60 or more days.


Project Meetings


Open Product/Process CR 4302410 Detail

 
Title: DSL Pre qualification Loop Length Tool
CR Number Current Status
Date
Area Impacted Products Impacted

4302410 Withdrawn
1/24/2000
Originator: Grigsby, Geoff
Originator Company Name: Covad
Owner: Routh, Mark
Director:
CR PM: Routh, Mark

Description Of Change

DSL CLECs need to know actual loop length in order to determine what speed DSL service can be provided to a Customer. Using air feet to determine these speeds is only an estimate and the carrier must submit a request and wait for USW to respond. Often the order must be downgraded but this takes time while USW investigates loop length and rejects the order and a SUPP must be submitted. Providing an interactive tool that would give actual loop length prior to submitting the order would reduce costs for both CLECs and USW by preventing the resubmission of orders.


Status History

11/17/99 Submitted

11/19/99 Received email submission11/22/99 Logged and validated. Received status of New – To be industry reviewed. Sent email to Geoff Grigsby on CR status.

12/15/99 During the industry team meeting questions arose as to whether this was a duplicate of Rhythms #4261631 "Enhancements to ADSL Loop Pre-qualification". Tona Moore was to talk to Geoff about this.

12/29/99 Sent email to Geoff on CR status with request for quick resolution.

01/24/00 Cancelled – Co-Provider. Combined with CR 426163102/02/00 Sent email to Geoff and Bogdan


Project Meetings


Open Product/Process CR PC101201-2 Detail

 
Title: Maintenance Conditioning
CR Number Current Status
Date
Area Impacted Products Impacted

PC101201-2 Completed
1/16/2002
Ordering, Repair UNE and Shared Loop
Originator: Moham, John
Originator Company Name: Covad
Owner: Buckmaster, Cindy
Director:
CR PM:

Description Of Change

Qwest should redefine and implement a process for conditioning when required by an ILEC Trouble Ticket in its maintenance processes or when a conditioning issue actually exists in the field but not in the Qwest LMU returns.

CLEC’s should not be required to place a (C) change order to add USOC’s to the circuit if the order is closed. A verbal authorization from the CLEC or a Qwest Technician should suffice.

This type of conditioning should be performed in a maximum of 3 to 5 business days. These circuits should be considered “Loops Out of Service” and should have the conditioning issues addressed in reduced intervals compared to the current 15 business day provisioning interval that is currently in place.

Conditioning:

- Load Coils

- Bridge Tap (Further definition is required here. Will Qwest remove all bridge tap or excessive bridge tap)


Status History

10/11/01 – CR received from John Moham of Covad

10/12/01 – CR status changed to Submitted

10/12/01 – Updated CR sent to John Moham of Covad

10/24/01 - Clarification Meeting Scheduled with Covad for 10/25/01.

10/25/01 - Clarification Meeting Held with Covad.

10/31/01 - Sent draft response dated 10/29/01 to Covad.

11/14/01 - CMP Meeting - CR was clarified with the CLECs. Qwest to review its draft response and re-issue.

12/06/01 - Revised draft response dated 11/30/01 posted to CMP database and issued to the originating CLEC.

12/12/01 - CMP Meeting: Qwest response presented to CLECs, agreement obtained to change status to CLEC Test

12/28/01 - Formal response dated 11/30/01 issued to CLECs

01/16/02 - January CMP meeting. CLECs agreed there had been no new issues and agreed to close this CR. CR Status changed to "Completed"


Project Meetings

10:00 am (MDT) / Thursday, Oct 25th, 2001 Alignment/Clarification Meeting Conference Call 1-877-847-0338 PC7826706 # PC101201-2- Maintenance Conditioning Request John Moham, jmoham@covad.com , Covad Larry Gindlesberger, Lgindles@covd.com, Covad Nancy Hoag, nhoag@qwest.com,Qwest Cindy Buckmaster, cbuckma@qwest.com, Qwest Brett Fesler, bfesler@uswest.com , Qwest Cliff Dinwiddie, cdinwid@qwest.com, , Qwest Ann Danielsen, aldanie@qwest.com, Qwest Michael Belt, mbelt@qwest.com, Qwest Introduction of Attendees Introductions, Ann Danielsen should be in attendance (Repair) - Courtesy Copy Review Requested (Description of) Change 1. Qwest should redefine and implement a process for conditioning when required by an ILEC Trouble Ticket in its maintenance processes or when a conditioning issue actually exists in the field but not in the Qwest LMU returns. (Accuracy of the Raw Loop Data Tool) i.e. - Loop qual, ADSL/RLD - check loop makeup = 10K no loads. Can’t get signal, have tech test for load and find that it is loaded. This adds 15 days to the interval at commitment date. This is on line sharing and IDSL (ISDN Capable Loop).

2. CLEC’s should not be required to place a (C) change order to add USOC’s to the circuit if the order is closed. A verbal authorization from the CLEC or a Qwest Technician should suffice.

No change order for conditioning during the maintenance process

3. This type of conditioning should be performed in a maximum of 3 to 5 business days. These circuits should be considered “Loops Out of Service” and should have the conditioning issues addressed in reduced intervals compared to the current 15 business day provisioning interval that is currently in place.

Change interval from 15 to 5 days only on maintenance process

Conditioning: - Load Coils - Bridge Tap (Further definition is required here. Will Qwest remove all bridge tap or excessive bridge tap) Not All but maximum to 6kf Confirm Areas & Products Impacted Areas: Ordering, Repair Products: Unbundled Loop, UNE, Loop Confirm Right Personnel Involved Cliff Dinwiddie - Lead Brett Fesler - Assist Nancy Hoag/ Cindy Buckmaster - Assist Ann Danielsen - Assist (Repair) Michael Belt - Coordinate CR Cradle to Grave Identify/Confirm CLEC’s Expectation Expectations of the CR are understood. Identify any Dependent Systems Change Requests N/A Establish Action Plan (Resolution Time Frame) Majority of the request is within “Loop Conditioning Refund Draft” being reviewed by CLEC community. Nancy Hoag transferring to Training, Cindy Buckmaster to Facilitate

Cliff Dinwiddie to formulate DRAFT Qwest Response prior to dry-run meeting November 6, 2001 and present at CMP meeting November 14, 2001.


CenturyLink Response

11-30-01

John Moham TAC Manager, ILEC Repair Covad Communications

CC: Bill Campbell Debra Smith Dennis Pappas Bernadette Derlein Betty Heid

This letter is in response to your CLEC Change Request Form, number PCCR101201-2 dated October 11, 2001 – Maintenance Conditioning.

Qwest’s loop conditioning process is standard across both the unbundled loop family of interconnection products and the shared loop family of interconnection products.

Request:

1. Qwest should redefine and implement a process for conditioning when required by an ILEC Trouble Ticket in its maintenance processes or when a conditioning issue actually exists in the field but not in the Qwest LMU returns. (Accuracy of the Raw Loop Data Tool) i.e. - Loop qual, ADSL/RLD - check loop makeup = 10K no loads. Can’t get signal, have tech test for load and find that it is loaded. This adds 15 days to the interval at commitment date. This is on line sharing and IDSL (ISDN Capable Loop). Qwest Response:

CLECs can use the ADSL Loop Qualification and RLD tools, in addition to other IMA based loop qualification tools, to identify the existence of Load Coils and/or Excessive Bridged Tap prior to placing an order. Qwest will always attempt to assign facilities that do not require conditioning. However, there may be some situations where the only way to fulfill a request requires Qwest to condition the loop. Qwest will not condition a loop without CLEC approval.

To simplify the process, CLECs have the option to pre-approve conditioning by entering a ‘Y’ in the SCA field of the LSR. If this field carries the ‘Y’, all Load Coils and Bridged Tap will be removed, with the exception of stub cable. The pre-approval option provides the following benefit: - If conditioning is required, the LSR will flow through the provisioning process without delay, - If the pre-approval is not included on your LSR and conditioning is required, Qwest will reject your LSR and you will need to submit a new LSR.

Pre-Approval inclusion will not have any negative impacts on your order. Qwest will still attempt to locate facilities that do not require conditioning. CLECs can request the standard interval and if Qwest can assign the loop to facilities that do not require conditioning, the requested interval will be honored. Conditioning charges will only apply if conditioning actually occurs.

Therefore, assuming the CLEC is ordering a non-loaded loop (LX-N – 2/4 wire non-loaded, LXR- - ADSL Capable, AD-- - ISDN Capable, ADU- - xDSL-I Capable):

- If the LSR is submitted with a “Y” in the SCA field, Qwest will attempt to assign a facility free of Load Coils and Bridged Tap. If Load Coils and/or Bridged Tap is present on the facility assigned, Qwest will dispatch to ensure that the circuit will meet the parameters specified by the CLEC in the LSR. - If the LSR is submitted without Conditioning authorized (with an “N” in the SCA field or with the SCA field blank), Qwest will attempt to assign a facility free of Load Coils and excess Bridged Tap. If Load Coils and/or excess Bridged Tap is present on the facility assigned, Qwest will reject the LSR advising the CLEC that conditioning is required and the CLEC will return to the step above. - If the LSR is submitted without Conditioning authorized (with an “N” in the SCA field or with the SCA field blank), Qwest will attempt to assign a facility free of Load Coils and excessive Bridged Tap. If such a facility can be found, it will be assigned and the request will be processed. In this situation, the facility assigned can have Bridged Tap on it that does not exceed the limits identified by the NC/NCI Code specified by the CLEC in the LSR. - If the CLEC requires that additional Bridged Tap be removed (i.e. the CLEC now wants Qwest to condition the loop), that request will come through the Service Delivery Center. The CLEC will need to submit an LSR authorizing Bridged Tap Removal by entering a ‘Y’ in the SCA field. The standard 15 Business Day Conditioning Interval will apply. - If Load Coils and/or excessive Bridged Tap are not identified by Qwest as present on the facility assigned, and the proper NC/NCI code were used to indicate a Non-Loaded facility, Qwest should be able to identify their presence in Test & Turn-Up. If the Test doesn’t indicate the presence of Load Coils and/or excessive Bridged Tap, and the loop is subsequently turned over with Load Coils and/or excessive Bridged Tap on it, Qwest will handle the issue in the repair environment. This process will not require the CLEC to submit a supplemental LSR. This repair process will be completed within 5 Business Days. In this scenario: - If the CLEC originally entered a ‘Y’ in the SCA field of the LSR, Qwest will remove any Load Coils and all Bridged Tap (see question 3 below). - If the CLEC originally entered a ‘N’ in the SCA field of the LSR or left the SCA field blank, Qwest will remove only the Load Coils and excessive Bridged Tap. Bridged Tap that doesn’t interfere with the services specified in the NC/NCI Code combination will not be removed. - No charges will be assessed to the CLEC.

Request:

2. CLEC’s should not be required to place a (C) change order to add USOCs to the circuit if the order is closed. A verbal authorization from the CLEC or a Qwest Technician should suffice.

No change order for conditioning during the maintenance process

Qwest Response:

As stated above, CLECs will not be required to authorize the removal of Load Coils and/or excessive Bridged Tap inadvertently missed by Qwest. CLECs are still required to request conditioning if additional Bridged Tap removal is requested and can do so per the process previously defined.

Request:

3. This type of conditioning should be performed in a maximum of 3 to 5 business days. These circuits should be considered “Loops Out of Service” and should have the conditioning issues addressed in reduced intervals compared to the current 15 business day provisioning interval that is currently in place.

Change interval from 15 to 5 days only on maintenance process

Qwest Response:

As stated above, if the circuit was incorrectly conditioned by Qwest, it will be corrected within 5 business days. If the CLEC would like additional Bridged Tap removed, the standard 15 Business Day Conditioning Interval will apply.

Request:

4. Conditioning: - Load Coils - Bridge Tap (Further definition is required here. Will Qwest remove all bridge tap or excessive bridge tap)

Qwest Response:

If requested by the CLEC (with a ‘Y’ in the SCA field), Qwest will remove all Bridged Tap (except stub cable). If Conditioning was not requested, Qwest will ensure that the circuit meets the acceptable standards of the NC/NCI codes requested and will remove the amount of Bridged Tap necessary to meet those standards.

Request:

5. Additional questions were asked during the clarification session. These questions and answers are provided collectively in this section.

a. Where are the processes documented for the conditioning interval and the maintenance process? - The conditioning interval can be found in the Service Interval Guide. More information regarding the process associated with intervals as they apply to your request can be found in the Product Catalog (PCAT) at: http://www.qwest.com/wholesale/pcat/interconnection.html - Additional information regarding Maintenance processes can also be found in the PCAT at: http://www.qwest.com/wholesale/pcat/interconnection.html

b. How are identified data-base errors corrected? A ‘yellow’ response on the RLD or ADSL Loop Qual Tool does not prohibit the CLEC from ordering the service. Upon receipt of the request, Qwest will attempt to assign an adequate facility. If necessary, a Technician will be dispatched to resolve discrepancies in facility record. Once those discrepancies are resolved, the Qwest Technician is responsible for providing an update to the database. As those discrepancies are resolved, the CLEC request can be completed.

Two tools have been deployed to provide a vehicle for Qwest Technicians to get corrected information back to the data-base.

They are: 4.1 Internet A url has been deployed so that field forces can access the Qwest Web Site. This site is used to update facility data, based on actual measurements. This is an internal url and will be used by Qwest personnel only. 4.2 FAX A form has been developed that allows a technician to note the same information that is input into the Qwest Web Site. The form should be filled out as the readings are being taken. At the end of the day, hand the form(s) to your supervisor. The supervisor, or designee, will fax the forms daily.

This, too, is an internal process only. As the Qwest employee is the only person updating the database, documentation regarding the process is not publicly provided.

Sincerely,

Cindy Buckmaster Group Manager – UBL Product Management


Open Product/Process CR PC101201-1ES Detail

 
Title: Shared Loop Data Parameters
CR Number Current Status
Date
Area Impacted Products Impacted

PC101201-1ES Denied
12/12/2001
Repair Unbundled Loop, Line Shared Loop
Originator: Moham, John
Originator Company Name: Covad
Owner: Dinwiddie, Cliff
Director:
CR PM: Thomte, Kit

Description Of Change

Qwest representation should work with the CLEC community to develop parameters for the support of DSL on Shared Loop circuits.

These test results should be standardized utilizing the CEMR MLT test and 77S test unit utilized by Qwest Central Office Technicians.

These standards should also drive processes to repair existing loops or LST (Line and Station Transfer) working voice but not in service data loops to acceptable loops out of the end users serving terminal. They should also drive process implementation for Qwest Network or Complex Network Service technicians to be dispatched out to address the identified loop quality issues.

Loop Standards on:

Capacitance

Resistance

DC and AC signatures

Voltage


Status History

10/11/01 - CR Received from John Moham of Covad

10/12/01 - CR status changed to Submitted

10/12/01 - Updated CR sent to John Moham of Covad

10/22/01 - Clarification Meeting held with Covad.

11/14/01 - CMP Meeting - CR was clarified with the CLECs. Qwest to prepare its draft response

11/28/01 - Received draft test parameters from Covad (Proprietary information)

12/05/01 - Draft response dated 12/5/01 posted to CMP database.

12/07/01 - Draft response issued to the originating CLEC. Status changed to Presented.

12/12/01 - CMP Meeting: Qwest response presented to CLECs, change request was denied.

12/28/01 - Formal response dated 12/5/01 issued to CLECs

01/11/02 - Qwest revised response superceding Qwest Response dated 12/05/01 posted to the CMP database

01/14/02 - Formal Escalation received from Covad, status changed to "Escalated"

01/15/02 - Qwest response sent acknowledging receipt of Formal Escalation from Covad (PC101201-1-E04).

01/15/02 - Escalation posted to the web: http://qwest.com/wholesale/cmp/escalations_dispute.html

01/15/02 - All CLECs notified this CR has been escalated

01/16/02 - January CMP meeting. Planned readout agenda item was canceled due to CR being escalated on 1/14/02

01/22/02 - Qwest issued binding response to Escalation E-04 dated 01/22/02 to Covad

01/22/02 - Qwest posted binding response to Escalation E-04 dated 01/22/02 to the web: http://qwest.com/wholesale/cmp/escalations.html

02/20/02 - February CMP meeting: Status update provided. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

03/20/02 - March CMP Meeting: Status update provided to CLECs. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

04/17/02 - April CMP Meeting: Status update provided to CLECs. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

05/15/02 - May CMP Meeting: Qwest advised that the CR was still in an Escalated status.

06/19/02 - June CMP Meeting: Qwest advised that the CR was still in an Escalated status.

07/08/02 - Per the agreement reached with the CLECs during the June Product and ProcessCMP meeting regarding escalated status this CR will carry the appropriate status prior to the escalation


Project Meetings

1:00 p.m. (MDT) / Monday, Oct 22nd, 2001 Alignment/Clarification Meeting Conference Call 1-877-847-0338 PC7826706 # PC101201-1- Shared Loop Data Parameters John Moham, jmoham@covad.com , Covad Larry Gindlesberger, Lgindles@covd.com, Covad Sheila Hoffman, shoffman@covad.com ,Covad Michael Lanoue, mlanoue@qwest.com, Qwest Brett Fesler, bfesler@uswest.com , Qwest Steve Hilleary, shillea@qwest.com , Qwest Deborah Heckart, dheckar@qwest.com , Qwest Michael Belt, mbelt@qwest.com, Qwest Introduction of Attendees Introductions Review Requested (Description of) Change Shared Loop Data Parameters – Qwest representation should work with the CLEC community to develop parameters for the support of DSL on Shared Loop circuits. These test results should be standardized utilizing the CEMR MLT test and 77S test unit utilized by Qwest Central Office Technicians. These standards should also drive processes to repair existing loops or LST (Line and Station Transfer) working voice but not in service data loops to acceptable loops out of the end users serving terminal. They should also drive process implementation for Qwest Network or Complex Network Service technicians to be dispatched out to address the identified loop quality issues. Loop Standards on: - Capacitance - Resistance - DC and AC signatures - Voltage Actual Testing of the lines doesn’t incorporate several tests they would like to occur. Detailed list to be provided by John Moham Confirm Areas & Products Impacted Area: Repair, Additional Defined Testing Products: Unbundled Loop, Line Sharing, UNE, Loop Confirm Right Personnel Involved Michael Lanoue indicated Ann Danielsen might need to be brought in depending on Qwest response to Covad request. If the Pre-qualification test package accepted, Terry Meehan might also need to be involved if dispatch is required. Identify/Confirm CLEC’s Expectation General Ideas of the parameters of the Loop testing which led to Quality issues. List of specific tests to be provided by John Moham by COB, Wed Oct 24, 2001. John would like to set up trial for developing testing parameters. Michael indicated other test that might be available or already in place(Loop length, JEP and Feedback Quality) but might have cost implications if implemented. Identify any Dependent Systems Change Requests N/A Establish Action Plan (Resolution Time Frame) Michael Lanoue to provide DRAFT response a couple days after receipt of Testing List (Criteria) provided by John Moham on Wednesday, Oct 24, 2001. This response to be provided/discussed at the November CMP Meeting to be held November 14, 2001.


CenturyLink Response

January 11, 2002

John Moham Covad Communications TAC Manager - ILEC Repair Denver COE Line Sharing Data Parameters

CC: Kathleen Lucero Steve Hilleary Deborah Heckart Brett Fesler Mike Lanoue

This letter supercedes Qwest Response dated 12/05/01 that responded to your CLEC Change Request PC101201-1 dated 10/12/01 Shared Loop Data Parameters.

This Change Request asks Qwest to engage in a collaborative effort with CLECs to establish testing provisioning and repair parameters for DSL on shared loops including: - a minimum set of standards; - standardized testing utilizing CEMR MLT and 77S test sets; - a loop repair process that requires a LST if the provisioned loop does not meet CLEC standards; and - a loop repair process that dispatches a Qwest technician if the loop has quality issues. Minimum Testing Parameters

Qwest is disinclined to develop a minimum set of provisioning and repair standards that would “qualify” a particular facility to carry Line Sharing for two reasons: - Difficulty in developing a “standard”. This is accentuated by the varied requirements of the multiple vendors, types of DSL, and quality of service deployed by CLECs. Developing the test parameters for an “acceptable” circuit for all CLECs would be a time and resource consuming activity for all parties and one not prudent to do in light of the following. - The minimum standards for provisioning and repair of a metallic loop are already being developed in an industry forum, American National Standards Institute (ANSI) T1E1.3. In order to prevent duplicative development and implementation efforts, Qwest believes the ANSI forum to be the most appropriate to address this issue. While Qwest denies this request to work independently with the CLECs on a set of minimum standards, Qwest is more than willing to work collaboratively with the CLECs and other industry participants to develop a set of national standards in the appropriate industry forum.

Additionally, Qwest Technical Publication 77406 Interconnection - Shared Loop outlines the minimum set of transmission standards that a facility can support. The transmission characteristics defined in the technical publication provide the CLEC with information regarding the minimum requirements that a facility must support to be delivered to a CLEC based on the Network Channel and Network Channel Interface (NC/NCI) codes that the CLEC includes on the Local Service Request (LSR). CEMR MLT and 77S Test Sets

In the clarification call for this Change Request, Covad indicated it would like to utilize Customer Electronic Maintenance and Repair (CEMR) Metallic Loop Test (MLT) for pre-provisioning xDSL loop qualification. Qwest has already addressed this issue in 271 workshops. CEMR MLT is a repair tool that provides CLEC testers in the repair process the capability to evaluate transmission characteristics of a metallic loop connected to a Qwest switch.

The reasons presented in the workshops for Qwest’s objection to using MLT in a provisioning process are twofold. First, MLT is an intrusive test that will disrupt voice services. While this is not a concern for repair scenarios, it is a real concern when MLT is being triggered electronically through CEMR. Secondly, to ensure the protection of Customer Proprietary Network Information (CPNI), MLT has a front end edit that limits access for a specific loop to the Local Exchange Carrier of record for that loop. In pre-order activity, MLT will not allow CLECs to access metallic loops it does not “own”.

However, in the Pre-Ordering process, Qwest can and does provide facility characteristic information to CLECs based on facility records via the Raw Loop Data Tool (RLDT). The data included in the RLDT is the same underlying data that Qwest utilizes to qualify loops for its retail xDSL product offerings. This data can be used, much the same way Qwest uses it, to qualify loops for CLEC xDSL services.

During the provisioning process to deliver shared loop products to CLECs, Qwest does use test sets, including the 77S, to identify load coils on a loop. Additionally, Qwest tests the electrical continuity of the data path for every shared loop provisioned for CLECs prior to circuit delivery.

Once the shared loop is provisioned for the CLEC, the CLEC can perform a MLT through CEMR.

Loop Repair LSTs

The Change Request indicates, "These standards should also drive processes to repair existing loops or Line and Station Transfer (LST) working voice but not in service data loops to acceptable loops out of the end users serving terminal." Qwest believes that existing repair processes sufficiently care for this concern. Again, Qwest delivers shared loop circuits according to the parameters outlined in Technical Publication 77406. Please review the response to Change Request PC101201-2 regarding loop conditioning during the repair process.

Loop Repair Dispatch

Qwest will dispatch a technician to a network DMARC at a customer premises only if trouble is isolated to the Outside Plant portion of the Qwest network. Qwest will not agree to dispatch its technicians unless the circumstances of a trouble ticket dictate such activity.

Sincerely,

Cliff Dinwiddie Senior Manager Global Wholesale Product Marketing


Open Product/Process CR PC102301-1 Detail

 
Title: Implementation of Covad’s IVR Testing Tool by Qwest for use in the field provisioning and repair process
CR Number Current Status
Date
Area Impacted Products Impacted

PC102301-1 Denied
9/18/2002
Repair, Field Provisioning Stand Alone Loops
Originator: Zulevic, Michael
Originator Company Name: Covad
Owner: Gianes, Tim
Director:
CR PM: Thomte, Kit

Description Of Change

IVR is an automated voice response (dial-in) system by which Qwest technicians can perform a one way “pre-test” of a loop prior to formal cooperative (two way) acceptance testing with Covad. IVR takes the Qwest tech through the same process as the two way test and will feed back results to the Qwest tech. If the loop tests good, the Qwest tech would then perform the coop test and loop turn-over with Covad. If a fault is discovered during the IVR test, the Qwest tech would then have the opportunity to correct the deficiency prior to turn-over to Covad. This process has been implemented in another ILEC and Verizon specifically asked for its use to improve their provisioning efficiency as part of its recent recovery efforts in NYC. Eventually, the goal will be to eliminate the need for cooperative testing, saving both Covad and Qwest time and resources, improving operational efficiencies for both.


Status History

10/23/01 - CR Received by Minda Cutcher of Covad Communications

10/23/01 - CR status changed to Submitted

10/23/01 - Updated CR sent to Minda and Susan Early

11/01/01 - Clarification Meeting Held with Covad.

11/14/01 - CMP Meeting - CR was clarified with the CLECs. Qwest to prepare its draft response.

12/03/01 - Additional clarification questions submitted to Covad via e-mail

12/05/01 - Received responses to e-mail questions

12/05/01 - Draft response dated 12/03/01 posted to CMP database and issued to the originating CLEC. Status changed to Presented.

12/12/01 - CMP Meeting: Qwest response presented to CLECs, agreement obtained to change status to Development. Covad to supply answers to balance of questions listed in response.

12/28/01 - Formal response dated 12/3/01 issued to CLECs

01/03/02 - Kick-off meeting for trial implementation held between Covad and Qwest

01/04/02 - Meeting minutes for Kick-off meeting issued to Covad

01/10/02 - E-mail update from Covad on Kick-off meeting actions

01/11/02 - E-mail from Qwest responding to Covad

01/16/02 - January CMP meeting. Qwest provided a status update to the CLEC community. CR Status remains in "Development"

01/29/02 - E-mail from Qwest providing update to Covad

02/06/02 - Reply e-mail from Covad

02/07/02 - Qwest response e-mail to Covad

02/13/02 - E-mail from Covad advising change of personnel

02/13/02 - E-mail response, Qwest waiting for new Covad contact to move forward with trial.

02/20/02 - February CMP meeting: Status update provided to CLEC community. Michael Zulevic will replace Minda Cutcher as the Covad representative for this CR. Qwest are waiting for Covad’s response to two questions before moving on with the trial. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

02/22/02 - Information E-mail from Qwest to new Covad CR owner

02/22/02 - Return E-mail from Covad

02/27/02 - Status report from Qwest posted in CMP database

03/20/02 - March CMP Meeting: Status update provided to CLECs, CR status to remain in "Development". Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

03/22/02 - E-mail from Covad asking to begin trial without providing test parameters associated with IVR capability to Qwest

03/29/02 - Qwest left a voice mail with Covad informing them of an April 15th start date for the trial

04/17/02 - April CMP Meeting: Status update provided to CLECs. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

04/25/02 - Covad and Qwest met to discuss the status of the trial, meeting minutes from the session were posted to the data base pending approval from participating parties

05/06-02 - Qwest sent email to COVAD indicating that Qwest had begun the trial with COVAD

05/15/02 - May CMP Meeting: Qwest advised that they started the trial using Qwest historical data. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

06/19/02 - June CMP Meeting: CR status remains in "Development". Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

07-09-02 - July CMP session will have an update of status to reflect Qwest approach

07/17/02 - July CMP Meeting: CR status remains in "Development". Meeting minutes posted to this CR's Project Meetings section.

08/21/02 - August CMP Meeting: CR status remains in "Development". Meeting minutes posted to this CR's Project Meetings section and CMP Web site

09/11/02 - Sent Covad Revised Response

09/18/02 - September CMP Meeting: CR status changed to "Denied". Meeting minutes posted to this CR's Project Meeting section and CMP Web site


Project Meetings

09/18/02 September CMP Meeting Qwest (Gianes) reviewed the request and provided high level information regarding the rationale for the denial. Covad (Cutcher) indicated that Covad was very disappointed in the outcome of this CR. Things seemed to be progressing well and now Qwest is the only ILEC that is unwilling to use the IVR test tool. Worldcom (Balvin) inquired if this was an attempt to reduce resources and if so why would Qwest not be in favor of this approach? AT&T (Spangler) inquired if this was denied based on resource allocation? Qwest indicated that they reviewed statistics prior to the trial and during the trial of IVR and did not see any tangible improvements. A discussion ensued regarding Copper Max and IVR. Qwest (Beck) indicated that Qwest had selected a tool and was moving forward with the strategy. Covad indicated that this CR had been in the works for a while and Copper Max had not been discussed at that point. Long term Covad thinks this tool provides a more efficient process for Qwest, Covad seems to be getting mixed messages. Qwest replied that deploying Copper Max expands internal test capability that creates improved test isolation benefiting a broader base of the CLEC community and is not limited to a single CLEC. Covad viewed the decision as a regulatory response to an issue and would welcome a discussion with anyone from Qwest. This CR was updated to "Denied" status.

08/21/02 - August CMP Meeting Minutes Qwest (Gianes) indicated that a revised document had been provided, the document is being reviewed by the Network organization. A point of concern has been raised regarding the lack of information regarding the test parameters behind IVR. COVAD (Zulevic) inquired if the agreement was being expanded beyond provisioning? Gianes indicated that in the last session with COVAD (Mindy and John) agreed not to go beyond provisioning at this time. This CR will remain in “Development” status.

07/17/02 - July CMP Meeting Minutes: Qwest (Gianes) provided an update indicating that both COVAD and Qwest were happy with the results of the trial. Qwest would like to roll out the process within the fourteen states. Two regions have been trained so far, but actual implementation is pending legal approval. This process would be not be applicable to repair. This CR will continue with a status of "Development" Revised response will be provided prior to the next meeting.

To: "Berard, John" cc: "Zulevic, Michael" , "Cutcher, Minda" , "Linda Hendricks" , "Deni Toye" , "Mary Pat Cheshier" , "Alan D Braegger" , Michael Raleigh/Mass/USWEST/US@USWEST, "Kurtis L Preston" , "Rick Mabry" , "Diane L Diebel" , Kathleen Thomte/Mass/USWEST/US@USWEST

Subject: Re: IVR Trial with Covad

John, I still have not received the list of service orders from you that you had agreed to send for this trial. This list was to enable both company's to work from the same "database" for tracking purposes and determination of final results. I understand that the list may require updating on a weekly basis due to the service order intervals. That is not a problem. Would you also let me know what has happened regarding providing Qwest the On Time Performance (OTP) report we discussed. It was our impression that this was one of your critical measures of success in previous deployments of the IVR tool to other ILECs. Last week we decided to move forward without the service order list from Covad by asking Mike from the QCCC to pull a 30 day historical and future DD report. This will assist Kurt and Rick in determining which higher volume wire centers to focus on within the geography we discussed as we progress from the limited "dry run" with a few orders to the full scope of the trial. At this point we will use the future service order data we pulled as our baseline going forward to track and determine usage, IVR performance, etc. Also, Alan from the Qwest field staff, has developed a more refined flow chart which we have shared with the field director for use by the technicians. This provides an accurate and more straightforward chart of what the field technicians will experience when using the Covad IVR. I will be glad to share at our next joint status meeting. Please contact me regarding when you will be able to provide the future service order list and the OTP report at your earl

04/25/02 To: "Berard, John" cc: "Cutcher, Minda" , "'tgianes@qwest.com'" , "Zulevic, Michael" , "Deni Toye" , "Alan D Braegger" , lkhendr@qwest.com, Kathleen Thomte/Mass/USWEST/US@USWEST, "Rick Mabry" , "Kurtis L Preston" , "Mary Pat Cheshier" , Michael Raleigh/Mass/USWEST/US@USWEST, "Diane L Diebel"

Subject: Re: QWEST Trial of Covad IVR Loop Test Tool

Everyone, Here is a what I believe we agreed to on todays call: The trial will start Monday April 29th as scheduled. All parties agree that since Covad orders Coordinated Installation with Cooperative Test only, Qwest will utilize the IVR test during the Cooperative Testing portion of the test and turn up. As the field technicians become more comfortable with the IVR tool they have the option of utilizing the IVR at any point during their installation activity as long as it does not jeopardize Qwest meeting the Coordinated Install timeframe. Qwest will begin the trial by having a technician access sample Covad service orders and run through the IVR process. The technician will provide the Qwest team immediate feedback regarding their experience. John will send to Tim a list of pending Covad service orders so both Covad and Qwest will be working from the same list. This is critical in providing accurate results at the end of the trial. John is still pursuing providing an On Time Performance (OTP) report to Qwest since this is where Covad indicates there will be a significant benefit. John agrees a report of this type will be a valuable measure of success at the end of the trial. Minda confirmed that Qwest is the only ILEC with whom Covad orders Coordinated Installs. Based on the nature of Coordinated Install orders, Qwest performs extensive workstep completion confirmation prior to a field tech being dispatched to the premise. Minda agrees that because Qwest applies a very structured approach to Coordinated Installs this may minimize the extent of the benefit to Qwest that other ILECs have experienced with the IVR. Everyone also agrees that Qwest will continue to perform and document their required Core tests and follow established Coordinated testing agreements as they do today. Utilizing the IVR does not negate any current processes. Minda also agrees that if Qwest experiences a Fail situation via the IVR but successfully has passed standard Qwest core tests in the same area, Qwest will not default to the Covad test result but will contact Covad and work through the variance on a case by case basis as they do today. Tim will update the Trial Document to specify that Qwest will only enter the numeric portion of the PON number when accessing the IVR tool. Tim will schedule a follow up with the QCCC and the field to confirm the tracking spreadsheet detail Qwest will utilize to provide trial results on the orders submitted by Covad. Tim will schedule a joint meeting with Covad within the first 2 weeks of the trial to discuss progress and address concerns and opportunities.

I have tried to capture our conversation acccurately and completely and ask that you send me any corrections to what I have stated by end of day tomorrow. If there are no corrections or after making corrections I will ask that Kit Thomte incorporate these notes into our ongoing tracking of the original CR.

Tim Gianes 303 703-2199 03/22/02 - E-mail from Covad asking to begin trial without providing test parameters associated with IVR capability to Qwest

From: "Michael Zulevic" To: "Todd Meade" , "Michael Keegan" Cc: "Berard, John" Subject: IVR documentation Date: Fri, 22 Mar 2002 11:16:38 -0700

Todd,

Per our discussion yesterday, Covad does not see the need to provide our test perameters associated with our IVR capability to Qwest. Covad considers this to be proprietary information. As I stated yesterday, I would be willing to certify that our test perameters are within the technical specifications of your UNE loop offering. Once again, the IVR capability is in use in Verizon and the capability is now being deployed in SBC. BellSouth is also working with us to deploy the capability there as well. Covad has not been "required" to provide technical documentation to any of these ILECs as a condition of use. It must be understood that the IVR is a test capability, developed for use by Covad, that we are agreeing to allow Qwest and other ILECs to use, to assist them in their provisioning process. If, after a joint trial is completed, Qwest determines they have no need for this test capability, there is no obligation to continue with it's use. I would like to begin the trial as soon as possible, as trials with other ILECs have resulted in a significant improvement in the delivery of UNE loops. Please let me know if this informaion is sufficient to start the trial, and when we can get it started.

Thanks,

Michael Zulevic Director- External Affairs Office(520)575-2776 Cel(303)884-5657 Fax (520)575-2785

02/27/02 - Status report from Qwest posted in CMP database

Subject: Covad IVR Meeting 2/27/02 Date: Wed, 27 Feb 2002 16:12:46 -0700 From: "Tim Gianes" To: Todd Mead CC: "Frederick M Aesquivel Iii" Todd, I participated on a call today with Michael Zulevic and John Berard with Covad. John was involved in the deployment of the Covad IVR to Verizon. We discussed the 2 pending requests which were: - Utilization of the Covad circuit ID instead of the PON to activate the IVR - Full disclosure of specific tests activated (by circuit type) within the IVR and the related test parameters set for each Pass/Fail decision

John felt he could locate the IVR development document which should contain this information and send me a copy. Michael questioned the need for Qwest to have this data. I explained that this would allow us to insure that Covad & Qwest agree on the standard tests and test parameters utilized by the IVR before requiring field technicians to accept the Pass/Fail status from the IVR. It will be very beneficial to the field and center technicians to understand what the IVR is running, not just the net result, so they can better determine what action to take. Having the test detail will also promote buy-in from the field to actively use the IVR tool if they see the potential value of the test results.

I have agreed that Qwest will utilize the PON# which is present on the Worddoc. Micheal stated that the PON numbers were unique and would not cause Qwest to inadvertently intrude on another Covad circuit in error. Since Covad currently does not always provide their circuit ID on the LSR, requiring this would create an unnecessary step for Covad. Despite Qwest's preference to use the Covad circuit ID there is no compelling system or process related reason to not use the PON# as preferred by Covad. If using the PON becomes a problem, the process will have to be amended to revert to the circuit ID.

I am awaiting delivery of the detailed IVR document from Covad. Upon receipt, review, and agreement on tests & test parameters we will set a definite trial start date. Regarding the trial, I confirmed with Michael that Denver metro was the agreed location and 60 days the agreed trial duration. I also mentioned, and they concurred, that at the end of the trial we would gather performance results data as defined in my original response to the CR and determine future action.

Tim Gianes 303 703-2199

02/22/02 Return E-mail from Covad

Subject: RE: CR Interactive Report Date: Fri, 22 Feb 2002 20:02:53 -0700 From: "Michael Zulevic" To: "Todd Mead" CC: "Gianes, Timothy" Todd, I am looking for answers to your questions and sent an email to Tim earlier today asking about your availability for a clarification call this Weds. with one of our people who facilitated the implementation in Verizon. Hopefully, we can get this back on track real soon. Thanks, Michael Zulevic Director- External Affairs Office(520)575-2776 Cel(303)884-5657 Fax (520)575-2785

02/22/02 Information E-mail from Qwest to new Covad CR owner

From: Todd Mead [mailto:tmead@qwest.com] Sent: Friday, February 22, 2002 12:02 PM To: mzulevic@Covad.COM Cc: Gianes, Timothy Subject: CR Interactive Report Mike, As promised, here is the link to our interactive report where you can see the latest on your CR(s). This report is updated every 2 days. http://qwest.com/wholesale/cmp/changerequest.html (click on the Product/Process link) As regards to PC102301-1 IVR Testing Tool, there are two outstanding issues. Qwest is waiting for Covad to supply a response to these issues before we move on with the trial. The issues are: - Please provide the test detail behind each of the IVR options by product and respond in particular to the discrepancy on the loop length issue. - Would Covad be able to provide their circuit ID on every order so we could use that rather than the PON? You may already provide the circuit ID already but wanted verification it is standard procedure to include it on all ISRs. After your meeting with Mindy, please let me know if you want me to set something up with Qwest personnel. Thanks Todd

02/13/02 E-mail response, Qwest waiting for new Covad contact to move forward with trial.

From: Tim Gianes 02/13/2002 03:18 PM To: "Cutcher, Minda" Subject: RE: IVR Trial Status (Document link: Tim Gianes) Thanks for the heads up Mindy. I hope you are moving into something else you will be enjoying, Thanks for helping and providing the information you have. I will await the decision fom Covad on who our contact will be and will look for the requested data from that person going forward. Good luck! Tim Gianes 303 703-2199

02/13/02 E-mail from Covad advising change of personnel

From: "Cutcher, Minda" on 02/13/2002 12:52:26 PM To: Tim Gianes Subject: RE: IVR Trial Status Tim, As a result of some internal reorgs at Covad, someone else is going to be driving this forward with you. It will likely be Mike Zulevik, but I will keep you posted. It will take us a few weeks to transition. Mindy

02/07/02 Qwest response e-mail to Covad

Subject: RE: IVR Trial Status From: Tim Gianes 02/07/2002 09:16 AM To: "Cutcher, Minda" cc: Todd S Mead , Michael Keegan , Deni Toye , Terrance L Meehan , Linda Hendricks Subject: RE: IVR Trial Status (Document link: Todd S Mead) Mindy, I was expecting you to be able to provide the test detail behind each of the IVR options by product and respond in particular to the descrepancy on the loop length issue I mentioned. Also, would Covad be able to provide their circuit ID on every order so we could use that rather than the PON? You may already provide the circuit ID already but wanted verification it is standard procedure to include it on all ISRs. Thanks. Tim Gianes 303 703-2199

02/06/02 Reply e-mail from Covad

Subject: RE: IVR Trial Status From: Cutcher, Minda" on 02/06/2002 05:29:48 PM To: Tim Gianes , Todd S Mead , Michael Keegan cc: Deni Toye , Terrance L Meehan , Linda Hendricks Subject: RE: IVR Trial Status Tim, Help me out here. Are you looking for me to give you some more info or are you chasing the info? Mindy

01/29/02 E-mail from Qwest poviding update to Covad

Subject: IVR Trial Status Date:01/29/2002 04:02 PM From: tgianes@qwest.com To: mcutcher@covad.com, Todd S Mead/Mass/USWEST/US@USWEST, "Michael Keegan" cc: "Deni Toye" , "Terrance L Meehan" , Linda Hendricks/COMPLEX/USWEST/US@USWEST Mindy, Todd and Mike, Here is an update after the meeting I had with the Qwest Unbundled Services Process team. They expressed a couple of concerns that I believe can be resolved without much delay. As soon as we close on these issues we should be able to start a trial. First: They are strongly recommending that we use the Covad circuit ID instead of the PON number. We would have to insure that the circuit ID is posted to the LSR up front by Covad. This circuit number should appear on the Worddoc that the field techs work from. Second: They have requested a detailed description of the specific tests (with acceptance parameters) that are run at each option of the IVR and for each service type. I did receive a document titled Covad Loop Test Logic which seems to describe some of Covad's test acceptance parameters. Within that document for instance under Loop Length it shows that 15K is the acceptable parameter for ADSL. If this is built into the IVR parameters we would fail the test when in fact I don't believe these circuits have this requirement. For those that do have a length restriction it is 18K not 15K. We all agreed that long term there is the potential for incremental time savings, depending to a large degree on the detail provided by the IVR. Hence the desire to still pursue the trial. I will complete the trial document when I have these last 2 elements. The test parameters by option will be included in the trial documentation that I will distribute to the field. Please call with any questions/clarifications. It may be beneficial to have a quick call with the IVR SME to quickly work through the test options issue. Tim Gianes 303 703-2199

01/11/02 E-mail from Qwest responding to Covad

Subject: Re: Status at Last Date: Fri, 11 Jan 2002 09:02:58 -0700 From: "Tim Gianes" To: "Cutcher, Minda" CC: tmead@qwest.com, tgianes@qwest.com Mindy & Todd, My responses are in red after the question. "Cutcher, Minda" on 01/09/2002 08:44:26 PM To: tmead@qwest.com, tgianes@qwest.com Subject: Status at Last Todd and Tim, At last, here's my status on Action Items: 6.1 complete 6.2 the answer is yes to all (with the exception of the request on "fail to access") however, I think Covad could provide some generic data on system up time, which would drive to the same info (yes?). =Generic up time data would be helpful.= However, the catch is that to collect all this data requires a programming request, which could take between 2-4 weeks, depending on workload in our IT group. On the I-Report stuff, my understanding is that Covad will provide Qwest with a list of all orders that used IVR, then Qwest would run the I-Report analysis. Please confirm. =This is correct. Will need Qwest order numbers and related repair ticket numbers as well. Based on agreed definition of "I" report........submitting a repair ticket within 30 days of the service order DD.= 6.3 complete 6.6 sounds like Tim and I have more work to do on this. Let me know when would be a good time to discuss further. =Todd, could you schedule a 30 minute meeting? Looks like late (after 4 pm) on the 16th or 18th, or anytime on the 21st would be ok at this time.= If you have any questions, etc. let me know. Otherwise, let's talk about next steps to implementation. Mindy 253-323-2481 (efax) 781-649-0703 (p) 978-869-7376 (m)

01/10/02 E-mail update from Covad on Kick-off meeting actions

Subject: Status at Last Date: Wed, 9 Jan 2002 19:44:26 -0800 From: "Cutcher, Minda" To: tmead@qwest.com, tgianes@qwest.com Todd and Tim, At last, here's my status on Action Items: 6.1 complete 6.2 the answer is yes to all (with the exception of the request on "fail to access") however, I think Covad could provide some generic data on system up time, which would drive to the same info (yes?). However, the catch is that to collect all this data requires a programming request, which could take between 2-4 weeks, depending on workload in our IT group. On the I-Report stuff, my understanding is that Covad will provide Qwest with a list of all orders that used IVR, then Qwest would run the I-Report analysis. Please confirm. 6.3 complete 6.6 sounds like Tim and I have more work to do on this. Let me know when would be a good time to discuss further. If you have any questions, etc. let me know. Otherwise, let's talk about next steps to implementation. Mindy 253-323-2481 (efax) 781-649-0703 (p) 978-869-7376 (m)

01/04/02 Meeting minutes for Kick-off meeting

11:00 a.m. (MDT) / Thursday 3rd January 2002

Attendees: Todd Mead / Qwest Tim Gianes / Qwest Mindy Cutcher / Covad

Purpose of the meeting was to develop the framework for the IVR trial scheduled to begin on the 28th January 2002 and lasting for approximately 2 months.

Identify/Answer CLEC/Qwest Questions About Trial : Location of trial – Denver Metro area. Tim will verify with local field director Duration of trial will be approximately 2 months During the trial, all existing loop tests will continue as before. Qwest technicians will still provide continuity tests to Covad as requested and Qwest center technicians will continue to provide Covad required circuit turn-up test results.

Establish Action Plan (Resolution Time Frame): 6.1 Mindy will provide Tim a password for IVR by Monday (01/07/02) / Mindy 1/7/02 6.2 Mindy will provide details on reporting capability of IVR. Specifically: - Number of times Qwest accesses the Covad IVR - Number of times Qwest attempts to access IVR but fails (new request) - Number of circuits tested by Qwest via the IVR - Number of circuits that Passed the required IVR tests - Monthly summary of failed tests by state - Identify all circuits tested via the IVR by Qwest to run batch report for “I” Reports 6.3 Mindy needs to confirm what type of circuit the IVR testing tool should be used for. / Mindy 1/7/02 6.4 Todd to forward the ppt and pdf file attached to original CR onto Tim. / Todd 1/3/02 6.5 Tim will produce a trial document outlining the trial purpose, what will be measured during the trial and the expected outcomes. / Tim 1/14/02 6.6 Ideally, this trial should capture the number of times the IVR test generated a ‘pass’ but Covad found a problem with the circuit. Both Qwest and Covad will explore options for collecting this data. / Tim/Mindy 1/14/02

12/05/01 Answers to additional clarification questions, received from Covad:

Answers to the questions are embedded below. Keep in mind that we offer this to the ILECs as an additional testing tool for their use and have not had the opportunity to do any rigorous data gathering and analysis. That might be something we can build in to the trial if Qwest decides to go forward.

- What is the availability time of the IVR? I have assumed 24x7 but have there been unscheduled downtimes over the past 6 months and if so how many and for how long? The system is designed to be on 24X7. It is the same system Covad field techs and Agents use to test orders.

- What are the specific circuit types that are included in their process with Verizon? LX--? etc. It can be used to test any UNE loop... just not line share.

- Has COVAD tracked the success rate for accessing the IVR and completing the tests? If so what is the rate? No data on this.

- Is part of the agreement that if the tests come back positive, COVAD technicians will accept the test results without question and complete the order? No this is just to be used as a tool for the ILEC Tech at this time. It is not a replacement for test and accept.

- Has COVAD measured the actual usage of the IVR tool by Verizon.....what % of the orders that qualify are tested by Verizon utilizing the IVR? It has only been used as a interim test tool not for test and accept so no data on this.

- What % of the orders tested by the IVR and accepted by COVAD have had an "I" report (repair ticket within 30 days of turnup)? No data on this.

- What are the specific test parameters utilized by the IVR for each test run? It is the same parameters that are used by our agents when they test the loop for test and accept.

10:00 am (MDT) / Thursday, November 01, 2001

Clarification Meeting Conference Call 1-877-847-0338 PC7826706 # PC102301-1- IVR Testing

Minda Cutcher, mcutcher@covad.com , Covad Fred Aesquivel III, faesqui@qwest.com, Qwest Michael Belt, mbelt@qwest.com, Qwest

Introduction of Attendees Introduction, Fred, Mike, Minda / T. Meehan and T. Gianes left call per Fred’s request.

Review Requested (Description of) Change Implementation of Covad’s IVR Testing Tool by Qwest for use in the field provisioning and repair process. The Request was reviewed and fully understood.

Confirm Areas & Products Impacted Areas: Field Provisioning and Repair Products: Unbundled Loop/ Stand Alone Loops

Confirm Right Personnel Involved Fred Aesquivel will coordinate SME’s for review and response Michael Belt – Coordinate CR

Identify/Confirm CLEC’s Expectation Covad would like to implement IVR testing with Qwest. The Integrated Voice Response (IVR) unit is an automated, menu-driven tool allowing technicians to run loop tests, loop diagnostics, perform open, short, and quiet tests, and send a tone across the ILEC loop without calling for assistance. IVR is an automated voice response (dial-in) system by which Qwest technicians can perform a one way “pre-test” of a loop prior to formal cooperative (two way) acceptance testing with Covad. IVR takes the Qwest tech through the same process as the two-way test and will feed back results to the Qwest tech. If the loop tests "good", the Qwest tech would then perform the coop test and loop turnover with Covad. If a fault were discovered during the IVR test, the Qwest tech would then have the opportunity to correct the deficiency prior to turnover to Covad. This process has been implemented in another ILEC and Verizon specifically asked for its use to improve their provisioning efficiency as part of its recent recovery efforts in NYC. Eventually, the goal will be to eliminate the need for cooperative testing, saving both Covad and Qwest time and resources, improving operational efficiencies for both.

Identify any Dependent Systems Change Requests N/A

Establish Action Plan (Resolution Time Frame) Fred Aesquivel III to coordinate with Verizon on previous IVR testing from trial done in April/May in Massachusetts regarding loop turnover with Bell Atlantic.


CenturyLink Response

September 5, 2002

Michael Zulevic Covad

SUBJECT: Qwest’s Revised Change Request Response - CR #PC102301-1 Implementation of Covad’s IVR Testing Tool by Qwest

This is in response to Covad’s Change Request (CR) PC102301-1. This CR requests that Qwest implement Covad’s IVR Testing Tool for use in the field for Unbundled Loop provisioning and repair to warrant Qwest’s Technical Publications parameters. Qwest utilizes its own test tools for Unbundled Loop provisioning and repair. The use of Covad’s IVR tool requires adding an additional and redundant step to the Unbundled Loop provisioning process and Unbundled Loop repair process.

Utilization of Covad’s IVR tool obligates Qwest to stand ready to evaluate and accept any request from other CLECs to trial their respective test platforms into Qwest’s processes in a nondiscriminatory manner. Additionally regulatory requirements prohibit Qwest from providing different levels of service to CLECs. Utilization of a CLEC provided provisioning and repair tool or process may benefit some CLECs over others by creating disparate service levels.

Since acceptance of this request from Covad would open Qwest to accepting similar requests from all CLECs, Qwest has determined that utilization of the Covad IVR testing tool would be cost prohibitive to implement. Qwest would incur additional and unrecoverable costs related to turning up and completing service orders and/or repair tickets. * Cost estimates are based on order volumes (300,000) across the 14 states for a minimum of 300 existing CLECs who could each make similar requests of Qwest and which Qwest may have to honor for parity purposes. * Qwest would incur additional costs related to initial & required ongoing employee training for any testing tool that could be provided by the CLECs. Depending on the service types included, provisioning and/or repair application, and the complexity of the tool, employee-training costs or initial deployment could run $100,000 per request or potentially $30M if all CLECs made similar requests of Qwest. Considering the increasing complexity of providing comprehensive training to manage multiple CLEC test vehicles, ongoing and refresher training costs would be substantial. * Qwest already performs and documents internal tests based on ANSI standards. Utilizing test tools from CLECs would not only duplicate those tests but would require Qwest to spend a minimum of an additional 3-5 minutes per order at a cost of $690,000 - $1,150,000 per year based on regional order volumes. *Qwest would also incur additional costs related to required operational trials, process documentation and revisions, and the complexity of managing numerous process requirements for multiple tools. This is not measurable at this point due to the unknown nature of each potential request, but is recognized as a valid concern and real cost to Qwest.

The requested change does not result in a reasonably demonstrable business benefit to Qwest or Covad. In fact performance data during the trial does not support that service levels improved for Covad. Utilizing multiple test platforms requires Qwest to create multiple processes, requiring the Qwest Network Technician to determine which process/platform to use for which CLEC. This creates potential for human error, potentially degrading service quality and performance results.

As stated above, adapting the IVR tool into Qwest’s processes creates legal, economic and service quality performance liabilities for Qwest. Qwest respectfully declines to implement Covad’s IVR tool into its Network processes.

Sincerely,

Tim Gianes Senior Project Manager

cc: Paul Kirchhoffer, Diane Diebel, Mary Retka, Barry Orrel

12-03-2001

Minda Cutcher VP ILEC Relations Covad

CC: Fred Aesquivel Douglas Lange Todd Mead

This letter is in response to your CLEC Change Request Form, PC102301-1 dated 10/23/01 entitled “Implementation of Covad’s (IVR) Testing Tool”.

After having reviewed your request I was also able to interview John Reed with Verizon, a current user of the Covad IVR testing tool. Unfortunately John was unable to provide documented data regarding several critical measures. However, he was very positive in his feedback as a whole and felt that the tool has provided improved efficiencies when completing service orders with Covad.

Thank you for agreeing to respond to these and other questions I have recently submitted to you. The answers will greatly assist us as we move forward. - Percent of usage of the IVR tool for qualified orders? - Specific test parameters of the tool for each test? - Specific circuit types included in the process? - Have there been system access issues…..if so how often etc? - Rate of “I” reports (repair tickets within 30 Days) on IVR tested orders?

Based on some positive feedback from Verizon, the fact that there is no cost to Qwest, and the apparent benefit to all parties of utilizing the IVR tool, I am recommending that Qwest move forward by conducting a trial. The purpose of the trial would be to develop a documented process and to help Qwest & Covad establish data validating the usage and gained efficiencies of the IVR tool. The trial would be conducted in a metro area agreeable to both parties for a minimum period of 2 months beginning no later than January 28th, 2002. The results of the trial and answers to the above questions will determine further action regarding this initial Change Request. If Qwest ultimately decides to accept the new process, it will be with the understanding that Covad, and any other CLEC requesting this process, must provide the IVR, test vehicle, and process and usage documentation at no cost to Qwest.

Sincerely,

Timothy Gianes Senior Project Manager - Qwest Communications


Open Product/Process CR PC093003-1 Detail

 
Title: Loop Test IVR application from Covad
CR Number Current Status
Date
Area Impacted Products Impacted

PC093003-1 Denied
11/19/2003
Provisioning, Maintenance / Repair Unbundled Loop, UNE Loop
Originator: Berard, John
Originator Company Name: Covad
Owner: Gianes, Tim
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Covad is requesting that Qwest allow it’s field Technicians to use Covad’s Loop Test IVR application when contacting Covad to perform Test and Acceptance on a loop. Currently Qwest Technicians use option number 1 when contacting Covad for loop acceptance, Covad is requesting that the Qwest Technicians now use Option number 4 to contact Covad and perform the loop acceptance testing via the Loop Test IVR application. Once the test has been completed the Qwest Tech will hit Option 0 to be connected to a Covad Agent to provide demarc information and receive a confirmation number.

Attachments: Overview of Loop Test IVR process and enhancements, Detailed M & P for Covad’s Loop Test IVR

Covad would also like to make this tool available for Qwest Maintenance and Repair Tech’s when trouble shooting a Covad loop.


Status History

09/30/03 - CR Submitted

10/02/03 - CR Acknowledged

10/08/03 - Held Clarification meeting

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

11/19/03 November CMP Meeting Tim Gianes with Qwest reviewed the draft response and said that we appreciate the changes that have been made to the IVR testing tool and said that should help Covad. The primary reason the CR being denied is the high cost for Qwest to implement this CR, and the potential for having multiple tools for multiple CLECs implemented that would then require Qwest technicians to be trained on each of the different tools. Qwest would also continue to perform the standard tests that are done today.

John Berard with Covad said he would respond formally to the denial response. John added that the IVR testing tool would reduce time in the call, and reduces, rather than increases, the testing time. John said he did not understand the $30M figure provided in the denial response because the same system is used today by Qwest to send tone and test a line and it is the same system POTS test use for the retail side. The tool is more efficient and the electronic delivery of demarc information on another CR under development will not have the advantage of the IVR Tool. In addition, the IVR testing could be done 24 x 7. John also said there was no CLEC opposition to the IVR tool when he discussed at the CLEC only call and no CLECs were concerned that Qwest would be doing something special for Covad over other CLECs. Testing the loop with the tool is like getting your balance on a credit card.

Tim Gianes explained that the $30M training issue is related to performing a different test for each CLEC customer across the 14 states. Carla Pardee with AT&T asked if the test is available in other ILEC locations. John answered yes, that Qwest is the only ILEC that has denied. Liz Balvin with MCI asked if Qwest is concerned that if this CR is accepted, then other CLECs may ask that their testing capability be implemented.

Judy Schultz with Qwest said that what Qwest does for Covad would have to be done for other customers and the training for specific customer testing tools is the concern. Tim Gianes said that Qwest doesn’t use the IVR to do testing and Qwest uses standard tests.

John Berard said that the tool adds option 4 for the loop test, which can be done remotely, and the call goes into the same exact IVR. John added that Qwest wasn’t willing to trial the test in one garage. In contrast, SBC has been asking if they can offer this testing to other CLECs. Tim Gianes responded that Qwest did perform a trial and technicians did use the tool. It wasn’t that the tool was not useable, but Qwest did not want to be in a position where other CLECs that had testing tools would request implementation of their testing tool. John said that Qwest should be open to other tools.

Liz Balvin said that the tool may cut down on jeopardies caused by not being able to contact CLECs. Tim Gianes said that Qwest would not gain efficiency when dealing with multiple tools for multiple customers and from a Qwest perspective technicians would have to be trained on multiple customer tools. The reason for the denial was not due to the quality of the tool. This CR will be moved to Denied status. Covad will send a formal response.

10/15/03 October CMP Meeting John Berard with Covad presented this new CR. John said the IVR loop test application. When a Qwest tech is in the field and finished installing a loop at the NID can perform continuity testing on UNE using this front end system. The system asks the tech to input the PONE number and verifies at the right central office and correct loop. The test includes putting a short on the loop and taking the short off, then pressing “0” and getting a Covad agent to get the demar information. Qwest requested that Covad submit this CR because this is a process change and can be used for products. Jim Recker asked if worked for DLC. John said yes. Kit Thomte asked how this CR is different from the CR denied last September. John said the difference is that the previous CR was a tool that required the Qwest tech to be on the line with the Covad agent when the continuity testing was done. The new CR allows the Covad agent to see the test. Jamal Boudhaouia asked if Covad would share the technical parameters, noise level and threshold. John said he will take that question back to Covad. This CR will be moved to Presented status.

CLEC Change Request Clarification Meeting

3:00 p.m. (MDT) / Wednesday October 7, 2003

1-877-572-8687 3393947# PC093003-1 Loop Test IVR application from Covad

Name/Company: John Berard, Covad Denny Graham, Qwest Craig Suellentrop Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change Linda Sanchez-Steinke read the Description of Change from the CR; Covad is requesting that Qwest allow it’s field Technicians to use Covad’s Loop Test IVR application when contacting Covad to perform Test and Acceptance on a loop. Currently Qwest Technicians use option number 1 when contacting Covad for loop acceptance, Covad is requesting that the Qwest Technicians now use Option number 4 to contact Covad and perform the loop acceptance testing via the Loop Test IVR application. Once the test has been completed the Qwest Tech will hit Option 0 to be connected to a Covad Agent to provide demarc information and receive a confirmation number. Covad would also like to make this tool available for Qwest Maintenance and Repair Tech’s when trouble shooting a Covad loop. Linda said there was also an Overview of the Loop Test IVR process Power Point presentation and M&P for Covad’s Loop Test IVR attached to the CR.

Linda mentioned there had been a similar CR submitted by Covad last year. John Berard said that this tool will give extra features. This tool will work similarly to credit card companies when calling into customer service, this will enable the ability to get information about the account.

When Qwest wants to do test and acceptance, input the PON number via the IVR, hit 0 to be directed to the agent. The Covad system has captured information and is already pulling up the account. There are seven other features when installing POTS, technicians call into the switch to test on the loop. The features allow testing that can be done without the assistance of a Central Office Technician. Craig asked if Covad requests to have the tool used with unbundled loop with cooperative testing. John said yes and added that other ILECS like it. John said he had gone over the details of the tool with Denny & Craig in a previous meeting.

Confirm Areas & Products Impacted Maintenance / Repair Provisioning

Confirm Right Personnel Involved Correct personnel were involved in the meeting.

Identify/Confirm CLEC’s Expectation Covad is requesting that the Qwest Technicians now use Option number 4 to contact Covad and perform the loop acceptance testing via the Loop Test IVR application. Covad would also like to make this tool available for Qwest Maintenance and Repair Tech’s when trouble shooting a Covad loop.

Identify any Dependent Systems Change Requests No systems change requests.

Establish Action Plan (Resolution Time Frame) John will present this CR at the October CMP Meeting. Qwest will provide a response at the November CMP meeting.


CenturyLink Response

November 11, 2003

For Review by the CLEC Community and Discussion at the November 19, 2003 CMP Meeting

Name:John Berard Title:Operations Support Company: Covad

SUBJECT:Qwest’s Change Request Response PC 093003-1 Covad IVR Testing Tool

This letter is in response to CLEC Change Request (CR) PC093003-1. This CR requests that Qwest implement Covad’s IVR Testing Tool for use in the field for Unbundled Loop provisioning and repair to warrant Qwest’s Technical Publications parameters. Qwest utilizes its own test tools for Unbundled Loop provisioning and repair. The use of Covad’s IVR tool requires adding an additional and redundant step to the Unbundled Loop provisioning process and Unbundled Loop repair process. Although it appears that the Covad Testing Tool & utilization process has been modified, the fundamental reasons for this rejection are the same as the reasons for the earlier rejection of PC102301-1 submitted in early 2002.

Utilization of Covad’s IVR tool obligates Qwest to stand ready to evaluate and accept any request from other CLECs to trial their respective test platforms into Qwest’s processes in a nondiscriminatory manner. Additionally regulatory requirements prohibit Qwest from providing different levels of service to CLECs. Utilization of a CLEC provided provisioning and repair tool or process may benefit some CLECs over others by creating disparate service levels.

Since acceptance of this request from Covad would open Qwest to accepting similar requests from all CLECs, Qwest has determined that utilization of the Covad IVR testing tool would be cost prohibitive to implement. Qwest would incur additional and unrecoverable costs related to turning up and completing service orders and/or repair tickets. Cost estimates are based on order volumes (300,000) across the 14 states for a minimum of 300 existing CLECs who could each make similar requests of Qwest and which Qwest may have to honor for parity purposes. Qwest would incur additional costs related to initial & required ongoing employee training for any testing tool that could be provided by the CLECs. Depending on the service types included, provisioning and/or repair application, and the complexity of the tool, employee-training costs or initial deployment could run $100,000 per request or potentially $30M if all CLECs made similar requests of Qwest. Considering the increasing complexity of providing comprehensive training to manage multiple CLEC test vehicles, ongoing and refresher training costs would be substantial. Qwest already performs and documents internal tests based on ANSI standards. Utilizing test tools from CLECs would not only duplicate those tests but would require Qwest to spend a minimum of an additional 3-5 minutes per order at a cost of $690,000 - $1,150,000 per year based on regional order volumes. Qwest would also incur additional costs related to required operational trials, process documentation and revisions, and the complexity of managing numerous process requirements for multiple tools. This is not measurable at this point due to the unknown nature of each potential request, but is recognized as a valid concern and real cost to Qwest.

The requested change does not result in a reasonably demonstrable business benefit to Qwest or Covad. In fact performance data during the trial does not support that service levels improved for Covad. Utilizing multiple test platforms requires Qwest to create multiple processes, requiring the Qwest Network Technician to determine which process/platform to use for which CLEC. This creates potential for human error, potentially degrading service quality and performance results.

As stated above, adapting the IVR tool into Qwest’s processes creates legal, economic and service quality performance liabilities for Qwest. Qwest respectfully declines to implement Covad’s IVR tool into its Network processes.

Sincerely,

Tim Gianes Senior Project Manager

cc: Paul Kirchhoffer, Diane Diebel, Mary Retka, Barry Orrel


Open Product/Process CR PC071403-1 Detail

 
Title: Good Faith Estimate of Construction Charges
CR Number Current Status
Date
Area Impacted Products Impacted

PC071403-1 Denied
11/19/2003
Pre-ordering, Ordering, Billing UNE, DS1, DS0
Originator: Berard, John
Originator Company Name: Covad
Owner: Boudhaouia, Jamal
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Covad requests that Qwest provide a good faith estimate of construction charges (at no cost) for wholesale customers. Qwests current process requires that the requesting CLEC provide a non-refundable fee up front in order for Qwest to determine an estimate of the construction costs. In many cases it might cost upwards of $1000 to provide an estimate of these costs to our end users. With non-refundable charges of this magnitude it makes it impossible for us to use the current process which causes us to cancel the order rather than potentially moving ahead with the order. It must also be noted that Qwest currently provides this estimate to it’s retail customers at no charge.

Expected Deliverable:

Qwest revises their current process to provide free of charge a good faith estimate of construction charges. Covad is looking for this process change as soon as possible.


Status History

07/14/03 - CR Submitted

07/15/03 - CR Acknowledged

07/16/03 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

08/20/03 - August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

11/19/03 November CMP Meeting Jamal Boudhaouia with Qwest reviewed the draft response. John Berard with Covad said parity with retail was not addressed in the denial response and would like it addressed in the denial letter. Jamal said that Qwest is looking at modifying the retail tariffs. Bonnie Johnson with Eschelon said that Qwest has addressed recovery of costs in the denial response. Jamal responded that it is in the fourth paragraph of the denial response. John asked if Qwest is looking at the retail tariffs in order to bring to parity. Jamal said in the response the CLECs agreed to what is currently in the SGAT and Qwest will look at the tariffs to see what can be done and come back to SGAT and TRO Compliance. Kit Thomte with Qwest asked if we could open an Action Item to track the retail tariffs. John agreed that an Action Item should be opened. John asked about the parity issue. Jamal said Qwest is still looking at modifying the Retail tariffs.

John said that the way he understands the Qwest engineer job, that for $1500 the job is fully engineered. When you have someone provide an estimate for work on your house, it is not fully engineered and materials are not purchased. There should be the ability for the engineer to tell in one hour what size cable would be needed how much and then just provide an estimate. If additional information was included in the jeopardy notice; there is no F1 cable CLECs can probably estimate that themselves or there is no F2 distribution. Jamal said that Qwest has not looked at providing that detail of information in a jeopardy notice. Jamal added that the engineers can look at LFACS and could look at the kind of cable required for a job but wouldn’t know if it should be aerial, buried, or if there is a need to bore. In addition, the field engineer needs to survey in order to see any obstacles.

John said that the engineer could look at the cable plat. Jamal said that engineering would need to additionally look at burying the cable or bore etc. Jamal added that the process and proposed changes will be introduced in the SGAT and will be TRO compliant.

Liz Balvin with MCI asked if the QPF is designed. Jamal said that the CR requested a good faith estimate at no cost. Construction will be re-evaluating and will bring in line with the TRO.

John said that he would like the parity issue and how it will be resolved addressed in the denial letter and an Action Item opened to review the retail tariffs. Judy Schultz suggested that Covad send in a new CR regarding the jeopardy process. John asked Qwest to update the denial letter to address the parity concern noted in the CR. This CR will be moved to Denied status.

Eschelon Comments on Meeting Minutes - I made several statements regarding this issue and none are noted. Since it is difficult to talk and write I don’t have my comments noted. If you cannot update the minutes with my comments, I can ask if other CLECs noted them. If not then I would like the minutes to reflect my concern that my comments were not noted.

10/15/03 October CMP Meeting Jamal Boudhaouia with Qwest reviewed the revised draft response. Jamal said that the QPF is closely related to the Crunec process which is not in place. Qwest is evaluating this CR and will provide an updated response at the November CMP Meeting. John Berard asked if Qwest has reviewed the retail process where currently the retail estimate is provided at no charge. Jamal said we are evaluating the retail process. Bonnie Johnson said she disagrees that QPF is related to the Crunec process. This CR will remain in Evaluation status.

09/17/03 September CMP Meeting Denny Graham with Qwest said that Qwest is evaluating this response and will provide an updated response at the October CMP Meeting. This CR will move to Evaluation status.

08/20/03 - August CMP Meeting Mike Zulevic with Covad presented this CR. Mike said that Covad would like to receive an estimate of construction changes up front at no charge. Quote Preparation Fees are between $1100-$1500 for a quote to provide facilities and Covad would like to see the costs up front, without having to spend $1100-$1500 on a non-refundable quote, similar to the Colorado Private Line Tariff. This CR will be moved to Presented status.

CLEC Change Request Clarification Meeting

9:00 a.m. (MDT) / July 23, 2003

1-877-572-8687 3393947# PC071403-1 Good Faith Estimate of Construction Charges

Attendees Name/Company: John Berard, Covad Denny Graham, Qwest Cindy Buckmaster, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change Linda read the description of change from Covad’s CR as follows: Covad requests that Qwest provide a good faith estimate of construction charges (at no cost) for wholesale customers. Qwest’s current process requires that the requesting CLEC provide a non-refundable fee up front in order for Qwest to determine an estimate of the construction costs. In many cases it might cost upwards of $1000 to provide an estimate of these costs to our end users. With non-refundable charges of this magnitude it makes it impossible for us to use the current process which causes us to cancel the order rather than potentially moving ahead with the order. It must also be noted that Qwest currently provides this estimate to it’s retail customers at no charge.

The meeting was opened for questions; Cindy Buckmaster explained that Qwest has a Quote Preparation Fee (QPF) for up front engineering preparation for the quote. Cindy asked John if Covad would like to be billed for the full amount rather than receiving a bill for the quote prep fee and then a bill for construction. John said that Covad would rather receive an estimate within + - 20% and the estimate not be fully engineered.

Cindy explained that if Qwest has DS0 plant to make a DS1 the quote prep fee is $300 as long as Qwest doesn’t have to place plant. There are additional charges for construction and the QPF for this type of charge is not $1500. If Qwest has to construct plant, the QPF is $1500 and again there are additional charges for construction. Conditioning as defined by the FCC is removal of load coil and bridge tap. Removal of those elements doesn’t change the DS0 into DS1 it is just an unloaded DS0. The function Qwest performs to change DS0 plant into DS1 capable goes beyond conditioning and is considered construction.

John said that with a retail estimate there is no up front construction charge and is a parity issue.

Confirm Areas & Products Impacted Products impacted are DS1 & DS0 UNE Loops.

Confirm Right Personnel Involved Qwest confirmed the correct personnel were on the call to resolve the CR.

Identify/Confirm CLEC’s Expectation Provide a construction estimate free of charge on DS1 & DS0 UNE Loops

Identify any Dependent Systems Change Requests No systems change requests.

Establish Action Plan (Resolution Time Frame) Covad will present this CR at the August CMP meeting.

07/16/03 July CMP John Berard with Covad reviewed the walk on CR PC071403-1. There will be a clarification call on this change request.


CenturyLink Response

November 11, 2003

For Review by the CLEC Community and Discussion at the November 19, 2003 CMP Meeting

John Berard Director - Operations Support Covad Communications

SUBJECT: Qwest Change Request Response CR # PC071403-1 Good Faith Estimate of Construction Charges

This letter is in response to Covad Communications Change Request (CR) PC071403-1. This CR requests that Qwest provide a good faith estimate of construction charges (at no cost) for wholesale customers.

It is appropriate to evaluate construction charges on an Individual Case Basis (ICB). Few construction projects are the same in terms of scope and nature thus, requiring separate evaluation by Qwest Engineers to determine what elements may need to be constructed. For example, construction costs vary depending on the size and type of cable being placed and the method used to place the cable, as well as the environment where the placing is being done. There currently are no standard placing costs that apply universally. This is why Qwest developed the Quote Preparation Fee (QPF) charge based on Qwest cost studies of the operations required providing the cost of UNE construction. QPF’s allow Qwest to recover the cost of the Engineering work required to complete this evaluation. This element is in-place and approved across jurisdictions for other Wholesale products as well.

Before Qwest begins the evaluation process and expends any resources, the QPF must be submitted. Upon acceptance, this QPF is subtracted from the total cost of the job and the balance is submitted to the CLEC for payment. Upon payment by the CLEC of the identified construction costs, the construction will begin.

The Good Faith Estimate referenced in this CR applies to developing an estimate of construction charges for UNEs that do not exist in the Qwest Network and therefore need to be built. Qwest and the CLEC community have agreed that Qwest can implement a Quote Preparation Fee (QPF) for the work that Qwest Engineers and planners perform to develop such an estimate. This is documented in Section 19.3 of the SGAT, which states: A quote for CLEC’s portion of a specific job will be provided to CLEC. QPF is provided in writing and is binding for ninety (90) business days after the issue date. When accepted, the CLEC is be billed the quoted price and construction commences after receipt of payment. If CLEC chooses not to have Qwest construct the facilities, Qwest reserves the right to bill CLEC for expenses incurred for producing the engineered job design.

To assure an accurate price quote, Qwest engineering must provide diligence to the quote preparation. There is a substantial cost to investigate and prepare an accurate quote. In accordance with the SGAT, Qwest is entitled to recover these costs through the QPF.

Therefore, Qwest respectfully denies the request because it is economically not feasible due to the burden of the cost to provide the construction quote being borne solely by Qwest.

Although Qwest is declining this request, Qwest acknowledges that the definition of construction is changing in light of the TRO and recognizes that it may have an affect on the QPF and the constructions charges.

Sincerely,

Jamal Boudhaouia Staff Advocate

cc:Mary Retka, Barry Orrel, Ev Montez

-- October 1, 2003

REVISED DRAFT RESPONSE For Review by the CLEC Community and Discussion at the October 15, 2003 CMP Meeting

John Berard Director - Operations Support Covad Communications

SUBJECT: Qwest Change Request Response - CR # PC071403-1 Good Faith Estimate of Construction Charges

This letter is in response to Covad Communications Change Request (CR) PC071403-1. This CR requests that Qwest provide a good faith estimate of construction charges (at no cost) for wholesale customers.

Qwest views this request as related to the recent changes to the DS1 construction policy. The latest CMP notice PROS.09.18.03.01198 DS1CapableLoopProc posted on September 18, 2003 was open for comments until September 30, 2003.

Qwest is currently evaluating the QPF (Quote Prep Fee) and the CRUNEC process and would like to request that this CR be kept in an Evaluation Status. Qwest will provide an update at the November Meeting.

Sincerely,

Denny Graham Staff Advocate Policy and Law

September 9, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the September 2003 CMP Meeting

John Berard Covad

SUBJECT: Qwest’s Change Request Response - PC071403-1 "Good Faith Estimate of Construction Charges"

This letter is in response to Covad Communications Change Request (CR) PC071403-1. This CR requests that Qwest provide a good faith estimate of construction charges (at no cost) for wholesale customers.

Qwest is currently evaluating this request and proposes moving this Change Request into Evaluation Status while we continue to investigate. Qwest will provide an updated response at the October CMP meeting.

Sincerely,

Denny Graham Staff Advocate Policy and Law


Open Product/Process CR PC040204-1 Detail

 
Title: Collocation Final Invoice sent electronically via e mail rather than paper
CR Number Current Status
Date
Area Impacted Products Impacted

PC040204-1 Denied
7/21/2004
Billing Collocation
Originator: Berard, John
Originator Company Name: Covad
Owner: Nickell, Mark
Director:
CR PM: Harlan, Cindy

Description Of Change

Currently Qwest emails the initial quote/bill for Collocation augments or new installations to CLEC’s via e-mail. The intial payment is made using this quote/bill. However, when it comes to the final payment Qwest will only send a paper copy. Covad is requesting that the same process for the initial bill be used for the final bill.

This process is easier for Covad to process payment to Qwest. In turn Qwest will receive a quicker turn around on payments.

Here is an example of the initial bill that we receive via e-mail:


Status History

04/02/04 - CR Submitted

04/05/04 - CR Acknowledged

04/07/04 - Contaced customer to schedule Clarification call for Monday 4-12

4/15/04 - Held Clarification Call on 4-15

4/21/04 - April CMP meeting notes will be posted to the project meeting section

5/12/04 - Emailed response to Covad

5/19/04 - May CMP Meeting notes will be posted to the project meeting section

6/3/04 - Met with CLEC to discuss proposal. CLECs requested that we identify if the initial and final billing can be done in IABS. This CR will continue in evaluation.

6/16/04 - June CMP Meeting notes will be posted to the project meeting section

7/14/04 - Emailed response to Covad

7/21/04 - July CMP Meeting notes will be posted to the project meeting section


Project Meetings

July 21, 2004 CMP Meeting minutes: Mark Nickell – Qwest reviewed the response and advised that the impact to BART is $108,000, and the impact to IABS is $275,000. Qwest is denying this CR due to economically not feasible reasons. John Berard – Covad stated that the amount is not real high, as compared to other estimates. Is there a cut off on the dollar amount? Mark Nickell – Qwest advised he was just involved in another situation that would have cost $15,000 and that was not approved. Insert comment from Bonnie Johnson – Eschelon: Mark said anything over $20,000 takes the request to a different threshold. End comment from Eschelon. Insert comment from Qwest: CMP process does not have a threshold set. Mark’s comment would have to be referencing a different process. End comment from Qwest. Liz Balvin – MCI stated that doesn’t the elimination of paper provide Qwest a savings? Mark advised that some of the BART billing processes are manual and these would not go away for Qwest. The bar code is used on the paper bill. There is a low volume so there was not a benefit to Qwest. Mark advised that Qwest took this back multiple times and looked at the manual process, the BART process and the IABS process. Qwest advised this CR will be changed to Denied status.

June 16, 2004 CMP Meeting minutes: Mark Nickell – Qwest recapped the CR. Mark advised that Qwest is continuing our investigation to determine the level of effort for converting BART billing to IABS. Kathy Stitcher – Eschelon asked about the two questions that came up on the previous ad hoc call. Mark answered the questions advising that IABS can handle billing for non recurring charges and electronic billing is provided via IABS if the customer is willing to subscribe to the electronic billing format. John Berard – Covad asked how long does Qwest anticipate it will take to finish the investigation. Mark Nickell - Qwest advised he anticipates a few more weeks. This CR will remain in Evaluation Status.

PC040204-1 Collocation Final Invoice sent electronically via email rather than paper Ad Hoc Meeting Thursday June 3, 2004 1:00 – 2:00

In attendance: Kathy Stichter Eschelon Debra Knopp Qwest Communications Mark Nickell Qwest Communications Chad Warner MCI John Berard Covad Kim Isaacs Eschelon Sandy Thomas Qwest Communications Cindy Macy Qwest Communications

Cindy Macy – Qwest reviewed the purpose of the call. Cindy Macy advised that Qwest held the Clarification Call in April and have been reviewing options to address the CR. Qwest would like to share this information with the CLECs and gather additional data. Cindy asked John Berard-Covad to summarize what Covad is requesting with this CR.

John Berard – Covad explained that they currently receive the initial bill via email. The final bill comes via paper though. A paper bill takes longer to process. Covad would like to get the final bill via email also. Cindy Macy – Qwest asked John to clarify if this is the bill for recurring charges also, or just the non recurring charges from the Collocation quote. John advised it is just the non recurring charges. The monthly recurring charges are billed from IABS.

Mark Nickell – Qwest explained the items that the team reviewed to try and address Covad’s request. Mark advised there would be impacts to the BART billing systems. The team also looked at manual processes. The manual efforts will not replace the paper bill. The team came up with an ‘email notification’ that notifies the CLEC that the request to product a bill has been sent to BART. There would not be charges on the email notice and the CLECs need to still submit the bar code from the BART bill with their payment. The draft example – email template was reviewed with the team.

Debra Knopp – Qwest clarified that the 1st email is the quote. The 1st paper bill has a scan code (from BART). And the final bill has a scan code (from BART). Debra said that Covad will use the quote to pay their bill but that isn’t the correct process. When this happens it usually hold up posting of the payment (approximately 10 days) as the bar code is not included with the payment and BART has to investigate and manually process the payment. Kathy Stichter verified that BART sends out the initial and final bill.

John Berard – Covad advised that the email wouldn’t meet their needs as we could not remit payment with it. John advised he didn’t want Qwest to waste their time if it doesn’t really meet our needs.

Kathy Stichter asked what was the rational to place the billing for non recurring in BART and the recurring in IABS? Mark Nickell advised that he is not sure as that was determined quite some time ago, but probably because BART is a ‘one time’ billing mechanism used for a variety of miscellaneous billing activities.

The CLECs asked if Qwest would look into what it would take to move the non recurring billing from BART to IABS.

Mark Nickell – Qwest advised he would check on the following three items:

1. Does IABS provide electronic billing? 2. Does IABS provide non recurring billing? 3. Can IABS provide the bill for nonrecurring charges for Collocation initial and final bills, instead of BART?

Cindy Macy advised next steps are to gather this information and provide status at the June CMP meeting. Another ad hoc call may be held.

May 19, 2004 CMP Meeting notes: Mark Nickell – Qwest advised that we have evaluated several different options and would like to have an ad hoc meeting with Covad to ensure our potential solution will meet Covad’s needs. John Berard – Covad advised all we are looking for is an email to be sent. Kathy Stichter – Eschelon advised this is important to Eschelon also and we would like to participate in the ad hoc meeting. Kathy asked why this meeting isn’t open to all the CLECs. Cindy Macy – Qwest advised it can be open to all the CLECs, the question was just directed to Covad as this is a Covad CR. Cindy advised she will post a meeting to the CLEC calendar. This CR will move to Evaluation Status.

April 21, 2004 CMP Meeting notes: Mike Zulevic – Covad presented this CR. Mike advised that Covad is trying to address how the bills are sent to us. Emails are used on the initial quote and paper is sent on the final bill. Paper delays the process. Covad would pay the bill faster if they got the bill via email. Kathy Sticheter – Eschelon advised that they would like to see this as well. Steve Nelson – Qwest advised that we held a Clarification call and we understand the request. Steve advised that this CR will transition to Mark Nickell. Mark introduced himself to the team. This CR will move to Presented Status.

Clarification Meeting

April 16, 2004

1-877-552-8688 7146042#

PC040204-1 Collocation Final Invoice sent electronically via email rather than paper Attendees Name/Company:

Steve Nelson – Qwest Peggy Englert – Qwest Marie Chang – Covad John Berard – Covad Kim Isaacs - Eschelon Mark Nickel – Qwest Fred Howard – Qwest Lillian Robertson - Qwest Cindy Macy – Qwest

Meeting Agenda: Action 1.0 Introduction of Attendees Attendees introduced

2.0 Review Requested (Description of) Change John Berard – Covad reviewed the change request. John explained that Covad has to follow 2 processes to pay the bill, in 2 different ways. John advised that paper is cumbersome and not efficient. The turn around time for payment would be faster if the bill was received via email. Marie Chang – Covad advised if we get a paper copy than we have to scan or fax and store the bill. We could process the bill electronically if we received it via email. Storing the paper copy takes a lot of time and space. Steve Nelson – Qwest explained that we request the invoice from Omaha once we know when the RFS is scheduled (30 days prior to RFS date), the invoice is then created and it goes to the customer. In some states the final invoice is different than the quote due to taxes. Marie Chang - Covad advised they can’t pay until they get the final invoice, but it can be received via email. Peggy Englert – Qwest advised revisions to the quote can happen. Steve asked if Kim Isaacs-Eschelon had any additional questions. Kim advised no, she is okay. 3.0 Confirm Areas & Products Impacted Collocation invoices

4.0 Confirm Right Personnel Involved Team agreed Steve Nelson would take the lead.

5.0 Identify/Confirm CLEC’s Expectation Covad would like to receive the final invoice via email, instead of paper.

6.0 Identify any Dependent Systems Change Requests none

7.0 Establish Action Plan (Resolution Time Frame) Covad will present the CR at the April CMP Meeting Qwest will provide our Response at the May CMP Meeting


CenturyLink Response

For Review by CLEC Community and Discussion at the July 21, 2004 CMP Meeting

July 13, 2004

Covad Communications John Berard, Director-Operations Support

SUBJECT: Covad’s Change Request Response – CR #PC040204-1 Collocation final invoice sent electronically via email rather than paper

This letter is in response to Covad Communications Change Request (CR) PC040204-1. Currently Qwest emails the initial quote / bill for Collocation augments or new installations to CLECs via e-mail. This initial payment is made using this quote / bill. However, Qwest sends its collocation final invoice using a paper format. Covad’s request for an e-mail invoice method is based on the premise that it is easier for Covad to process payments to Qwest. Covad further believes that the e-mail final invoice method would shorten the invoice to payment interval. This CR requests that Qwest uses the same process for the final invoice that is used on the initial bill.

Qwest has completed the investigation and identified system development and implementation costs for the BART billing system are economically infeasible. The IT estimate is $108,000. In addition, the identified system development and implementation costs for moving the Collocation non recurring billing from BARTS to IABS, which can bill electronically, are economically infeasible. The IT estimate is $275,000.

As an alternative, Qwest has also looked at performing this process manually. Creating manual email invoices for all final bills is very time intensive. In addition, a manually generated email would not represent a readily auditable document. Qwest would not have the level of tracking that is needed to effectively support billing disputes.

The other concerns for this process included: • Increase in errors and delays because of manual processing (Qwest). Past experience has shown that the more manual the process, the higher the error rate and subsequent issues. • Increase in the interval because of manual processing (CLEC and Qwest). The bar code, issued by BART, allows semi mechanized processing of payments. Bypassing this process will actually increase Qwest’s processing interval.

As a result of this investigation, Qwest denies this change request due to it being economically not feasible based on system impacts.

Sincerely,

Mark Nickell Collocation Product Manager Qwest

For Review by the CLEC Community and Discussion at the May 19, 2004 CMP Meeting

May 12, 2004

Covad John Berard Director – Operations/Change Management

SUBJECT: CR # PC040204-1 Collocation Final Invoice

This letter is in response to Covad’s Change Request (CR) PC040204-1 Collocation Final Invoice. Currently Qwest emails the initial quote / bill for Collocation augments or new installations to CLECs via e-mail. This initial payment is made using this quote / bill. However, when it comes to the final payment Qwest will only send a paper copy. The email method is easier for Covad to process payment to Qwest. In turn Qwest will receive a quicker turn around on payments. This CR requests that Qwest uses the same process for the final invoice that is used on the initial bill.

Qwest would like to leave this CR in evaluation status as it needs to continue looking at the process and costs associated with sending an email final invoice. Qwest will provide an updated response at the June CMP meeting. Qwest will move this CR to Evaluation status.

Sincerely, Mark Nickell Collocation Product Manager Qwest Communications


Open Product/Process CR PC040204-2 Detail

 
Title: Online System for Collocation applications
CR Number Current Status
Date
Area Impacted Products Impacted

PC040204-2 Denied
9/15/2004
Collocation
Originator: Berard, John
Originator Company Name: Covad
Owner: Nelson, Steve
Director:
CR PM: Harlan, Cindy

Description Of Change

Currently Qwest uses a spreadsheet format for its collocation applications. Covad finds this method to be cumbersome and is requesting that Qwest consider implementing an on-line system for submitting collocation applications. Both SBC and BellSouth have an on line system rather than the spreadsheet version that Qwest uses.

Here are links to their systems:

https://clec.sbc.com/clec_colldb/colldb/collapp/login/autologin.cfm?action=ColloDBMainmenuEx&IsClec=Yes

https://collocation.bellsouth.com/NASApp/colo/ColoDispatchServlet?htbColoPage=colo.ui.COLOLogOff&source=lkLogoff&

Please note that Covad is willing to provide a password to Qwest to review these systems if they are un able to obtain from SBC and BellSouth.

Expected Deliverable:

Provide as soon as possible.


Status History

04/02/04 - CR Submitted

04/06/04 - CR Acknowledged

4/8/04 - Contacted customer to schedule clarification call for 4-12

4/8/04 - Rescheduled Clarification Call with Covad

4/15/04 - Held Clarification Call

4/21/04 - April CMP meeting notes will be posted to the project meeting section

5/12/04 - Emailed response to Covad

5/19/04 - May CMP Meeting notes will be posted to the project meeting section

6/16/04 - June CMP Meeting notes will be posted to the project meeting section

7/21/04 - July CMP Meeting notes will be posted to the project meeting section

8/16/04 - August CMP meeting mintues will be posted to the database

9/15/04 - September CMP Meeting minutes will be posted to the database


Project Meetings

9/15/04 CMP Meeting Minutes Mark Nickell – Qwest advised that he will provide the response to this CR. Mark also advised that Steve Nelson has left Qwest, something that Steve wanted to do, and Mark will take over Steve’s Collocation responsibilities. Mark acknowledged Steve’s efforts on this CR. Mark advised after the investigation and analysis was completed the cost of delivering this CR is in excess of $540,000. Qwest denies this CR due to economically not feasible reasons. This CR will move to Denied Status.

8/16/04 CMP Meeting Mintues Steve Nelson – Qwest provided status that Qwest is still working with Bell South and we are doing our own evaluation internally on cost. This CR will remain in Evaluation Status.

July 21, 2004 CMP Meeting notes: Cindy Macy – Qwest provided status on this CR. Qwest is in the process of working with Bell South to review their Collocation system. This CR will remain in Evaluation status.

June 16, 2004 CMP Meeting notes: Steve Nelson – Qwest advised that we are in communication with Bell South about their Collocation system. SBC didn’t response so Qwest is not pursuing this any longer. Steve advised that Qwest had some personnel changes in IT. We are still evaluation the CR and should have additional information in the July meeting. The CR will remain in Evaluation Status.

May 19, 2004 CMP Meeting notes: Steve Nelson – Qwest advised that we reviewed the 18 different application forms and obtained a cost to mechanizing the system using internal resources. The cost for this is prohibitive. Steve has made contact with SBC, and has not received a response. Steve has also made contact with Bell South, and they are interested in selling the application to Qwest. Bell South provided a non disclosure document to Qwest on Monday. Qwest is working to get the non disclosure document signed. Qwest has prepared questions to ask Bell South and will continue to pursue this. Susie Bliss- Qwest advised that we have looked at this in the past and it has been very expensive. Bonnie Johnson – Eschelon asked if this is something that will also benefit Qwest. Steve Nelson advised he would like to see the system mechanized, but it will probably be too expensive. This CR will move to Evaluation Status.

April 21, 2004 CMP Meeting notes: Mike Zulevic – Covad presented this CR and advised that Covad is looking at ways to mechanize and streamline their Collocation process. Covad would like to be able to pull up a screen, populate the data and send it to Qwest, instead of using a spreadsheet and emailing applications to Qwest. Steve Nelson – Qwest advised that he will work on this CR and will have a response to this CR next month. Steve advised that Qwest is aware of the existing systems from SBC and Bell South. Steve advised that Qwest did try to implement a mechanized system a few years ago and failed. This CR will move to Presented Status.

Clarification Meeting

April 16, 2004

1-877-552-8688 7146042#

PC040204-2 Online System for Collocation Application Attendees Name/Company:

Steve Nelson – Qwest Peggy Englert – Qwest Marie Chang – Covad John Berard – Covad Kim Isaacs - Eschelon Mark Nickel – Qwest Fred Howard – Qwest Lillian Robertson - Qwest Cindy Macy – Qwest

Meeting Agenda: Action 1.0 Introduction of Attendees Attendees introduced

2.0 Review Requested (Description of) Change John Berard – Covad reviewed the change request. John gave an example of Bell South’s system that is used for Collocation. Their system is easier to use. Marie Chang Covad advised that their system has features such as error checking, and there is less email going back and forth to clarify the application. Covad also receives a confirmation on line from Bell South. Marie explained that with Qwest’s system there is a lot of information to store. The information is in multiple spreadsheets so it is hard to keep track of revisions. Steve Nelson – Qwest advised that he understands Covad’s concern and that Qwest would like an automated system also. It would help reduce the order errors that occur. Steve advised that Qwest will take a look at this request. Steve advised Covad that Qwest did try to implement a system in the past and spent a large amount of money but failed to get the system implemented. 3.0 Confirm Areas & Products Impacted Collocation invoices

4.0 Confirm Right Personnel Involved Team agreed Steve Nelson would take the lead.

5.0 Identify/Confirm CLEC’s Expectation Covad would like a mechanized Collocation system.

6.0 Identify any Dependent Systems Change Requests none

7.0 Establish Action Plan (Resolution Time Frame) Covad will present the CR at the April CMP Meeting Qwest will provide our Response at the May CMP Meeting


CenturyLink Response

RESPONSE For Review by CLEC Community and Discussion at the September 16, 2004 CMP Meeting

September 8, 2004

Covad Communications John Berard, Director-Operations Support

SUBJECT: Covad’s Change Request Response – CR #PC040204-2 Online System for Collocation Application.

This letter is in response to Covad Communications Change Request (CR) PC040204-2. This CR requests that Qwest consider implementing an online system for collocation applications. Currently Qwest uses a spreadsheet format for its collocation applications. Covad finds this method to be cumbersome and suggests that both SBC and BellSouth have online systems to which Covad offers to provide a password to Qwest.

Qwest has completed the investigation and found system costs to be economically infeasible. The IT estimate for creating an online ordering system similar to that of SBC and Bell South systems is between $540,000 and $1,080,000 for Qwest system development work that includes gathering requirements, designing the system changes, developing and testing the system changes and deploying them to the users. Qwest was unable enter into negotiations to purchase Bell South’s or SBC’s systems or to gather specific data regarding those systems. In fact, SBC refused to discuss their system with Qwest and negotiations with Bell South were terminated after four months of stalemate regarding terms under which their system could be discussed. Had Qwest been able to purchase an existing system from Bell South or SBC, Qwest would still incur additional costs to adapt the system to Qwest’s ordering processes, products and procedures, mitigating any possible economic savings.

Qwest’s Collocation application forms can be submitted via email to rfsmet@qwest.com and the Excel format allows for cost effective and timely maintenance of the forms as products are enhanced and changed. Qwest manually validates the Collocation application and interacts personally with the CLECs. The order validation process in the Collocation Project Management Center (CPMC) consists of acceptance or communication of areas in need of clarification or change. CPMC management employees are available for review of applications and conduct calls with customers as needed or requested. The manual validation process normally takes less than 24 hours.

As a result of this investigation, Qwest denies this change request due to it being economically not feasible based on the system impacts.

Sincerely,

Stephen C. Nelson Collocation Product Manager Qwest

For Review by the CLEC Community and Discussion at the May 19, 2004 CMP Meeting

May 12, 2004

Covad John Berard Director – Operations/Change Management

SUBJECT: CR # PC040204-2 Online System for Collocation

This letter is in response to Covad’s Change Request (CR) PC040204-2 Online System for Collocation. This CR requests that Qwest develop an online system for collocation applications. Currently Qwest uses a spreadsheet format for its collocation applications. Covad finds this method to be cumbersome and is requesting that Qwest consider implementing an on- line system for submitting collocation applications.

Qwest would like to leave this CR in evaluation status as it needs to continue to look at the costs for purchasing and implementing an existing system from other ILECs. Qwest will provide an updated response at the June CMP meeting. Qwest will move this CR to Evaluation status.

Sincerely, Stephen C. Nelson Collocation Product Manager Qwest Communications


Open Product/Process CR PC031804-1 Detail

 
Title: Repair Interval Process
CR Number Current Status
Date
Area Impacted Products Impacted

PC031804-1 Withdrawn
4/15/2009
Maintenance / Repair, Ordering, Billing UNE, UNE Loop
Originator: Berard, John
Originator Company Name: Covad
Owner: To Be Determined
Director:
CR PM: Andreen, Doug

Description Of Change

Covad proposes that a product be developed to provide a four hour MTTR when ordered on the LSR for UNE Loops or other specified services or offerings currently provided with a longer MTTR. This product would be ordered on a circuit specific basis and not necessarily applicable to entire product groups. Covad is willing to explore the development of an expedited joint repair process as part of a four hour MTTR product offering.

Expected Deliverable:

As soon as possible.


Status History

03/18/04 - CR Submitted

03/18/04 - Received e-mail from John Berard stating Covad was retracting the CR

03/19/04 - CR Acknowledged & Retract e-mail sent to John Berard

03/22/04 - CR Closed see below

March 22,2004

Dear John Berard,

Thank you for participating in the Qwest Change Management Process (CMP).

We have received your Change Request (CR) submission titled, "Special Service Protection (SSP) for UNE Loops."

Per your discussion with Kit Thomte on March 22, 2004 we would ask that you route this request through you service manager. As you and Kit discussed, your service manager with product management can best make the determination if meeting this request would require a new product introduction.

Should you and your service manager conclude that the request does not require a new product we would be glad to introduce it through the CMP process at that time.

Sincerely,

Doug Andreen

Change Request Project Manager

Qwest

303-382-5777


Project Meetings

03/22/04 -

March 22,2004

Dear John Berard,

Thank you for participating in the Qwest Change Management Process (CMP).

We have received your Change Request (CR) submission titled, "Special Service Protection (SSP) for UNE Loops."

Per your discussion with Kit Thomte on March 22, 2004 we would ask that you route this request through you service manager. As you and Kit discussed, your service manager with product management can best make the determination if meeting this request would require a new product introduction.

Should you and your service manager conclude that the request does not require a new product we would be glad to introduce it through the CMP process at that time.

Sincerely,

Doug Andreen Change Request Project Manager Qwest 303-382-5777


Open Product/Process CR PC031804-2 Detail

 
Title: Special Service Protection (SSP) for UNE Loops
CR Number Current Status
Date
Area Impacted Products Impacted

PC031804-2 Withdrawn
4/15/2009
Maintenance Repair, Provisioning UNE Loop
Originator: Berard, John
Originator Company Name: Covad
Owner:
Director:
CR PM: Andreen, Doug

Description Of Change

Covad proposes that a product be developed which can be ordered with a UNE Loop that will provide Special Service Protection at all cross-connects points in the Qwest network. This protection has been provided by Qwest for critical customer circuits (i.e.; alarm circuits, high capacity data circuits, emergency services circuits, etc.) for many years and Covad would like the option of ordering this for certain UNE Loops. These cross connect points, as well as the protector frame "heat coils" are either red, or have red devices attached that alert the technician to take special steps prior to initiating invasive actions for testing or maintenance. These cross connect points are "protected" at all possible points both in the central office, as well at field connection points.

Expected Deliverable: As soon as possible


Status History

3/18/04 Submitted

3/22/04 Acknowledged CR see below

March 22,2004

Dear John Berard,

Thank you for participating in the Qwest Change Management Process (CMP).

We have received your Change Request (CR) submission titled, "Special Service Protection (SSP) for UNE Loops."

Per your discussion with Kit Thomte on March 22, 2004 we would ask that you route this request through you service manager. As you and Kit discussed, your service manager with product management can best make the determination if meeting this request would require a new product introduction.

Should you and your service manager conclude that the request does not require a new product we would be glad to introduce it through the CMP process at that time.

Sincerely,

Doug Andreen

Change Request Project Manager

Qwest

303-382-5777


Project Meetings

3/22/04 -

March 22,2004

Dear John Berard,

Thank you for participating in the Qwest Change Management Process (CMP).

We have received your Change Request (CR) submission titled, "Special Service Protection (SSP) for UNE Loops." Per your discussion with Kit Thomte on March 22, 2004 we would ask that you route this request through you service manager. As you and Kit discussed, your service manager with product management can best make the determination if meeting this request would require a new product introduction.

Should you and your service manager conclude that the request does not require a new product we would be glad to introduce it through the CMP process at that time.

Sincerely,

Doug Andreen Change Request Project Manager Qwest 303-382-5777


Open Product/Process CR PC032504-1 Detail

 
Title: Special Service Protection (SSP) for UNE Loops
CR Number Current Status
Date
Area Impacted Products Impacted

PC032504-1 Completed
10/20/2004
Originator: Berard, John
Originator Company Name: Covad
Owner: Buckmaster, Cindy
Director:
CR PM: Harlan, Cindy

Description Of Change

Covad proposes that a product be developed which can be ordered with a UNE Loop that will provide Special Service Protection at all cross-connects points in the Qwest network. This protection has been provided by Qwest for critical customer circuits (i.e.; alarm circuits, high capacity data circuits, emergency services circuits, etc.) for many years and Covad would like the option of ordering this for certain UNE Loops. These cross connect points, as well as the protector frame "heat coils" are either red, or have red devices attached that alert the technician to take special steps prior to initiating invasive actions for testing or maintenance. These cross connect points are "protected" at all possible points both in the central office, as well at field connection points.

Expected Deliverables: As soon as possible.


Status History

3/25/04 CR Submitted

3/25/04 CR Acknowledged

3/30/04 Contact John Berard to offer Clarification call on 4-5 10:00 am

4/9/04 Held Clarification Call

4/21/04 - April CMP meeting notes will be posted to the project meeting section

5/12/04 - Emailed response to Covad

5/19/04 - May CMP Meeting notes will be posted to the project meeting section

6/16/04 - June CMP Meeting notes will be posted to the project meeting section

7/21/04 - July CMP Meeting notes will be posted to the project meeting section

8/16/04 - August CMP meeting mintues will be posted to the database

9/15/04 - September CMP Meeting minutes will be posted to the database

10/20/04 - October CMP Meeting minutes will be posted to the database


Project Meetings

10/20/04 CMP Meeting MInutes Cindy Buckmaster – Qwest advised that we reviewed the 19 examples that Covad sent. We also reviewed additional orders to ensure the circuits are being tagged correctly. Cindy advised that we are 100% compliant for circuits in the Central Office. We are 96% compliant for circuits in the field. The reason for the 96% in the field is that if the cross box is wired with only a certain type of wire, extra wire of that type is in the cross box for the technician to use to mark the circuits. This wire may not be red. The same wire is used for Qwest and CLEC circuits so all are treated the same. Cindy advised that Qwest would like to close this CR. Liz Balvin – Covad asked for an explanation of the original request and Cindy reviewed the request. Liz advised she understands and it is okay to close the CR. This CR will change to Completed Status.

9/15/04 CMP Meeting Minutes Cindy Buckmaster – Qwest advised that we performed a test review on 19 order examples to make sure circuits were correctly tagged. The test was successful. This week Covad sent examples that Qwest will also review to make sure circuits are correctly tagged. Qwest will provide status at the next monthly CMP meeting. This CR will remain in CLEC Test Status.

8/16/04 CMP Meeting Mintues Cindy Buckmaster – Qwest advised this process was implemented and effective August 3. John Berard – Covad asked how will Covad know this process is in place. John requested a review by Qwest of a set number of examples. Cindy agreed to propose the review suggestion to Network. If agreed, Qwest will select a few Central Offices and have the Supervisor check to make sure the circuits were tagged. John Berard – Covad will send the order information that will be verified to Cindy Macy for 6 orders installed after August 3, 2004 (two in each region). If an audit is agreed to, Qwest will add additional circuits to the list to create a statistically valid sample. This CR will move to CLEC Test Status.

July 21, 2004 CMP Meeting notes: Cindy Buckmaster – Qwest recapped the request. Cindy advised that Qwest currently marks anything above a DS0 circuit (not analog circuits), and with this CR Qwest has expanded the process to include DSL circuits (not including POTs process requests for Line Sharing and Line Splitting). In order to make the information available to the technicians we have updated the tech books. Tech book updates occur every 12 – 18 months. We have to train the technicians and we anticipate this to be completed the middle of August. Qwest will issue a Level 1 notification when this becomes effective. This CR will remain in Development status.

June 16, 2004 CMP Meeting notes: Cindy Macy – Qwest advised this CR is in progress. The technician books need to be updated. Training the technicians will occur after the books are updated. Qwest anticipates implementing this towards the end of July. This CR will remain in Development Status.

May 19, 2004 CMP Meeting notes: Cindy Buckmaster – Qwest reviewed the response and advised that Qwest will support this CR. Cindy recapped the intent of the CR, reviewed Wholesale’s current process, explained the parity of the process with Retail for analogous circuits and potential impacts of additions beyond what Qwest has agreed to in this response. Cindy advised that Qwest will support this process on additional products identified in the response. This CR will move to Development status.

April 21, 2004 CMP Meeting notes: Mike Zulevic – Covad presented this CR. Mike explained that Covad would like for Qwest to provide SSP on certain UNE Loop type services. This would provide the ability to specify on a loop by loop basis when the order is placed that protectors are needed on the frame. Today most are black, except the SSP ones have red protectors. This tells the technician that the circuit should not be opened unless they get an okay from the customer. This is done on cross connects also, and on outside plant. These circuits are not to be moved without the proper release from the customer. This has been in place for 40 – 50 years on SSP. We need it now on additional data circuits. Bonnie Johnson – Eschelon asked what would the customer use the circuit for? Mike advised burglar alarms, data, FAA, control and monitor traffic lights, fire department and some are POTS lines. In the future VOIP lines will need this. Cindy Buckmaster – Qwest asked if Mike was aware of Qwest’s Telecommunications Service Priority (TSP). This allows the customer to identify critical and expedited circuits. Cindy Buckmaster also clarified that the type of circuits are data, not POTS circuits. Mike advised some are ordered as 2Wire loop non loaded, but they are data capable loops. Cindy verified they are not 2Wire analog loops? Mike agreed Covad’s loops are not analog, but other CLECs may have 2W analog loops. Cindy advised we will look into this CR. This CR will move to Presented Status.

Clarification Meeting April 9, 2004 1-877-552-8688 7146042# PC032504-1 Special Service Protection for UNE Loops

Attendees John Berard – Covad Cindy Buckmaster - Qwest Denny Graham – Qwest Cindy Macy – Qwest

Meeting Agenda: Action 1.0 Introduction of Attendees Attendees introduced

2.0 Review Requested (Description of) Change John Berard – Covad reviewed the change request. John explained that this service is already offered on other products, such as Switch net 56 and DDS. Cross connection equipment is red flagged which alerts technicians to take special steps before working on the facility. John advised Covad would like to be able to request this service on specific accounts provided via UNE Loop also. Covad is launching a new product and some of those customers will be consider their service critical and may want the protection service available to them. Cindy Buckmaster verified the product lines that John is requesting this service to be available include Analog, digital capable loops including non-loaded, XDSL-I, ADSL, ISDN and DS1 and DS3. John agreed. Denny Graham advised that Qwest marks the facilities in the central office by placing red heat coils and jumpers or red caps and in the field by placing red jumpers or red caps. Denny advised that process changes would be required. Cindy Buckmaster advised we would have to look at the service order process and determine the impacts. Additionally we need to look at the practice on a geographic basis to ensure we incorporate the correct process and color used. Qwest will evaluate the viability of the service requested. Cindy Buckmaster asked John what their interval was for deploying their new product that would benefit from this service. John advised in the next month.

3.0 Confirm Areas & Products Impacted Cindy Buckmaster verified the product lines that John is requesting this service to be available include Analog, digital capable loops including non-loaded, XDSL-I, ADSL, ISDN and DS1and DS3 .

4.0 Confirm Right Personnel Involved Team agreed that Lori Langston needed to be involved.

5.0 Identify/Confirm CLEC’s Expectation Provide SSP on identified products. 6.0 Identify any Dependent Systems Change Requests none

7.0 Establish Action Plan (Resolution Time Frame) Covad will present the CR at the April CMP Meeting Qwest will provide our Response at the May CMP Meeting


CenturyLink Response

May 12, 2004

For Review by the CLEC Community and Discussion at the May 19, 2003 CMP Meeting

John Berard Covad

SUBJECT: Qwest’s Change Request Response - PC032504-1 “Special Service Protection (SSP) for UNE Loops ”

‘Covad proposes that a product be developed which can be ordered with a UNE Loop that will provide Special Service Protection at all cross-connects points in the Qwest network. This protection has been provided by Qwest for critical customer circuits (i.e.; alarm circuits, high capacity data circuits, emergency services circuits, etc.) for many years and Covad would like the option of ordering this for certain UNE Loops. These cross connect points, as well as the protector frame “heat coils” are either red, or have red devices attached that alert the technician to take special steps prior to initiating invasive actions for testing or maintenance. These cross connect points are “protected” at all possible points both in the central office, as well at field connection points.’

Qwest concurs with Covad’s request, currently performs this function for many circuits and will further expand that process as identified below.

In the evaluation of this request Qwest considered a number of factors: 1) Intent of the CR, 2) Current Wholesale process, 3) parity of that process with Retail process for analogous circuits, 4) Potential Impacts of Additions Beyond that Agreed to Here-in.

Each of these steps is addressed in this response. 1) Intent of the CR – based on the conversation in both the clarification meeting and in the subsequent CMP meeting it is Qwest’s interpretation that the CLECs want to ensure data integrity and avoid unnecessary down time. It is anticipated that by identifying certain ‘services’ by ‘color-coding’ the jumpers and other equipment could draw the attention of technicians causing them to exercise additional caution in their presence. Based on that assumption, it may help to re-iterate Qwest’s current practice of ‘marking’ circuits for Special Service Protection.

2) Current Wholesale Process – as mentioned at CMP and in other CRs currently under review, Qwest does mark some circuits to draw a technician’s attention to the need to operate carefully when in their presence. Those circuits currently include a) All Telecommunication Service Priority (TSP) Circuits – as mentioned before, that application is made to the Government, Qwest manages those circuits as identified by the applicable contacts at the City, State and Federal level, b) All Designed Data Services – including High Capacity Services (DS1 and above), all ISDN Circuits, and all Designed Data Capable Circuits. Each of those circuits are currently ‘marked’ according to a standard practice. The Central Office equipment is marked with Red Heat Coils and Jumpers and field terminations and cross connects are ‘marked’ with red cross jumpers, tags and/or termination caps. At present, Qwest is already marking the dispatched UBLs ordered as ISDN Capable, xDSL-I Capable, ADSL Compatible or DS1/DS3 at parity with Retail.

3) Parity of that Process with Retail Process for analogous circuits – This is at parity with what Qwest currently provides in its Retail environment. As DSL is provisioned via the Plain Old Telephone Service (POTS) flow for Retail, none of the Retail DSL capable circuits are specially marked. In the past, Qwest did not assume that all LX-N circuits were data, however, as the CLEC Unbundled Requests (for Unbundled Network Elements) flows via the Designed Service Flow, Qwest is prepared to offer to mark (in the manner defined above) all dispatched Data Capable UBL circuits including the 2/4 wire Non-Loaded Loop (where the NC Code = LX-N). Effective with this notice, Qwest will mark these circuits (by class only – Data Capable) similar to the marking already provided for ISDN/xDSL-I and DS1/DS3. This (List Document Name) attachment 2 offer is for DSL only and not for DSL/Analog or split services (i.e. Line Sharing, Line Splitting, Loop Splitting or the Shared Distribution Loop). Additionally, this offer is for circuits on a going forward basis and not for the embedded base of UBL circuits.

4) Potential Impacts of Additions Beyond that Agreed to Here-in - an effort to mark any other circuits (i.e., Sharing, Line Splitting, Loop Splitting, Shared Distribution Loop or the Analog UBL), not in parity with those done in current practice, will be denied for two reasons, Economic In-feasibility and No Measurable Benefit to both Qwest and the CLEC. The first reason would be due to the fact that Qwest would need to equip and re-train all technicians who currently work on POTS circuits to mark specified voice grade CLEC circuits. With 2,000 POTS Technicians currently doing this work that cost is expected to be in excess of $200K. Additional changes to the systems would be required to allow a method for CLECs to identify which circuits they would like to ‘mark’. Although the information could be added in Remarks up-front, for no or little additional cost, down-stream systems would need to carry this information to the field and would require mechanization. The second reason, No Measurable Benefit to both Qwest and the CLEC, would be based on the outcome that all CLEC circuits would be marked as un-interruptible and would disrupt the efficient use of the current network design and quickly dissipate use of any plant that would allow the provision of services requiring special plant configurations (i.e., having a Voice Grade circuit on a non-loaded loop with no option to move that non-loaded configuration for Data use). This provides no benefit to the network and would further cost Qwest the economic imbalance of providing a service to the CLECs that it isn’t equipped to provide for its own end-users.

In summary, Qwest will mark all Data Capable CLEC circuits per their local practice to draw technicians’ attention to the fact that the circuit carries un-interruptible traffic.

Sincerely, Cindy Buckmaster Manager Product Management


Open Product/Process CR PC021904-1 Detail

 
Title: Enhancement to existing Expedite Process for Provisioning
CR Number Current Status
Date
Area Impacted Products Impacted

PC021904-1 Completed
7/20/2005
pre order, order, provisioning UNE, Transport (including EUDIT), Loop, UNE-P, Line share, Line Splitting, loop splitting
Originator: Berard, John
Originator Company Name: Covad
Owner: Martain, Jill
Director:
CR PM: Harlan, Cindy

Description Of Change

Covad requests that Qwest provide a formal process to expedite an order that requires an interval that is shorter than what is currently available for the product.

No expected deliverable listed

Updated the title as a result of the Clarification call


Status History

02/20/04 CR Recieved

02/20/04 CR Acknowledged

2/23/04 - Contacted John Berard - Covad to set up Clarification Call

2/27/04 - Held Clarification call

3/17/04 - March CMP meeting notes will be posted to the project meeting section

4/21/04 - April CMP meeting notes will be posted to the project meeting section

5/12/04 - Emailed response to Covad

5/19/04 - May CMP Meeting notes will be posted to the project meeting section

6/15/04 - PROS.06.15.04.F.01792.ExpeditesV11

6/16/04 - June CMP Meeting notes will be posted to the project meeting section

7/1/04 - Scheduled ad hoc meeting for 7/9 to discuss project, comments and plan

7/9/04 - Held ad hoc meeting

7/21/04 - July CMP Meeting notes will be posted to the project meeting section

8/16/04 - August CMP meeting mintues will be posted to the database

9/15/04 - Notification for ad hoc meeting scheduled for 9-22-04

9/15/04 - September CMP Meeting minutes will be posted to the database

9/22/04 - CLEC Ad hoc meeting held to review expedite reasons / causes

10/20/04 - October CMP Meeting minutes will be posted to the database

11/17/04 - November CMP Meeting minutes will be posted to the database

12/15/04 - December meeting minutes will be posted to the database

12/16/04 - Scheduled ad hoc meeting for January 6

1/6/05 - Ad hoc meeting held

1/19/05 - Jan CMP meeting minutes will be posted to the database

2/16/05 - Feb CMP meeting minutes will be posted to the database

3/16/05 - March CMP Meeting minutes will be posted to the database

4/20/05 - April CMP Meeting minutes will be psoted to the database

5/18/05 - May CMP meeting minutes will be posted to the database

6/15/05 - June CMP meeting minutes will be posted to the database

7/20/05 - July CMP meeting minutes will be posted to the database


Project Meetings

July CMP Meeting Minutes: Jill Martain – Qwest advised that this went into effect on 6/16/05. Jill asked if it was ok to close this CR. Liz Balvin advised the CR could be closed. This CR will move to Completed Status.

June CMP Meeting Minutes: Jill Martain – Qwest advised that this process is effective June 16 and we would like to move this CR to CLEC Test on June 16th. There was not any objection to change the status to CLEC Test.

May CMP Meeting Minutes: Jill Martain – Qwest advised that the PCAT documentation went out for review on May 9. The comment cycle will close on May 24 and become effective June 23, 2005. This CR will remain in Development Status.

April CMP Meeting Minutes: Jill Martain - Qwest advised that we are working internally to get the three expedite reasons implemented. Jill stated that after meeting internally, we determined that a slight modification was needed. Qwest wants the new Expedite reasons directed to our Business Services. Jill stated that in our ad hoc calls with the CLECs, we did talk about the critical impact to Business customers. Jill recapped the criteria for use of the new Expedite reasons: National Security Business Services unable to dial 911 due to previous order activity Business Service where hunting, call forwarding or voice nail features are not working correctly due to previous order activity where the customer business is being critically affected. Bonnie Johnson - Eschelon asked if there is a definition of business services.

Jill Martain - Qwest advised it would be for more complex business and 1FB type service and this excludes residential and 1FR.

Bonnie Johnson - Eschelon asked for this to be documented.

Jill Martain – Qwest confirmed it would be changed to reflect Business Classes of Service in the actual updates. Liz Balvin - Covad asked if the examples that Qwest looked at were based on Qwest customers.

Jill Martain – Qwest advised the examples were provided by both CLECs and Qwest and discussed in ad hoc meetings.

Liz Balvin – Covad agreed that we should provide definition of Business Services and also asked that the notice reflect that residential would not be included. Liz also confirmed that this does not affect the Expedite process that requires an amendment.

Jill Martain – Qwest confirmed that it does not impact that process. Jill advised the documentation will be updated and sent out for review. Bonnie said thank you for the good results.

This CR will remain in Development Status.

March CMP Meeting Minutes: Jill Martain - Qwest advised that we are still working internally on this request and are hopeful that within the next month the PCAT changes will be available to review with the three additional Expedite reasons. This CR will remain in Development Status. [Comment received from Eschelon: Jill Martain - Qwest advised that we are still working on additional scenarios internally and waiting for internal approval on this request and are hopeful that within the next month the PCAT changes will be available to review with the three additional Expedite reasons.]

February CMP Meeting Minutes: Jill Martain - Qwest advised we are still waiting for final internal approval. Qwest is hoping to have final status next month. This CR will remain in Development Status.

January CMP Meeting Minutes Cindy Harlan/Qwest advised that an ad hoc meeting was held on January 6th. Qwest proposed adding the following as valid Expedite reasons: if access to 911 is not available, if the order is for National Security, and for certain Features in specific situations. The CLECs were receptive to these changes. Qwest has started the process to get final internal review and approval. Additional status will be provided next month. This CR will remain in Development Status.

CLEC Ad Hoc Meeting PC021904-1 Expedite Process January 6, 2005

In attendance: Kari Burke – Comcast Jeff Yeager – Accenture Sharon Van Meter – ATT Chris Terrell – ATT Linda Minesola – Comcast Amanda Silva – VCI Jill Martain – Qwest Wayne Hart – Idaho PUC Kim Isaacs- Eschelon Bonnie Johnson – Eschelon Pete Staze – Eschelon Jennifer Arnold – TDS Metro Steve Kast – MCI Thomas Soto - SBC

Cindy Harlan – Qwest took attendance and reviewed the agenda. The purpose of this call is to discuss options for additional expedite reasons. Cindy explained that Qwest has been reviewing expedites and would like to discuss potentially having Features be considered as a valid expedite reason under certain circumstances. Qwest would like to discuss what the criteria would be and identify Features that cause major impact to the CLECs. We also can potentially add a valid expedite reason if you are unable to dial 911 service and to expedite for National Security reasons. Cindy asked the CLECs to identify what Features create the most impact to the CLECs so we can build some criteria. Cindy advised that Qwest is unable to open other reasons for expedites as we do not have the resources to support that effort.

Bonnie Johnson – Eschelon stated that she didn’t think additional resources would be needed to support this. Bonnie said Eschelon’s Expedite manager is on the call and she would like him to share with us the large impacting items. Pete advised that when customers are unable to receive calls this impacts them as if they are out of service. For business customers if they can’t receive calls it impacts their revenue.

Jill Martain – Qwest asked if normally there would be an original order to install the service and another one to correct it. Bonnie advised yes, or something changed on one of their features, such as voice mail service, either with their vendor or the equipment, and that causes a need for an expedite. The customer may not understand what they have ordered. Jill asked if it was a fair request that Qwest ask the CLEC for the order number or PON. Bonnie advised that they normally provide this anyway and it is fair, but she does not believe it should be a requirement as there are other reasons too. Jill asked if we could better define and refine the criteria for Hunting so we can go to Retail and Network and discuss further, and publish a reason that is allowable. Otherwise we would negate the standard interval if we automatically allowed expedites on all Hunting requests. Bonnie said it should be an urgent customer situation and their service is not working the way it should be. Bonnie advised that Qwest needs to trust the CLECs request and hope that the CLECs are not abusing the process. Pete Stave – Eschelon advised there are additional steps needed to expedite an order and it is not always easy so we do not request an expedite unless it is necessary.

Jill suggested that we set criteria for this to be an ‘urgent customer situation where Hunting or Call Forwarding features are not working correctly and the customer can explain why and provide a service order and/or PON’. The CLECs agreed with this criteria.

Jill asked if there were other features that need to be discussed. Amanda – VCI stated that Features don’t pertain to VCI very much, but what happens if a customer is disconnected in error and it is the CLECs error. This happens a few times a month usually due to a disconnect for non payment in error. Jill advised this would need to be handled as a new LSR with standard interval. Another request was made for voice mail set up incorrectly. This can be added to a wrong number for example.

Jill agreed that the items and criteria identified should be workable. Qwest needs to review this internally and determine impacts. Status will be provided at our CMP meeting and we will plan on reviewing the draft process prior to it being published in the PCAT. Another ad hoc meeting will be scheduled at that time.

December CMP Meeting Minutes Cindy Macy – Qwest advised that an ad hoc meeting is scheduled for January 6 to review and further define some options for expanded Expedite reasons. This CR will remain in Development Status.

11/17/04 November meeting minutes Cindy Macy – Qwest advised that Qwest is currently reviewing the expedite process and meeting internally to determine if there are any changes that can be made to the process. This CR will remain in Development Status.

10/20/04 October CMP Meeting Minutes Cindy Macy – Qwest advised that Qwest held an ad hoc meeting. We are reviewing the expedite reasons from the CLECs and the data gathered for potential changes. We hope to have additional information next month. Qwest will hold an ad hoc meeting to review our findings. This CR will remain in Development Status.

PC021904-1 Enhance Expedite Process Ad Hoc Meeting September 22, 2004

In Attendance: Pete Stave – Eschelon Colleen Forbes - ATT Kim Isaacs – Eschelon James Leblanc – McLeod Bonnie Johnson – Eschelon Jean Novak - Qwest Communications Lori Nelson – Mid-Continent Terri Lee - SBC Donna Osborne Miller – ATT Chris Quinstruck - Qwest Cherron Halpern - Qwest Communications Rhonda Velasco – Oregon Telecom Sue Diaz - Qwest Communications Mark Sieres – Advanced Telecom LeiLani Hines – MCI Brandon McGovern–Advanced Telecom Valerie Estorga - Qwest Communications Roslyn Davis - MCI Christina Valdez - Qwest Communications Scott Ellefson – Qwest John Berard – Covad Dave Miller – Advanced Telecom Michelle Thacker - Qwest Communications Lydell Peterson - Qwest Phil Hunt – McLeod Leti Mudlo - Qwest Robin Jackson – Time Warner Diane Solomonson - Qwest Jolene Brown – Time Warner Stacy Berg – Time Warner Steve Kast - Qwest Communications Jim Christener – McLeod Mark Ashen Brenner – McLeod Chris Voorhees - McLeod Jennifer Fischer - Qwest Communications Diane Johnson – Qwest Michelle Sprague – McLeod Dawn Tafoya - Qwest Communications Jill Martain - Qwest Communications

Cindy Macy – Qwest Communications introduced the attendees and reviewed the agenda. Cindy advised that the purpose of this call is to discuss what is causing the need to expedite. Qwest would like to identify from a CLEC perspective why they expedite. Jill Martain – Qwest added that we would like to identify for non design documentation changes and process changes that could help reduce expedites. Cindy advised that Qwest would like to hear from each CLEC represented so we can gather input and determine what changes could be made to reduce the need for expedites.

Bonnie Johnson – Eschelon advised that Qwest’s appointments for new installs and moves in some states were 3 weeks out. This was due to resource issues (no technicians available). Eschelon can not give their customers a 3 weeks due date. We are expediting from a customer service perspective. This was happening in WA/CO/AZ on POTS service.

Colleen – ATT advised that when they submit their orders they have to use appointment scheduler and the date that comes back is what they have to put on their order. They will then call and expedite as the date is not acceptable for their customers. Donna Osborn Miller – ATT advised that they also engage their account teams to help.

Stacy – Time Warner advised that when the due dates is out 2-3 weeks, we have to expedite, and then Qwest wants to charge for the expedite. It is wrong for Qwest to charge for an expedite when the due date is way past standard interval.

Colleen – ATT advised many times the customer is disconnected and needs their service. The disconnect can be due to the customer moving early, an error on Qwest or the CLECs part, the order not getting processes correctly, or a jeopardy.

Bonnie Johnson – Eschelon advised specific to features, our customers have urgent needs. If their call forwarding was set up incorrectly (gave wrong number, or error in programming), and the calls are going to another number it can cause major issues. If a business forwards these calls to a residence, or if there is an emergency and the customer is not able to receive calls it causes major issues for all parties. Call Forwarding generally has a 1-3 day standard interval and a business can not loose calls for 3 days, nor can a residence customer receive calls from a business in error for 3 days. Colleen – ATT advised other LECs have same day turnaround if the order is received before 3p.m.

Jim – McLeod advised orders that are placed in jeopardy for no access are often done in error. The customer says they were available but the technician never came to the door. Then later it is determined that the technician couldn’t find the building, or couldn’t gain access. Sometimes the customer does give the wrong address and they are now out of service.

Robin Jackson and Stacy Berg – Time Warner advised they have lots of trouble with orders being issued incorrectly. They put information on the LSR that matches the CSR. Then the order gets rejected for address issues. They have to send it in and fix it later, and try to get a new due date. Time Warner also reported that when they build a subscription they send it in and Qwest has to release it. The ‘create’ needs to be done 3 days ahead and SOA has to concur. Time Warner wants to know if this is the official process. They work with the LNP team and this process is not working well. Cindy advised she will have the Service Manager contact Robin and Stacy. (robin.jackson@twtelecom.com, Stacey.berg@twtelecom.com)

Dave – Advanced Telecom advised they will get an FOC and the due date is okay. Then on the due date or the day before they will get a jeopardy notice which then needs to be expedited as they have given a due date to their customer.

Bonnie – Eschelon advised when there is an equipment install or vendor meet and we have to coordinate three companies it is very difficult and we usually have to expedite to get the companies represented and the services coordinated and installed.

Bonnie – Eschelon also advised that hunting causes an out of service condition as sometime equipments is needed or there are circular hunting issues and the calls go no where.

Pete – Eschelon advised that coordinated loops installed on LNP are complex and all parties have to be available to keep the customer service from going down.

Lori – Mid-Continent advised that if voice mail is not working the customer perceive this as their service not working. If the call forwarding number is incorrect (wrong area code and the voice messaging needs to be corrected) we have to place an order to fix the issue.

Nicki – Mid-Continent advised sometimes their customers have urgent needs related to their job or personal situation. For example, the customer could be on active duty and need service right away.

John Berard – Covad advised if something goes wrong in the process and the customer gets disconnected in error, it could be the CLECs error, then Covad has to issue another order with a new due date. Sometimes the order is issued as a new order and it should have been a move order so the due date is different.

Dave – Advanced Telecom advised that Qwest does not reject orders consistently. They can submit 10 orders the same and on the 11th order they get a reject. The representative interprets the business rule differently and now we are a day behind. We can talk to 4 different representatives and we can get 4 different answers.

Bonnie – Eschelon confirmed that for non design the same process and charges will apply to Retail. Jill Martain – Qwest confirmed that would occur. Jill – Qwest advised our direction is to not implement a fee for expedites on non design. We are trying to understand some reasons and causes for expedites and address them from a process and documentation perspective. Bonnie advised that is great.

Nicki – Mid-Continent advised she requested an expedite for medical reasons and was asked for a doctors note. Nicki advised this is confidential information. Jill advised it is part of the process to request a note. Our centers are trying to follow the process and make sure the expedite is valid.

Colleen – ATT advised recently we had a customer that filed a PUC complaint and it was on the news so it was a huge issue that needed to be resolved. Jill advised if there are extenuating circumstances you can go through the Escalations process. This is not the norm but under special conditions we do handle escalations.

Cindy – Qwest advised our next steps are to look at the input that was received today and the process. We will determine areas that we can impact to reduce the need to expedite and provide status at the next CMP meeting. Additional ad hoc meetings may be held.

9/15/04 CMP Meeting Minutes Cindy Macy – Qwest advised that there is an ad hoc meeting scheduled for Wednesday, September 22 to discuss the reasons for expedites. The intent is to look at the cause of expedites to determine if there are improvements that can be made to reduce the number of expedites. This process focuses on non design services. This CR will remain in Development Status.

8/16/04 CMP Meeting Mintues Jill Martain – Qwest advised that Qwest has done additional work on this CR and determined that we won’t be able to implement the same process for non design that we implemented for design. We are doing root cause analysis on the data and will determine reasons why expedites are needed. Qwest will meet with each of the CLECs after we have the data and work through the expedite reasons. John Berard – Covad asked some questions about the Expedite V14 PCAT. Jill recapped the process and advised the CLECs that if they have questions they can call her to discuss. John Berard – Covad verified if the error was caused by Qwest than there would not be a charge to expedite. Jill advised that is correct. Bonnie Johnson – Eschelon advised she tried to expedite a feature and the escalation group and Service Manager said they were not able to do this. Bonnie submitted a comment on this issue as Eschelon believes this is an existing process. Bonnie advised her definition of an existing process is if Qwest is performing the process it is an existing process. Bonnie and Jill discussed the issue and agreed that the issue was the difference between what Eschelon sees as an existing process and what Qwest views as an out of compliance. Jill told the center to go ahead and continue to handle feature expedites until we are able to resolve this issue. Bonnie appreciated this as it takes away the immediate pain to Eschelon. Bonnie advised that Eschelon has formed an internal team to review documentation against current process and previous CRs. They are focusing on DSL initially. Bonnie and Jill agreed that Eschelon should submit a CR to determine how to handle the situation when there is disagreement between when Qwest is out of compliance versus when Qwest is performing an existing process. This CR will remain in Development Status.

July 21, 2004 CMP Meeting Minutes: Cindy Macy – Qwest advised that the team held an ad hoc meeting on July 9. During the ad hoc meeting, Jill Martain reviewed the PCAT and addressed comments on the process. Cindy advised that this process is effective July 31 in most states. The following identifies exceptions: AZ 8/5, Northern Idaho and NE 8/2, NE 8/6, WA affects only Access Services. The FCC#1 is effective July 31. Qwest will continue to work on the non design process. Additional status will be provided later. Liz Balvin – MCI advised that the clarification and the updates that were discussed helped a lot. Jill advised those updates have been made. This CR will remain in Development status.

PC021904-1 Expedite Process Ad Hoc Meeting July 9, 2004 10:00 – 11:00 a.m. MT

In attendance: Eric Yohe – Qwest Liz Balvin – MCI Valerie Estorga – Qwest Susan Lorence – Qwest Jackie DeBold – US Link Steve Kast – Qwest Teresa Castro – Vartec Stephanie Prull – Eschelon Sue Lamb – 180 Comm John Berard – Covad Jill Martain – Qwest Ann Atkinson – ATT Julie Pickar – US Link Donna Osborn Miller – ATT Cindy Macy – Qwest

Cindy Macy – Qwest reviewed the history of the CR. Cindy explained that this process was notified on June 15, 2004 and then retracted on June 29, 2004. Cindy reviewed the agenda and purpose of the meeting.

Jill Martain – Qwest advised the intent of the PCAT update was to address the new expedite process on design products. Currently we are not able to include non design products in the process. We will schedule additional ad hoc meetings to discuss non design products and CLEC caused error expedite situations.

Jill advised that July 31 is the tariff effective date. Interstate filings will occur next, and there are a couple states that may go a little later, but each state is in progress of getting the tariffs approved.

Liz Balvin – MCI verified V11 only impacts design services. Jill advised the list of products that are in the pre-approved section are all design products.

Jill advised there will be two processes. ‘Expedites that Require Approval’ (current process) and the new process ‘Approved Expedite Request’ for identified design services products. Jill reviewed the PCAT and process in more detail.

Stephanie Prull – Eschelon asked how Qwest will notify the CLEC when Qwest can not meet the expedited date. Jill advised that when the CLEC calls in Qwest will get the name of the person who requested the change and work with them. Stephanie asked what happens if we use the EXP field? Jill advised Qwest would send back the FOC with the PIA value. Stephanie asked if the Retail customers get charged on the ‘Expedite Requiring Approval’ process. Jill advised no, and neither would the CLECs, unless they sign up for the new process.

Liz Balvin – MCI asked for more clarity on the non design process. Jill advised that the Expedite Process that requires approval applies to non design services or Interconnection Agreements that do not carry the ‘per day’ expedite rate. Jill agreed to clarify that all non design service expedites or design services expedites if your contract is not amended, will not carry a charge. Non design products can only be expedited for the conditions listed currently. We are still trying to accommodate some CLEC reasons for non design expedites. We will continue working on this and we will have additional calls with the CLECs. Retail follows these same procedures. Jill advised we will work on this in phases.

Jill explained that when you amend your contract there are not reasons for expedites any longer. Qwest agrees to expedite and there is a charge for all expedites.

John Berard – Covad asked if there is a separate charge on design products if there is a fire. Jill advised no, the same charge applies. If Qwest causes the error than there is not a charge.

Stephanie Prull – Eschelon asked when the amendment will be available. Jill advised the target date is July 26. Stephanie asked how this new process affects resource assignment of network technicians. Jill advised we have the resources to cover expedited requests. We have performed volume forecasts. An expedited request and a regular request are equally weighted.

Jill summarized the Pre Approved Expedite process. The CLECs must amend their ICA, the estimated cost to expedite is 200.00 per day, and eligible products are identified in the PCAT.

Stephanie Prull – Eschelon advised that currently the CLECs have special reasons for an expedite that are not included in the list. The CLEC calls the center and works with Qwest to address these situations. Jill advised we need to follow our process, and we will still handle unique conditions. They may need to be escalated.

Liz Balvin – MCI asked if this will be implemented on the Access side. Jill advised the tariff target date is July 31 for Access products. Liz asked Jill to include the tariff reference in the response to comments. Jill advised the exception is the Washington tariff is not being filed at this time.

Jill reviewed the comments to make sure she had addressed the CLECs concerns in today’s meeting. The CLECs agreed that the comments have been addressed during today’s meeting. Jill advised she will make updates to the PCAT based on today’s call.

June 16, 2004 CMP Meeting notes: Jill Martain – Qwest advised for design product the Level 3 notification went out on June 15. For non-design we are still investigating if the process is feasible. The CR will remain in Development Status.

May 19, 2004 CMP Meeting notes: Jill Martain – Qwest advised that Qwest will accept this CR with the caveat to implement this on a product by product basis. There may be some products that this process will not be implemented for. For those products, the old process will stay in place. There will be a cost to expedite and amendments will need to be done. The approximate cost is in the $150.00 - $400.00 price range. A per day improvement charge would be assessed. Jill advised that the target list of phase 1 products is included in the response. Qwest is targeting July 31 for implementation. Bonnie verified that this will apply to Retail also. Jill advised yes, and a tariff would be filed. Jill will provide an update next month. This CR will move to Development Status.

April 21, 2004 CMP Meeting notes: Jill Martain – Qwest reviewed the response for this CR. Jill advised that Qwest would like to leave this CR in Evaluation Status as we look at individual products for expedites. Jill asked the CLEC community if they are willing to pay just and reasonable charges to expedite. Bonnie Johnson - Eschelon stated that these charges should apply to retail customers as well. Liz Balvin – MCI asked how this would work. Are the prices driven by what is on our Interconnection Agreement? Jill Martain advised there would be charges in the ICA, and the amendment would have to be written. Bonnie said they would have to be commission approved rates. Jill advised she is not the expert on this process but she believes so. Liz Balvin clarified that if the CLECs are not willing to opt in to the contract, then they would follow the process that is effective today. Jill advised yes. Bonnie advised we do have situations when we have requested an expedite and Qwest denies it. Then the end user customer goes directly to Qwest and the expedite occurs. Jill advised we will keep this perspective in mind. This CR will move to Evaluation Status.

March 17, 2004 CMP Meeting John Berard – Covad presented the CR and explained that Qwest’s Expedite Process is written based on certain situations, such as Medical Emergencies. However if the CLEC makes an error, there isn’t a process to expedite for a CLEC error reason and the CLEC has to take a regular interval. We want a process to request a faster interval, and we are willing to pay for it. Eschelon supports the request and would like to understand what type of opportunities are available for our Retail customers and if they get charged for an expedite. Bonnie advised that they have had trouble getting their customer in service, and if their customer contacts our Retail organization themselves, they get service in okay. Ervin Rae – ATT advised that he has heard that Qwest leadership is in the process of reviewing our Expedite Process. Jill Martain – Qwest advised that we can take a look at all of these aspects and also review PC081403-1 as this CR is also requesting a ‘Restoral Request Process’. This CR will move to Presented Status.

Clarification Meeting February 27, 2004 1-877-552-8688 7146042# PC021904-1 Expedite Process for Provisioning – enhancements to existing process

Attendees John Berard – Covad Bryan Comras – Covad Mark Gonzales – Qwest Heidi Moreland – Qwest Jill Martain - Qwest Cindy Macy – Qwest

Meeting Agenda: 1.0 Introduction of Attendees Attendees introduced

2.0 Review Requested (Description of) Change John Berard – Covad reviewed the change request. John explained that Covad would like the title of the CR updated, as this is really a request for an enhancement to the existing expedite process. Cindy agreed to update the CR. John advised that the expedite process is limited today to certain types of orders and processes. For example, medical emergencies. We may find that it is Covad’s error that caused the customer to be disconnected. We would like to be able to get our customers restored quicker than standard interval, when it is our error. We are willing to pay for this service. Other ILECs provide this service. We would like the criteria to be expanded to allow an expedite when the CLEC makes an error. Cindy Macy – Qwest asked for an example of this happening today. John Berard – Covad and Bryan Comras – Covad advised this relates to the Jeopardy process. When Covad fails to complete the order, but we complete the work at the DMARC the customer has service, but we do not close out the records so Qwest doesn’t think the customers service is working. Qwest issued a jeopardy notice and since we didn't respond to that notice within 30 days Qwest then cancelled the orders and the service gets disconnected. Covad then goes back and resends the order, but we have to wait the standard interval and that is too long for the end user customer to wait, especially if it is a business account. John Berard – Covad advised disconnects can also happen when the end user selects migration to a new ISP provider. This isn’t as critical as the down time is usually very limited as they are hooked up to the new provider. Heidi Moreland – Qwest asked how often this happens? Bryan – Covad replied approximately 20 times per month for Qwest, or once a day on average. Bryan advised that we get faster turn around time on certain products. Heidi confirmed that Shared Loop has a shorter standard installation interval than an unbundled xDSL-capable loop. Heidi advised that thethat the customer could be disconnected when the sync test fails and the notice is not cleared. The DSLAM port is done by the CLEC and the customer is in service. If a supplement is not sent by the CLEC, and if there is no response in 30 days, then the line gets cancelled and pulled down. Covad advised it shouldn’t matter what the history or circumstances are, if we are willing to pay for the expedite.

3.0 Confirm Areas & Products Impacted DSL, Line Share, Designed and DSL Products (all products) This applies to any one that was in service and has gone out of service and needs to be set back up due to Customer or end-user error.

4.0 Confirm Right Personnel Involved Jill agreed to get with Joan Wells regarding the Workback / Restoral Request process

5.0 Identify/Confirm CLEC’s Expectation Covad would like the ability to pay for an Expedited due date (restoral of disconnected end user) Covad would like to treat these like trouble reports and get the end user back in service in one day. 6.0 Identify any Dependent Systems Change Requests PC081403-1 Work Back Restoral Request

7.0 Establish Action Plan (Resolution Time Frame) Covad will present the CR at the March CMP Meeting Qwest will provide our Response at the April CMP Meeting


CenturyLink Response

For Review by CLEC Community and Discussion at the May 19, 2004 CMP Meeting

May 12, 2004

Covad Communications John Berard, Director-Operations Support

SUBJECT: Covad’s Change Request Response – CR #PC021904-1 Enhance Expedite Process for Provisioning

This letter is in response to Covad Communications Change Request (CR) PC021904-1. This CR requests that Qwest enhance the expedite process to allow for an interval that is shorter than what is currently available for the product.

Qwest will accept PC021904-1 Enhancement to existing Expedite Process, with the caveat that it will be looked at and implemented on a product by product basis. Qwest will continue to look at all of the individual products to determine if we will implement these changes. For those products which the expedite criteria/process does not change, Qwest will leave the existing expedite criteria and process in place. Additionally, as discussed previously, expedite charges will become applicable for all expedites except those that are due to Qwest caused reasons and amendments will be required to existing Interconnection agreements to implement those charges. If a CLEC chooses not to amend their Interconnection Agreement, the current expedite criteria and process will be used.

The first phase of implementing a change to the expedite process will be around those products that are Designed Services. A list of those products is shown below. For Designed services, an expedite charge is applicable for each day that the due date is improved (unless the expedite is due to a Qwest caused reason). We are targeting an implementation date of July 31, 2004, pending approval of the Interstate FCC#1 tariff, individual state tariffs and Interconnection agreements.

Following are a list of products that will be included in Phase 1: Product UBL all except 2w/4w analog Analog PBX DID Private Line (DS0, DS1, DS3 or above) ISDN PRI T1 ISDN PRI Trunk ISDN BRI Tr unk Frame Relay Trunk DESIGNED TRUNKS (Includes designed PBX trunks) Trunk MDS / MDSI DPAs (multiple DPAs or FX, FCO) Trunk UBL DID (Unbundled digital trunk)

For Review by the CLEC Community and Discussion at the April 21, 2003 CMP Meeting

April 14, 2004

Covad John Berard Director – Operations/Change Management

SUBJECT: CR # PC021904-1 Enhance Expedite Process for Provisioning

This letter is in response to Covad’s Change Request (CR) PC021904-1 Enhance Expedite Process for Provisioning. This CR requests that Qwest enhance the Expedite process to allow for an interval that is shorter than what is currently available for the product.

Qwest would like to leave this CR in evaluation status as it needs to continue to look at the individual products and provisioning processes that are impacted by this request. Qwest will provide an updated response at the May CMP meeting. Qwest will move this CR to Evaluation status.

Sincerely,

Jill Martain Qwest Communications


Open Product/Process CR PC011604-1 Detail

 
Title: All Joint Maintenance and Trouble Isolation Documentation be placed in the same location on the Qwest Web Site
CR Number Current Status
Date
Area Impacted Products Impacted

PC011604-1 Denied
6/16/2004
Web Site
Originator: Berard, John
Originator Company Name: Covad
Owner: Graham, Denny
Director:
CR PM: Andreen, Doug

Description Of Change

Covad requests that joint maintenance and trouble isolation be placed in the same location on the Qwest web site. This would include wiring diagrams for connecting DS1/3 circuits on their ICDF, number conversion chart for splitters located in the common area, splitter card RMA process, process for strapping out defective data lines that impair voice, synch testing for new services, synch testing for trouble isolation, etc. Covad believes that this will assist both the Qwest and Covad operations technicians in insuring that the proper processes are being followed.

Expected Deliverable: As Soon as Possible


Status History

01/16/04 - CR Submitted

01/16/04 - CR Acknowledged

1/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

1/21/04 - Status will remain in Submitted

2/11/04 - Held Clarification call

2/17/04 - Sent clarification call minutes

2/18/04 -February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

2/18/04 - Status changed to Presented

3/17/04 -March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

4/21/04 -April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/26/04 - Qwest sent notice of ad hoc meeting CMPR.04.26.04.F.01603.Ad_Hoc_Mtg 5/4/04 3-4 MDT

5/19/04 -May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

6/16/04 -June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

7/15/04 - Qwest sent notice NETW.07.15.04.F.01877.Websites_for_PC011604-1

7/21/04 -July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

7/21/04 July CMP Meeting Denny Graham, Qwest stated his action item to put together a list of URLs for sites researched as part of this CR has been completed. This list was sent as a Level 1 notice on July 15. John Berard, Covad said he has seen the list and agrees that this fulfills the commitment. This concludes the action item and the CR will be removed from the active file. The CR is already in Denied status.

-- 6/16/04 CMP June Meeting Denny Graham, Qwest summarized the denial response that stated all the examples submitted by Covad were available on the Qwest website and that, if needed, training on navigating the Qwest web site was available. Based on this and the cost of developing and maintaining a separate web page the CR was being denied because the requested change is economically not feasible and also does not result in a reasonably demonstrable business benefit (to Qwest or the requesting CLEC) or customer service improvement. Bonnie Johnson, Eschelon asked if it would be less work to have one page and link to the various processes. Jamal Boudhaouia, Qwest answered that creating and maintaining a separate repository based on feedback from developers is economically not feasible. Bonnie then asked if it would be possible to provide a job aide with bookmarks to the various sites. Jamal said his understanding is that if Covad could find these sites that they obviously know how to access them. Bonnie asked if Qwest could provide the information to all the CLECs or is this Covad’s responsibility. John Berard, Covad added that a word document with hyperlinks would suffice. Susie Bliss, Qwest asked if John had this. John answered no, but that he knows the concern is maintenance and he would be ok with a one time word document. Bonnie asked if Jamal was providing such a document for Qwest. Jamal said they are doing the research for Qwest. Liz asked if Qwest could point out where these sites are. Susie asked if we could put a list of the sites that were researched as part of the CR with hyperlinks in the denial. John added there were only 6 or 7 sites. Jamal said yes and would take as an action item since the denial had already been sent. Bonnie asked for confirmation that Qwest would provide the information on a one time basis. The CR status will be changed to Denied.

- 5/19/04 CMP May Meeting Minutes Denny Graham, Qwest said that since the last meeting an additional clarification call was held and that Covad had provided examples to Qwest that are now under evaluation. Denny said a response will be available at the June meeting. The CR will stay in Evaluation.

- Ad Hoc Meeting Minutes PC011604-1 All Joint Maintenance and Trouble Isolation Documentation be placed in the same location on the Qwest Web Site CMP Product & Process 5/4/2004 1-877-521-8688, Conference ID 1456160 3:00 p.m. – 4:00 p.m. Mountain Time

PURPOSE

To move ahead with the evaluation of this CR.

List of Attendees: Carla Pardee, AT&T Liz Balvin, MCI Mike Zulevic, Covad John Berard, Covad Jennifer Arnold, U S Link Emily Baird, POPP Telecom Steve Collier, Eschelon Denny Graham, Qwest Communications Jarby Blackmun, Qwest Communications Jim Recker, Qwest Communications Erin Martin, Qwest Communications Mike Johnson, Qwest Communications Kit Thomte, Qwest Communications Doug Andreen, Qwest Communications

MEETING MINUTES

The meeting began with Qwest making introductions and welcoming all attendees.

John Berard, Covad reviewed the purpose of the CR. He said that when Covad technicians are working in the COs they need to look at what procedures to follow through one central location.

Mike Zulevic, Covad said that on points of termination and other situations this would be for both CLECs and Qwest and should help avoid misunderstandings between the two.

Doug Andreen, Qwest asked if this should be limited to CO processes. Mike answered no that it should include appropriate maintenance processes also.

Doug asked if all the processes were now located on the Qwest website. Mike said for the most part yes although some might be classified as proprietary.

Jim Recker, Qwest said that he wants to make sure that we don’t go down the wrong path by trying to do everything at once. So if we can pick one item and move forward to model and see if this can be done. With the proprietary information and information not on the web site we have to work through how to proceed.

Mike stated that the vast majority of data resides on soft copy and he could send sever examples.

Kit Thomte, Qwest asked Mike if he could send two or three examples to look at. Mike agreed and will send them to Doug.

Mike said the wiring schemes would be specific to Covad but all other information should be standard for all CLECs.

Denny Graham, Qwest asked if the wiring schemes were CO specific. Mike said no, that what he is proposing is generic information on how Qwest does things.

Kit asked what happens if Qwest and the CLECs miscommunicate. Mike offered an example where a Qwest technical wired a DS 1 circuit straight through when Covad expected something else. This resulted in three technicians being involved at different times and eventually the circuit was out of service. If there was a place to go to verify the wiring the problem could have been avoided.

Liz Balvin, MCI asked if Qwest was placing some M&Ps on the site. Jim said that Qwest could work with some process people to determine what should go on the site.

Liz brought up that Qwest technicians may also have suggestions. Jim agreed to hold a meeting with some of the Qwest technician’ supervisors s to get their input.

Mike pointed out that these documents already exist and it’s a matter of getting them together. He also said that Jamal Boudhaovia would be familiar with the CO documents.

Jim asked Mike how he got copies of the documents now. Mike said that through a variety of ways email etc. Mike said for instance the PCAT for Sync Testing is out there but not the easiest to locate for field technicians.

It was agreed that Qwest will review the documents that Covad will send and schedule another ad-hoc call after the review and meeting with Qwest technician’s supervisors.

4/21/04 April CMP Meeting Denny Graham, Qwest asked the request be moved to Evaluation and stated that Qwest is still awaiting examples from John Berard on how Covad technicians access this information. Mike Zulevic, Covad said that much of this documentation resides on the technicians own hard drives or on various places on the web site. Mike said he would talk to John about the examples but the idea is to bring the documentation into one web site for use by the CLECs and Qwest. Mike stated that some of the documentation resides on Qwest proprietary databases. The CLECs also need access to this information as they are common or mutually agreed to processes. Mike said this would really be a repository for common information. Bonnie Johnson, Eschelon offered as an example the process around dispatch after normal access hours. If the documentation were in a common area there would be no dispute about what the process should be. Denny stated that what Qwest needs is where the CLEC technicians go to get the information. Kit Thomte, Qwest said that Qwest will organize an ad-hoc meeting as a way to start dialogue. Denny asked if any of the documentation in the CR was specific to Covad. Mike said the wiring diagrams were but all other categories were not. Liz Balvin, MCI said that Qwest would also benefit from gathering all the documentation in one place. The CR will move to Evaluation.

- 03/17/04 March CMP Meeting Denny Graham, Qwest stated that Qwest is evaluating the request in cooperation with Covad. Doug Andreen, Qwest further stated that Qwest is awaiting examples of how a typical search is done today from Covad. John Berard, Covad said he would forward the examples. It was agreed no screen shots are needed. This CR will remain in Presented status.

-- 2/18/04 CMP Meeting This was a walk-on CR by Covad in January. Doug Andreen, Qwest in John Berard’s absence stated that a Clarification call was held and the intent of the CR is to provide a method of easy access to documentation that the Qwest and CLECs technicians commonly use in trouble isolation and maintenance work. The CR calls for the documentation to be located or accessible from a common point on the web. Jim Recker, Qwest added that John would provide us with examples of processes Covad now uses to find the documentation. This CR will be moved to Presented status.

CLEC Change Request Clarification Meeting 2:30 p.m. (MDT) / Wednesday February 11, 2004 1-877-521-8688 1456160# PC011604-1 All Joint Maintenance and Trouble Isolation Documentation be placed in the same location on the Qwest Web Site

Attendees John Berard, Covad Liz Balvin, MCI Kim Isaacs, Eschelon Jim Recker, Qwest Mike Johnson, Qwest Alice Matthews, Qwest Doug Andreen, Qwest Jarby Blackmun, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change Doug read and reviewed the CR. Covad requests that joint maintenance and trouble isolation be placed in the same location on the Qwest web site. This would include wiring diagrams for connecting DS1/3 circuits on their ICDF, number conversion chart for splitters located in the common area, splitter card RMA process, process for strapping out defective data lines that impair voice, synch testing for new services, synch testing for trouble isolation, etc. Covad believes that this will assist both the Qwest and Covad operations technicians in insuring that the proper processes are being followed. John Berard, Covad added that the request came from their technicans. He also wanted to add two items to the list of documentation ie. The Qwest Test Point Documents and the MOP form. Mike Johnson, Qwest asked if all documents have been identified. John answered with the two additions and the documents on the CR that all have been. Doug Andreen, wanted to clarify that no change in any document is needed but they just need to somehow be located together on the web. John indicated that was correct. John further stated that using a table to link to the documents current locations would be acceptable. Jim Recker, Qwest brought up that we would need to find out how the documents are being arranged today and their current locations. Mike asked if there was a time frame for this CR. John answered no but as soon as reasonably possible. Jim asked how Covad technicians located the documents today. John said that a lot of the time the technician would call his office. He will then try to get in the correct section and then do a search. Jim asked if he could provide an example. John said he would email an example to Doug for distribution to the group. Jim questioned if what John was interested was sort of a front door. John replied that would work. Confirm Areas & Products Impacted Documentation placement on web.

Confirm Right Personnel Involved Correct personnel were involved in the meeting.

Identify/Confirm CLEC’s Expectation Implementation to be as soon as possible

Identify any Dependent Systems Change Requests None

Establish Action Plan (Resolution Time Frame) John will present the CR for Covad at the February CMP meeting. The response will be due at the March meeting.

1/21/04 January CMP Meeting Mike Zulevic, Covad walked-on this CR which calls for the placement of all documentation used by technicians in a common location on the Web. He said most of the documentation is available but is located in several different locations. He is calling for a grouping perhaps by process or a functional grouping for the technician. Examples of the type of documentation would be demarc information, DS1-3 ICDFs and how they are wired out, blank form for MOP etc.


CenturyLink Response

June 8, 2004

REVISED RESPONSE For Review by the CLEC Community and Discussion at the June 16, 2004 CMP Meeting

John Berard Director - Operations Support Covad Communications

SUBJECT: Qwest Change Request Response CR PC011604-1 All Joint Maintenance and Trouble Isolation Documentation be placed in the same location on the Qwest Web Site

This letter is in response to Covad Communications Change Request (CR) PC011604-1. This CR requests that Qwest place all joint maintenance and trouble isolation documentation in the same location on the Qwest web site.

The documentation referenced in this CR and provided to Qwest as examples already exist on the Qwest Wholesale Website. Additionally, Qwest has existing training material available on the Qwest Wholesale Website for the user. The training is located at http://www.qwest.com/wholesale/training/iltdescwhtour.html and outlines how to navigate within the Wholesale website.

To place joint documentation on a single website would require the addition of a new location within the existing Wholesale website. The requested information would then need to be identified on the existing location(s) and linked to the new site. Developing this new site would merely duplicate the information that is already available. The estimated cost of providing this request is $125,000 per year.

Therefore, Qwest respectfully denies the request because the requested change is economically not feasible and also does not result in a reasonably demonstrable business benefit (to Qwest or the requesting CLEC) or customer service improvement. As an alternative it is recommended that both Qwest and the CLEC instruct the individual technicians to maintain bookmarks that would enable them to rapidly locate pertinent documentation.

Sincerely, Denny Graham

-- March 9, 2004

For Review by the CLEC community and discussion at the March 18, 2004 CMP Meeting

John Berard Covad

SUBJECT: Qwest’s Change Request Response - CR PC011604-1 "All Joint Maintenance and Trouble Isolation Documentation be placed in the same location on the Qwest Web Site"

This CR as submitted by Covad requests that joint maintenance and trouble isolation be placed in the same location on the Qwest web site. This would include wiring diagrams for connecting DS1/3 circuits on their ICDF, number conversion chart for splitters located in the common area, splitter card RMA process, process for strapping out defective data lines that impair voice, synch testing for new services, synch testing for trouble isolation, etc. Covad believes that this will assist both the Qwest and Covad operations technicians in insuring that the proper processes are being followed.

Qwest is evaluating this request in cooperation with Covad. Qwest is awaiting a response from John Berard in answer to a request from Qwest for examples of Covad’s current process to access this information. With this input Qwest can compare the Qwest Processes and the Covad processes to determine the feasibility of providing this request.

At this time the CR is still in the clarification stage. Upon receipt of the Covad process, Qwest will move the CR into the Evaluation status.

Sincerely,

Denny Graham Staff Advocate, Policy & Law Qwest

Cc: Mary Retka, Director-Legal Issues, Qwest Catherine R. Garcia, Lead Process Analyst, Qwest Cheryl Rock, Senior Process Analyst, Qwest


Open Product/Process CR PC051403-4 Detail

 
Title: Sync Test for Loop Splitting on Maintenance Trouble Tickets and Sync Testing for provisioning of Loop Splitting
CR Number Current Status
Date
Area Impacted Products Impacted

PC051403-4 Completed
8/18/2004
Provisioning / Maintenance & Repaire Loop Splitting
Originator: Berard, John
Originator Company Name: Covad
Owner: Moreland, Heidi
Director:
CR PM: Harlan, Cindy

Description Of Change

Covad requests that Qwest extend their existing process of sync testing on provisioning of line share orders to include Sync Testing for Trouble Tickets on Loop Splitting. In addition, Covad requests that the current process of provisioning for line sharing be expanded to include Loop Splitting.

Expected Deliverable

As soon as possible


Status History

06/30/03 - Opened CR for Loop Splitting product on behalf of Covad, Loop Splitting product removed from CR PC051403-1

07/16/03 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

08/20/03 - August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/14/04 - Qwest issued PROD.01.14.04.F.01233.LoopSplittingV16 proposed effective date 2/28/04

01/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

02/12/04 - Qwest issued Final notice PROD.02.12.04.F.01321.FNL_Loop_Split_V16 will become operational 2/27/04

02/18/04 - February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

02/25/04 - Qwest issued PROD.02.25.04.F.01413.Retract_Loop_Split_V16

03/17/04 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/21/04 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

05/11/04 - Qwest issued PROD.05.11.04.F.01660.PCAT_Updates, proposed effective date 6/25/04

05/19/04 - May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

06/10/04 - Qwest issued PROD.06.10.04.F.01766.FNL_PCAT_Updates, CMP - FINAL NOTICE - Loop Splitting - V18.0 effective date 6/25/04

06/16/04 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

07/21/04 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

8/16/04 - August CMP meeting mintues will be posted to the database


Project Meetings

8/16/04 CMP Meeting Mintues Heidi Moreland advised this report has been in CLEC Test for one month and Qwest would like to close this CR. John Berard – Covad advised it is okay to close. John advised they have set up the process and provided emails. The process has not been used yet but if there is a problem Covad will let us know. This CR will move to Completed Status.

07/21/04 July CMP Meeting Heidi Moreland – Qwest advised that this CR was effective June 25. Qwest will move this CR to CLEC Test status.

06/16/04 June CMP Meeting Heidi Moreland with Qwest gave an update that the Loop Splitting PCAT was sent out for review and will become effective on 6/25/04. Heidi asked if this CR could move to CLEC Test and later in the meeting, all decided it could move to CLEC Test after the PCAT is effective, but should remain in Development status until the PCAT is effective. After reviewing the CMP Document, Section 5.8, Qwest believes that the work needs to be completed for each status type (i.e. CLEC Test) before the status is changed. Status should only be changed upon agreement in the Monthly Meeting. This CR will remain in Development Status. This CR would move to CLEC Test in July as the effective date is 6/25/04.

05/19/04 May CMP Meeting Heidi Moreland with Qwest gave an update that the Loop Splitting PCAT was sent out for review and comment on 5/12/04 and the proposed effective date is 6/25/04. This CR will remain in Development status.

-- 04/21/04 April CMP Meeting Heidi Moreland with Qwest gave an update that the Loop Splitting PCAT would be out in the next week or so and will include a comment cycle. This CR will remain in Development status.

03/17/04 March CMP Meeting Heidi Moreland with Qwest gave an update that the Loop Splitting V16 PCAT was ready to be implemented on 2/27 and was retracted because the jep code, S1 used for Sync Test on Line Sharing, will not work for Loop Splitting because Loop Splitting follows the design services flow and new jep code will require work in IMA. The solution identified, and discussed with Covad last week, requires the use of the PTA notice process on DVA, and then if sync testing fails on the due date, Qwest will jep the order C01. John Berard with Covad said that the PTA process would work for their operations group. Ervin Rea asked if CO1, since the jep code effects performance, would be appropriate when sync test fails. Heidi said that if sync test fails it is due to the CLEC equipment not being ready and therefore CO1 would be valid. Heidi said we could hold an ad hoc meeting to discuss the process further. It was agreed that an ad hoc meeting was not needed and Heidi will get the PCAT updated. This CR will remain in Development status.

-- 02/18/04 February CMP Meeting Heidi Moreland with Qwest gave an update that the Loop Splitting V16 PCAT adding sync testing for provisioning and repair requests will become effective on 2/27/04. This CR will remain in Development status.

01/21/04 January CMP Meeting Linda Sanchez-Steinke with Qwest gave an update that the Loop Splitting V16 PCAT adding sync testing for provisioning and repair requests was posted on 1/14/04 as a Level 3 notification. The comment cycle will close on 1/29/04 and the proposed effective date is 2/28/04. This CR will remain in Development status.

12/17/03 December CMP Meeting Heidi Moreland with Qwest said the PCAT changes will be out in the January timeframe for review. This CR will remain in Development status.

11/19/03 November CMP Meeting Heidi Moreland with Qwest reviewed the revised response and said that the process is under development. At the December meeting there will be a status update. This CR will remain in Development status.

10/15/03 October CMP Meeting Heidi Moreland with Qwest reviewed the revised response and said that Qwest will implement this change request. Carla Pardee asked what date this would be implemented. Heidi Moreland said that we do not have an implementation date. This CR will move to Development status.

09/17/03 September CMP Meeting Heidi Moreland with Qwest gave an updated response that Qwest is evaluating this request. Covad agreed this CR remain in Evaluation status.

08/20/03 August CMP Meeting Heidi Moreland with Qwest provided an update that Qwest is investigating providing Sync testing for Loop Splitting. Loop Splitting follows the design flow using TIRKS and the two databases, TIRKS and Switch/FOMS do not communicate with each other. Qwest would like to keep this CR in evaluation status while during further investigation and will provide an update at the September meeting.

07/16/03 July CMP Meeting Craig Suellentrop with Qwest explained that this CR was opened to address Sync testing for Loop Splitting. Craig presented the response for this CR saying that Qwest needs more time to evaluate sync testing for the Loop Splitting product. This CR will move to Evaluation status.


CenturyLink Response

November 11, 2003

For Review by the CLEC Community and Discussion at the November 19, 2003 CMP Meeting

John Berard Director - Operations Support Covad Communications

SUBJECT:Qwest’s Change Request Response - PC051403-4 Sync Test for Loop Splitting on Maintenance Trouble Tickets and Sync Testing for provisioning of Loop Splitting

This letter is in response to CLEC Change Request PC051403-4. This CR is a request by Covad for Qwest to extend the existing process of Synchronization Testing on Line Sharing requests to include the Loop Splitting product. Covad also requests that Sync Testing be implemented for repair tickets on Loop Splitting. This CR has been accepted and is currently under development. Qwest will expand the current provisioning process to include Sync Testing on Loop Splitting. For Loop Splitting repair, Qwest will perform Sync Testing upon CLEC request..

Sincerely,

Heidi Moreland Staff Advocate Policy and Law Qwest

Craig Suellentrop Staff Advocate Policy and Law Qwest

-- October 1, 2003

REVISED DRAFT RESPONSE For Review by the CLEC Community and Discussion at the October 15, 2003 CMP Meeting

John Berard Director - Operations Support Covad Communications

SUBJECT: Qwest’s Change Request Response - PC051403-4 "Sync Test for Loop Splitting on Maintenance Trouble Tickets and Sync Testing for provisioning of Loop Splitting"

This letter is in response to CLEC Change Request PC051403-4. This CR is a request by Covad for Qwest to extend the existing process of Synchronization Testing on Line Sharing requests to include the Loop Splitting product. Covad also requests that Sync Testing be implemented for repair tickets on Loop Splitting. Qwest is accepting this CR for Sync Testing on Loop Splitting provisioning and repair and ask that it be moved into the development stage.

Sincerely,

Heidi Moreland Staff Advocate Policy and Law Qwest

Craig Suellentrop Staff Advocate Policy and Law Qwest

September 9, 2003

REVISED DRAFT RESPONSE For Review by the CLEC Community and Discussion at the September 17, 2003 CMP Meeting

John Berard Director - Operations Support Covad Communications

SUBJECT: Qwest’s Change Request Response - PC051403-4 "Sync Test for Loop Splitting on Maintenance Trouble Tickets and Sync Testing for provisioning of Loop Splitting"

This letter is in response to CLEC Change Request PC051403-4. This CR is a request by Covad for Qwest to extend the existing process of Synchronization Testing on Line Sharing requests to include the Loop Splitting product. Covad also requests that Sync Testing be implemented for repair tickets on Loop Splitting. Qwest is requesting an additional extension of the evaluation period for this CR for Sync Testing on Loop Splitting provisioning and repair.

Today, for central office based Shared Loop DSLAMS, Qwest populates the Synchronization Testing protocol (i.e., DMT, etc.) into our Switch/FOMS database. This works well for central office based Line Sharing and Line Splitting products since they follow the POTS process flow and Switch/FOMS is utilized for POTS services. The Loop Splitting product follows Qwest’s designed service process and as such uses the TIRKS database. Switch/FOMS and TIRKS are not compatible systems nor are they linked to transfer information. Qwest is requesting this CR remain in evaluation status to enable further systems capability analysis. The complexity of the systems issues requires deep analysis from many departments and Qwest continues to explore possible options. Qwest will provide a revised response at the October CMP meeting.

Sincerely,

Heidi Moreland Staff Advocate Policy and Law Qwest

Craig Suellentrop Staff Advocate Policy and Law Qwest

August 13, 2003

DRAFT RESPONSE For Review by the CLEC Community and Discussion at the August 20, 2003 CMP Meeting

John Berard Director - Operations Support Covad Communications

SUBJECT: Qwest’s Change Request Response - PC051403-4 "Sync Test for Loop Splitting on Maintenance Trouble Tickets and Sync Testing for provisioning of Loop Splitting"

This letter is in response to CLEC Change Request PC051403-4. This CR is a request by Covad for Qwest to extend the existing process of Synchronization Testing on Line Sharing requests to include the Loop Splitting product. Covad also requests that Sync Testing be implemented for repair tickets on Loop Splitting. Qwest is requesting an extension of the evaluation period for this CR for Sync Testing on Loop Splitting provisioning and repair.

Today, for central office based Shared Loop DSLAMS, Qwest populates the Synchronization Testing protocol (i.e., DMT, etc.) into our Switch/FOMS database. This works well for central office based Line Sharing and Line Splitting products since they follow the POTS process flow and Switch/FOMS is utilized for POTS services. The Loop Splitting product follows Qwest’s designed service process and as such uses the TIRKS database. Switch/FOMS and TIRKS are not compatible systems nor are they linked to transfer information. Qwest is requesting this CR remain in evaluation status to enable further systems capability analysis. Qwest will provide a revised response at the September CMP meeting.

Sincerely,

Heidi Moreland Staff Advocate Policy and Law Qwest

Craig Suellentrop Staff Advocate Policy and Law Qwest

July 2, 2003

DRAFT RESPONSE For Review by the CLEC Community and Discussion at the July 16, 2003 CMP Meeting

John Berard Director Operations Support Covad

SUBJECT: Qwest’s Change Request Response - CR 051403-4 "Sync Test for Loop Splitting on Maintenance Trouble Tickets and Sync Testing for provisioning of Loop Splitting"

This CR requests that Qwest extend the existing process of Sync Testing on Line Sharing requests to include the Loop Splitting product. Covad also requests that Sync Testing be implemented for repair tickets on Loop Splitting.

Since the Loop Splitting product follows Qwest’s designed services process while Line Sharing and Line Splitting follow the non-designed process, this request is much more complex than PC051403-1. Different systems are used for designed products and a different process would be required. Because of this complexity, Qwest needs additional time to evaluate this request. This change request should be placed in evaluation status.

Sincerely,

Craig Suellentrop, Staff Advocate-Policy & Law, Qwest Heidi Moreland, Staff Advocate-Policy & Law, Qwest

Cc: Mary Retka, Director, Legal Issues Jamal Boudhaouia, Staff Advocate-Policy & Law, Qwest Debra S. Smith, Product Manager, Qwest Catherine R. Garcia, Lead Process Analyst, Qwest Michael Lanoue, Lead Process Analyst, Qwest


Open Product/Process CR PC051403-1 Detail

 
Title: Sync Test for Line share and Line Splitting on Maintenance Trouble Tickets and Sync Testing for provisioning of Line Splitting.
CR Number Current Status
Date
Area Impacted Products Impacted

PC051403-1 Crossover
7/27/2009
Maintenance, Repair, Provisioning Line Sharing, Line Splitting
Originator: Berard, John
Originator Company Name: Covad
Owner: Suellentrop, Craig
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Covad requests that Qwest extend their existing process of sync testing on provisioning of line share orders to include Sync Testing for Trouble Tickets on Line Sharing and Line Splitting. In addition, Covad requests that the current process of provisioning for line sharing be expanded to include Line Splitting.

Expected Deliverables:

As soon as possible.


Status History

05/14/03 - CR Received

05/15/03 - CR Acknowledged

05/19/03 - Clarification Meeting scheduled

05/20/03 - Held Clarification Meeting. CR changed to reflect Line Sharing Product only for sync testing per John Berard with Covad.

05/21/03 - May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

05/28/03 - Received change request e-mail from John Berard with changes to change request, posted in database

05/30/03 - Left voice mail for John Berard with date to schedule additional clarification meeting

06/13/03 - Held second Clarification Meeting

06/18/03 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

07/16/03 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

07/16/03 - Created cross over CR, SCR051403-01X


Project Meetings

07/16/03 July CMP Meeting Craig Suellentrop with Qwest presented the response for this CR. Because of the systems work necessary to select sync testing and request the protocol for testing, this CR will be crossed over to Systems and will be discussed at the Systems meeting 7/17/03. Covad agreed to cross over the change request to Systems.

06/18/03 June CMP Meeting John Berard with Covad presented this CR. Covad would like to have the capability of sync testing for line sharing maintenance and would also like to have sync testing available for line splitting and loop splitting, both provisioning and maintenance. Craig Suellentrop said that he received the e-mail from John about the 102 characters allowed in the remarks section of CEMR and if the character limit would not be enough room to identify the protocol for sync testing. John said that the remarks field is written over and suggested use of another field. John said that as an interim solution, the remarks field could be used until a longer-term systems solution can be implemented. Qwest will provide a response on this CR at the July CMP meeting and this CR will be moved to Presented status.

From: Berard, John [jberard@covad.com] To: Linda Sanchez-Steinke, Craig Suellentrop, Heidi Moreland, Michael Zulevic Subject: RE: PC051403-1 Clarification Meeting Minutes Date: 6/17/03 Linda:

I did check with our repair group and it would be no problem to provide the protocol when a trouble ticket is opened... However, for the lineshare family of products there is only 102 characters allowed in the comment section of CEMR. If you would like Covad to provide this when we open the ticket the comment space limitations would need to be removed. Or allow us to use another field to provide this information.

John Berard Director - Operations Support/Change Mgt - Covad Office # 1 720 208 2109 Cell Phone # 1 303 881 8652 eFAX # 1 707 549-5332 Pager 3038818652@mobile.att.net Mailing Address: 7901 Lowry Blvd Denver, CO 80220

CLEC Change Request Clarification Meeting 10:00 a.m. (MDT) / Friday, June 13, 2003 1-877-562-8687 3393947# PC051403-1 Sync Test for Line share, Loop Splitting, and Line Splitting on Maintenance Trouble Tickets and Sync Testing for provisioning of Line and Loop Splitting.

Name/Company: Mike Zulevic, Covad John Berard, Covad Craig Suellentrop, Qwest Heidi Moreland, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change Covad request that Qwest extend their existing process of sync testing on provisioning of line share orders to include Sync Testing for Trouble Tickets on Line Sharing and Line and Loop Splitting. In addition, Covad requests that the current process of provisioning for line sharing be expanded to include Line and Loop Splitting. Craig Suellentrop asked if Covad would be able to provide the protocol when a trouble ticket is submitted. John or Mike will check on that and get back to Linda.

Confirm Areas & Products Impacted Line Sharing, Line Splitting and Loop Splitting Maintenance Trouble Tickets Line and Loop Splitting Provisioning

Confirm Right Personnel Involved Qwest confirmed that Craig Suellentrop and Heidi Moreland are correct personnel to resolve the CR.

Identify/Confirm CLEC’s Expectation Provide sync testing on Line Sharing and Line and Loop Splitting trouble tickets and provide sync testing on Line and Loop Splitting provisioning orders.

Identify any Dependent Systems Change Requests No systems change requests.

Establish Action Plan (Resolution Time Frame) Covad will present this CR at the June meeting and Qwest will provide a response at the July meeting.

05/21/03 May CMP Meeting John Berard - Covad reviewed the walk on CR PC051403-1 Sync Test for Line Sharing on Maintenance Trouble Tickets. They want to use the same test capability to isolate trouble in CO. They want this done on Line Sharing, Line Splitting, and all shared services. John Berard with Covad will update the products and areas impacted on this change request and e-mail to Linda Sanchez-Steinke.

CLEC Change Request Clarification Meeting 11:00 a.m. (MT) / May 20, 2003 1-877-572-8687 Conf. ID 3393947 # PC051403-1 Sync Test for Line sharing on Maintenance Trouble Tickets Attendees Attended Conference Call Name/Company: John Berard, Covad Director Operations Support Jamal Boudhaouia, Qwest Network Technical / Regulatory Craig Suellentrop, Qwest Network Technical / Regulatory Deb Smith Product Management Linda Sanchez-Steinke, Qwest Change Request Project Manager

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change The change request asks that Qwest expand the existing synchronization testing available for line sharing provisioning, to repair. Deb Smith asked if the request was for UNE and said that Qwest offers sync testing on line sharing only. John Berard with Covad said that the change request should be revised to reflect just line sharing product. Craig Suellentrop asked if Covad would expect sync testing on every trouble report and if Covad would provide the protocol type. John said Covad would like the ability to request sync testing on trouble reports and would like Qwest to be able to reference the protocol that was provisioned and if it was not possible, it would be acceptable for Covad to provide the protocol on the trouble report.

Confirm Areas & Products Impacted Product impacted is Line sharing. The change request will be updated to reflect Line sharing only.

Confirm Right Personnel Involved Qwest confirmed that Jamal Boudhaouia, Craig Suellentrop, Deb Smith, are the correct personnel to resolve the CR.

Identify/Confirm CLEC’s Expectation Covad is requesting that Qwest develop a sync testing process for Line sharing maintenance. Identify any Dependent Systems Change Requests No dependent change requests were identified. Craig Suellentrop identified that changes may be required for CEMR.

Establish Action Plan (Resolution Time Frame) Covad would like to present this CR as a walk-on at the May 21, 2003 CMP meeting.


CenturyLink Response

July 2, 2003

DRAFT RESPONSE For Review by the CLEC Community and Discussion at the July 16, 2003 CMP Meeting

John Berard Director Operations Support Covad

SUBJECT: Qwest’s Change Request Response - CR 051403-1 "Sync Test for Line sharing and Line Splitting on Maintenance Trouble Tickets and Sync Testing for provisioning of Line Splitting"

This CR requests that Qwest extend the existing process of Sync Testing on Line Sharing requests to include the Line Splitting product. Covad also requests that Sync Testing be implemented for repair tickets on Line Sharing and Line Splitting.

Qwest accepts this change request to perform sync testing in the Central Office for Line Splitting on provisioning, and for both Line Sharing and Line Splitting on repair.

Qwest will perform Sync Testing in the Central Office on Line Sharing and Line Splitting repair tickets upon CLEC request. When the CLEC issues a repair report, the CLEC will need to provide Qwest with the appropriate protocol to test (DMT-T1.413, DMT-G.LITE, DMT-G.DMT or CAP) as well as provide the setting for Rate Limiting and Auto Sync (On or Off). Qwest will also expand the current provisioning Sync Testing process to include Line Splitting.

These changes to the repair process require updates to CEMR/RCE to allow the CLEC or Qwest’s repair agent to select the options noted above. Therefore, this CR will be crossed-over to Systems. Qwest intends to implement the requested changes in mid-August, 2003.

Sincerely,

Craig Suellentrop, Staff Advocate-Policy & Law, Qwest Heidi Moreland, Staff Advocate-Policy & Law, Qwest

Cc: Mary Retka, Director, Legal Issues Jamal Boudhaouia, Staff Advocate-Policy & Law, Qwest Debra S. Smith, Product Manager, Qwest Catherine R. Garcia, Lead Process Analyst, Qwest Michael Lanoue, Lead Process Analyst, Qwest


Open Product/Process CR PC051403-2 Detail

 
Title: Adding Zone information to Bills
CR Number Current Status
Date
Area Impacted Products Impacted

PC051403-2 Withdrawn
9/17/2003
Billing UNE, Unbundled Loop, 2-Wire Non-loaded Loop, ISDN Compatible Loop, 2-Wire Digital Loop, UNE-P
Originator: Berard, John
Originator Company Name: Covad
Owner: Kilker, Terri
Director:
CR PM: Harlan, Cindy

Description Of Change

Revised Request

Currently Qwest does not reflect the Zone information on the Bill. USOC rates vary by Zone. Knowing the Zone is needed in order to reconcile our bills. In addition, Covad requests that all one-time charges on our bill include USOC’s.

Original Request

Currently Qwest does not reflect the Zone information on the Bill. USOC rates vary by Zone. Knowing the Zone is needed in order to reconcile our bills.

Expected Deliverables:

As soon as possible.


Status History

5/14/03: CR Received

5/15/03: CR Acknowledged

05/20/03: Description of Change Revised by Covad

05/28/03: Clarification Meeting

06/18/03 - Discussed at CMP Meeting

07/09/03 - Qwest response posted and distributed

07/16/03 - CR Discussed at CMP Monthly Meeting

07/25/03 - Updated list of products impacted; Unbundled Loop 2-Wire Non-Loaded Loop, ISDN Compatible Loop, 2-Wire Digital Loop, ISDN Basic Rate Loop, 2 Wire ADSL

8/21/03 - Discussed at CMP Meeting

9/17/03 - This CR will be closed and tracked by SCR063030-03IG. Sep CMP meeting notes will be posted to the database


Project Meetings

9-19-03 John Berard agreed to withdraw this CR as SCR061703-03IG has an implementation date of 06-2004.

9-17-03 CMP Meeting Terri Kilker – Qwest advised we have worked with Covad to review the additional products and determined those products are not zone billed so zone information would not be shown on the bills. The outstanding problem on this CR regarding non-recurring USOC charges in Western was reviewed. It was determined that systems CR SCR061703-03IG will take care of this problem. John would like to know the implementation date of the SCR061703-03IG. John didn’t want to combine this request with the other request if it would increase the delivery timeframe.

CMP Meeting 08-20-03

Kilker-Qwest presented the revised acceptance response. Stichter-Eschelon stated that there was an open systems CR that covered this same subject. White-Qwest stated that these two CRs were being worked in conjunction. The CR was moved into Development status.

=================================================

Ad Hoc Meeting Minutes PC051403-2 Adding Zone information to Bills CMP Product & Process July 25, 2003 1-877-572-8687, Conference ID 3393947# 10:00 a.m. - 10:30 a.m. Mountain Time

PURPOSE

At the July CMP Meeting, participants agreed to hold a conference call and include CLEC technical experts for a discussion about products beyond UNE-P CLECs desire rate zone and USOC information. The following is the write-up of the discussions, action items, and decisions made in the working session.

List of Attendees: Mike Olser - Covad Candy Davis - Covad John Berard - Covad Lori Mendoza - Allegiance Liz Balvin - MCI Stephanie Prull - McLeod USA Terri Kilker Qwest Crystal Soderlund - Qwest Carl Sear - Qwest

MEETING MINUTES

The meeting began with Qwest making introductions and welcoming all attendees.

Linda Sanchez-Steinke with Qwest provided brief history of the change request and said that Qwest arranged this meeting to discuss what products CLECs desire rate zone and USOC information in their bill. John Berard with Covad said that Covad had found when performing bill reconciliation they are not getting all zone information they need to receive. Candy Davis with Covad said that some states, Colorado, Minnesota, and Oregon are missing the zone on the spreadsheet provided. Carl said that he had investigated the rate zone examples and determined they were Line Sharing examples. Crystal Soderlund with Qwest said that Line Sharing is billed at a flat rate and not rate zoned. There are missing USOCs for non-recurring charges in the western region. Carl is investigating the missing USOCs.

To clear up confusion about why some accounts have USOCs and some don’t, Crystal explained that BANs for unbundled loop and line sharing were sometimes combined due to the initial implementation timeframes required for the product. As Qwest finds these BANs they are separated and currently the products are billing on separate BANs.

Candy asked if it would be accurate to say they can get USOC and zone information on electronic as well as paper bills. Carl said yes USOC and rate zone information is provided in both formats and that line sharing is not billed by rate zone but is a flat rated charge. Carl asked if Covad gets EDI or ASCII. Candy answered they receive BOS BDT. Carl will ask the BOS BDT SME if USOCs appear on those bills.

Terri asked that Covad provide examples where they are not getting rate zone and USOC information on other UNE products beside line sharing and Qwest will investigate.

Qwest asked if there were any additional comments. No comments were made.

CMp Meeting 07-16-03

Kilker-Qwest presented the response. She stated that Qwest needed more information from Covad because the product list in the CR description did not include many of the products in the example file Covad provided. Berard-Covad stated that he would send White a comprehensive list of all products Covad wanted this change to apply to. White-Qwest stated that there was an Ad Hoc Meeting scheduled for 7/24 to discuss this change.

======================================== CMP Meeting 06-18-03

Berard-Covad presented the CR. =================================================== Clarification Meeting Tuesday, May 27, 2003

1-877-550-8686 2213337#

Attendees Matt White – Qwest Terri Kilker – Qwest John Berard – Covad Mike Osler – Covad

Introduction of Attendees White-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Berard-Covad reviewed the CR. Kilker-Qwest asked if this is specific to any particular service. Berard-Covad stated that it would be for UNE Loops and Line Share Loops. Kilker-Qwest asked if Covad was associating line sharing with the loops or UNE-P. Berard-Covad stated that is was for both. He asked if this was a defect or just not a current service. Osler-Covad stated that Covad receives the information for some states but not others. He stated that he had some examples pulled together. Kilker-Qwest stated that she’d like to see the examples.

Confirm Areas and Products Impacted White-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted.

Confirm Right Personnel Involved White-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation White-Qwest reviewed the request to confirm Covad’s expectation.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for Covad to present the CR at the June Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

August 13, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the August 20, 2003 CMP Meeting

John Berard, Covad

SUBJECT: Qwest’s Change Request Response – CR # PC051403-2 (Adding Zone Information to Bills)

Qwest amends its earlier acceptance of this change request to now include Unbundled Loop products in addition to UNE-P, based on an Ad-Hoc meeting held on July 25, 2003 with Covad and other interested CLECs.

To briefly recap the events of the meeting, Covad provided a list of additional products for which they were requesting zone and USOC billing detail, in along with the UNE-P products in their original request. The additional products identified were Unbundled Loop (2-Wire Non-Loaded Loop, ISDN Compatible Loop, 2-Wire Digital Loop, ISDN Basic Rate Loop, 2-Wire ADSL) and Shared Loop (Line Sharing.)

In addition to the request for zone and USOC billing detail on the Unbundled Loop and Shared Loop products, Covad clarified that they believe they are currently missing zone or USOC information on some of their Unbundled Loop billing.

Qwest informed Covad and the other CLECs in attendance that Shared Loop (Line Sharing) is not billed based on zones, therefore, zone information cannot be provided. The CLEC representatives in attendance expressed their understanding with Qwest’s position on this issue.

After the meeting concluded, Qwest reviewed additional examples of Unbundled Loop bills that Covad maintained were missing zone or USOC information. As a result of this investigation, Qwest did uncover a condition restricted to the Western region where the English description and rate for any nonrecurring USOC appears on the bill, but the USOC does not appear. Trouble ticket number 197112 has been issued on the condition, and as of this date is pending investigation.

Sincerely,

Terri Kilker Process Specialist Qwest

============================================================= July 9, 2003

REVISED RESPONSE For Review by CLEC Community and Discussion at the July 16, 2003, CMP Product/Process Meeting

SUBJECT: Qwest’s Change Request Response – CR # PC051403-2 (Adding Zone Information to Bills)

This is in response to Covad’s Change Request CR PC051403-2. This change request asks that zone information be reflected on Qwest billing so that Covad can reconcile its bills. Additionally, Covad requests that Qwest include USOCs for one-time charges on its bills.

Qwest has reviewed examples provided by COVAD and finds that for UNE-P products (which may or may not include line splitting), Qwest is currently providing the zone and USOC information; therefore, Qwest accepts this change request for UNE-P.

As a result of its investigation of the examples provided by Covad, Qwest now believes that Covad may have intended this change request to encompass more than UNE-P products. If Covad confirms that it intended for its change request to extend beyond UNE-P products, Qwest recommends that the change request be moved into evaluation status. Qwest would further recommend that Covad revise its change request to provide a precise list of products for which it desires zone and USOC information, and an ad-hoc meeting be scheduled where all appropriate subject matter experts at Covad and Qwest can review Covad’s requirements.

Sincerely,

Terri Kilker Process Specialist Qwest


Open Product/Process CR PC051403-3 Detail

 
Title: Request for Bi Weekly Technical Meetings on Pre Qual Issues
CR Number Current Status
Date
Area Impacted Products Impacted

PC051403-3 Completed
10/15/2003
PreOrdering, Ordering UNE
Originator: Berard, John
Originator Company Name: Covad
Owner: Buckmaster, Cindy
Director:
CR PM: Harlan, Cindy

Description Of Change

Covad is requesting that Qwest provide by-weekly forums to discuss and review Pre-Qual Issues. Currently SBC provides this forum and we have found it very useful. Here is a link to the SBC Forum: https://clec.sbc.com/clec/shell.cfm?section=124 (It is listed as CLEC Technical Forum) The Forum is run by the Pre-Qual Product Manager.

Expected Deliverable:

As soon as possible.


Status History

5/14/03: CR Received

5/14/03: CR Acknowledged

5/23/03: Contact customer

5/27.03: Held clarification meeting

6/3/03: Sent clarification meeting notes to Covad

6/18/03: June CMP Meeting Mintues will be posted to the database.

7/8/03: Posted Response to database

7/16/03: July CMP Meeting Minutes will be posted to the database.

8/20/03: August CMP Meeting Mintues - see notes

9/3/03 : Notification for CLEC Forum distributed. 1st meeting scheduled for 9-11

9/17/03: CMP meeting notes will be posted to the database

9/17/03: Sep CMP Meeting minutes will be posted to the database

9/18/03: Notification for CLEC Forum distributed. 2nd meeting scheduled for 9-25

9/25/03: 2nd meeting held.

10/15/03 - Oct CMP meeting minutes will be posted to the database

1/23/03 - Corrected status to show completed


Project Meetings

October 15, 2003 CMP Meeting Cindy Buckmaster – Qwest advised two meetings have been held. The meeting on October 9 was cancelled. The next scheduled meeting is October 23, 2003. Discussion took place regarding why the meeting was cancelled. A variety of reasons were given, such as minimal agenda items, facilitator schedule conflict, action items still under investigation. Cindy Buckmaster requested that the CLECS send in additional agenda items prior to the meeting. John Berard – Covad agreed to close this CR.

September 17, 2003 CMP Meeting Cindy Macy-Qwest reported that the first meeting was held on September 11, 2003. There was a good turnout and the meeting was productive. Cindy advised the next scheduled meeting is September 25, 2003. Please be prepared with agenda items for the following meeting so Qwest can prepare and provide the information the CLECs are interested in. Bonnie Johnson-Eschelon advised they were told the purpose of the meeting is not to address process issues regarding DSL ordering. Some of the questions they have tie to a process but also related to loop qualification. Cindy Macy explained the intent of this forum is not to replace existing channels that you have. For example, if a change to a process is needed that should come in via CMP, or a change to the system, or if you have a question that your Service Manager would help you with, you should continue to use existing channels. This forum is to provide training and information regarding the Loop Qual tools and documentation. Bring questions to the forum and if it needs to be redirected it will be.

Qwest Loop Qual CLEC Technical Forum Minutes – September 11, 2003 Meeting

Attendees CLECs/Company: Qwest: Derek Hodges – Allegiance Ken Beck Laurie Mendoza – Allegiance Barb Brohl Jackie Stiles – AT&T Cindy Buckmaster Karen Uchida – AT&T Conrad Evans John Berard – Covad Dave Hahn Shiva Sharif –Covad Cheeron Halpern Kelly Morris – Electric Lightwave Lucy Higley* Chairperson Joanna Brower – Eschelon Cheri Hurless Kim Isaacs – Eschelon Lori Langston Katie James – Eschelon Cindy Macy Bonnie Johnson – Eschelon Dave Manica Todd Miller – Eschelon Dennis Pappas Dave Pries – Eschelon Crystal Soderlund Pete Scove – Eschelon Michelle Thacker Liz Balvin – MCI Russ Urevig Chad Warner - MCI Robert Weinstein Kathy McClenahan – Sun River Telecom Eric Yohe Ray Shannon – Sun River Telecom Jennifer Arnold – US Link Kathy Bryant – US Link Jackie Diebold – US Link Donna Dix – US Link Julie Pickar – US Link Jodie Thompson – US Link Kelly Tiegen – US Link

Summary of Meeting Lucy Higley opened the meeting, welcomed the participants to the forum, reviewed the agenda and took roll. Each CLEC and Qwest attendee shared their individual role with the group. The meetings will be held on the 2nd and 4th Thursdays of the month from 9-11 Mountain Time. Minutes and agendas will be posted on the Qwest Wholesale website at: http://www.qwest.com/wholesale/training/tradeShow.html

Cindy Buckmaster set the stage for the Forum which was requested by Covad via CMP CR #PC051403-03. She indicated that the forum’s focus is to educate and provide information about all the Qwest tools available for loop qualification. She also noted that the forum’s intent is not to discuss ordering and provisioning issues. Any issues that come out of the forum that result in enhancements to the tools will go through the normal CMP process. John Berard asked that the forum include discussion of upcoming enhancements to the tools.

Lucy Higley then walked through the Qwest Loop Qualification tools available to the CLECs. The review included discussion of: o Qwest DSL for Resale Tool o Unbundled ADSL Tool o Raw Loop Data Tool o Wire Center Raw Loop Data Tool o Manual Loop Make-up Look Up Process Documentation for these Tools can be located at in the Loop Qualification and Raw Loop Data CLEC Job Aid at: http://www.qwest.com/wholesale/downloads/lqrldclecjobaid.pdf

Conrad Evans then reviewed the August queries of the Raw Loop Data Tool submitted by Allegiance. One solution that was proposed by Qwest to the “no data found” issue was to ensure address validation is completed prior to submitting a query for the IMA tools. This will result in a higher response rate from the tools. Conrad also recommended that CLECs utilize the Raw Loop Data Tool “unassigned by address” query if identification of spare facilities is required at a location with no working service. Qwest suggested that the Manual Look Up Process can also be utilized if the query response is, “no data found”. John Berard mentioned that Covad had uncovered loops with unusually long/excessive lengths when utilizing the Wire Center Tool and had submitted them to Qwest for analysis. Qwest indicated that this is very helpful and appreciates getting this feedback, so the information in the tool can be made as accurate as possible. Lucy Higley mentioned that the loops in question had been corrected and now should appear with appropriate loop lengths.

John Berard asked if the tool provides data on pending jobs in LFACS and if so if this information is updated. He has seen responses that indicate a job is scheduled for 1997 which seems to be out-of-date. Dennis Pappas indicated that this information is not available for individual pending jobs.

Barb Brohl then did a wrap-up of the discussion and took several action items to be covered in the next few meetings.

Action Items

A follow-up meeting will be set up by Cheri Hurless, the Qwest Account Manager for Allegiance, to review the August queries they submitted in more detail. Laurie Mendoza of Allegiance will communicate to the other CLECs the outcome of that meeting.

Kim Issacs from Eschelon mentioned that they were receiving more responses of “no data found” on the Qwest DSL for Resale queries since Release 13.0 was implemented. She asked if something was added to the tool in 13.0 that would have caused the undetermined response rate to increase. Eschelon will provide their Qwest Service Manager, Jeff Tietz, with examples of this issue for further evaluation by Qwest.

Kelly Tiegen of US Link mentioned that after conversion of a customer from retail to an unbundled loop, they are not able to find the loop using the Qwest DSL for Resale query. US Link will send examples of this to their Qwest Service Manager, Dave Hahn, so that further investigation of the issue can take place. US Link may need to execute a different query to obtain the information they need.

Next Meeting will be in 2 weeks on Thursday, September 25th, 2003 9:00 AM – 11:00 AM Mountain Time; (10:00 – 12:00 Central; 11:00 – 1:00 Eastern; 8:00 – 10:00 Pacific)

Call in Number: 1.877.521.8688 Passcode: 3392394

++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++++ August 20, 2003 Monthly Meeting notes Cindy Macy-Qwest advised we have a person in place that will be facilitating these meetings. Her name is Lucy Higley. We have the first meeting planned for September 11. A notification will go out advising of this. Lori Mendoza-Allegiance advised they have been trying to perform a ‘qualify by address’ using the RLD tool and no data comes up in the tool. She was advised she needs to resubmit these manually to have the tool updated. Liz Balvin-MCI advised they don’t use the qualify by address but they do search by TN and it is difficult to get data sometimes too. The CLECs requested at the first meeting to start going through the logistics and limitations of the tool and then understand the data. The CLECs requested for Qwest to begin investigation on the issue reported regarding no data in the tool. They would like Qwest to provide status on this issue at the first meeting. Cindy Macy-Qwest requested for the CLECs to send issue description and examples to her at cynthia.macy@qwest.com and I will forward those to the team. Bonnie Johnson-Eschelon advised she had hoped this meeting would be held earlier as we reported that we would try to set it up for mid-August.

July 16, 2003 Monthly Meeting notes Cindy Buckmaster reviewed Qwest’s response and advised Qwest accepts this CR. Cindy advised Qwest is currently working to identify the person who will lead this meeting. The plan is for Qwest to initially review and clarify the in-place on-line documentation and address any questions. Additional issues that are identified will then be addressed. We anticipate the forum to begin the middle of August. This CR will move to Development.

June 18, 2003 Monthly Meeting notes John Berard – Covad explained they want to meet with the Product and Technical team to discuss and understand the data and issues on PreQual functions. This process is in place with SBC. Meeting would help to drive clarity, review examples directly associated to PreQual questions and functions. All CLECS could attend to go through issues and agenda. Eschelon and ATT are in support of this.

Clarification Meeting

May 27, 2003 1-877-572-8687 3393947# PC051403-3 Request for Bi-Weekly Technical Meetings on Pre-Qual Issues

Attendees Dave Manica – Qwest Dave Hahn – Qwest John Berard – Qwest Craig Suellentrop – Qwest Cindy Macy – Qwest

Meeting Agenda 1.0 Introduction of Attendees Attendees introduced

2.0 Review Requested (Description of) Change John Berard – Covad reviewed the change request. John explained that Covad pulls data from Qwest’s Raw Loop Data tool and then loads the data into Covad’s PreQual too. Covad uses their PreQual tool so their customers can PreQual their line. Covad finds inconsistencies in the data so they would like to meet with Qwest on a regular basis to understand the data. Covad said SBC holds a call with Covad so they can work through technical and data issues. This is a fast way to resolve questions and issues. Covad would like to have a standing biweekly meeting set up with Qwest. Cindy Macy – Qwest asked what Covad would want on the BiWeekly agenda. Covad replied the items might change based on the current issues. The agenda with SBC covers items such as: review of the previous minutes, loop length questions, TN# missing from database, tool / system enhancements, service address level vs. loop level, loop medium codes copper and fiber, technical and product related discussions. John – Covad advised he would like to have Product and Technical representatives from Qwest attend the call. Dave Manica asked if Covad had certain error reports that Qwest could investigate. Covad advised yes and this would be a good agenda item. Covad provided their contact at SBC – John Milan Product Manager. Qwest can contact this person to discuss their process if needed. Cindy – Qwest asked John if all CLECs could attend this meeting. John advised yes it would be open to the CLEC Community.

3.0 Confirm Areas & Products Impacted PreQual tool at a Bulk and Individual Level

4.0 Confirm Right Personnel Involved Dave Manica, Craig Suellentrop, Michelle Thacker

5.0 Identify/Confirm CLEC’s Expectation Qwest to meet with Covad BiWeekly or as needed to discuss Loop Qual issues

6.0 Identify any Dependent Systems Change Requests None

7.0 Establish Action Plan (Resolution Time Frame) Covad will present the CR at the June CMP Meeting Qwest will provide our Response at the July CMP Meeting


CenturyLink Response

For Review by the CLEC Community and Discussion at the July 16, 2003 CMP Meeting

July 8, 2003

Covad John Berard

SUBJECT: Qwest’s Change Request Response – CR #PC051403-1 Request for Bi-Weekly Technical Meetings on Pre-Qual Issues

This letter is in response to Covad’s Change Request (CR) PC051403-1. This CR requests that Qwest establish a Bi-Weekly Technical Meeting on Pre-Qual Issues.

Qwest accepts this CR and is currently developing: * A process and the structure of a Bi-Weekly Technical Forum focused on use and interpretation of the Raw Loop Data Tools * Qwest will chair the calls and we will have resources available to answer questions asked during the forum * Qwest proposes that the first few meetings will be dedicated to bringing the CLECs up to date on where documentation regarding the tool can be found. Subsequent meetings will be structured to fit the CLECs Raw Loop Data needs. * The forum effectiveness will be monitored to determine future meeting need and frequency

Qwest requests this CR be placed in Development Status and will provide an update at the August CMP Meeting.

Sincerely,

Cindy Buckmaster Qwest

Cc: Barb Brohl


Open Product/Process CR PC051903-1 Detail

 
Title: Real Time API Connection to Raw Loop Data
CR Number Current Status
Date
Area Impacted Products Impacted

PC051903-1 Crossover
7/27/2009
Pre Ordering, Ordering UNE - Line Sharing, Line splitting, Loop Splitting
Originator: Berard, John
Originator Company Name: Covad
Owner:
Director:
CR PM:

Description Of Change

Covad is requesting the implementation of a new Real Time Interface connection to Pre-Qual Raw Loop Data. Currently BellSouth has this type of interface, which has greatly increased Covad’s ability to determine the loop characteristics early on in the ordering process (pre-order).

The major advantage of this system is that it allows a DLEC/CLEC real time access to LFACS data. This information is critical to the ability of a DLEC to determine early on if the high frequency portion of the loop can handle DSL service. Here is a description of BellSouth’s system:

The information contained in LQS (Loop Qual System) is derived from the Loop Engineering Assignment Data(LEAD) Database and provides a “best effort” response regarding a loop’s ability to support BellSouth’s ADSL service.

The LEAD Database is a once-per-month-per-wire-center “snapshot” of the information

contained in the Loop Facilities Assignment and Control System (LFACS) Database.

1/30th of all wire centers are updated every day. Currently there is a 98% accuracy rate

on returned responses within LQS.

Here's a public link to the LQS (Loop Qualification System, aka SuperLoopy)

document:

http://www.interconnection.bellsouth.com/guides/bpobr/pdf/lqs.pdf

This document is mainly LQS Application focused. The Java API is briefly mentioned,

referencing the following, more technical link (however, it is not public):

http://lqs.bellsouth.com

All the data accessible from the application and more is available via the API.

Eric Fogle is the appropriate BellSouth contact for additional information on this system. The effort via OBF, for which he was the CLEC workshop chair, was very much along these lines.

Eric Fogle can be reached at 404-927-3433, Eric.Fogle@BellSouth.com

Expected Deliverable:

As soon as possible


Status History

5/19/03: CR Received

5/20/03: CR Acknowledged

5/23/03: Contacted customer to schedule Clarification call

5/30/03: Held Clarification Call - discussed this would potentially cross over to systems

6/18/03: June 18 P/P CMP meeting minutes will be posted to the database- obtained ok to cross CR over to systems SCR051903-1


Project Meetings

June CMP Product Process CMP Meeting Notes Cindy Macy - Qwest advised during the Clarification call it was determined that this CR should be a systems CR. Covad agreed that this should cross over to systems.

CLEC Change Request – PC051903-1 Clarification Meeting Friday May 30, 2003

Attendees Cindy Macy – Qwest CRPM Michelle Thacker - Qwest Communications Dave Manica - Qwest Communications Craig Suellentrop – Qwest Communications John Berard – Covad Raj – Covad Shiva Sharif – Covad Cindy Buckmaster - Qwest Communications Cliff Dinnwiddie - Qwest Communications

Introduction of Attendees Macy-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Berard-Covad reviewed the CR. Berard explained they would like access to the individual TN Loop Qualification data that is the most current via a synchronous API. This data is available in IMA currently but via EDI or GUI and Covad would like to access via an API connection.

Covad currently uses the Raw Loop Data tool to access loop qual data. They download the data to their own tool. This data is not always current or accurate. Covad wants the most current data, at an Individual TN level, via an API connection. Covad would like a Pre Qual API connection to IMA. Currently Covad also has access to Pre Qual EDI but this is not a fast enough response time due to the volume of data they download.

Qwest and Covad discussed if there were certain data elements that were needed. Covad advised they would like access to the same data that they get from Pre Qual IMA EDI today, except in a synchronous API connection. If they want additional data elements added that would be a different CR.

The team discussed that this should be a systems CR. Cindy agreed to check with the systems team and cross this CR over.

Confirm Areas and Products Impacted Macy-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted.

Confirm Right Personnel Involved Macy-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation Macy-Qwest reviewed the request to confirm Covad’s expectation.

Identify any Dependant Systems Change Requests Macy-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan Macy-Qwest asked attendees if there were any further questions. There were none. Macy-Qwest stated that the next step was to cross this CR over to systems.


Open Product/Process CR PC021403-1 Detail

 
Title: Bulk Loop Qual Data Refresh Intervals
CR Number Current Status
Date
Area Impacted Products Impacted

PC021403-1 Denied
5/21/2003
Pre-Ordering, Provisioning, Ordering UNE, Line Sharing, Line Splitting
Originator: Berard, John
Originator Company Name: Covad
Owner: Diamond, Paul
Director:
CR PM: Harlan, Cindy

Description Of Change

Covad requests that Qwest revise their existing data refresh interval from the current 1 month to a minimum of every two weeks with a preference of once a week. Qwest’s current process causes false positive and false negative results for Covad’s bulk prequal tool because of outdated data.

Expected Deliverable:

As soon as possible.


Status History

02/14/03 - CR Submitted by Covad

02/17/03 - CR acknowledged by P/P CMP Manager

2/19/03 - CR posted on the web

2/19/03 - CR presented by Covad at the Feb. CMP Meeting

2/20/03 - Contacted customer to schedule clarification meeting

2/26/03 - Held Clarification Meeting with customer

3/11/03 - Entered Response in database

3/12/03 - Sent Response to Covad

3/19/03 - March CMP Meeting minutes will be posted to the Project Meeting section

4/8/03 - Posted response to database

4/16/03 - April CMP Meeting minutes will be posted to the database

5/14/03 - Sent response to CLEC via email and posted to database on 5/13

5/21/03 - May CMP Meeting Minutes will be posted to the database


Project Meetings

May 21, 2003 CMP Meeting Minutes Jamal B – Qwest reviewed the response and explained their investigation determined it was economically infeasible due to hardware/cpu and software system costs. Cindy Macy – Qwest explained approximately 40 central offices are processed every night, thus by the end of the month all central offices are updated. To increase the frequency of processing requires system upgrades. The status of this CR will change to denied.

April 16, 2003 CMP Meeting PC021403-1 Bulk Loop Qual Data refresh Intervals

Paul Diamond – Qwest advised we are still investigating what is involved to answer this request. Qwest would like to leave this CR in Evaluation Status. John Berard-Covad advised that was okay.

March 19, 2003 CMP Meeting Cindy Macy – Qwest advised we are reviewing the system and process impacts for updating the refresh intervals. We are looking at the volume of changes that occur and alternate methods of obtaining current information. Bonnie Johnson – Eschelon advised that John Berard – Covad sent an email that also requested the individual query tool to be included in this CR. I advised the same data updates the Bulk and Indivual queries so by default the individual query would be impacted. This CR will move to Evaluation status.

Clarification Meeting February 26, 2003 10:00 – 11:00 1-877-572-8687 3393947#

PC021403-1 Bulk Loop Qual Refresh Intervals Attendees John Berard – Covad Paul Diamond – Qwest Michelle Thacker – Qwest John Gallegos – Qwest Cindy Macy – Qwest

Meeting Agenda: Introduction of Attendees Attendance was noted

Review Requested (Description of) Change John Berard Covad advised the data in the Bulk Loop Qual tool is not fresh (current) enough. Other ILECs (Bell South) refresh this data every 2 weeks and they have a real time interface. All other ILECs refresh weekly. Qwest updates data every 20 days and sometimes it takes up to 2 months. On occasion Covad has to issue a trouble report to get the data refreshed. Covad would like Qwest to refresh data weekly.

Michelle Thacker-Qwest verified we are not talking about the IMA interface. The IMA interface is a single telephone number qualification.

John explained they pull a download of the data (flat file) and load it into their own tool. They look at the data by wire center and look for a current refresh date. Paul Diamond-Qwest verified Covad goes to the ecom.qwest site and access the Raw Loop Data (RLD) Tool from a url. A digital certificate is needed. Cindy Macy-Qwest asked if the data is bulk updated every 30 days or if it is a ‘rolling 30 days’. John Berard-Covad explained each wire center gets updated on its own 30 day schedule so there are new updates each day based on all the different wire centers. Each individual wire center only updates around every 30 days. John would like the wire center data updated on a rolling 5-10 business day period.

Cindy Macy-Qwest recapped the comments from Mike Zulevic from the February CMP meeting when Mike presented the CR to the CLEC community. Mike Zulevic said they find errors in the data, positive and negative tests, the loops really is or isn’t qualified, they want the data updated every 2 weeks or weekly. Mike also asked if the bulk data is the same as the TN view data. Qwest advised ‘yes’.

Michelle Thacker-Qwest advised she does not support the ECOM site. Most of this support comes from the IT side. John Gallegos-IT agreed he would identify a resource to help the team. John would provide to Cindy Macy-Qwest that person’s name by 2-27-03. Paul Diamond advised David Manica-Qwest from Product Management is knowledgeable on the RLD tool.

Confirm Areas & Products Impacted UNE Loop, Line Sharing

Confirm Right Personnel Involved The team discussed we need to find additional resources to help us understand the Raw Loop Data Tool and the impacts from this CR. John Gallegos advised he would identify an IT resource. John Berard-Covad advised he would be glad to meet with us again and invite one of his technical people from Covad . Cindy Macy agreed she would check further to identify another business resource knowledgable on RLD tool. Paul Diamond advised he contacts David Manica for questions on RLD tool.

Identify/Confirm CLEC’s Expectation To provide more current data in the RLD tool (refresh every 2 weeks)

Identify any Dependent Systems Change Requests John Berard-Covad advised SCR112002-1 is open to add 3 new data fields to the IMA PreQual tool.

Establish Action Plan (Resolution Time Frame) Qwest will meet to begin investigation of CR and our Initial Response will be provided at the March 19, 2003 CMP Meeting.

2/19/03 February CMP Meeting - This CR was discussed as a walk-on CR at the February CMP Meeting. Mike Zulevic- presented it for John Berard and explained Covad was interested in a more current refresh of data to be every 2 weeks or weekly, to prevent errors in data, invalid determinations of positive and negative, the loop is or isn't really qualified. The question was asked if the data is the same in bulk and individual form and Qwest- Houston replied it was.


CenturyLink Response

For Review by CLEC Community and Discussion at the May 21, 2003 CMP Meeting

May 14, 2003

Covad Communications John Berard

SUBJECT: Covad’s Change Request Response – CR #PC021403-1 Bulk Loop Qual Data Refresh Intervals

This letter is in response to Covad Communications Change Request (CR) PC021403-1. This CR requests that Qwest revise their Bulk Loop Qual data refresh interval from the current 1 month to every two weeks with a preference of once a week.

Qwest has completed the investigation and identified system impacts for changing the data refresh intervals. The impact to make this change is estimated at 6,000 hours and hardware and software costs of $1.7M. The total of hardware, software and resource costs would be a more than $2.0 million and could grow based upon capacity requirements.

As a result of this investigation, Qwest respectfully denies this change request due to it being economically not feasible based on the system impacts.

Sincerely,

Jamal Boudhaouia Technical Regulatory

April 9, 2003

For Review by CLEC Community and Discussion at the April 16, 2003, CMP Product/Process Meeting

John Berard Covad Communications

SUBJECT: Qwest’s Change Request Response - CR #PC021403-1 Bulk Loop Qual Data Refresh Intervals

This letter is in response to Covad Communications Change Request (CR) PC021403-1. This CR requests that Qwest revise their Bulk Loop Qual data refresh intervals from the current one month to every two weeks with a preference of once a week.

There are a number of issues to be analyzed in answering this request. For this reason, Qwest would like to leave this Change Request in Evaluation Status.

Qwest will provide a status update at the May CMP meeting.

Sincerely,

Paul Diamond Qwest Corporation

CC: Mary Retka

For Review by CLEC Community and Discussion at the March 19, 2003 CMP Meeting

March 11, 2003

Covad Communications John Berard

SUBJECT: Covad’s Change Request Response – CR #PC021403-1 Bulk Loop Qual Data Refresh Intervals

This letter is in response to Covad Communications Change Request (CR) PC021403-1. This CR requests that Qwest revise their Bulk Loop Qual data refresh interval from the current 1 month to every two weeks with a preference of once a week.

Qwest is currently investigating and reviewing the following impacts from this request.

- The refresh process that updates the data (system and process impacts) - The volume of change - Alternate methods of obtaining current information

Qwest will schedule an additional Clarification Call with Covad to ensure we understand how this data is viewed after it is extracted from the Raw Loop Data Tool.

Qwest requests this CR be placed in Evaluation Status and will provide an update at the April CMP Meeting.

Sincerely,

Qwest


Open Product/Process CR PC031103-1 Detail

 
Title: Convert Common Area Splitter Collocation to Cageless Shelf at a time Collocation
CR Number Current Status
Date
Area Impacted Products Impacted

PC031103-1 Completed
4/21/2004
Maintenance, Repair Collocation - Physical, Virtual
Originator: Berard, John
Originator Company Name: Covad
Owner: Nelson, Steve
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Revised Description of Change (07-14-03):

To facilitate the CLEC’s option to perform maintenance, Covad requests the following changes.

1. Qwest allow the CLEC to access the front of the splitter shelf for testing thereby permitting test of a splitter card by the CLEC (Diagram A).

2. Qwest will allow the CLEC to perform maintenance on the splitter cards including replacement as necessary.

3. Qwest will continue to provision the CAS and will control the engineering configuration database for CAS. For new circuits, Qwest will install and provision the new splitter cards as necessary.

4. Qwest will continue to maintain the splitter shelves and Common Area Splitter bays.

5. CLEC’s will have the option to perform maintenance on the splitter cards or continue to have Qwest control all maintenance.

6. If the CLEC impairs a Qwest voice customer during the maintenance of the splitter cards Qwest may temporarily remove the data portion of the circuit.

7. The monthly recurring fees will be adjusted to remove the maintenance cost for those CLECs electing to perform the CAS splitter card maintenance.

8. The CAS shelves will be clearly designated to identify those shelves maintained by Qwest or the CLEC.

Original Description of Change (03-11-03):

Covad requests to be allowed to convert any or all existing Common Area Splitter Collocation arrangements to Cageless Shelf at a time Collocation. The current arrangement, being a type of Virtual Collocation, requires Qwest technicians to perform all maintenance associated with the splitters and splitter cards. While this process has worked in some central offices, Covad continues to experience problems related to improperly performed maintenance including splitter cards removed in error, splitter cards not installed properly, splitter cards replaced unnecessarily and cards removed as defective which cannot be located. Further, Covad and Qwest have not been able to jointly develop and document a workable process for the replacement of defective splitter cards. Covad has been trying to resolve these problems for over three years but continues to have the same experiences. These problems, coupled with the high non-recurring costs, have caused Covad to begin placing splitters in its own collocation arrangements, as additional capacity is required. It is Covad’s hope that by converting the existing splitter capacity from Common Area Splitter Collocation to some form of Cageless Shelf at a time Collocation, most of the maintenance problems will be resolved. This proposal would remove the splitter maintenance responsibility from Qwest and place it with Covad. This conversion may also require adjustments to existing monthly recurring charges applicable to the current product.

Expected Deliverable:

As Soon As Possible


Status History

03-12-03 - CR Acknowledged

03-26-03 - Clarification Meeting held

04-16-03 - Presented at CMP Meeting

05/21/03 - Qwest response presented at CMP Meeting

06/11/03 - Qwest response posted and distributed

06/18/03 - Discussed at CMP Meeting

07/16/03 - CR Discussed at CMP Monthly Meeting

08/21/03 - Discussed at CMP Meeting

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/12/04 - Qwest sent PROD.01.12.04.F.01237.ComAreaSplitColloV11 proposed effective date 2/26/04

01/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

02/11/04 - Qwest issued Final notification PROD.02.11.04.F.01324.FNL_Common_Area_Splitter effective date 2/26/04

02/18/04 - February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

03/17/04 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/21/04 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

04/21/04 April CMP Meeting Steve Nelson with Qwest said that John Berard with Covad said we would be able to close this CR. Mike Zulevic with Covad agreed this could be closed. Mike said they are 70% complete with labeling splitters and will let Steve know when they are 100% complete. This CR will move to Completed status.

- 03/17/04 March CMP Meeting Steve Nelson with Qwest gave the update that the PCAT changes were effective on 2/26/04 and the contract amendment is available. This CR will move to CLEC Test status.

-- 02/18/04 February CMP Meeting Dave Williams with Qwest said that the PCAT changes will be effective on 2/26/04 and a contract amendment will be available at the same time. This CR will remain in Development status.

1/21/04 January CMP Meeting Dave Williams with Qwest provided an update to this CR and said changes for the PCAT were released 1/12/04 and the proposed effective date is 2/26/04. Mike Zulevic asked if the change would be available across the board on 2/26/04. Dave said yes. This CR will remain in Development status.

12/17/03 December CMP Meeting Dave Williams with Qwest provided an update to this CR which allow the CLEC to maintain POTS splitter cards. Dave said changes for the PCAT should be out soon. This CR will remain in Development status.

11/19/03 November CMP Meeting Dave Williams with Qwest provided an update to this CR and said we will be submitting level 3 changes for the PCAT and plan to have available in the December timeframe. Dave will send a copy to Mike Zulevic and John Berard for comments. This CR will remain in Development status.

10/15/03 October CMP Meeting Dave Williams with Qwest provided an update to this CR which provides CLECs the option to do maintenance or have Qwest do the maintenance on splitter cards. There will be changes made to the PCAT in November. This CR will remain in Development status.

09/17/03 September CMP Meeting Dave Williams provided an update to this CR and said that we have moved forward with a trial beginning 8/25 in Seattle areas and the trial has been well received by both Qwest and Covad. There will be a process change written in the next few weeks. This CR will remain in Development status.

CMP Meeting 08-13-03

White-Qwest presented the Qwest acceptance of the revised Covad Description of Change. Zulevic-Covad stated that Qwest and Covad were testing the process in 15 Central Offices in Washington state. He stated that it looked as if the process was progressing very well.

============================================

CMP Meeting 07-16-03

White-Qwest presented the status and stated that Covad had submitted a revised description of change that Qwest was working on. Williams-Qwest stated that Qwest would probably start a trial with Covad on August 1. Berard-Covad stated that this was good progress. CR remains in Development. ============================================== CMP Meeting 06-18-03

Williams-Qwest presented the Qwest response. Zulevic-Covad stated that he had reviewed the response and that the Qwest recommended solution addressed a majority of his concerns. He asked how to proceed. White-Qwest recommended that Covad revise their description of change to align with the Qwest recommendation. He stated that he could forward a suggestion to Zulevic for approval. Zulevic-Covad agreed. White-Qwest stated that the change request would move into Development.

========================================================== CMP Meeting 05-21-03

White-Qwest presented the Qwest response and suggested the CR be moved to Evaluation status. ==========================================

04-16-03 - CMP Meeting

Zulevic-Covad presented the CR. Williams-Qwest stated that another option would be to move the splitters to the cageless lineup. Zulevic-Covad stated that this was to difficult logistically. Williams-Qwest asked if Covad expected Qwest to develop a per shelf collocation cost. Zulevic-Covad stated that he expected a monthly recurring rental rate. Williams-Qwest asked if Covad had discussed this issue with any other CLECs. Zulevic-Covad stated that he had not and that this would probably create a bifurcated process for Qwest. Williams-Qwest stated that he would query other DLECs for interest. Van Meter-AT&T stated that AT&T would like to be involved in any development calls for this CR.

==========================================================

Clarification Meeting Wednesday, March 26, 2003

1-877-550-8686 2213337#

Attendees Matt White – CRPM Dave Williams – Qwest Jeff Cook – Qwest Mike Zulevic – Covad John Berard – Covad Becky Neesen - Covad

Introduction of Attendees White-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Berard-Covad reviewed the CR. Zulevic-Covad this has been a tough issue for both companies and that Covad was just looking for a possible solution.

Williams-Qwest asked if Covad was intending to physically move splitters. Zulevic-Covad stated that there was no move necessary; Covad would just take over maintenance of splitters. Williams-Qwest stated that the issue was that when Covad provisions loops Qwest sometimes makes mistakes.

Cook and Williams had no further questions.

Confirm Areas and Products Impacted White-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted.

Confirm Right Personnel Involved White-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved. He stated that Lillian Robertson would also be involved in analyzing this CR. Williams-Qwest stated that he would work with Robertson on this CR.

Identify/Confirm CLEC’s Expectation White-Qwest reviewed the request to confirm Covad’s expectation.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for Covad to present the CR at the April Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

August 12, 2003

REVISED RESPONSE For Review by CLEC Community and Discussion at the August 20, 2003, CMP Product/Process Meeting

John Berard Covad Communications

SUBJECT: Qwest’s Change Request Response - CR #PC031103-1

Qwest accepts this revised CR and proposes offering an optional maintenance program for Common Area Splitter configurations.

Diagram A, attached, depicts a typical configuration for a CAS

In this configuration Qwest maintains the common area splitter configuration and all provisioning of loops. Presently Qwest also performs all maintenance on the splitter shelf including splitter card installation and replacement. Qwest also keeps records of CAS in the administrative/engineering system SWITCH/FOMS.

The current DMARC separating the CLEC controlled cabling from the Qwest network is the rear of the splitter shelf as shown in Diagram A. The CLEC also has access to the ICDF frame and specifically the voice block for testing purposes (Diagram A).

Under this revised plan, the CLEC would have the option to have Qwest perform the maintenance, as is currently the practice, or the CLEC could perform the splitter card maintenance.

To facilitate the CLEC’s option to perform maintenance, Qwest proposes the following changes.

1. Qwest will allow the CLEC to access the front of the splitter shelf for testing thereby permitting test of a splitter card by the CLEC (Diagram A). 2. Qwest will allow the CLEC to perform maintenance on the splitter cards including replacement as necessary. 3. Qwest will continue to provision the CAS and will control the engineering configuration database for CAS. For new circuits, Qwest will install and provision the new splitter cards as necessary. 4. Qwest will continue to maintain the splitter shelves and Common Area Splitter bays. 5. CLEC’s will have the option to perform maintenance on the splitter cards or continue to have Qwest control all maintenance. 6. If the CLEC impairs a Qwest voice customer during the maintenance of the splitter cards Qwest may temporarily remove the data portion of the circuit. 7. The monthly recurring fees will be adjusted to remove the maintenance cost for those CLECs electing to perform the CAS splitter card maintenance. 8. The CAS shelves will be clearly designated to identify those shelves maintained by Qwest or the CLEC.

This solution addresses Covad’s primary concern of maintenance of the CAS and enables Covad and other CLECs to dispatch their technicians to correct a defective splitter card without having to generate a trouble/maintenance ticket through Qwest.

For Qwest, the proposed solution will require training and process updates but will not require the introduction of an entirely new product that would be cost prohibitive.

The CLECs also have the option to place the splitters in their collocation site eliminating any maintenance issues.

Sincerely,

David Williams Qwest Wholesale Product Manager 303-896-8166

================================================ June 11, 2003

REVISED RESPONSE For Review by CLEC Community and Discussion at the June 18, 2003, CMP Product/Process Meeting

John Berard Covad Communications

SUBJECT: Qwest’s Change Request Response - CR #PC031103-1

Covad has requested a change to the common area splitter product as follows: “Covad requests to be allowed to convert any or all existing Common Area Splitter Collocation arrangements to Cageless Shelf at a time Collocation.” In response to this CR Qwest provides the following response.

1. Issue 1. Covad requested to convert all existing Common Area Splitter Collocation arrangements to Cageless Shelf at a time Collocation. In order to change what now is a virtual collocation product to a cageless product, Qwest would require the development of a brand new product. Qwest's cageless collocation process is based on a per bay basis so this would not follow as a simple variation to the existing cageless collocation process. The Common Area Splitters are currently provisioned and maintained by Qwest. In a proposed conversion to a cageless product, a new provisioning process would be required in addition to a reconfiguration of the network to redefine the DEMARC. Qwest billing software changes would also be required. All of these changes would require significant funding from Qwest and none are practical when Common Area Splitter collocation is an optional process and experiences low ordering volumes. The CLEC always has the option to locate the splitters into their collocation space. The chart below summarizes the required effort to implement a new common area splitter (CAS) proposed by Covad.

Task Person Months Define New Product 4 Create M&P 1 Define Provisioning Process 4 Create M&P 1 Implement software changes for billing system 3 Update PCAT and documentation 2 Create Amendment Language 2 Total 17

Qwest rejects this portion of the request because it is not economically feasible.

2. From Qwest’s further evaluation of this change request, it appears that Covad’s primary issue is maintenance of the splitter and, specifically, the splitter cards. While there was no documentation provided with this CR to indicate that any maintenance issues exist, Qwest proposes offering an optional maintenance program for Common Area Splitter configurations to address Covad's apparent concern.

Diagram A, attached, depicts a typical configuration for a CAS

In this configuration Qwest maintains the common area splitter configuration and all provisioning of loops. Presently Qwest also performs all maintenance on the splitter shelf including splitter card installation and replacement. Qwest also keeps records of CAS in the administrative/engineering system SWITCH/FOMS.

The current DMARC separating the CLEC controlled cabling from the Qwest network is the rear of the splitter shelf as shown in Diagram A. The CLEC also has access to the ICDF frame and specifically the voice block for testing purposes (Diagram A).

Under this revised plan, the CLEC would have the option to have Qwest perform the maintenance, as is currently the practice, or the CLEC could perform the splitter card maintenance.

To facilitate the CLEC’s option to perform maintenance, Qwest proposes the following changes.

1. Qwest will change the DMARC for CAS and allow the CLEC to access the front of the splitter shelf for testing thereby permitting test of a splitter card by the CLEC (Diagram A). 2. Qwest will allow the CLEC to perform maintenance on the splitter cards including replacement as necessary. 3. Qwest will continue to provision the CAS and will control the engineering configuration database for CAS. For new circuits, Qwest will install and provision the new splitter cards as necessary. 4. Qwest will continue to maintain the splitter shelves and Common Area Splitter bays. 5. CLEC’s will have the option to perform maintenance on the splitter cards or continue to have Qwest control all maintenance. 6. If the CLEC impairs a Qwest voice customer during the maintenance of the splitter cards Qwest may temporarily remove the data portion of the circuit. 7. The monthly recurring fees will be adjusted to remove the maintenance cost for those CLECs electing to perform the CAS splitter card maintenance. 8. The CAS shelves will be clearly designated to identify those shelves maintained by Qwest or the CLEC.

This solution addresses Covad’s primary concern of maintenance of the CAS and enables Covad and other CLECs to dispatch their technicians to correct a defective splitter card without having to generate a trouble/maintenance ticket through Qwest.

For Qwest, the proposed solution will require training and process updates but will not require the introduction of an entirely new product that would be cost prohibitive.

The CLECs also have the option to place the splitters in their collocation site eliminating any maintenance issues.

Sincerely,

David Williams Qwest Wholesale Product Manager 303-896-8166

======================================

May 14, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the May 21, 2003, CMP Product/Process Meeting

John Berard Covad Communications

SUBJECT: Qwest’s Change Request Response - CR #PC031103-1

This is a preliminary response regarding Covad CR PC031103-1. This CR requests that CLECs be allowed to convert any or all existing Common Area Splitter Collocation arrangements to Cageless Shelf at a time collocation.

Qwest is currently working internally to identify a solution to this request. Because there are a large number of issues Qwest must analyze, Qwest proposes moving this Change Request into Evaluation Status while Qwest prepares a complete answer to this request.

Qwest will provide a status update at the June CMP meeting.

Sincerely,

Dave Williams Product Manager Qwest Corporation


Open Product/Process CR PC012703-1 Detail

 
Title: Shorten Loop Conditioning Interval from 15 to 5 days
CR Number Current Status
Date
Area Impacted Products Impacted

PC012703-1 Denied
1/27/2003
Pre-ordering, Ordering, Provisioning UNE Line Share & Line Splitting
Originator: Berard, John
Originator Company Name: Covad
Owner: Moreland, Heidi
Director:
CR PM: White, Matt

Description Of Change

Covad requests that Qwest reduce its current provisioning interval for Loop Conditioning to a standard of 5 days. This will place it more in line with industry averages.

Expected Deliverable

Covad requests that Qwest reduce its current provisioning interval for Loop Conditioning to a standard of 5 days


Status History

01/27/03 - CR Submitted by Covad

01/27/03 - CR acknowledged by P/P CMP Manager

01/30/03 - Clarification Meeting scheduled for 2/3/03

02/03/03 - Clarification Meeting conducted

02/19/03 - CR presented at the CMP Meeting

03/16/03 - Qwest response presented at CMP Meeting

04/16/03 - Qwest revised response presented at CMP Meeting


Project Meetings

04-16-03 - CMP Meeting

Moreland-Qwest presented the Qwest denial response. Berard-Covad stated that Covad was evaluating whether to escalate this issue. The CR was moved to denied status.

===========================================================

03-19-03 - CMP Meeting

Smith-Qwest stated that Qwest would like to continue to evaluate this CR. CR moved to evaluation status.

==============================================================

02-19-03 - CMP Meeting

Zulevic-Covad presented the CR. He stated that Qwest is currently processing orders in less than the 15 day interval; in many cases in fewer than 5 days. He stated that this caused both Qwest and Covad excess work. He stated that if Qwest established a 5 day interval, Covad understood that there would be instances when Qwest could not meet the interval. White-Qwest stated the CR would move to Presented status.

==============================================================

Clarification Meeting 3:00 PM (Mountain Time) / Monday, February 3, 2003

1-877-550-8686 2213337#

Attendees Matt White – CRPM Deb Smith – Qwest Bob Mohr – Qwest Neil Houston – Qwest John Berard – Covad

Introduction of Attendees White-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Berard-Covad reviewed the CR. Smith-Qwest asked which products this CR was for. Berard-Covad stated that it was for the products that Covad ordered: UNE unbundled loops and line sharing. White-Qwest asked which ILECs Covad was referring to in its description. Berard-Covad stated that SBC and Bell South had 5-10 day intervals and that Qwest had the longest interval at 15 days.

Confirm Areas and Products Impacted White-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted. Confirm Right Personnel Involved White-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation White-Qwest reviewed the request to confirm Covad’s expectation.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for Covad to present the CR at the February Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

April 9, 2003

REVISED RESPONSE For Review by CLEC Community and Discussion at the April 16, 2003, CMP Product/Process Meeting

03/28/03

Mike Zulevic Director – GEA Covad Communications

SUBJECT: Qwest’s Change Request – CR PC012703-1

This letter is in response to CLEC Change Request PC012703-1. This CR is a request by Covad for Qwest to reduce its current provisioning interval for Loop Conditioning to a standard of 5 days.

Qwest is denying this request because it is economically not feasible. The following supports this decision:

Covad has stated that the current interval causes excess work for both Qwest and Covad. Contrary to that assumption, Qwest finds that the opposite is true for Qwest work. After an analysis of the impact to Qwest workforces, Qwest has determined an additional 150-185 resources would be required to respond to a 5 day interval. This would include: - 25-30 Engineering resources to issue jobs more quickly - 5 resources in the Construction Management Centers to process the jobs through on an escalated basis - A minimum of 120–150 Field resources across the 14 state region to complete the conditioning work

Economic conditions currently do not facilitate an increase in head count to support the proposed interval reduction.

Qwest has voluntarily initiated the use of Line Moves and Removal of UDCs in order to provision Line Sharing, ADSL-capable Unbundled Loops and Qwest retail DSL products (see CR #PC022403-5, PC022403-6, PC022403-7 and PC022403-8). Qwest feels that this initiative will reduce the need for line conditioning for many orders as well as reduce the provisioning interval for those orders utilizing a Line Move.

Qwest has also initiated a new Bulk Deload project, which will be to both the CLECs and Qwest’s advantage in responding to their customers’ service requests by eliminating the need to require line conditioning for many orders. Qwest has notified the CLEC community of this project through the Joint Planning Process.

Covad has stated that SBC and Bellsouth line conditioning intervals are at 5-10 days. Qwest respectfully disagrees. Qwest research of similarly situated ILECs indicate: - SBC has a 10 business day interval - Bellsouth has an 11-12 business day interval: the standard interval of 11 business days and the LSR processing interval of 3-24 hours equals the total service interval - Verizon has a 15 business day interval

Qwest finds the Qwest current line conditioning interval of 15 business days to be within the nationwide standard.

Sincerely, Heidi Moreland Staff Advocate Policy and Law

=======================================================================

March 12, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the March 19, 2003, CMP Product/Process Meeting

Mike Zulevic Director - GEA Covad Communications

SUBJECT: Qwest’s Change Request Response - CR #PC012703-1

This is a preliminary response regarding Covad CR PC012703-1.

Qwest has reviewed the current Loop Conditioning interval. There are a number of issues Qwest must analyze before answering this request. For this reason, Qwest proposes moving this Change Request into Evaluation Status while Qwest prepares a complete answer to this request.

Qwest will provide a status update at the April CMP meeting.

Sincerely,

Debra Smith Product Manager Qwest Corporation


Open Product/Process CR PC012703-2 Detail

 
Title: DATA Migration Process
CR Number Current Status
Date
Area Impacted Products Impacted

PC012703-2 Completed
4/15/2009
Pre-ordering, ordering, provisioning UNE Line Sharing & Line Splitting
Originator: Berard, John
Originator Company Name: Covad
Owner: Soderlund, Crystal
Director:
CR PM: Harlan, Cindy

Description Of Change

Covad requests that Qwest develop and document a Data Migration process with minimal or no disruption of service. This migration process should be from CLEC to CLEC, CLEC to ILEC, ILEC to CLEC and apply to all data services including but not limited to second line, line sharing, loop splitting, and line splitting.

Expected Deliverable

As soon as possible.


Status History

01/27/03 - CR Submitted by Covad

01/27/03 - CR acknowledged by P/P CMP Manager

1/31/03 - Contacted customer to schedule Clarification Meeting

2/3/03 - Clarification Meeting scheduled for 2/5/03 1:00 - 2:00 MDT.

2/5/03 - Held Clarification Meeting. John Berard agreed this CR does not include second line, or loop splitting.

2/11/03 - Sent Clarification Meeting notes to Covad, and posted to the database

2/19/03 - February CMP Meeting minutes will be posted to the database. Status of CR changed to presented.

3/19/03 - March CMP Meeting minutes will be posted to the database.

4/16/03 - April CMP Meeting minutes will be posted to the database

5/21/03 - May CMP Meeting minutes will be posted to the database

6/2/03 - Set up CLEC Review Meeting to review the logistics and content of the Data Migrations PCAT for Thursday June 12

6/12/03 - Held CLEC Meeting to review PCAT updates. Covad agreed to review each scenerio in more detail and review the LSOG for LSR issuance instructions. Covad will advise Qwest of any further issues at the June CMP Meeting. Qwest agreed to change the scenerio document from a search engine link to a link within the PCAT.

6/18/03 - June P/P CMP meeting minutes will be posted to the database

7/1/03 - John reviewed the scenario document and advised he would like the following 2 scenarios added: - ILEC Voice migrated to CLEC Voice/DLEC DSL (linesplit)

- CLEC Voice/DLEC DSL (Linesplit) migrated to ILEC Voice/DLEC DSL (Lineshare). Crystal will review the request and provide information at July CMP.

7/16/03 - July P/P CMP Meeting minutes will be posted to the database

8/20/03 - August CMP Meeting minutes will be posted to the database

9/17/03 - Sep CMP meeting notes will be posted to the database


Project Meetings

September 17, 2003 CMP Meeting Minutes Linda Miles – Qwest advised that last month this CR moved to CLEC Test. The scenarios requested and comments received are included in the documentation. Covad agreed to close this CR.

August 20, 2003 CMP Meeting Minutes Crystal Soderlund-Qwest advised the scenarios are available as direct links in the document. This is more user friendly. Crystal advised she also added one additional scenario that wasn’t requested before. The document is available on the web. The CLECs agreed to move this CR to CLEC test.

July 16, 2003 CMP Meeting Minutes Crystal Soderlund – Qwest advised that Qwest has agreed to change the PCAT to include a direct link to the scenarios within the PCAT. Crystal thanked the CLECs for reviewing the scenarios and providing additional input. Two additional scenarios were received that are not in the matrix. These scenarios are in the LSOG. Crystal advised she will add the scenarios to the matrix and put the direct link into the PCAT. This should be available to review for comment by the end of July via the Notification process. This CR should move to CLEC Test next month.

June 18, 2003 CMP Meeting Minutes Crystal – Qwest advised we had a further clarification call scheduled with the CLECs last week and Qwest agreed to update the document as a direct hyperlink. John Berard-Covad agreed to go through each scenario and determine if any are missing. John will send to Cindy Macy any additional scenarios that he would like added to the document. Qwest requested the CLECs to have this review done by Wednesday June 25. Covad agreed that would be acceptable.

PC012703-2 Data Migrations

Ad Hoc CLEC Input Meeting June 12, 2003 10:00 – 11:00 a.m. 1-877-572-8687 3393947#

In Attendance: Chad Warner – MCI Jeremy Mead – Covad John Berard – Covad Kit Thomte – Qwest Stephanie Prull – McLeod Bonnie Johnson – Eschelon Donna Osborne Miller – ATT Susan Lorence – Qwest Sharon Van Meter – ATT Crystal Soderlund– Qwest Cindy Macy – Qwest Eric Yohe – Qwest Linda Miles – Qwest Dave Hahn – Qwest Russell Urevig – Qwest Monica Manning – Qwest Deb Smith – Qwest Hiedi Moreland – Qwest Mike Johnson – Qwest

Cindy Macy – Qwest opened the call and explained the purpose of this call was to review the updates that have been made to the Migration and Conversion PCAT as a result of PC012703-1. The team reviewed the updates to make sure we understood the logistics of accessing the updated scenarios and also be able to ask questions about the content of the scenarios.

Crystal Soderlund – Qwest advised the team how to access the Migration and Conversion PCAT via the Wholesale Web Site. The team reviewed the document and Crystal pointed out the blue link that would take you to the search engine where you could open the scenario document.

John Berard - Covad asked why does this link take us to another search engine where there are multiple documents to select from? There is a list of 340 documents or exhibits. John questioned why this document is not part of the PCAT and advised it looks like a testimony document as it says Declaration in the title. Covad explained they are not comfortable with the accuracy of the document if it is outside of the PCAT. Crystal advised this document was identified to her by another CLEC and it contains the information Qwest used to roll out the product. Covad requested the document to be included in the PCAT as part of the PCAT and not be viewed via a separate search engine. Crystal agreed she would make a direct link to this document within the PCAT.

Cindy Macy – Qwest asked the CLECs if the content of the PCAT was adequate? Does the PCAT contain all the scenarios and is there enough detail on each scenario? John Berard – Covad explained they have begun looking at the scenarios but have not gone through each one yet. Crystal explained within the PCAT there is a link to the LSOG. The LSOG gives you direction on how to fill out the LSR/forms for the product you are offering. Cindy Macy – Qwest asked if there were any exceptions to the rule for ordering these products in the LSOG? If so those exception may need to be put in the PCAT.

Crystal Soderlund – Qwest agreed to make direct links to the scenario document in the PCAT. John Berard – Covad agreed to review the scenarios and let us know at the June CMP meeting if there are any scenarios that he is missing. If any CLEC reviews the document and has identified missing scenarios please send them to cmacy@qwest.com.

May 21, 2003 - CMP Meeting Minutes Crystal Soderlund – Qwest advised she has responded to the comments that came in. Crystal clarified the procedures and added additional details based on the comments. The Migrations PCAT is a ‘general and procedural’ PCAT, opposed to a product specific PCAT. Within this PCAT Crystal has added links that will bring you to more detailed documents that provide many different product scenarios for Migrations. This approach was taken as it would be very cumbersome to include all of the scenarios in the Migrations PCAT. Links are commonly used through out the PCATs. This link is a little different than other links though. The link initially brought you to another list of documents that you then needed to access to view. Crystal has changed it so the links will take you to the actual document, instead of a list of documents.

Covad asked what these documents were and if they fall under the same rules as PCATs, or are they owned by a group outside of CMP/Wholesale? Cindy Macy – Qwest agreed she would check on this item.

Covad expressed their concern that the level of detail for Data Migrations is not the same as Voice Migrations. Crystal asked for Covad to review the scenarios provided and let us know what scenerio is missing and we will then document the missing scenerio. Crystal explained the scenerios identify the type of LSR to submit, and then you have to go to the LSOG to get information on how to submit the LSR.

Cindy Macy – Qwest agreed to schedule a meeting to review the Migrations PCAT: logistics on how to get to the document and the content of the document will be reviewed. The Service Manager should also be invited.

April 16, 2003 - CMP Meeting PC012703-2: Data Migration Process

Crystal Soderlund – Qwest advised this process will be available on April 17, 2003. Qwest has issued updates to theMigrations PCAT. A url for two separate job aides on the web is provided. We have implemented an internal process to tie the two orders together. Mike Zulevic asked if this process includes Line Sharing and Line Splitting. Crystal advised yes. Cindy Macy – Qwest asked Crystal if this was done using a Level 1 Notification. Crystal advised yes. Qwest confirmed with the CLECs that it was okay to issue this as a Level 1 so the process is available for use asap. Mike Zulevic advised Level 1 is okay. If he has any questions on the document he will be able to get those answered since the CR is still open.

March 19, 2003 - CMP Meeting Cindy Macy Qwest reported the team met again on March 18 to clarify the Loop Splitting impacts to the CR. The differences between Loop Splitting, Line Sharing and Line Splitting were discussed. Agreement was reached that this CR will address multiple order situations as that is what causes the line to be down, opposed to a lift and lay move. Qwest is working to develop the process to tie multiple orders together to limit the amount of down time. Qwest also agreed to review the Data Migrations process and make it more clear, using the Voice Migrations process as an example. Mike Zulevic requested Qwest provide clarity on the steps to perform the Data Migration.

February 19, 2003 - CMP Meeting

Mike Zulevic–Covad presented this CR and explained the process associated with moving data line customers is not documented and causes confusion. Covad explained when data lines are converted the lines go down and the customer looses data that is being transmitted. Covad would like this process documented on the web site. Brett Fesler–Qwest asked if Loop Splitting was included with this CR. Zulevic agreed to discuss this with John Berard and let us know. Qwest agreed to continue working on the CR without Loop Splitting. If Loop Splitting is added we will meet again to clarify.

Comment from Mike Zulevic: I did discuss excluding loop splitting from the migrations CR with John Berard. Although loop splitting is not as critical for Covad right now as line sharing and splitting, it could be in time. It will still need to be documented, in my opinion, as there could well be migrations between a loop splitting service and a line sharing or splitting service where the same cable pair will be reused and possibly the same common area plitter. If Qwest wishes to have a seperate CR opened just for loop splitting, I think we would agree to do so, if it would make things easier for you in moving forward more quickly with the other migrations scenarios. Let me now if this would help.

Clarification Meeting CR PC012703-2 Data Migrations February 5, 2003 1-877-572-8687 3393947#

Attendees Name/Company: John Berard – Covad Crystal Soderlund – Qwest Brett Fesler – Qwest Deb Smith – Qwest Eric Yohe – Qwest Hiedi Moreland – Qwest (covered via notes) Linda Sanchez-Steinke – Qwest Cindy Macy - Qwest

Meeting Agenda:

1.0 - Introduction of Attendees Attendance was noted

2.0 - Review Requested (Description of) Change The group reviewed the CR Description in detail. The group clarified the products/services impacted and discussed the scope of the CR. The group determined the differences between this CR (PC012703-2 Data Migrations) and CR PC012703-4 Coordinated Hot Cuts for Data Migration. The key difference is this CR PC012703-2 is requesting a Process improvement and CR PC012703-4 CHC for Data Migrations is requesting a Product offering.

Brett asked John to clarify what a Data Migration order/service includes? John advised it would apply to an existing Line Sharing Order on an end users line. If the end user wants to go to another 3rd party voice provider but keeps the data with Covad, this would be a change to the Line Splitting account.

Deb Smith clarified Line Splitting is for UNE P POTS and Line Sharing is for Retail POTS.

John said this CR is requesting to minimize the amount of time the line goes down when doing a conversion from one provider to another on the data line. Cindy asked John to clarify the amount of time the lines have been down and how often this is happening. John advised the volume of this product offering has potential for increasing. John didn’t have a specific expectation of an acceptable down time during a cut over. CR PC012703-4 is for a CHC that would designate a specific cut over time.

Brett asked if we were able to build the process so there was no down time would there not be a need for CR PC012703-4. John advised potentially that CR would not be necessary if there was not any down time for the customer who is migrating.

The group discussed how this process works today. Crystal advised when going from Line Sharing to Line Splitting today a LSR is submitted to migrate the Line Share to UNE-P. At the same time the Service is migrated the Line Share is removed. The 2nd order is placed to make UNE-P. The LSR is submitted by the CLEC asking for Line Split to be added to the account. Because 2 orders are created the data line portion can be down for a period of time.

This CR applies to when there are 2 orders. On UBL DLEC to DLEC conversions there is only one order so this CR would not apply to one order situations. DLEC to DLEC is a ‘lift and lay’ process.

Crystal clarified that CLEC to CLEC UBL Migrations are available today and there is a PCAT in place. Because this is already in place, the reference to ‘second line’ in this CR does not apply. The group verified Loop Splitting is a Facility Based Provider service (existing UBL adding a splitter to a new provider). This scenerio does not fit within this CR either. John advised it is okay to remove Loop Splitting. John advised he will confer with Mike Zulevic to make final determination.

3.0 - Confirm Areas & Products Impacted Line Splitting and Line Sharing

4.0 - Confirm Right Personnel Involved All agreed the correct personnel are involved

5.0 - Identify/Confirm CLEC’s Expectation John said this CR is requesting to minimize the amount of time the line goes down when doing a conversion from one provider to another on the data line.

6.0 - Identify any Dependent Systems Change Requests CR PC012703-4 Coordinated Hot Cut on Data Migrations

7.0 - Establish Action Plan (Resolution Time Frame) Covad will present this CR to the CLEC Community at the February CMP Meeting Qwest will work to determine our response to this CR and have an initial response due March 12.


CenturyLink Response

For Review by the CLEC Community and Discussion at the March 19, 2003 CMP Meeting

March 11, 2003

Covad Communications John Berard

SUBJECT: Qwest’s Change Request Response – CR #PC012703-2 Data Migrations

This letter is in response to Covad Communications Change Request (CR) PC012703-2. This CR requests that Qwest reduce the CLEC down time during a Data Migration Order, and to clarify external documentation.

Qwest accepts this CR and is currently investigating and reviewing: ? Ways to internally tie the orders together to decrease the down time of the data portion of the loop ? External documentation for potential updates (LSOG and PCAT)

In addition, Qwest will schedule a subsequent clarification call with Covad to discuss the Loop Splitting product and the impacts to this CR.

Qwest requests this CR be placed in Evaluation Status and will provide an update at the April CMP Meeting.

Sincerely,

Crystal Soderlund

cc: Linda Miles


Open Product/Process CR PC012703-3 Detail

 
Title: Collocation 'Partial' Decommissioning
CR Number Current Status
Date
Area Impacted Products Impacted

PC012703-3 Denied
1/27/2003
Billing, Provisioning Collocation, Physical and Virtual
Originator: Berard, John
Originator Company Name: Covad
Owner: Nelson, Steve
Director:
CR PM: White, Matt

Description Of Change

Covad requests that Qwest provide a partial decommissioning product similar to the current decommissioning product that will include all collocation componants to include but not be limited to space, termination, bays, and power.

Expected Deliverable: Provide as soon as possible. Amend existing product to include this request.


Status History

01/27/03 - CR Submitted by Covad

01/27/03 - CR acknowledged by P/P CMP Manager

01/30/03 - Clarification Meeting scheduled for 2/3/03

02/03/03 - Clarification Meeting conducted

02/19/03 - CR presented at the CMP Meeting

03/19/03 - Qwest Response presented at CMP Meeting

04/16/03 - Qwest Revised Response presented at CMP Meeting


Project Meetings

04-16-03 - CMP Meeting

Nelson-Qwest presented the Qwest response. Zulevic-Covad stated that he had no questions but that Covad and Qwest differed in opinion in this issue. He stated the CR should be closed as denied because Covad’s description of change inferred that they wanted pricing similarities. Zulevic-Covad stated that he disagreed with Qwest’s assessment that this was a service that should be performed for a charge. The CR was moved to denied. Subsequent to the CMP Meeting, Zulevic-Covad contacted Nelson-Qwest by phone. Zulevic-Covad has stated that Qwest could close the CR as partially accepted because Covad can partially decommission a site, but not at the terms Covad requested. Zulevic-Covad asked that Qwest capture in the minutes Covad’s disappointment that Qwest was unwilling to perform this work without charge.

===============================================

03-19-03 - CMP Meeting

Nelson-Qwest presented the Qwest response. Zulevic-Covad stated that the current Qwest process the Nelson described meets Covad’s needs, but that Covad is also seeking a reimbursement similar to total decommissioning when another CLEC picks up unused collocation elements. Nelson-Qwest stated that this facet was not included in the description of change or mentioned on the clarification call. He stated that he would analyze that request. Zulevic-Covad stated that he was not satisfied with the high costs Qwest was charging. Nelson-Qwest stated that Qwest’s charges were approved by a commission or negotiated in Covad’s interconnection agreement, and were not part of CMP. The CR was moved to evaluation.

=================================================

02-19-03 - CMP Meeting

Zulevic-Covad presented the CR. Nelson-Qwest asked if Covad expected the partial decommissioning service to be performed at no charge. Zulevic-Covad stated that he expected it to be a small charge, because, in many cases, Qwest would only be updating its records. White-Qwest stated that the CR would be moved to Presented status.

==================================================

Clarification Meeting 1:00 PM (Mountain Time) / Monday, February 3, 2003

1-877-550-8686 2213337#

Attendees Matt White – CRPM Steve Nelson – Qwest John Waltrip – Qwest Jeff Cook – Qwest Lillian Robertson – Qwest John Berard – Covad

Introduction of Attendees White-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Berard-Covad reviewed the CR. Waltrip-Qwest asked if the request was to give up space, power, etc on a partial basis. Berard-Covad responded that it was. Nelson-Qwest asked if the request was to the bay level or to the shelf level. Berard-Covad stated that he was primarily concerned with individual bays or terminals. Waltrip-Qwest asked if Berard was familiar with the Inverse Augment Product. Berard-Covad stated that he was not intimately familiar with it but would ask Neesen-Covad if that product addressed this request.

Confirm Areas and Products Impacted White-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted. Confirm Right Personnel Involved White-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation White-Qwest reviewed the request to confirm Covad’s expectation.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for Covad to present the CR at the February Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

April 9, 2003

REVISED RESPONSE For Review by CLEC Community and Discussion at the April 16, 2003, CMP Product/Process Meeting

Mike Zulevic Director - GEA Covad Communications

SUBJECT: Qwest’s Revised Change Request Response - CR #PC012703-3

This memo is in response to Covad CR PC012703-3. This CR requests “…that Qwest provide a partial decommissioning product similar to the current decommissioning product that will include all collocation components to include but not be limited to space, termination, bays, and power.”

Qwest Response: Accepted

The request is accepted for the following reason: Qwest currently allows CLECs to reduce portions of an existing collocation site. To request this service a CLEC must complete the collocation application form “New/Change/Augment Application”. On this form, the CLEC must specify the work to be performed. In response to this form Qwest will issue a quote per the ICA or established timelines in the SGAT, as appropriate. Commissions, through cost docket hearings, arbitration, or through negotiations, approve the rates associated with this service.

Qwest also has an existing product that allows CLECs to power down DC power at a lesser cost, when an amendment is signed between Qwest and the individual CLEC.

Key work steps associated with reducing terminations, bays, or space is as follows: Receive application, validate, schedule, and distribute. (CPMC) Conduct 48 hour call where requested or needed. (Team of Network SMEs) Open a planning document and procure funding to process the job. Space planning and power engineering review to determine potential impacts. Determine feasibility. Begin IOF engineering job. Route to OSP if anything involving entrance facilities removal. Assign floor space changes, terminations, power changes. Monitor payment for timely acceptance. Request field visit to validate existing and changes (reductions or removals) Develop quote input. Enter job into COE-FM or OSP-FM. Schedule installation forces. Monitor payment and timely acceptance. Procure material as required. Track job progress and project manage all work steps, timelines, and resolve gaps or jeopardies. Complete field work and complete an Installation Completion Notification. Update applicable data bases such as TIRKs and SWITCH. Issue a revised APOT(s).

Qwest has a legitimate business reason to be compensated for these work functions and has no plans to reduce pricing which is based on cost models filed with the commissions or negotiated rates through Interconnect Agreements. This portion of the request (partial decommissions at no cost like full decommissions) which was identified during the clarification call on Feb. 3, 2003 is outside the CMP process since pricing is subject to commission ordered rate elements and or negotiations.

In the March 19, 2003 CMP Meeting, Covad asked whether any partial decommissioned infrastructure could be reused and, thus, be reimbursable. This request significantly changes the scope of this CR. By definition, Qwest’s decommission product and available inventory product descriptions require fully decommissioned sites for posting and reimbursement, if a subsequent CLEC requests the site. In situations where a CLEC occupies a cage, Qwest only posts vacated collocation space to the Web site if the CLEC completely vacates the space and the CLEC termination cable remaining in the cage meets applicable engineering standards. When a CLEC still occupies a portion of their cage space, any “partially decommissioned” site termination cable would be useless to other CLECs because the original CLEC is still occupying the site where the cable terminates. Qwest occasionally mines out partially decommissioned cable, but only in situations where it is necessary to relieve cable rack congestion. In a situation where a CLEC occupies cageless space, Qwest brings power and terminations to a cageless bay lineup and installs them to the equipment bay. This installation requires H-taps for power to be placed on each bay, and the cable and ground cable to be cut to length. Power cable running to a CLEC site is not CLEC cable nor is it reimbursable today under available inventory. Partially decommissioned power can not be reimbursed. Cageless bays are removed by the CLEC in most cases.

In summary, Qwest currently allows CLECs to reduce portions of an existing collocation site but has no plans to reimburse CLECs for a partial decommission.

Sincerely, Steve Nelson Qwest Product Manager

==============================================================

March 12, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the March 19, 2003, CMP Product/Process Meeting

Mike Zulevic Director - GEA Covad Communications

SUBJECT: Qwest’s Change Request Response - CR #PC012703-3

This memo is in response to Covad CR PC012703-3. This CR requests “…that Qwest provide a partial decommissioning product similar to the current decommissioning product that will include all collocation components to include but not be limited to space, termination, bays, and power.”

Qwest Response: Accepted

The request is accepted for the following reason: Qwest currently allows CLECs to reduce portions of an existing collocation site. To request this service a CLEC must complete the collocation application form “New/Change/Augment Application”. On this form, the CLEC must specify the work to be performed. In response to this form Qwest will issue a quote per the ICA or established timelines in the SGAT, as appropriate. Commissions, through cost docket hearings, arbitration, or through negotiations, approve the rates associated with this service.

Qwest also has an existing product that allows CLECs to power down DC power at a lesser cost, when an amendment is signed between Qwest and the individual CLEC.

Key work steps associated with reducing terminations, bays, or space is as follows: Receive application, validate, schedule, and distribute. (CPMC) Conduct 48 hour call where requested or needed. (Team of Network SMEs) Open a planning document and procure funding to process the job. Space planning and power engineering review to determine potential impacts. Determine feasibility. Begin IOF engineering job. Route to OSP if anything involving entrance facilities removal. Assign floor space changes, terminations, power changes. Monitor payment for timely acceptance. Request field visit to validate existing and changes (reductions or removals) Develop quote input. Enter job into COE-FM or OSP-FM. Schedule installation forces. Monitor payment and timely acceptance. Procure material as required. Track job progress and project manage all work steps, timelines, and resolve gaps or jeopardies. Complete field work and complete an Installation Completion Notification. Update applicable data bases such as TIRKs and SWITCH. Issue a revised APOT(s).

Qwest has a legitimate business reason to be compensated for these work functions and has no plans to reduce pricing which is based on cost models filed with the commissions or negotiated rates through Interconnect Agreements. This portion of the request (partial decommissions at no cost like full decommissions) which was identified during the clarification call on Feb. 3, 2003 is outside the CMP process since pricing is subject to commission ordered rate elements and or negotiations.

Sincerely, Steve Nelson Qwest Product Manager


Open Product/Process CR PC012703-4 Detail

 
Title: Coordinated Hot Cuts for Data Migrations
CR Number Current Status
Date
Area Impacted Products Impacted

PC012703-4 Denied
3/19/2003
Provisioning UNE - Loop, Line Share and XDSL
Originator: Berard, John
Originator Company Name: Covad
Owner: Fesler, Bret
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Covad is requesting that Qwest develop a process similar to the UNE-P Hot Cut process that can be applied to DATA Migrations.

Expected Deliverable: As soon as possible.


Status History

01/27/03 - CR Submitted by Covad

01/27/03 - CR acknowledged by P/P CMP Manager

01/30/03 - Scheduled Clarification Meeting 2/3/03

02/03/03 - Held Clarification Meeting

02/19/03 - February CMP Meeting - Covad presented this CR. Meeting minutes will be posted to this CR's Project Meetings section.

03/12/03 - Issued Qwest draft response to John Berard at Covad

03/19/03 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

03/19/03 March CMP Meeting Brett Fesler with Qwest presented the Qwest draft response and explained that this CR would require a change that would take all non-design orders and put them into the design flow. Deb Smith said there is a coordinated option for unbundled loops that is available with designated cut time. In the PCAT for Unbundled Loops, new and existing are available with cooperative testing at a designated appointment time. Mike Zulevic said he would take this back to Covad and determine if they will escalate. The CR status was changed to Denied.

02/19/03 February CMP Meeting Mike Zulevic with Covad presented this CR. Mike said that Covad is looking for a specific time to cut service for data migration and provide the customer with very little interruption in service. Mike said that Line Sharing, Line Splitting, Loop Splitting are the products Covad would like to be able to specify cut time. Brett Fesler with Qwest asked if the end user would have the same data provider. Mike said the end user may want to change data providers; an example would be that a Qwest end user may want to go to a different voice provider and have Covad as their data provider. The CR status was changed to Presented.

CLEC Change Request Clarification Meeting

2:00 p.m. (MT) / February 3, 2003

1-877-572-8687 PIN 3393947 # PC012703-4 Coordinated Hot Cuts for DATA Migrations

Name/Company: John Berard, Covad Director Operations Support Crystal Soderlund, Qwest Sr. Process Analyst Heidi Moreland, Qwest Network Technical / Regulatory Neil Houston, Qwest Network Technical / Regulatory Laurel Neher, Qwest Network Technical / Regulatory Russ Urevig, Qwest Sr. Process Analyst Brett Fesler, Qwest Product Management Rosemarie Ferris, Qwest Lead Process Analyst Linda Sanchez-Steinke, Qwest Change Request Project Manager

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change The change request asks that Qwest develop a process similar to the UNE-P Hot Cut process that can be applied to DATA Migrations. Laurel Neher said that Qwest has a Hot Cut Process for Unbundled Loop and does not have a Hot Cut Process for UNE-P. John Berard said that Covad is asking for a coordinated cut in the center that will minimize downtime for the customer. Neil Houston stated that the Unbundled Loop hot cut process takes a matter of minutes. Laurel asked what product Covad would be ordering. John responded that it would be a Line Shared Loop, a Qwest Voice Grade that has linesharing and Covad is migrating to another carrier. Crystal Soderlund asked what the difference was between change request PC012703-2, DATA Migration Process and this change request, PC012703-4 Coordinated Hot Cuts for DATA Migration. John explained that the difference is that PC012703-2 is asking for a process and PC012703-4 is asking for a Coordinated Hot Cut process. Rosemarie Ferris asked if we have a Qwest voice grade linesharing with Covad, the linesharing is going to another carrier, or another carrier is loosing it, or it is moving over to a line shared loop.

Crystal Soderlund asked if the request is for DLEC to DLEC changes, then it appears the two change requests are asking for the same thing, when changing from DLEC to DLEC data portion doesn’t go down. John said Covad would like a coordinated process for moving from one DLEC to another DLEC, with the new connect and disconnect happening at the same time, someone assigned to take responsibility for both orders and a minimal period of down time. Crystal said that with Line sharing to Line splitting the end user doesn’t experience data going down and there is a coordinated installation option. Crystal said that Linesharing has only a basic option and wanted to clarify which products are involved: Linesharing, UNE-P Linesplitting, Loop splitting. All of them per John. Crystal asked if this would be on line share to loop split orders and Johns replied yes. Laurel asked if when changing voice provider, but data provider is the same, there is a period where that is open. When changing DLECs Line Sharing to splitting voice provider changing and keeping the DLEC or changing the DLEC. Per John that is accurate. John said that this CR is for a coordinated hot cut process as a premium service which will ensure that it makes it through the process without downtime. Heidi asked if this is just a basic offering or if there would be a selected time. Crystal said yes coordinating of orders when changing DLEC or changing sharing to splitting. Would be ok if systems would be coordinated and orders worked at the same time. John will go back to Covad folks and determine if it is enough to offer with minimum down time to make sure the data portion stayed up or if the CR should be asking for a specific point in time for a coordinated cut. John will e-mail to Linda Sanchez-Steinke.

During the Clarification Meeting for PC012703-2, John said the difference between CR’s is that PC012703-4 is asking for a Hot Cut process with a specific time for the Hot Cut to take place.

Confirm Areas & Products Impacted Products impacted are Linesharing, UNE-P Linesplitting, Loop splitting, when changing DLECS line sharing to splitting voice provider changing and keeping DLEC or changing DLEC.

Confirm Right Personnel Involved Qwest confirmed that Heidi Moreland, Crystal Soderlund, are the correct personnel to resolve the CR.

Identify/Confirm CLEC’s Expectation Covad is requesting that Qwest develop a coordinated Hot Cut process for DATA Migrations

Identify any Dependent Systems Change Requests No dependent change requests were identified. Change Request PC012703-2 is similar and Covad will confirm that PC012703-4 is not the same request.

Establish Action Plan (Resolution Time Frame) John Berard will present this CR at the February CMP Meeting.


CenturyLink Response

March 5, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the March CMP Meeting

John Berard Director Operations Support Covad Communications

SUBJECT: Qwest’s Change Request Response - CR #PC012703-4 This letter is in response to CLEC Change Request PC012703-4. This CR is a request by Covad to do Coordinated Hot Cuts on Data Migrations for Line Sharing, Line Splitting, and Loop Splitting.

Qwest has investigated the creation of a new installation option that would allow coordinated hot cuts to take place at a particular time to be specified by the CLEC.

This request would require an additional installation option that would take all Line Sharing and Line Splitting products out of their non-design flow. As a result of the change in flow, Qwest internal system changes would be required to allow orders to go to the designed services flow. Additionally, order intervention would be required, with significant resources in the QCCC to handle the increased volume.

As a result of this investigation, Qwest respectfully denies this change request due to it being economically not feasible because the economic magnitude of adding additional resources is too large for the number of orders.

Sincerely,

Brett Fesler Associate Product Manager


Open Product/Process CR PC050905-1 Detail

 
Title: Reduce Intervals
CR Number Current Status
Date
Area Impacted Products Impacted

PC050905-1 Completed
4/7/2006
Provisioning UBL 2/4 Wire Non Loaded, LineSplit/Shared
Originator: Balvin, Liz
Originator Company Name: Covad
Owner: Buckmaster, Cindy
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Revision Received 05/24/2005 (revised description and products:

Covad seeks reduction of the following intervals applied by Qwest:

1) DSL line shared/split disconnect orders reduced to 24 hours.

2) CFA only supplemental orders (post FOC, pre completion) reduced to 24 hour interval for line shared/split and 2/4 wire non-loaded loops

Expected Deliverable:

1) That Qwest will perform DSL line shared/split disconnect orders within 24 hours (current interval 3 days).

2) That Qwest will process CFA only supplemental orders within 24 hour interval (currently 72 hours) for line shared/split and 2/4 wire non-loaded loops. For example, if the CFA change request is made before the due date has passed than the due date remains the same or if the CFA change request is made on the due date or after the due date has passed, Covad requests the 24 hour interval instead of the current 3 day interval.

------------------------------------------------------------------------------------------------------

Original Description:

Covad seeks reduction of the following intervals applied by Qwest:

1 Stand alone DSL line shared/split disconnect orders reduced to 1 day.

2) CFA only supplemental orders (post FOC, pre completion) reduced to 24 hour interval for line shared/split and xDSL qualified loops.

Expected Deliverable:

That Qwest will perform stand alone DSL line shared/split disconnect orders within 24 hours (current interval 3 days). In addition, that Qwest will process CFA only supplemental orders within 24 hour interval (currently 72 hours) line shared/split and xDSL qualified loops.

Orig Products: UBL xDSL, Line Split/Shared


Status History

05/09/2005 - CR Submitted

05/10/2005 - CR Acknowledged

05/18/2005 - Discussed in the Monthly Product Process CMP Meeting

05/18/2005 - Clarification Meeting Held

05/24/2005 - Revised CR Received from Covad

06/15/2005 - Discussed in the Monthly Product Process CMP Meeting

07/20/2005 - Discussed in the Monthly Product Process CMP Meeting

08/17/2005 - Discussed in the Monthly Product Process CMP Meeting

09/21/2005 - Discussed in the Monthly Product Process CMP Meeting

10/19/2005 - Discussed in the Monthly Product Process CMP Meeting

11/16/2005 - Discussed in the Monthly Product Process CMP Meeting

12/14/2005 - Discussed in the Monthly Product Process CMP Meeting

01/09/2006 - PROS.01.09.06.F.03573.Interconnect_SIG_V59 (level 2)

01/18/2006 - Discussed in the Monthly Product Process CMP Meeting

01/30/2006 - Status Changed to CLEC Test Due to January 30, 2006 Implementation

02/15/2006 - Discussed in the Monthly Product Process CMP Meeting

03/15/2006 - Discussed in the Monthly Product Process CMP Meeting


Project Meetings

April 7, 2006 Email Received From Covad: Peggy, The testing has been confirmed. This CR can be closed. Thank you, Lynn Hankins

-- April 7, 2006 Email Received From Covad: Peggy, I haven’t heard back yet. It’s on my list and I will let you know as soon as I hear back from our Ops. Thanks, Lynn

- April 7, 2006 Email Sent to Covad: Good Morning Lynn - This email is a follow-up to the emails below. Is Covad ready for closure of the Reduce Intervals CR? Thank you, Peggy Esquibel-Reed Qwest Wholesale CMP

March 31, 2006 Email Received From Covad: Hi Peggy, I have requested information from our Ops department on this CR - I will inquire again on Monday to see if there are any issues that would prevent closure, based on the testing. Thanks, and have a nice weekend. Lynn

- March 31, 2006 Email Sent to Covad: Hello Lynn, This email is just a follow-up to see if you have had the opportunity to validate the changes made as a result of Covad's Product Process CMP CR PC050905-1 Reduce Intervals. The effort was implemented on January 30th. Please let me know if you are ready to close the CR or if you did find an issue with the implementation, please let me know what the issue is and I can assist in getting the issue resolved. Thank you, Peggy Esquibel-Reed Qwest Wholesale CMP

March 15, 2006 Monthly Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that this effort deployed on January 30th and asked if the CR was ready to be closed. Lynn Hankins-Covad asked that the CR remain open another month, as she has not been able to check. Jill Martain-Qwest advised Covad that if they determine that the CR could be closed before the next CMP meeting that they could send an email to close during the month. Lynn Hankins-Covad advised she would check, and if possible, she will let Qwest know off-line. This CR remains in CLEC Test.

-- February 15, 2006 Monthly Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that this CR deployed on January 30th and asked for closure. Lynn Hankins-Covad asked that the CR remain open another month. This CR remains in CLEC Test.

January 18, 2006 Monthly Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that the Level 2 Notice was sent on January 19th with a targeted implementation date of January 30th. Jill stated that this CR would move to CLEC Test on January 30, 2006.

- December 14, 2005 Monthly Product Process CMP Meeting Discussion: Jill Martain/Qwest stated that this is still on target for a January 28, 2005 deployment. This CR remains in Development status.

-- November 16, 2005 Monthly Product Process CMP Meeting Discussion: Jill Martain/Qwest stated that this effort was targeted for January 28, 2006 and noted that the notice would be sent in early December. This CR remains in Development status.

-- October 19, 2005 Monthly Product Process CMP Meeting Discussion: Anthony Washington/Qwest stated that Qwest is accepting the remaining portion of this request and is tentatively looking at implementation in February, due to changes needed in back-end systems. Jill Martain/Qwest stated that the implementation date is not yet finalized and that the February date is very tentative. Jill stated that this CR moves to Development Status. Jill noted that the CFA portion was already solved. Liz Balvin/Covad agreed.

-- September 21, 2005 Monthly Product Process CMP Meeting Discussion: Peggy Esquibel-Reed/Qwest stated that Qwest is continuing to work internally on this request and is currently looking at the costs for changes to back-end system changes that may be able to meet this need. Peggy stated that Qwest would like to leave this CR in Evaluation status and that a status would be provided in the October CMP Meeting.

August 17, 2005 Monthly Product Process CMP Meeting discussion: Peggy Esquibel Reed-Qwest stated that Qwest is still evaluating this request and noted that Qwest has met internally at least once per week in order to discuss this CR. Peggy stated that this CR remains in Evaluation and that a status would be provided in September. [Comment received from Eschelon: Liz Balvin-Covad asked Qwest if we need an ad-hoc meeting. Liz said she does not want the CR to be denied. Liz said Qwest was looking at systems solutions and asked if that was still Qwest’s path. Qwest said they will keep an ad-hoc meeting in mind.]

- July 20, 2005 Monthly Product Process CMP Meeting discussion: Anthony Washington-Qwest said that this CR is for Line Sharing and Line Splitting. He said that the Line Sharing portion of this CR is still in evaluation. Anthony said that we have to figure out how we can determine the 1 day’s intervals versus a standard interval and then be able to prioritize the orders. Liz Balvin-Covad clarified that the disconnect interval reduction from 3 to 1 days, and the CFA change on Due Date for Line Sharing and Line Splitting is in Evaluation. Anthony Washington-Qwest advised yes. Deb Smith-Qwest added that UBL 2/4 wire non loaded was addressed post FOC and pre completion via CR5548229 (the verbal sup process). Liz Balvin-Covad said that she thought they could not do the CFA change. Liz said that the documentation was not very clear and that she will check on this. Liz advised that they still want the Line Splitting/Line Sharing. Jill Martain-Qwest stated that this CR will remain in Evaluation Status.

June 15, 2005 Monthly Product Process CMP Meeting discussion: Jill Martain-Qwest stated that Qwest is internally evaluating this request and that a status would be provided at the July CMP Meeting. This CR is in Evaluation status.

- May 18, 2005 Clarification Meeting Attendees: Liz Balvin-Covad, Nicole-Covad, Kim Isaacs-Eschelon, Bonnie Johnson-Eschelon, Peggy Esquibel Reed-Qwest, Heidi Moreland-Qwest, Crystal Soderlund-Qwest, Jo Wees--Qwest, Deb Smith-Qwest, Shirley Tallman-Qwest, Anne Robberson-Qwest, Paul Schlacter-Qwest, Anthony Washington-Qwest

Review Requested (Description of) Change: Peggy Esquibel Reed-Qwest reviewed the CR Title and Description and stated that the products indicated on the CR are UBL, DSL, Line Splitting, and Line Sharing. Peggy also noted that this CR is requesting a process change for Provisioning. Peggy then asked Covad if they had additional information to provide to Qwest. Nicole-Covad stated that currently for line shared and line split and when the voice is disconnected, the DSL is automatically disconnected within 24-hours. Nicole stated that the first item in the CR is requesting that stand alone DSL be in synch. Nicole stated that the second item in the CR is if it is identified that the CFA needed to be changed that they get a 3-day interval. Crystal Soderlund-Qwest asked Covad to further explain what Covad means by stand alone DSL. Liz Balvin-Covad stated that when they have a shared service, they are requesting a disconnect of the DSL only. Crystal Soderlund-Qwest asked if when requesting a disconnect of a line split or a shared line. Nicole-Covad stated is for the DSL portion of shared service. Crystal Soderlund-Qwest asked if this was for the data portion. Liz Balvin-Covad stated that the line in question is already split, voice and data, and if the provider disconnects the voice, the data portion is also to be automatically disconnected. Liz stated that if they disconnect the DSL only, it is a 3-day interval. Crystal Soderlund-Qwest stated that line sharing and Qwest DSL are 2 different products. Liz Balvin-Covad stated yes and that the DSL would be Covad provided DSL. Deb Smith-Qwest asked if this was just for shared services or if there is an impact to unbundled loops. Crystal Soderlund-Qwest asked if xDSL was qualified loops. Liz Balvin-Covad stated that it would be a stand alone DSL and noted that this CR has 2 different scenarios. Nicole-Covad stated that the first scenario applies to shared lines with the disconnect interval reduced to 1-day. The second scenario is when there is a CFA change, the interval is reduced to for stand alone DSL, the UNE line/UBL) and for line share. Anthony Washington-Qwest asked if this was for loop splitting. Nicole-Covad stated that this CR has 2 requests. UBL and shared loop. Nicole stated that if a CFA change is needed, they want a 24-hour interval instead of 3 days for shared lines and 5 days for UBL. Liz Balvin-Covad stated that the DSL product is a 2/4 wire non-loaded loop. Crystal Soderlund-Qwest asked if these were T1’s. Liz Balvin-Covad stated is 2/4 wire non-loaded loops, sDSR, not T1 or higher. Liz stated this would be for a DS0. Liz then noted that Covad does not purchase Qwest ADSL qualified loops. Crystal Soderlund-Qwest asked to confirm that item 1 in the CR should state that line sharing and line splitting need to be reduced to a 1-day interval and item 2 should state CFA changes for line shared/line splitting and 2 & 4 wire non splitting loaded loops. Liz Balvin-Covad said yes and stated that she would send in a revised CR. Crystal Soderlund-Qwest asked for example, a line shared request for slot 26 to be used; Qwest sends an FOC but is prior to completion. The request comes in today, May 18th, so May 23rd would be the due date on a 3-day interval. On May 19th, is post completion and Covad then wants a splitter change to slot 40. Crystal asked if Covad then wanted a May 20th due date. Nicole-Covad stated that normally, the only CFA change is when Qwest notifies them of a synchronization problem. Nicole stated that id Covad confirms that there is a problem with the CFA, they resubmit with a new assignment. Nicole stated that this is when they want a 1-day interval from when they submit the order. Nicole stated that if they receive a jeopardy on the CFA and Covad confirms the problem, they would resubmit on May 19th and would want the CFA completed on May 20th, not May 23rd. Kim Isaacs-Eschelon asked if there was a repair process for a CFA change. Nicole-Covad stated that this is for when the order is not yet completed, so they cannot go through repair. Kim Isaacs-Eschelon asked if this was for when the CFA was busy. Nicole-Covad said yes. Crystal Soderlund-Qwest asked that if the order is jeop’d on day 1, and there is a request to change the CFA, Covad wants a 1-day interval. Nicole-Covad said yes, with the impression that all the other work has been done, such as cross connects. Nicole stated that Covad does not want to affect the customer’s voice. This is for when no additional work is needed; they just need to switch to another card; and for UBL, if the pair is bad and the fieldwork has already been done. This would just be a pair change in the C.O. Deb Smith-Qwest asked to confirm that this would already be down to the due date since all the work has been done. Nicole-Covad said yes and noted that it could be on the FOC date or on the day before. Deb Smith-Qwest stated that on UBL 2/4 wire non-loaded loop; they should get the FOC long before the due date and is a 5-day interval. Deb stated that fieldwork may be done on the PTD but is close to the due date. Nicole-Covad stated that the C.O. work would be done and is done on the FOC date. Nicole stated that the fieldwork is done and the line is complete and Qwest tests or does co-operative testing. Then there could be a problem with the CFA assignment. If Covad reassigns the CFA, they currently wait 5-days, when the work is already done. Nicole stated that Covad does not know that there is a problem until the FOC date. Nicole stated this is where they want the 1-day interval. Crystal Soderlund-Qwest asked to confirm that a 1-day interval is requested if is on or after the original due date, or anytime during the process. Nicole-Covad stated anytime during the process. Crystal Soderlund-Qwest asked to confirm that if there is a CFA issue for a slot or splitter, the order is due today and there is a bad pair or splitter, Covad is asking for a 1-day interval. Crystal stated this would be a total 4 to 6-day interval. Kim Isaacs-Eschelon stated that this request sounds familiar and stated that there is a CR regarding a same day pair change the day of the cut, submitted by Allegiance. Kim stated that the CR number is 5548229 and noted that it was completed. Peggy Esquibel Reed-Qwest stated that Qwest would look at that CR. Liz Balvin-Covad asked what the escalation process was. Nicole-Covad stated that when the order is jeop’d for failure of a synch test, Covad disputes. If agreement is reached and a new CFA is sent, they want a sooner due date. Liz Balvin-Covad stated that of the Allegiance CR was completed; there should be a process in place. Peggy Esquibel Reed-Qwest stated that Qwest would look into the Allegiance CR. Liz Balvin-Covad stated that the Allegiance CR was for a post completion maintenance problem. Kim Isaacs-Eschelon stated that Allegiance asked for on the due date. Liz Balvin-Covad asked if Qwest understood what Covad was requesting. Deb Smith-Qwest stated that Covad is requesting a reduction to 1-day if it comes in today and that the 1-day would be at the end of business tomorrow. Liz Balvin-Covad said yes. Deb Smith-Qwest asked what if the due date was today and the CFA change was tomorrow. Nicole-Covad stated that if the due date were today and they were told today that there was a CFA problem, they are asking for a new due date of tomorrow. Deb Smith-Qwest asked if Covad only wants the 1-day interval for CFA’s on the due date and for the day before the original due date, the interval is not to be reduced. Nicole-Covad stated that if is jeop’d the day before or 2-days before the due date. Nicole stated that the expectation is to avoid pushing out the due date. Nicole stated that if the due date has passed, they want the interval to be 1-day. Crystal Soderlund-Qwest asked if that could also be clarified on the revision to the CR. Deb Smith-Qwest asked to confirm that the requested outcome is to not push out the due date when the CFA issue is identified prior to the due date. Nicole-Covad said yes and will clarify that on the revision being sent. Crystal Soderlund-Qwest stated that a 24-hour interval could be different than a 1-day interval, depending on the time that the request comes into Qwest. Liz Balvin-Covad said yes and would also clarify that on the CR revision. Peggy Esquibel Reed-Qwest asked if there were any additional questions or comments. There were none brought forward. Peggy then stated that this CR is scheduled for presentation at the June CMP Meeting and that Qwest would internally review the request.

-- May 18, 2005 Monthly Product Process CMP Meeting discussion: Liz Balvin-Covad stated that this CR had 2 pieces and stated that the first piece is that Covad would like a reduction that when Covad processes a line split, they would like the interval reduced to 1-day. Liz stated if it is a DSL disconnect, it is a 3-day interval. [Comment from Covad: Liz Balvin-Covad stated that this CR had 2 part 1) that the a DSL only disconnect be processed within 1 day Liz stated that currently if the voice is disconnected, the DSL automatically is brought down and done so within a day but if the DSL requires disconnection, Qwest imposes a 3-day interval.] Liz then stated that the second piece is for the ability to change the CFA on a supplemental order, post FOC and pre completion. Liz stated that the clock starts again if they need to change the CFA. Liz noted that the Clarification Call is scheduled for this afternoon. This CR moved to Presented status.

May 16, 2005 Email Received from Covad: Peggy, My internal contact was out of the office last week. I have a note out and should have back to by COB today with clarification call options. Thanks, Liz Balvin Covad Communications

-- May 16, 2005 Email Sent to Covad: Hi Liz, This email is just to follow-up on the item below. Will you send me several dates & times for the call? I will then get it scheduled and send you the call-in information. Thanks much, Peggy Esquibel-Reed Qwest Wholesale CMP

May 10, 2005 Email Sent to Covad: Hello Liz, Will you please advise me of your availability for the Clarification Call to discuss your request to Reduce Intervals? Several options would be greatly appreciated. Thanks much, Peggy Esquibel-Reed Qwest CMP


CenturyLink Response

October 14, 2005

Revised Response for Review by the CLEC Community and Discussion at the October 19, 2005 Product Process CMP Meeting

TO: Liz Balvin, Covad

SUBJECT: Qwest’s Revised Response for PC050905-1 Reduce Intervals

Description of Change: Covad seeks reduction of the following intervals applied by Qwest: - DSL line shared/split disconnect orders reduced to 24 hours. - CFA only supplemental orders (post FOC, pre completion) reduced to 24 hour interval for line shared/split and 2/4 wire non-loaded loops

This Covad Change Request, PC050905-1, is asking Qwest to perform DSL line shared/split disconnect orders within 24 hours (current interval 3 days) and that Qwest will process CFA only supplemental orders within 24 hour interval (currently 72 hours) for line shared/split and 2/4 wire non-loaded loops. For example, if the CFA change request is made before the due date has passed than the due date remains the same or if the CFA change request is made on the due date or after the due date has passed, Covad requests the 24 hour interval instead of the current 3 day interval.

Revised Qwest Response: Qwest provided a response for the CFA portion of the request which stated that with the CFA verbal supplement process that is currently in place; Qwest believes that the CFA issue has been resolved for Unbundled Loops. Please see the July 12, 2005 Qwest Response for details.

Qwest is accepting the remaining portion of this request, which is the DSL line shared/split disconnect orders reduction to 24 hours. Implementing this change will involve changes to back-end systems and Qwest is currently assessing when those changes can be implemented. When the implementation date is determined, Qwest will follow the appropriate notification timelines and will communicate the implementation date at a monthly CMP Meeting. Qwest would like to move this Change Request to Development Status.

Sincerely, Qwest

-- July 12, 2005

DRAFT RESPONSE For Review by the CLEC Community and Discussion at the July 20, 2005 CMP Meeting

TO: Liz Balvin, Covad

SUBJECT: Qwest’s Change Request Response - PC050905-1 Reduce Intervals

Description of Change: Covad seeks reduction of the following intervals applied by Qwest: - DSL line shared/split disconnect orders reduced to 24 hours. - CFA only supplemental orders (post FOC, pre completion) reduced to 24 hour interval for line shared/split and 2/4 wire non-loaded loops

Qwest Response: This Covad Change Request, PC050905-1, is asking Qwest to perform DSL line shared/split disconnect orders within 24 hours (current interval 3 days) and that Qwest will process CFA only supplemental orders within 24 hour interval (currently 72 hours) for line shared/split and 2/4 wire non-loaded loops. For example, if the CFA change request is made before the due date has passed than the due date remains the same or if the CFA change request is made on the due date or after the due date has passed, Covad requests the 24 hour interval instead of the current 3 day interval.

As it relates to the Shared Service products Qwest is evaluating what all of the changes and resources that are needed would entail for this effort. We are determining how we can identify a 1 day interval vs. a standard interval and once identified, if we can ensure that we can comply with completing a 1 day interval, or a CFA post FOC, pre-completion by the requested time frame. Qwest would like to leave this portion of PC050905-1 in Evaluation status.

In regard to the 2/4 wire Non Loaded Unbundled Loop, as a result of an Allegiance Change Request (5548229 Same Day Pair Change During Test and Turn-up (day of cut)) completed 8/21/2002), Qwest implemented a process to allow CLECs to have a CFA change before or on the due date for Unbundled Loop services, including the 2/4 wire Non Loaded. These processes allow this activity to happen via Verbal Supplements.

Information is located in the Ordering Overview Business Procedure at http://www.qwest.com/wholesale/clecs/ordering.html section Verbal Supplements on LSRs: "Changes to an existing service request must be made via a supplement as described above. Qwest will only accept a verbal supplement change request for one of the following reasons: - CFA or slot change on the due date - etc.

Note: For Unbundled Loop, verbal CFA or slot changes may be made up to three days prior to the due date".

Therefore, if the CLEC determines that their CFA is defective after FOC, but pre completion, the CLEC will contact the QCCC with the new CFA and provide their representative’s name and phone number. The QCCC will initiate the work activities within Qwest to perform the CFA change. A new FOC will be sent to the CLEC following the standard FOC guidelines. It is not necessary for the CLEC to issue a supplement to their LSR for these types of CFA changes.

With the CFA verbal supplement process that is in place, Qwest believes the CFA issue has been resolved for Unbundled Loops.

Sincerely, Qwest


Open Product/Process CR PC060105-1 Detail

 
Title: Update Lines in Service Report
CR Number Current Status
Date
Area Impacted Products Impacted

PC060105-1 Denied
8/17/2005
Lines in Service Reporting
Originator: Balvin, Liz
Originator Company Name: Covad
Owner: McGhghy, Laura
Director:
CR PM: Stecklein, Lynn

Description Of Change

Add special billing number and address information

Expected Deliverable:

That Qwest will add to the special billing number and address information to the lines in service reports currently generated on a monthly basis.


Status History

6/1/05 - CR submitted

6/2/05 - CR acknowledged

6/3/05 - Clarification Meeting Scheduled

6/8/05 - Clarification Meeting Held

6/15/05 - Status changed to Presented

6/15/05 - Discussed in the June CMP Product/Process Meeting

7/20/05 - Status changed to Evaluation

7/20/05 - 6/15/05 - Discussed in the July CMP Product/Process Meeting

8/9/05 - Response sent to Covad

8/17/05 - Discussed in the August CMP Product/Process Meeting


Project Meetings

11/2/05 E-mail from Covad

Thanks Lynn. Please note in the CR the following on behalf of Covad:

Qwest’s response does not provide sufficient information to question the dollars assessed that resulted in the denial of this CR. Qwest houses the information requested and it is not required to access the Inventory Systems to extract and send to the billing systems which contains this information.

Thanks,

Liz

--Original Message-- From: Stecklein, Lynn [mailto:Lynn.Stecklein@qwest.com] Sent: Wednesday, October 26, 2005 9:55 AM To: Balvin, Elizabeth Cc: Hankins, Lynn Subject: RE: PC060105-01 Update Lines in Service Report

Liz,

I have attached a revision of the denial on PC060105-01 Update Lines in Service Report that includes a breakdown of the estimated costs. Let me know if you have further questions.

Thanks,

Lynn Stecklein

Qwest Wholesale CRPM

303 382-5770

--Original Message-- From: Balvin, Elizabeth [mailto:ebalvin@covad.com] Sent: Monday, October 17, 2005 1:31 PM To: Stecklein, Lynn Subject: RE: PC060105-01 Update Lines in Service Report

Lynn,

Covad requests a breakdown of the estimated costs = $726, 730.

Thanks,

Liz

--Original Message-- From: Stecklein, Lynn [mailto:Lynn.Stecklein@qwest.com] Sent: Monday, October 17, 2005 10:31 AM To: Balvin, Elizabeth Subject: RE: PC060105-01 Update Lines in Service Report

Hi Liz,

This is in response to your e-mail below regarding PC060105-1 Update Lines in Service Report. We did research your request asking Qwest to merge the data from two systems – 1 Billing and 1 Lines in Service. The second denial that was sent to you (attached) covers the cost for doing that merge. In order to do the merging correctly, Qwest would have to invest in hardware and development time to create the rules associated with the merge and which data is used, etc. As stated in the denial – ‘It is possible for Qwest to combine the two systems so that the billing information requested is included in the Lines In Service Report, however the cost to complete the systems work to do this merge and implement business rules for the merging process would be $726, 730. Therefore, Qwest denies this CR as being economically infeasible’

Let me know if you have additional questions or concerns.

Thanks,

Lynn Stecklein

Qwest Wholesale CRPM

303 382-5770 --Original Message-- From: Balvin, Elizabeth [mailto:ebalvin@covad.com] Sent: Friday, October 07, 2005 4:22 PM To: Stecklein, Lynn Subject: RE: PC060105-01 Update Lines in Service Report Lynn,

I believe Qwest mis-understood my “clarifying” request…as identified in the updated response:

Qwest’s Lines in Service report was built as a response to a CMP request and currently is created from data contained in Qwest’s Network back-end systems, which inventory the circuits and lines by the circuit ID/working telephone number. These systems are not used for billing or account maintenance; rather, they are used for inventory and trouble reporting only. For this reason, the source system does not contain the SBN or billing address, nor are the fields available to contain this information. The billing systems, which contain this information, don’t communicate with the inventory and trouble reporting systems.

I understood that the back-end systems used to generate the “lines in service” report did not house the SBN or billing address but the fact is that Qwest does “house” this information. Thus, I continue to request that the “existing” information be extracted “from whatever source” and provided for on the “Line In Service Report”. The original request did not ask that the back-end systems be expanded to house this information, thus I don’t believe an updated request is needed.

Thanks,

Liz

--Original Message-- From: Stecklein, Lynn [mailto:Lynn.Stecklein@qwest.com] Sent: Friday, September 30, 2005 11:54 AM To: Balvin, Elizabeth Subject: PC060105-01 Update Lines in Service Report

Hi Liz,

This is a follow up to the discussion we had in the August CMP Meeting regarding the denial on PC060105-01 Update Lines in Service Report. (See Meeting Minutes below) We have determined that the cost to combine the two systems so that the billing information you are requesting is included in the Lines in Service Report is economically not feasible. The denial attached has been revised to reflect the new project description and costs. Let me know if you have any questions.

Thanks,

Lynn Stecklein

Qwest Wholesale CRPM

303 382-5770

8/17/05 CMP Meeting

PC060105-1 Update Lines In Service Report

Liz Balvin - Covad stated that she had questions regarding the denial. She said that Qwest refers to backend systems to generate the reports and wants to understand what the system has. Liz said that she wants the SBN at a minimum and would like a call to further discuss.

Laura McGhghy - Qwest stated that the data we are currently providing is existing data. {Comment received from Eschelon: from the MR-8 report]. She said that she was not sure what other systems would be needed for additional data and what that level of effort would be. [Comment received from Eschelon: Laura said they don’t have the fields in LMOS and TIRKS.]

Liz Balvin - Covad said that they would like to expand the report. She said that the report is an extract from LMOS and Tirks [Comment received from Eschelon: and she did not ask that Qwest get the data from those systems.] Liz said that she needs to expand the line and service report to create fields there and extract data elsewhere.

Laura McGhghy - Qwest said that she would take back to determine if possible.

Liz Balvin - Covad asked if the $500K to expand was because of LMOS and Tirks.

Laura McGhghy - Qwest said yes.

Liz Balvin - Covad said that Qwest already has the information and that they are just asking for the information on the report. [Comment received from Eschelon: Liz said wherever Qwest extracts the data from works for her.]

Laura McGhghy - Qwest said that we will look at that possibility.

Jill Martain - Qwest stated that we will talk offline with Covad.

8/17/05 Product/Process CMP Meeting

Liz Balvin - Covad stated that she had questions regarding the denial. She said that Qwest refers to backend systems to generate the reports and wants to understand what the system has. Liz said that she wants the SBN at a minimum and would like a call to further discuss. Laura McGhghy - Qwest stated that the data we are currently providing is existing data. {Comment received from Eschelon: from the MR-8 report]. She said that she was not sure what other systems would be needed for additional data and what that level of effort would be. [Comment received from Eschelon: Laura said they don’t have the fields in LMOS and TIRKS.] Liz Balvin - Covad said that they would like to expand the report. She said that the report is an extract from LMOS and Tirks [Comment received from Eschelon: and she did not ask that Qwest get the data from those systems.] Liz said that she needs to expand the line and service report to create fields there and extract data elsewhere. Laura McGhghy - Qwest said that she would take back to determine if possible. Liz Balvin - Covad asked if the $500K to expand was because of LMOS and Tirks. Laura McGhghy - Qwest said yes. Liz Balvin - Covad said that Qwest already has the information and that they are just asking for the information on the report. [Comment received from Eschelon: Liz said wherever Qwest extracts the data from works for her.] Laura McGhghy - Qwest said that we will look at that possibility. Jill Martain - Qwest stated that we will talk offline with Covad.

7/20/05 Product/Process CMP Meeting

Lynn Stecklein - Qwest stated that Covad is requesting the Special Billing Name and Address be included on the existing Service Report. She said that this information is not available in the tool that is used today to extract the data for the Service Report. She said that this CR will be placed in Evaluation to determine if other options are available. Liz Balvin - Covad asked that Qwest look to include the SBN at a minimum. Jill Martain - Qwest that this CR will be moved to an Evaluation Status.

6/15/05 Product/Process Meeting

Liz Balvin - Covad stated that they are requesting that Qwest add the special billing number and address information to the lines in the service reports currently generated on the performance measurement website. Liz stated that they are asking for this information because of the lack of Circuit ID on Line Shared Bills. Liz said that the Line Share Report has the TN and that Qwest’s bills track to the SBN. Liz said that they are asking for the SBN and address to be added as a double check to make sure they are looking at the correct end user and would help in eliminating disputes. Jill Martain - Qwest stated that this CR will move to Presented.

6/8/05 Clarification Meeting

Attendees: Liz Balvin - Covad, Laura McGhghy, Lynn Stecklein - Qwest

Review Description of Change Liz Balvin - Covad stated that they are requesting that Qwest add the special billing number and address information to the lines in service reports currently generated on a monthly basis and said that this information is not in the current file. Liz stated that this essentially impacts their Line Share Orders. Liz said that the SBN is the tracking mechanization for Qwest and that they would like the tracking mechanization to be the TN. Liz said that they would use this information to sync up their lines with the bill and that the address would be an additional validation. Liz said that Qwest tracks to TN because they have the voice part of the line and they have the data portion. Liz said that this information would help in eliminating disputes.

Laura McGhghy - Qwest asked for an example of the SBN.

Liz Balvin - Covad provided the example of SBN (503 T22-1828)

Laura McGhghy - Qwest asked if the address they were looking for was the end user address.

Liz Balvin - Covad said that they were looking for the end user address.

Establish Action Plan Lynn Stecklein - Qwest said that Covad will present this CR in the June 15th Product/Process Meeting


CenturyLink Response

August 9, 2005

Qwest Response For Review by the CLEC Community and Discussion at the August 17, 2005 CMP Meeting

TO: Liz Balvin Covad

SUBJECT: Covad’s Change Request Response - PC060105-1 Update Lines in Service Report

CR Description: Covad’s change request states:

Add special billing number and address information

Covad is requesting that Qwest will add the special billing number and address information to the lines in service reports currently generated on a monthly basis.

Qwest Response:

Qwest has reviewed the change requested with this CR and has determined the following:

Qwest’s Lines in Service report was built as a response to a CMP request and currently is created from data contained in Qwest’s Network back-end systems, which inventory the circuits and lines by the circuit ID/working telephone number. These systems are not used for billing or account maintenance; rather, they are used for inventory and trouble reporting only. For this reason, the source system does not contain the SBN or billing address, nor are these fields available to contain this information. The cost to add the additional fields to the back-end systems and to populate the fields with the information from the Service Order Processor is $500,000.00.

Due to the low volume of Customer’s requesting this report and the costs associated with implementing this request, Qwest denies this change request due to economic infeasibility.

Sincerely,

Qwest


Open Product/Process CR PC072604-1 Detail

 
Title: Line Sharing Provisioning Interval
CR Number Current Status
Date
Area Impacted Products Impacted

PC072604-1 Denied
10/20/2004
ordering, provisioning UNE, Line sharing family of products
Originator: Berard, John
Originator Company Name: Covad
Owner: Buckmaster, Cindy
Director:
CR PM: Andreen, Doug

Description Of Change

Covad proposes that a one day interval be provided for all Line Sharing Family of products that do not require a field dispatch. Qwest has shown that this is possible as outlined in the attached two accessible letters. (See Supplemental Information)

Expected Deliverable: As soon as possible


Status History

7/26/04 - CR submitted

7/28/04 - CR acknowledged

8/5/04 - Held Clarification Call

8/18/04 -August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

9/16/04 -September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

09/16/04 CMP Meeting Minutes Cindy Buckmaster reported that there has been an ad-hoc call and she would like to move this CR to Evaluation status and will have the full response next month. The CR will move to Evaluation Status.

8/18/04 CMP Meeting John Berard presented the CR saying that Covad is looking for a one day interval on line share orders. He had seen some notices with one day intervals from Qwest and is looking for the same thing in Wholesale. The CR will move to Presented status.

-- Clarification Meeting

1:00 p.m. (MDT) / Thursday August 5, 2004

1-877-521-8688 1456160# PC072604-1 Line Sharing Provisioning Interval Attendees

John Berard, Covad Doug Andreen, Qwest Heidi Moreland, Qwest Crystal Soderlund, Qwest Bob Mohr, Qwest

Meeting Agenda: Action 1.0 Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed. 2.0Review Requested (Description of) Change Doug Andreen, Qwest read and reviewed the CR. The CR is titled Line Sharing Provisioning Interval and the description reads Covad proposes that a one day interval be provided for all Line Sharing Family of products that do not require a field dispatch. Qwest has shown that this is possible as outlined in the attached two accessible letters. Doug ask John Berard, Covad if he had anything to add to the description and he said not really that it was pretty self explanatory Heidi Moreland, Qwest asked if the request was for Line Sharing only or did it include Line Splitting or all the shared loop products. John answered that Line Sharing as the primary product with Line splitting being nice to have. John also added that the CR just includes those orders that involve CO work only. There were no further questions and the meeting was concluded. 3.0 Confirm Areas & Products Impacted Line Sharing and Line Splitting 4.0 Confirm Right Personnel Involved Correct personnel were involved in the meeting.

5.0 Identify/Confirm CLEC’s Expectation To be done as soon as possible. 6.0 Identify any Dependent Systems Change Requests TBD 7.0 Establish Action Plan (Resolution Time Frame) John Berard, Covad will present the CR at the August CMP meeting. Qwest will respond at the September meeting.


CenturyLink Response

October 12, 2004

For Review by the CLEC Community and Discussion at the October 20, 2004 CMP Meeting

TO: John Berard Director Operations Support COVAD Communications

SUBJECT: CLEC CR - PC072604-1 Line Sharing Provisioning Interval

Covad proposes that a one day interval be provided for all Line Sharing Family of products that do not require a field dispatch and states “Qwest has shown that this is possible as outlined in the attached two accessible letters”. (See Supplemental Information)

This request is respectfully denied due to No Measurable Benefit to both Qwest and the CLEC.

The intervals offered in the documentation attached to the CR were short in duration and limited in scope – thus promotional. Promotional offerings by Qwest are not mechanized and therefore limited in order to provide a service for customers that would otherwise either not be accommodated or that would take time and costly system changes to effect. These promotional offerings were noticed to the CLEC community so that they too could take advantage of this interval during this time frame in this market. They are neither, by virtue of their short term nature, permanent nor extendable outside of the designated market.

Permanent interval changes, as mentioned above, affect both the systems and the work force. CLEC intervals are set to ensure parity and/or to provide a competitor a meaningful opportunity to compete. Qwest’s intervals were evaluated during Third Party testing, in some cases specific product intervals were ruled upon by state commissions and Qwest’s actual commercial performance (which is driven by existing intervals) was repeatedly found acceptable by the FCC in its evaluation of Qwest’s 271 applications. Additional changes are accommodated as process changes are made that can reduce the interval or where retail intervals are likewise reduced (where there is a comparable retail equivalent product).

COVAD has also entered a Commercial Agreement with Qwest that went into effect on October 2, 2004. That document states that the Line Sharing interval shall be Three (3) Business Days. While a CMP change in interval could be negotiated between the parties prior to October 2, such a change would be in effect at most 10 days in duration when that CMP negotiation would be superceded by the stated interval in your Commercial Agreement.

Because of their intensive nature, interval changes are costly and difficult to price. As Qwest is not required to undertake the substantial, costly modifications and upgrades to its systems and processes to allow a CLEC to order UNEs and other services at an interval different than the standard interval for the product and there is negative measurable benefit to Qwest and no demonstrable gain over the options already offered to the CLEC, this request is respectfully denied.

Sincerely,

Qwest

- September 8, 2004

DRAFT RESPONSE For Review by CLEC Community and Discussion at the September 2004 CMP Meeting

John Berard Director Operations Support Covad

SUBJECT: Qwest’s Change Request Response PC072604-1 Line Sharing Provisioning Interval

This letter is in response to Covad’s Change Request (CR) PC072604-1. This CR requests that Qwest provide a one day interval for all Line Sharing Family of products that do not require a field dispatch.

Qwest is currently evaluating this request and proposes moving this Change Request into Evaluation Status while we continue to investigate. Qwest will provide an updated response at the October 2004 CMP meeting.

Sincerely,

Cindy Buckmaster Product Manager - Qwest


Open Product/Process CR PC081705-1 Detail

 
Title: First Right of Refusal Procedures
CR Number Current Status
Date
Area Impacted Products Impacted

PC081705-1 Denied
3/15/2006
Billing, Notification Line Split/Shared
Originator: Balvin, Liz
Originator Company Name: Covad
Owner: Buckmaster, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest currently lacks procedures surrounding existing shared lines whereby the TN is ported and the circuit remains available for use. Covad seeks the right to maintain DSL on existing circuit in the event the telephone number is ported off Qwest’s switch. Scenarios include (but may not be limited to): Existing services = 1) line splitting 2) line sharing and an LNP order is received to port number to 1) cable 2) VoIP or 3) wireless. Procedures to consider surround notification allowing first right of refusal and billing changes.


Status History

8/17/05 - CR submitted

8/18/05 - CR acknowledged

8/25/05 - Clarification Meeting held

8/25/05 - Status changed to clarification

9/21/05 - Status changed to presented

9/21/05 - Discussed in the September Product/Process CMP Meeting - See Distribution Package Attachment C

10/11/05 - Draft Response Issued

10/11/05 - Status changed to Evaluation

10/10/05 - Discussed in the October Product/Process CMP Meeting - See Distribution Package Attachment C

11/16/05 - Discussed in the November Product/Process CMP Meeting - See Distribution Package Attachment C

12/14/05 - Discussed in the December Product/Process CMP Meeting - See Distribution Package Attachment C

1/18/06 - Discussed in the January Product/Process CMP Meeting - See Distribution Package Attachment C

1/31/06 - Additional Clarification Meeting held with Covad

2/15/06 - Discussed in the FebruaryProduct/Process CMP Meeting - See Distribution Package Attachment C

3/15/06 - Status changed to Denied

3/15/06 - Discussed in the March Product/Process CMP Meeting - See Distribution Package Attachment C


Project Meetings

3/15/06 Product/Process CMP Meeting

Cindy Buckmaster-Qwest stated that the denial response is located in the March Distribution Package. Cindy said that Covad is requesting the right to maintain the DSL on an existing circuit in the event the telephone number is ported off Qwest’s switch. She said that CMP is a process for is a warehousing effort for all CLECs and would not be fair to Qwest as information related to ports away from other providers will not be available and could not be pro-actively noticed. She said that this would be a CPNI violation to other providers and that we can’t accept this request via CMP. Lynn Hankins-Covad stated that she would have to get back to Qwest. Lynn asked if the reason for the denial is that divulging Qwest information is confidential. Cindy Buckmaster-Qwest said that we can divulge Qwest information as a CLEC but cannot divulge any other CLECs information. She said that this makes it unfair to Qwest as a CLEC. Lynn Hankins-Covad stated that she would get back to Qwest and that she may request an adhoc meeting.

2/15/06 Product/Process CMP Meeting

Cindy Buckmaster-Qwest stated that another clarification meeting was held with Covad because of the changes in personnel on this request. She said that Qwest fully understands the request and that a response will be provided in the March CMP Meeting. Lynn Hankins-Covad asked if Qwest received the 2 e-mails she sent to Lynn Stecklein (Qwest). Lynn Stecklein-Qwest stated that the 2 e-mails were received and that Qwest is currently reviewing. Lynn asked if there was a specific question Covad wanted to address now.

Lynn Hankins-Covad said no, that she was confirming that the e-mails were received.

Jill Martain-Qwest said that this CR will remain in Evaluation and a response will be provided in the March Meeting.

1/31/06 Adhoc Meeting with Covad

Attendees: Lynn Hankins - Covad, Cindy Buckmaster - Qwest, Paul Schlater - Qwest, Alan Braegger - Qwest, Shirley Tallman - Qwest, Jamal Boudhaouia - Qwest, Lori Burchett - Qwest, Lynn Stecklein - Qwest

Lynn Stecklein - Qwest stated that Qwest requested an additional clarification meeting with Covad in the January CMP Meeting to further discuss this CR.

Cindy Buckmaster - Qwest stated that several of the SMEs working on this CR were no longer with Qwest and that we wanted to get a clear understanding of what Covad was requesting on this CR.

Lynn Hankins - Covad said that they were Covad is looking to maintain DSL on existing circuits in the event the telephone number is ported off Qwest’s switch. She also said that they would like to know 1st if the line is taken down and would like to keep with no downtime to the customer.

Cindy Buckmaster - Qwest said that Covad would not be the Voice Provider and that Covad's principal product is the DSL. She said that the voice provider is the controller of the circuit.

Lynn Hankins - Covad said that they would notification whether or not Qwest or the CLEC is the owner of the line.

Cindy Buckmaster - Qwest asked if Lynn Hankins (Covad) was aware of any other CR submitted in the past requesting the same thing as this CR.

Lynn Hankins - Covad stated that she was not aware of any.

Cindy Buckmaster - Qwest stated that this CR will remain in Evaluation and that Qwest will provide a response if the March Product/Process CMP Meeting.

1/18/06 Product/Process CMP Meeting

Cindy Buckmaster - Qwest said that several SMEs are no longer with Qwest and that we would like to have a meeting with Covad to discuss this CR. Lynn Hankins - Covad stated that she was fine with having another adhoc meeting. Jill Martain - Qwest said that Lynn Stecklein (Qwest) will contact Lynn Hankins (Covad) to schedule a meeting.

12/14/05 Product/Process CMP Meeting

Jill Martain/Qwest stated that we are still evaluating all options and feasibility on this CR. She said that this CR will remain in evaluation and that we will provide a status in the January CMP Meeting.

11/16/05 Product/Process CMP Meeting

Lynn Stecklein/Qwest stated that this request was placed in evaluation last month. She said that internal discussions are still underway to ensure all potential solutions are reviewed and analyzed. She stated that an updated response will be provided in the December CMP Meeting

10/19/05 Product/Process CMP Meeting

Anthony Washington/Qwest said that we would like to place this CR in evaluation status in order to continue with analysis of the existing process and look at potential solutions for this change request. He said that Qwest will provide an updated response at the November CMP meeting. Jill Martain/Qwest stated that this CR will move to Evaluation status.

9/21/05 Product/Process CMP Meeting

Liz Balvin/Covad stated that they are seeking the right to maintain DSL on existing circuit in the event the telephone number is ported off Qwest’s switch. Bonnie Johnson/Eschelon asked if this is just for line sharing. Liz Balvin/Covad stated it would apply to Line Splitting and Line Sharing when the number is ported out. Jill Martain/Qwest stated that this CR will move to presented.

E-mail send to Covad

Hi Liz,

In the Line Sharing environment, the orders are issued directly by the DLEC.

In the case of Line Splitting, Qwest understands that DLECs can issue orders under the 'owning' carriers (Customer of Record) log in as per arrangement between the CLEC and DLEC. LSOG 6-LSR field 7b is listed as DLEC CCNA - CCNA (Customer Carrier Name) for DLEC (Data Local Exchange Carrier) The Customer of record is required to populate this field for Line Splitting, which is how Qwest identifies the DLEC.

Let me know if you have additional questions.

Thanks,

Lynn Stecklein Qwest Wholesale CRPM 303 382-5770

8/31/05 E-mail from Covad

Lynn,

Thanks, I do have an additional question. In the Line Sharing environment, while the orders are issued by DLECs under owning carriers company code information, how does Qwest identify the DLEC?

Thanks,

Liz

--Original Message-- From: Stecklein, Lynn [mailto:Lynn.Stecklein@qwest.com] Sent: Wednesday, August 31, 2005 8:20 AM To: Balvin, Elizabeth Subject: Re: PC081705-01 First Right of Refusal Procedures

Hi Liz,

This is in response to your question regarding how Qwest identifies the line is shared. Qwest floats FIDS after the Line Assignable USOC that is shared and that is how we recognize it. The Line Splitting product mirrors the Line Share product in this way. Let me know if you have further questions.

Thanks,

Lynn Stecklein

Qwest Wholesale CRPM

303 382-5770

--Original Message-- From: Balvin, Elizabeth [mailto:ebalvin@covad.com] Sent: Monday, August 29, 2005 1:37 PM To: Stecklein, Lynn Subject: RE: PC081705-1 First Right of Refusal Procedures

Lynn,

To follow-up on when the line that exists is line splitting (UNE-P plus DSL):

Covad would like to understand how Qwest identifies the line is shared?

Thanks,

Liz

--Original Message-- From: Stecklein, Lynn [mailto:Lynn.Stecklein@qwest.com] Sent: Tuesday, August 23, 2005 9:22 AM To: Balvin, Elizabeth

8/25/05 Clarification Meeting

Attendees: Liz Balvin - Covad, Crystal Soderlund - Qwest, Heidi Moreland - Qwest, Ellen McArthur - Qwest, Anthony Washington - Qwest, Lynn Stecklein - Qwest

Review Description of Change Lynn Stecklein - Qwest reviewed the CR description. Covad stated that Qwest currently lacks procedures surrounding existing shared lines whereby the TN is ported and the circuit remains available for use. Covad seeks the right to maintain DSL on existing circuit in the event the telephone number is ported off Qwest’s switch. Scenarios include (but may not be limited to): Existing services = 1) line splitting 2) line sharing and an LNP order is received to port number to 1) cable 2) VoIP or 3) wireless. Procedures to consider surround notification allowing first right of refusal and billing changes.

Discussion: Crystal Soderlund - Qwest asked if the customer was currently with Covad or would this apply to any owner of shared service and if this was Line Splitting would Covad be the owner. Liz Balvin - Covad said no. Liz asked asked how they maintain a number porting on a standalone disconnect of voice. Liz said that she would like a process implemented to notify Covad and asked how Qwest maintains the DSL on the loop. Crystal Soderlund - Qwest said that we don't because we lose it. Liz Balvin - Covad stated that Verizon has a manual workaround today where they provide a spreadsheet for losses. Crystal Soderlund - Qwest stated that Qwest has a process to notify the voice provider via the loss and completion report. Heidi Moreland - Qwest asked if Covad wanted wanted this information before the disconnect was completed. Liz Balvin - Covad said that they would prefer the information prior to the disconnect completion and that this would prevent customer downtime. Crystal Soderlund - Qwest said that with line splitting, the loss is not to the voice provider. Crystal said that line splitting should be removed from this CR. She said that Qwest would not know because we only have 1 customer of record. Liz Balvin - Covad stated that she needed to check internally on the line splitting portion of the CR

Confirm Areas and Products Impacted Line Split/Shared

Establish Action Plan Liz Balvin - Covad will present this CR in the September 21st Product/Process CMP Meeting


CenturyLink Response

March 9, 2006

For Review by CLEC Community and Discussion at the March 2006 CMP Meeting

Lynn Hankins Covad Communications

SUBJECT: Change Request Response - PC081705-1 First Right of Refusal

This letter is in response to Covad’s Change Request (CR) PC081705-1. Covad is requesting the right to maintain the DSL on an existing circuit in the event the telephone number is ported off Qwest’s switch. The CR includes scenarios for Line Splitting and Line Sharing where an LNP order is received to port a number to a cable, VOIP or Wireless provider.

Qwest has evaluated this CR and finds that implementing Covad’s request would require proactive notification. Additionally, it would only be technically feasible to perform this function in circumstances where the voice circuit belongs to Qwest.

ILECs such as Qwest are obligated to treat all service providers in a similar fashion. Since Qwest is only aware of the request in those instances where the porting or disconnection of a Qwest voice circuit is required, Qwest cannot provide proactive notification in 100 percent of the cases where porting or disconnecting a voice circuit will also affect a corresponding DSL service. This would create an uneven playing field, and would pose serious legal problems concerning the entire porting process.

For the reasons cited above, Qwest respectfully denies the request.

Sincerely,

Qwest Corporation

10/11/05 Draft Response

For Review by the CLEC Community and Discussion at the October 17th CMP Meeting

October 11, 2005

Covad Liz Balvin

SUBJECT: CR # PC081705-1 First Right of Refusal Procedures

This letter is in response to Covad's Change Request (CR) PC081705-1 First Right of Refusal Procedures. This CR requests that Qwest Covad seeks the right to maintain DSL on existing circuit in the event the telephone number is ported off Qwest’s switch. Scenarios include (but may not be limited to): Existing services = 1) line splitting 2) line sharing and an LNP order is received to port number to 1) cable 2) VoIP or 3) wireless. Procedures to consider surround notification allowing first right of refusal and billing changes.

Qwest would like to place this CR in evaluation status in order to continue with analysis of the existing process and look at potential solutions for this change request. Qwest will provide an updated response at the November CMP meeting. Qwest will move this CR to Evaluation status.

Sincerely,

Qwest


Open Product/Process CR PC072203-1 Detail

 
Title: Extend length of time CLEC’s have to respond on Jeop Notices
CR Number Current Status
Date
Area Impacted Products Impacted

PC072203-1 Denied
10/15/2003
Ordering, Provisioning Affects any product ordered on an LSR
Originator: Morris, Kelly
Originator Company Name: Electric Light Wave (ELI)
Owner: Martain, Jill
Director:
CR PM: Harlan, Cindy

Description Of Change

ELI proposes that Qwest extend the 4 business hour response time on Jeop Notices to 8 business hours, or 1 business day. Qwest needs to allow the CLEC more time to receive the jeop notice, research, and communicate the jeop notice to the applicable parties.

Currently when Qwest sends the CLEC a Jeop Notice, the CLEC is only given 4 business hours to respond. If the CLEC does not respond, meaning supping the order, within those 4 hours, the order is internally canceled with Qwest. Most often, the CLEC is required to supp out the due date when this happens because Qwest has canceled the internal order and requires standard interval to re-work the order.

Qwest does not take in to consideration that the CLEC has called within that 4 business hour time frame and tried to resolve the jeop. Qwest does not consider this a response within the 4 business hours, even when Qwest opens a trouble ticket for the CLEC. Qwest also needs to take into consideration the time zone differences when expecting the CLEC to respond within 4 hours. If the CLEC is in the Pacific time zone, and the jeop notice was sent from a Qwest center in the Central time zone, the CLEC may only have 2 hours to respond depending on the time the jeop notice was sent to the CLEC.

Expected Deliverable:

ELI proposes that the jeop notice response time be revised and implemented immediately.


Status History

07/22/03 - CR Submitted

07/23/03 - CR Acknowledged

7/28/03 - Customer contacted

7/30/03- Clarification call held

8/20/03 - August CMP meeting held

9/9/03 - Posted response to database

9/17/03 - Sep CMP notes will be posted to the database

10/8/03 - Sent response to CLEC

10/15/03 - Oct CMP meeting minutes will be posted to the project meeting section


Project Meetings

10/15/03 CMP Meeting Ellen McArthur – Qwest that she is providing the response as Jill Martain is on vacation. Ellen reviewed the response and advised that Qwest is denying this change for economically not feasible reasons. Making this change would create the risk of completing the orders early or not being able to meet the due date when the supplement is received on the same day as the due date. This change would cause potential rework and additional manual work for Wholesale and Network representatives. The status will be changed to Denied.

9/17/03 CMP Meeting Jill Martain – Qwest reviewed the response. Jill requested this CR move to Evaluation. Liz Balvin-MCI asked if ELI is working with Qwest on this CR. Cindy Macy-Qwest advised that Kelly Morris-ELI did reply to my email when I sent her the response.

8/20/03 CMP Meeting Kelly Morris-ELI explained she is asking for Qwest to extend the Jeop respond time from 4 to 8 hours. Kelly explained they are Pacific Time and if the Jeop comes in at end of day they actually only get 1 hour to work to Jeop. They loose up to 3 hours of the Jeop response time based on time zone and working hour differences. Stephanie Prull-McLeod and Bonnie Johnson-Eschelon agreed and advised they support this CR. Stephanie explained they have Saturday provisioning issues. Integra also stated that they believe the majority of CLECs would support this request. This CR will move to Presented status.

CLEC Change Request – PC072203-1 Clarification Meeting Wednesday, July 30, 2003

1-877-572-8687 3393947#

Attendees Cindy Macy – CRPM Jill Martain – Qwest Denise Martinez – Qwest Phyllis Sunins – Qwest Kelly Morris – ELI Shaby Bellow – ELI Nicole Johnson – ELI Lynn Kellas - ELI

Introduction of Attendees Cindy Macy-Qwest welcomed all attendees and reviewed the request. Cindy went through the CMP process steps so the team is aware of what to expect.

Review Requested (Description of) Change Kelly Morris – ELI reviewed the CR. ELI explained the difficulty they have with a 4 hour JEP response. Because their office hours are 8:00 – 5:00 and they are in the Pacific time zone they generally only get 2 hours to respond.

Jill explained Qwest JEP process is from 7 am to 7pm. So if a JEP goes out at 7pm MST the customer would have until 11am MST to respond.

Kelly advised this equates to a customer response by 10am PST. That only gives ELI 2 hours to process the JEP. Generally it takes ½ hour to discuss this with the centers so there is minimal time to handle the JEP.

Confirm Areas and Products Impacted Cindy confirmed this CR applies to all products that have a 4 hour JEP response time. Some JEP times are different (30 days) but this CR applies to 4 hour response time frame JEPS.

Confirm Right Personnel Involved Cindy confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation The team agreed they understand the CLECs expectation.

Identify any Dependant Systems Change Requests No dependant CRs are open.

Establish Action Plan Cindy asked attendees if there were any further questions. There were none. Cindy stated that the next step was for Kelly Morris - ELI to present the CR at the August Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

October 8, 2003

For Review by CLEC Community and Discussion at the October 15, 2003, CMP Product/Process Meeting

Kelly Morris ELI

SUBJECT: CLEC Change Request Response - CR #PC072203-1

This CR is asking for Qwest to extend the time frames in which the CLEC has to respond to an error condition identified after a FOC from four to eight business hours.

Qwest reviewed jeopardy notices that were issued after a FOC that utilized a Jeopardy Code of C05 and SX from August 1 to September 8, 2003, to see what the impacts could be if we were to extend the time frames of the jeopardy notices from 4 to 8 business hours.

Extending the time frame to 8 business hours in essence allows one extra business day for the CLEC to respond to the jeopardy notice and potentially shortens Qwest provisioning interval by approximately 4 business hours (as we already allow a 4 hour response window for these types of jeopardies.) We looked to see what the impacts would be in the Wholesale side if the time frames were extended.

Meetings were held to determine what would need to transpire in order for the customer to maintain the due date. It was determined that additional hand-offs within the Service Delivery organization would need to take place to manually track and monitor each of the orders if the time frames were extended. Manual hand-offs between organizations and potential supplements of the service orders may need to occur to ensure that the orders do not get completed in error while we are waiting for a response from the CLEC. Additionally, when the supplemental LSR is received, manual handling would be required to contact the Network organization to advise them that the order is now ready to be installed and get the order back into the provisioning process. For certain designed services, escalations may be required to get the design complete, the DLR issued and the central office and outside technicians rescheduled.

Qwest’s estimate for the manual work required within the Wholesale organizations alone is $400,000.00 annually to be able to maintain this process. This does not take into consideration the manual time and additional resources that would be required from the Network organization to ensure that the due date could be met. Due to the economic impacts and the fact that orders will require additional manual handling due to the risks of either completing the order early or not being able to meet the due date when the supplement is received on the same day as the due date, Qwest denies this request for economically not feasible reasons.

Jill Martain Wholesale Markets Process Organization

September 9, 2003

For Review by CLEC Community and Discussion at the September 17, 2003, CMP Product/Process Meeting

Kelly Morris ELI

SUBJECT: CLEC Change Request Response - CR #PC072203-1

This is a preliminary response regarding the ELI CR PC072203-1. This CR requests an extension of the time frames required to respond to jeopardy notices from four to eight business hours.

Qwest is currently working internally to identify if a solution or a different option to this request can be implemented. Because there are a number of complex issues involved with extending the existing timelines, Qwest proposes moving this Change Request into Evaluation Status while Qwest prepares a complete answer to this request.

Qwest will provide a status update at the October CMP meeting.

Sincerely, Jill Martain Wholesale Markets Process Organization


Open Product/Process CR PC072203-2 Detail

 
Title: Expand PTA, Auto Acceptance, for all UNE Loop and EEL/LMC Products
CR Number Current Status
Date
Area Impacted Products Impacted

PC072203-2 Denied
10/15/2003
Provisioning, Test & Turn up Unbundled Loop, UNE, EEL (UNE-C), LMC
Originator: Morris, Kelly
Originator Company Name: Electric Light Wave (ELI)
Owner: McConnell-Couch, Joy
Director:
CR PM: Harlan, Cindy

Description Of Change

ELI proposes that Qwest make available the option for auto acceptance (PTA) of circuits to cover all UNE Loop and EEL/LMC Products.

Currently Qwest and ELI have agreed on auto acceptance (PTA) for all DS1 circuits ordered on ASR’s. ELI would like to have auto acceptance (PTA) for UNE Loop and EEL/LMC circuits ordered on LSR’s. ELI was told auto acceptance (PTA) was not an option for these LSR products. However 50% of ELI’s UNE Loop and EEL/LMC circuits had been auto accepted by Qwest. Once ELI took this issue to Qwest for resolution, all auto acceptance for these products was stopped. ELI would like Qwest to auto accept all UNE Loop and EEL/LMC circuits, not just some. ELI has provided Qwest with orders that were auto accepted by Qwest, and can provide CMP with those examples.

Expected Deliverable

ELI proposes that auto acceptance (PTA) be made available for all UNE Loop and EEL/LMC Products immediately


Status History

07/22/03 - CR submitted

07/24/03 - CR Acknowledged

7/28/03 - Contacted customer

7/31/03 - Held Clarification Call

8/20/03 - CMP Status Meeting

9/9/03 - Posted response to database

9/17/03 - Sep CMP meeting notes will be posted to the database

10/8/03 - Sent response to CLEC

10/15/03 - Oct CMP meeting minutes will be posted to the project meeting section


Project Meetings

10/15/03 CMP Meeting Joy McConnell Couch – Qwest reviewed the response. Joy explained due to low volumes, estimated system and business enhancement costs this CR is denied for economically not feasible reasons. In addition, this change does not result in a customer service improvement in some cases. The status will be changed to Denied.

9/17/03 CMP Meeting Joy McConnell Couch reviewed the response. Joy advised this is a complex process and Qwest would like to move the CR to Evaluation.

8/20/03 CMP Meeting Kelly Morris-ELI presented the CR and explained they are requesting the same Auto Accept process on UBL/EEL and LMC orders that is in place for private line services ordered via an ASR. Kelly explained on (PTD) Plant Test Date the circuit is installed and tested. If it tests okay, an email PTA goes out and the CLEC is given 24-48 hours to respond. If no response is received the circuit is accepted. No further questions were asked. This CR will move to Presented status.

Clarification Meeting

Thursday July 31, 2003 10:30 – 11:30 1-877-572-8687 3393947# PC072203-2 Auto Accept PTA for UNE Loop / EEL

Attendees Kelly Morris – ELI Lynn, Gayla and Marlene - ELI Ann Binkley – Qwest Jeanne Whisenant - Qwest Robin Libadia-Qwest Denny Graham – Qwest Kathy Ocken – Qwest Joy McConnell Couch – Qwest Deni Toye – Qwest Cindy Macy – Qwest

Meeting Agenda: 1.0 Introduction of Attendees Attendees introduced. Cindy Macy – Qwest reviewed the process and explained what to expect from the call and next steps in the CMP process.

2.0 Review Requested (Description of) Change Kelly Morris ELI reviewed the change request. Kelly and the ELI team explained Qwest is doing Auto Acceptance for PLT services currently. Occasionally Qwest was also performing Auto Acceptance for UNE products. Qwest later told us that Auto Acceptance was not available on UNE products. ELI would like the same ‘Auto Acceptance’ process that is offered to PLT products for UNE products. Kathy Ocken explained the Auto Acceptance process. This process is available for PLT provisioning; DSO and Non-Muxed DS1 for example. On Plant test date the circuit is installed and tested per national standard. When the circuit is good the PTA form is filled out. The form is sent via email to the customer. If we have not heard back from the customer on FOC’d due date, then the billing begins. If a problem is found the CLEC can call the Provisioning Tech within 30 days to work on or open Trouble report. Kathy explained Auto Accept PTA is only offered on Private Line service ordered via ASR. It is not an LSR offered service. Deni Toye explained Qwest has a UBL PTA process but it is a different process . It is for NDT notification and test results. The test results of the NDT are emailed to the CLEC 24 to 36 hours before the due date. The test results are emailed to the CLEC after verbal acceptance. It is available on DS0 to OCN products. Gayle – ELI NOC Supervisor recommends Qwest offer this service on UNE as it cuts down on phone calls between companies, helps provide server faster to the end user customers and allows ELI to schedule their technicians better. If the line does not test okay, ELI has not had any problems with Qwest being able to fix the trouble on the line. Kathy Ocken advised Qwest does have a generic document for ASR ordered service that offers Auto Acceptance. She advised this was provided to the Service Managers. This is only for ASR services though.

3.0 Confirm Areas & Products Impacted UNE, Unbundled Loop, EEL, LMC I am currently trying to confirm with ELI what the impacted products are. There was a question regarding UNE Loop versus Unbundled Loop and which one ELI is asking for. I will update the database when I get confirmation on this from ELI.

4.0 Confirm Right Personnel Involved Network will take the lead on this CR.

5.0 Identify/Confirm CLEC’s Expectation ELI would like the same ‘Auto Acceptance’ process that is offered to PLT products for UNE products.

6.0 Identify any Dependent Systems Change Requests none

7.0 Establish Action Plan (Resolution Time Frame) ELI will present the CR at the August CMP Meeting Qwest will provide our Response at the September CMP Meeting


CenturyLink Response

October 8, 2003

For Review by the CLEC Community and Discussion at the October 15, 2003 CMP Meeting

Kelly Morris ELI

SUBJECT: Qwest’s Change Request Response - PC072203-2 “Expand PTA, Auto Acceptance, for all UNE Loop and EEL/LMC Products”

This letter is in response to CLEC Change Request PC072203-2. This CR is a request by ELI for Qwest to extend the existing process of Provider Tested Access (PTA) used for Interexchange Carrier Private Line orders to include the UNE Loop and EEL/LMC products.

Qwest is denying this request to implement the specified PTA process on the EEL/LMC products because the requested change is not economically feasible. This change also does not result in a customer service improvement. The following supports this decision:

Expected low order volumes and estimated system and business enhancement costs of $150,000 do not support the implementation of this process. Today, cooperative testing is performed to ensure EEL/LMC circuits are provisioned and accepted by the CLEC. This current process facilitates a positive experience for the customer by minimizing potential service degradation resulting from repair calls after the due date. The specified PTA process does not apply to unbundled loop products as other optional test processes currently exist for these products.

Sincerely,

Joy McConnell-Couch Staff Advocate Policy and Law Qwest

- September 9, 2003

For Review by CLEC Community and Discussion at the September 17, 2003, CMP Product/Process Meeting

Kelly Morris ELI

SUBJECT: Qwest’s Change Request Response - CR #PC072203-2

This is a preliminary response regarding the ELI CR PC072203-2. This CR requests expansion of the Interexchange Carrier Private Line PTA Auto Acceptance process to the UNE loop and EEL/LMC products.

Qwest is currently working internally to identify if a solution to this request can be implemented. Because there are a number of complex issues involved with expanding the existing process for use with the requested unbundled products, Qwest requests moving this Change Request into Evaluation Status while Qwest prepares a complete answer to this request.

Qwest will provide a status update at the October CMP meeting.

Sincerely, Joy McConnell-Couch Staff Advocate Policy and Law


Open Product/Process CR PC072303-1 Detail

 
Title: Customer Not Ready ("CNR") jeopardy notice should not be sent by Qwest to CLECs before 5 PM local time on the due date (for basic install)
CR Number Current Status
Date
Area Impacted Products Impacted

PC072303-1 Completed
2/18/2004
Provisioning Any product with test and accept of a circuit on a basic install and the current process applies.
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Martain, Jill
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Customer Not Ready ("CNR") jeopardy notice should not be sent by Qwest to CLECs before 5 PM local time on the due date (for basic install). If a CLEC is not ready to test at the time Qwest calls on the due date, the CLEC has until 5 PM to call Qwest and test and accept the circuit. Qwest should not place the Local Service Request ("LSR") in a customer not ready jeopardy status, because the customer is ready within the required time frame.

Qwest does not provide CLECs with a specified time on the due date when testing and acceptance will take place. Testing and acceptance may occur any time before 5 pm local time. As long as the CLEC is ready to test and accept the circuit before 5pm on the due date, therefore, the customer is ready on the due date. Nonetheless, Qwest places a "CNR" jeopardy on an LSR if Qwest calls a CLEC to test and accept the circuit on the due date and the CLEC is not ready to test and accept the circuit at the time Qwest calls. Even if the CLEC communicates to Qwest that it will call Qwest back on the due date and before 5 PM local time, Qwest places the request in a CNR jeopardy status. Qwest should not use the CNR jeopardy notice for this situation. CNR is not a valid jeopardy code, because the CLEC is ready before 5pm (i.e., on the due date).. By incorrectly using the CNR jeopardy for this situation, , Qwest forces CLECs to manage CNR jeopardy notices that have no validity. Qwest is causing CLECs additional work in the CLECs workflow process for no valid reason. Qwest should change the process on issuing CNR jeopardy for this situation. Eschelon has reviewed the "C" list of jeopardy codes located in the Qwest IMA User Guide, and there is no customer jeopardy ("C" list) that applies to this situation. As a matter of fact, this situation does not present a jeopardy situation at all because the order is not in "jeopardy."

Expected Deliverable

Develop, document, and train a process to manage requests for basic install circuits in situations in which the CLEC is ready on the due date (before 5pm), although perhaps not at the first time that Qwest chooses to call.. Cease using a CNR jeopardy for the situation described above, because the customer IS ready on the due date (as the Qwest basic install definition is from 8 AM to 5 PM local time).


Status History

07/23/03 - CR Submitted

07/24/03 - CR Acknowledged

07/31/03 - Held Clarification Meeting

08/20/03 - August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

08/26/03 - Had conversation with Bonnie Johnson and would be ok with Eschelon to hold jep until 6 p.m. Mountain time

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/06/03 - Held Ad Hoc Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/05/03 - Qwest issued PROS.12.05.03.F.01131.ProvisioningV29 proposed effective date 1/19/04

12/17/03 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/02/04 - Qwest issued PROS.01.02.04.F.01222.FNL_ProvisioningV29 CMP FINAL NOTICE on Provisioning and Installation Overview V29.0 effective 1/19/04

01/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

02/18/04 - February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

02/18/04 February CMP Meeting Jill Martain with Qwest said the final notice was sent on 1/2/04 and the PCAT was effective 1/19/04. Stephanie Prull asked if Qwest is holding the jep statuses in IMA. Jill said that a system CR would be required to hold jep statuses from the inquiry functionality, only the jeopardy notices were being held in IMA. This CR will be moved to Completed status.

01/21/04 January CMP Meeting Jill Martain with Qwest said that the final notice was sent 1/2/04 and was effective 1/19/04. It was agreed that this CR would move to CLEC Test status. 12/17/03 December CMP Meeting Jill Martain with Qwest said she would like to talk about this CR & PC081403-1 which are in Development (see PC081403-1 for more information). Additional information on jepoardies was discussed in the CLEC ad hoc meeting. Bonnie Johnson with Eschelon said she had received Susan’s note this morning and this is not tied to the 6 p.m. jeopardies. This CR will remain in Development status.

11/19/03 November CMP Meeting Jill Martain with Qwest said that the CR is in progress and expects deployment in December 2003. This CR will remain in Development status.

Thu 10/23/03 3:06 PM From: Bonnie Johnson to: Linda Sanchez-Steinke Subject: RE: PC072303-1 Jeopardies Hi Linda, I have received no feedback. I perceive that to mean we are OK.

Bonnie J. Johnson Director Carrier Relations Eschelon Telecom, Inc. Phone 612 436-6218 Fax 612 436-6318 Cell 612 743-6724

Thu 10/23/03 2:18 PM From: Linda Sanchez-Steinke To: Bonnie Johnson Subject: PC072303-1 Jeopardies Hi Bonnie -

I wanted to follow up with you and find out if any CLECs provided feedback to you about holding jeopardies (those listed in the supplemental information included in the CR) until 6 p.m. Mountain time.

Would you let me know if you have received feedback from companies that did not want to move forward with the proposal?

Thank you

Linda Sanchez-Steinke CRPM Qwest 303-965-0972

10/15/03 October CMP Meeting Phyllis Sunins with Qwest said that we held an ad hoc meeting last week and at the meeting the CLECs agreed to hold jeopardy notifications until 6 p.m. Mountain time. Qwest expects to implement this change in December 2003. Jill Martain will open a Qwest initiated CR to review the jeopardy process. Bonnie Johnson with Eschelon said that at the ad hoc meeting CLECs were given time to review the list of jeopardy codes and hasn’t received negative feedback from any CLECs. Bonnie will call Linda Sanchez-Steinke next week if she does receive feedback from CLECs that do not want jeopardy notification held until 6 p.m. Mountain time. Phyllis added that she is doing a study of August jeopardy data. Liz Balvin with MCI needs additional definition of C31 and C34 jeopardy codes. Phyllis said that Eschelon had asked for additional documentation around jeopardy codes and the documentation will be available at the end of the month. Liz said she would wait for the documentation to be distributed and will submit comments. This CR will remain in Development status.

Ad Hoc Meeting Minutes PC072303-1 October 6, 2003 1-877-572-8687, Conference ID 3393947# 10:00 a.m. - 10:30 a.m. Mountain Time

List of Attendees: Lori Mendoza - Allegiance Donna Osborne-Miller - AT&T Regina Mosley - AT&T Phyllis Burt - AT&T Ann Adkisson - AT&T Carla Pardee - AT&T Julie Pikar - U S Link Jen Arnold - U S Link Kim Isaacs - Eschelon Bonnie Johnson - Eschelon Jeanne Whisenant - Qwest Lori Dalton - Qwest Dave Hahn - Qwest Jill Martain - Qwest Phyllis Sunins - Qwest Deny Toye - Qwest Russ Urevig - Qwest Linda Sanchez-Steinke - Qwest

The meeting began with Qwest making introductions and welcoming all attendees. Linda Sanchez-Steinke with Qwest explained that the purpose of the meeting was to discuss CR PC072303-1 and synergies between PC081403-1.

Jill Martain with Qwest explained the attachment to the notification for the ad hoc meeting is a list of jeopardy types, other than "C" type jeopardies, that Qwest proposes be sent at 6 p.m. Mountain time. Jill further explained that the proposal eliminates sending jeopardy notifications for situation that are identified early in the day but later resolved by Qwest on the same date. Bonnie Johnson with Eschelon said there were a lot of duplicate jeopardies for weather / work force and asked for further explanation. Jill explained that Qwest tracks internally the jeopardies by work group and the work groups are identified by the letter codes. Deny Toye with Qwest said that the "B" jeps are central office and "C" jeps are customer jeps.

Jill asked if it would cause a problem to send the jeopardies listed on the spreadsheet at 6 p.m. Mountain time. Bonnie said that CLECs would be left hanging and it would be too late to contact the customer if didn’t receive them until 6 p.m. Deny said that when Qwest gets to the due date that we make a call and the CLEC would have been notified via telephone call if placing the order in jeopardy. Bonnie said that helped to know that CLECs will get a call on the due date if the order is in jeopardy and then they can call customers. Deny will check all products that Qwest makes a telephone call on due date if the order is placed in jeopardy. Jill said that she will submit an additional CR to re-address the jeopardy process.

Kim Isaacs said that she has submitted a documentation request asking for additional explanation of jeopardy meaning.

Lori Mendoza will get input from Allegiance, Donna Osborne-Miller will get input from AT&T, Bonnie said she would send something out to the community asking for additional input. Linda asked if there were any additional questions. No questions were asked and Linda said that we would discuss this CR at the October CMP meeting.

09/17/03 September CMP Meeting Jill Martain with Qwest said that Qwest accepts this CR and will be making changes to a backend system to hold CNR jeopardies until 6 p.m. Mountain time. The targeted date for implementation is December 2003. Jill explained that Qwest would like to expand holding all jeopardies sent mechanically except with unbundled loop before FOC, for conditioning and facility reasons. Bonnie Johnson with Eschelon said she was not sure if they could be acting on those and if they would agree to hold until 6 p.m. There will be an ad hoc meeting scheduled and Jill will provide a list of jeps to be considered with the notification. This CR was moved to Development status.

08/20/03 - August CMP Meeting Bonnie Johnson with Eschelon presented this CR. Bonnie explained that Eschelon is asking that the circuit not be put into CNR status until 5 p.m. local time on the due date. Lori Mendoza with Allegiance supports this CR. Lori asked if Bonnie included in the CR the situation when the customer is not able to stay late when there is a Qwest problem. Bonnie said that in those situations, it would not be appropriate to put the order in CNR status. This CR will be moved to Presented status.

CLEC Change Request Clarification Meeting

8:15 a.m. (MDT) / Thursday, July 31, 2003

1-877-572-8687 3393947# PC072303-1 Customer Not Ready ("CNR") jeopardy notice should not be sent by Qwest to CLECs before 5 PM local time on the due date (for basic install)

Name/Company: Bonnie Johnson, Eschelon Kim Isaacs, Eschelon Stephanie Prull, McLeod Liz Balvin, MCI Sharon Van Meter, AT&T Mike Zulevic, Covad Denny Graham, Qwest Jeanne Whisenant, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed. Review Requested (Description of) Change Linda read the description of change from the CR submitted by Eschelon; Customer Not Ready ("CNR") jeopardy notice should not be sent by Qwest to CLECs before 5 PM local time on the due date (for basic install). If a CLEC is not ready to test at the time Qwest calls on the due date, the CLEC has until 5 PM to call Qwest and test and accept the circuit. Qwest should not place the Local Service Request ("LSR") in a customer not ready jeopardy status, because the customer is ready within the required time frame.

Qwest does not provide CLECs with a specified time on the due date when testing and acceptance will take place. Testing and acceptance may occur any time before 5 pm local time. As long as the CLEC is ready to test and accept the circuit before 5pm on the due date, therefore, the customer is ready on the due date. Nonetheless, Qwest places a "CNR" jeopardy on an LSR if Qwest calls a CLEC to test and accept the circuit on the due date and the CLEC is not ready to test and accept the circuit at the time Qwest calls. Even if the CLEC communicates to Qwest that it will call Qwest back on the due date and before 5 PM local time, Qwest places the request in a CNR jeopardy status. Qwest should not use the CNR jeopardy notice for this situation. CNR is not a valid jeopardy code, because the CLEC is ready before 5pm (i.e., on the due date).. By incorrectly using the CNR jeopardy for this situation, , Qwest forces CLECs to manage CNR jeopardy notices that have no validity. Qwest is causing CLECs additional work in the CLECs workflow process for no valid reason. Qwest should change the process on issuing CNR jeopardy for this situation. Eschelon has reviewed the "C" list of jeopardy codes located in the Qwest IMA User Guide, and there is no customer jeopardy ("C" list) that applies to this situation. As a matter of fact, this situation does not present a jeopardy situation at all because the order is not in "jeopardy."

Jeanne Whisenant with Qwest asked if this CR was for all orders sent through IMA. Bonnie Johnson with Eschelon answered yes this is for LSRs sent through IMA where the CNR process applies, and said Eschelon issues private line and LIS trunking orders on ASR. Jeanne explained the ASR process is manual and that CNR letters are sent by the SDC on due date and no longer than 2 business days after the due date. Bonnie said this CR doesn’t apply to orders submitted via ASR because it is not an automated process.

Liz Balvin with MCI said she supports this change request, and said that MCI may not meet the time when Qwest initially calls but will get back to Qwest by the end of the day.

Sharon Van Meter with AT&T also supports this CR.

Confirm Areas & Products Impacted The area of this Change Request impacts orders submitted via LSR where CNR process applies.

Confirm Right Personnel Involved Qwest confirmed the correct personnel were on the call to resolve the CR.

Identify/Confirm CLEC’s Expectation Develop a process where the jeopardy notice will not be sent by Qwest before 5 p.m. local time on the due date.

Identify any Dependent Systems Change Requests No systems change requests.

Establish Action Plan (Resolution Time Frame) Eschelon will present this CR at the August CMP meeting.


CenturyLink Response

September 9, 2003

DRAFT RESPONSE

For Review by the CLEC Community and Discussion at the September 17, 2003 CMP Meeting

Bonnie Johnson Eschelon

SUBJECT: Qwest’s Change Request Response - PC072303-1 Customer Not Ready ("CNR") jeopardy notice should not be sent by Qwest to CLECs before 5 PM local time on the due date (for basic install)."

QWEST Response:

Qwest accepts this change requested by Eschelon, however, a back end system change will be required to hold the CNR jeopardy notifications until 6 PM Mountain time. This system change is due to the fact that Qwest put mechanization in place previously to provide timely jeopardy notification to our CLEC community.

Qwest has targeted this process change to take place in December 2003 and will provide notification to the CLEC Community.

Sincerely,

Jill Martain Manager Process Management


Open Product/Process CR PC063003-1CM Detail

 
Title: CMP CR status of "reactivate" added to statuses available for a CR.
CR Number Current Status
Date
Area Impacted Products Impacted

PC063003-1CM Completed
10/27/2003
CMP Process
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Sanchez-Steinke, Linda
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

A CLEC agrees to close a CR in good faith with the belief that the changes implemented in the CR satisfied the intent and request of the CR. A CLEC may determine that the requested changes in the CR were not satisfied and there is not compliance to the new process issue. When this occurs, there is no process that allows a CLEC to request that a CR be reactivated. A CLECs only alternative is to submit a new CR asking for the same thing that was originally requested. For example; Eschelon submitted a CR in April of 2001 requesting accurate loss and completion reports. Several steps were taken by Qwest to meet that goal. In May of 2002, after the CR had been closed, it was discovered that the loss report contained both internal and external losses. The original CR specifically requested that the loss report contain only those losses where the customer changed to another Local Service Provider and not losses that resulted from a CLECs LSR activity. Then, in early 2003, Eschelon communicated to Qwest that there were losses that were not appearing on the loss report. Eschelon recently requested that the original CR be reactivated until the CLECs were receiving an accurate loss report. Qwest told Eschelon there was no provision in the CMP process that allowed for the reactivation of a CR. Qwest often pressures CLECs to close CRs. If an issue is not discovered in the “CLEC test” phase, the CLEC is left with no option of reactivating a CR. There are occasions where a problem is not identified in the CLEC test phase and the problem is not a compliance to new process issue (though the CLEC test phase should include Qwest training and a reasonable expectation of compliance to the new process). If a CLEC closes a CR in good faith, and there is reasonable cause to reactivate the CR, the status of reactivate should be available to a CLEC.

Eschelon asks that the following language be added to the end of Section 5.8 (Change Request Status Codes) in the CMP Document:

? Re-Activated - The CR receives a Re-Activated status when a previously closed CR has been requested to be re-opened. Reasons include the CR was not implemented correctly and/or not completely as requested with further test results.

NOTE: It may be Qwest or another CLEC that determines the CR was not correctly implemented. In addition, “include” would mean includes but not limited to...there may be other reasons.

Expected Deliverable:

Qwest will add reactivate status to the list of CMP CR statuses. A CLEC should not have to open a new CR or action item to fulfil the request of the original CR and the issue is not compliance to the new process.


Status History

06/30/03 - CR Received

07/01/03 - CR Acknowledged

07/16/03 -July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

07/17/03 - Received revised proposed changes to CMP document, will replace original proposed changes

08/20/03 - August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

09/15/03 - Qwest sent meeting notification CMPR.09.15.03.F.01567.AdHocMtg_CR_Reactivate, meeting date 9/22/03

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

09/22/03 - Held Ad Hoc Meeting to discuss proposed language - Meeting minutes will be posted to this CR's Project Meetings section.

09/26/03 - Rec'd e-mail from Bonnie Johnson, question whether Qwest would re-activate CRs examples and Red-line Document

09/29/03 - Sent e-mail to Bonnie Johnson, did not receive Red-line document

10/13/03 - Qwest sent notification CMPR.10.13.03.F.01589.AdHocMtg to discuss language 10/20/03

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/17/03 - Qwest sent notification CMPR.10.17.03.F.01594.AdHocMeeting, cancelled 10/20/03 meeting to discuss language

10/20/03 - Qwest sent notification CMPR.10.20.03.F.01595.AdHocMtgVoteReq, vote on language 10/27/03

10/27/03 - Held Ad Hoc Meeting to vote on Eschelon proposed language - Meeting minutes will be posted to this CR's Project Meetings section.

11/03/03 - Qwest issued CMPR.11.03.03.F.01007.VoteDisposition, Vote Disposition Notification


Project Meetings

Ad Hoc Meeting Minutes PC063003-1CM CMP CR status of "reactivate" added to statuses available for a CR CMP Product & Process October 27, 2003 1-877-572-8687, Conference ID 3393947# 10:30 a.m. - 11:00 a.m. Mountain Time

PURPOSE

At the October CMP Meeting, participants agreed to hold a conference call to conduct voting on the proposed changes to the CMP Document, CR PC063003-1CM, “CMP CR status of "reactivate" added to statuses available for a CR”. The following is the write-up of the discussion.

List of Attendees: Lori Mendoza, Allegiance Julie Pikar, U S Link Liz Balvin, MCI Bonnie Johnson, Eschelon Kim Issaacs, Eschelon Tom Hyde, Cbeyond Communications Sue Stott, Qwest Lynn Notarianni, Qwest Linda Sanchez-Steinke, Qwest

MEETING MINUTES

The meeting began with Qwest making introductions and welcoming all attendees.

Linda Sanchez-Steinke with Qwest explained that the purpose of the meeting was to vote on CMP CR PC063003-1CM. Linda explained that quorum is 6 and we have established quorum with 7 attendees. Linda asked if everyone was clear on what we were voting on and asked if anyone is uncomfortable voting out loud that they could e-mail their vote and would arrange for cmpcr@qwest.com to be monitored to receive the vote. The following votes were provided by meeting participants: Eschelon voted yes Allegiance voted yes MCI voted yes U S Link voted yes Cbeyond voted yes

Linda read the e-mail votes: AT&T voted yes Qwest voted no

Linda said the result of the vote is 6 - yes and 1 - no and said the standard for a vote on changing the CMP document is a unanimous vote, and because this vote was not unanimous, the changes will not be incorporated into the CMP. Linda said she would provide notification of the vote disposition.

Lynn Notarianni asked if there had been discussions about the language change. Bonnie Johnson said that Qwest wants to be the driver of the decision to reactivate a CR. The CLECs had proposed that a re-activated CR be voted on, and with a two-thirds majority, the CR would be re-activated. There is no difference between a unanimous vote and Qwest determining if the CR should be re-activated. We were going to have another ad hoc call for discussion and that was cancelled so that we could vote on the CLEC proposed language.

Liz Balvin said that this will cause the CLECs to leave CRs open when they can’t test. Bonnie said that we have already started to see that happening.

Linda asked if there were any questions. No questions were asked.

10/15/03 October CMP Meeting Linda Sanchez-Steinke with Qwest said she had received Bonnie Johnson’s two e-mails stating that Eschelon would like to have a vote taken on the Eschelon proposed language. Bonnie said the 10/20/03 ad hoc meeting should be cancelled and asked that a meeting to vote be scheduled. Bonnie said that Qwest’s proposed language was not acceptable and the wording requiring "unanimous vote" is the same as "Qwest determining" if the deliverable was not met. Linda said that possible dates for the vote meeting are 10/24 p.m. and 10/27. Linda will e-mail Bonnie with possible dates and appropriate notification for the vote will be sent.

Mon 10/13/03 4:14 PM From; Bonnie Johnson Eschelon To; Linda Sanchez-Steinke Qwest Subject; FW: Change Manangement: Meeitng Agenda & Material: GN: CMP Ad Hoc Meeting, Effective Immediately

Linda, Will we be voting on my version at this meeting. I really don't want to spend anymore time passing this document back and forth. I will not agree to Qwest's new language so I requested we vote on my last version.

Please let me know.

Bonnie J. Johnson Director Carrier Relations Eschelon Telecom, Inc. Phone 612 436-6218 Fax 612 436-6318 Cell 612 743-6724

Mon 10/13/03 5:55 AM From; Bonnie Johnson Eschelon To; Linda Sanchez-Steinke Qwest Subject; Change Management Notice: Meetings: GN: CMP-Ad Hoc Mtg on Rea ctivate CR: Effective Immedaitely

Linda, I will not accept Qwest's proposed language to a unanimous vote. With a unanimous vote the language of "Qwest determines" might as well remain in the document. We can move directly to a vote on my last proposed language so Qwest can vote no and have the final decision....again.

Bonnie J. Johnson Director Carrier Relations Eschelon Telecom, Inc. Phone 612 436-6218 Fax 612 436-6318 Cell 612 743-6724

Sent Wed 10/8/03 12:40 PM From; Linda Sanchez-Steinke Qwest To; Bonnie Johnson Eschelon Subject; RE: Change Management Notice: Meetings: GN: CMP-Ad Hoc Mtg on Rea ctivate CR: Effective Immedaitely

Hi Bonnie -

In response to your examples of CRs, on the first example, CR 5522887, while this would require a clarification meeting to clearly identify what would be required to close the request, Qwest would probably agree to re-activate this CR.

The second example, SCR060702-01, Qwest would probably disagree to re-activate this CR because there are other Systems CMP CRs that have been opened to enhance this functionality.

The third example, SCR032602-1, is in CLEC test and wouldn’t be eligible for re-activation since it is not closed.

We would like to arrange another ad hoc meeting to discuss additional changes made to the re-activate lanaguage and we're looking at 10/20 9:30-10:30 Mountain, let me know if that would work for you.

Thank you

Linda Sanchez-Steinke 303-965-0972

Date: Mon 9/29/03 10:11 AM From; Johnson, Bonnie J. [bjjohnson@eschelon.com] To: Linda Sanchez-Steinke (E-mail) Subject; RE: Change Management Notice: Meetings: GN: CMP-Ad Hoc Mtg on Reactivate CR: Effective Immedaitely

Hi Linda, Here you are!

Sorry!

Date: Mon 9/29/03 9:05 AM From: Sanchez Steinke, Linda To: 'Johnson, Bonnie J.' Subject; RE: Change Management Notice: Meetings: GN: CMP-Ad Hoc Mtg on Reactivate CR: Effective Immedaitely

Hi Bonnie -

I received your e-mail and read through the attachment of the CMP document and do not see any red-line from you. Did you track the changes made? Maybe you can give me a call.

Linda Sanchez-Steinke CRPM Qwest 303-965-0972

Date: Fri 9/26/03 4:10 PM From; Johnson, Bonnie J. [bjjohnson@eschelon.com] To; Linda Sanchez-Steinke (E-mail) cc; Subject: FW: Change Management Notice: Meetings: GN: CMP-Ad Hoc Mtg on Reactivate CR: Effective Immedaitely

Linda, I have red lined the attached document with my changes. I am also adding the examples discussed on our call this week. I would like Qwest to communicate Qwest's position on what response Qwest would give if a CLEC requested the CR be reactivated. I am certain there are other examples for Eschelon and other CLECs. I will send more as I get them.

5522887 CLECs need clear loss information, particularly with respect to resale customers. If loss information is not communicated effectively, two providers may bill one customer at the same time. To prevent such problems and ensure accuracy, Qwest should provide loss and completion information in a more organized, clear manner. Currently, Qwest includes all activity on a CLEC account that has outward action of a line or loop on a service order. For example, a migration from resale to loops appears as a loss, even though the customer has not changed providers. A loss should be limited to lines leaving the CLEC to go to another provider. The loss report should only reflect information of those customers that have changed to a different local service provider. The completion report should include order activity initiated by the CLEC, regardless of the activity type requested. Eschelon requested this CR be reactivated and Qwest responded no. The request was very clear and to date Eschelon is not receiving accurate loss reports.

SCR060702-01 Z-Tel is requesting the ability to migrate customers as specified without having to list changes to the customer's current feature set. For example, when placing a customer migration order with Qwest, we are required to list the old line class of service with a feature activity code of 'change from', and list the new line class of service with an activity code of 'change to'. In addition, we must list all change and removes for all of the existing features on the account and adds for all of the new features that do not currently exist on the account. This practice is commonly referred to in the industry as a migrate as is with changes, not a migrate as specified. Z-Tel needs the ability to convert customers as we specify without having to list and map changes, adds or removes. SBC, Verizon, and BellSouth all provide this pure migrate as specified capability for UNE-P customers and we are asking Qwest to do the same. Expected Deliverable: The ability to truly migrate a customer as specified. Qwest implemented this CR but does not apply to hunting, blocks and listings. CR not implemented as requested.

SCR032602-1 Currently when submitting a request in IMA using the request type of "P" for Centrex, the CSR is not recapped in IMA. As a result, the LSR is much more manually intensive to complete. In addition, there is a greater chance the CLEC could submit the LSR and receive a reject stating "all lines and/or services were not addressed on the LSR". This causes delays in processing LSR's and additional work for Qwest SDC's who manually type the service orders. This CR is still in CLEC test because tickets are open...however, the implementation of this CR was not fulfilled. It does not hsave the same functionality as the recap function for other products. If this were closed and Eschelon asked to have it reactivated...what would Qwest's response be?

Bonnie J. Johnson Director Carrier Relations Eschelon Telecom, Inc. Phone 612 436-6218 Fax 612 436-6318 Cell 612 743-6724 bjjohnson@eschelon.com

Ad Hoc Meeting Minutes PC063003-1CM "CMP CR status of "reactivate" added to statuses available for a CR" CMP Product & Process September 22, 2003 1-877-572-8687, Conference ID 3393947# 10:00 a.m. - 10:30 a.m. Mountain Time

PURPOSE

At the September CMP Meeting, participants agreed to hold a conference call to discuss Eschelon submitted CR PC063003-1CM, CMP CR status of "reactivate" added to statuses available for a CR CMP document. The following is the write-up of the discussion.

List of Attendees: Donna Osborne-Miller - AT&T Bonnie Johnson - Eschelon Kim Isaacs - Eschelon Connie Winston - Qwest Beth Foster - Qwest Sue Stott - Qwest Linda Sanchez-Steinke - Qwest

MEETING MINUTES

The meeting began with Qwest making introductions and welcoming all attendees.

Linda Sanchez-Steinke with Qwest explained that the purpose of the meeting was to discuss CR PC063003-1CM. Qwest provided proposed language changes to the CMP document along with the meeting notification.

Linda asked Bonnie for feedback on the proposed CMP document changes. Linda read the proposed change made to Section 5.1.4, addition of Section 5.1.4.1 Reactivation Requests. Bonnie asked how Qwest would care for CRs that a CLEC submits if the CLEC is not on the same version of EDI and how the process of opening a re-activated CR would work. Linda said that RA would be added as a suffix to the original CR number. Bonnie stated that she did not like the idea of Qwest making the determination as to whether or not a CR would be reactivated, she noted that she would like that to be more a collaborative effort between Qwest and the CLECs. Bonnie asked if Qwest determines the requested deliverable is within the scope of the original CR, then, what will the process be if the CLECs disagree with Qwest. Linda said that the process would follow the CMP document.

Bonnie said that she thought Qwest would provide additional wording on how Qwest will care for CR’s when a CLEC is on an EDI version, then cut to the next version of EDI, and what was changed in the CR doesn’t work. Bonnie noted that she had understood that Qwest was going to provide an additional status for such CRs. Linda asked if deferred status would be appropriate for those CRs where the CLEC is on a different version of EDI. Bonnie agreed to review the language around deferred status and will determine if deferred would be the correct status.

Beth Foster with Qwest said that she was unaware of Qwest offering another status for CRs. Beth stated that Qwest’s proposed language would allow for a systems CR to be closed upon implementation and re-activated once the CLEC cuts to the next version of the release. Beth reviewed the following example: If in systems we close an IMA CR with the implementation of 13.0 and then the CLEC cuts over to 14.0, the CLEC could then request a re-activated status if they discovered some problems with their CR once they cut to 14.0. If it was determined that the CR was in fact, not implemented per the expected deliverables of the CR, then the CR would be re-activated. The re-activated CR would then be handled using the production support guidelines in section 12.0 of the CMP document. The re-activated CR would be discussed at the monthly systems CMP meetings in conjunction with the CRs that are in the status of ‘CLEC-Test’, where it would remain open until the production support process resolved the open issue.

Bonnie noted that she would like to have a more collaborative decision in determining whether a CR is re-activated and will work with the other CLECs and draft language. Donna Osborne-Miller with AT&T said she also wanted a more collaborative approach and is concerned that Qwest alone would determine if the CR is re-activated.

Bonnie agreed to make changes to the red-line CMP document for Qwest to review and provide a few examples. Qwest will schedule another ad hoc meeting to discuss once they receive the red-lined language from Eschelon.

09/17/03 September CMP Meeting Linda Sanchez-Steinke with Qwest said there would be an ad hoc meeting on 9/22/03 to discuss this CR.

08/20/03 August CMP Meeting Bonnie Johnson with Eschelon explained if a CR was moved into re-activate status it would be because the original CR had not been fulfilled. Judy Schultz with Qwest explained when the CR goes through CLEC test, and then, if it needs to be reactivated, we would need to explain what the specific problem is that initiated reactivation. The CR number could have an RA suffix and note the date closed and the date re-opened. In addition we would need some communication about what piece of the CR was not addressed and bring the information forward for the CLEC Community at the CMP meeting. Bonnie explained that on the Systems side when a CR is implemented and the CLEC is not on the same version of EDI, they would not want to be forced to close the CR. Bonnie suggested that we could do another type of status. Judy said she would give that some thought and clarified Bonnie’s concern about EDI. Judy said that she understands that if a CLEC on EDI submits a CR that is worked in higher version, the CLEC is not in a good position to close the CR. Bonnie said that she might want an additional status. Judy said that Qwest would draft language to the CLECs and set up an Ad Hoc Call to discuss the draft language.

07/16/03 July CMP Meeting Bonnie Johnson with Eschelon presented this CR which proposes changes to Section 5.8 Change Request Status Codes. Bonnie said that when closing a CR sometimes the CLEC test phase doesn’t allow enough time to identify issues or problems with the CR. Two examples were the CRs for loss and completion and migrate by TN. If the CLEC is on EDI and submits a systems change request they don’t have the ability to test until they move to that version of EDI. Compliance issues are not part of this CR and the only situation that the re-activate status would be used if for the deliverable of the CR hasn’t been completed. Judy Schultz with Qwest asked about CR numbering assignment. Bonnie suggested we keep the original CR number. Judy has a concern that the CR would look like it had been open for a long time. Donna Osborne-Miller asked if the CR number could be followed by RA. Liz suggested that the clock start when re-activated. Bonnie would like to work collectively to resolve and if this CR is not implemented then they would leave CRs open longer and not be pushed to close them. Judy said she appreciates Bonnie testing and closing CRs promptly and perhaps if this change is implemented that the CR could be earmarked with the date it was re-activated. This CR will be moved to presented status.

CLEC Change Request Clarification Meeting

8:00 a.m. (MDT) / Friday, July 11, 2003

1-877-562-8687 3393947# PC063003-1CM

Name/Company: Bonnie Johnson, Eschelon Stephanie Prull, McLeod Linda Sanchez-Steinke, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change Eschelon’s CR requests that the CMP Document, Section 5.8 be changed to add “Re-Activated” as a status code for change requests. Bonnie Johnson with Eschelon said that she is trying to add “Re-activated” as an additional status for situations where a change request wasn’t implemented or honored. An example would be a CR was submitted, and worked, and then closed after CLEC test. Then after CLEC Test, issues or problems that hadn’t been identified during CLEC Test are identified. The change request is not referring to change request compliance or training issues. Bonnie provided an additional example of a change request submitted by Eschelon to convert by TN, part of the 12.0 release. The end state of the LSR is what Eschelon wanted in the change request. After the CR was completed, Eschelon found it did not apply to blocking, hunting or listing. With the lag time with EDI, CLEC’s weren’t on the same version and didn’t understand the impact until they had gone to the 12.0 version. Stephanie Prull added that McLeod usually skips a release for the GUI or EDI and McLeod wouldn’t be aware of a problem until they are in the same release. An additional example Bonnie provided was a CR Eschelon submitted for loss and completion reports. The options are to open a new CR or leave the existing CR open longer. Qwest is persistent in closing CRs after CLEC test and CLEC test may not provide enough time to determine if there are problems. Stephanie asked if there would be a limit on how long the CR was in completed status and be changed to “Re-Activated” status. Bonnie answered that there would be no time limit and that we may get input from Qwest and the CLEC community.

Confirm Areas & Products Impacted The area of this Change Request impacts the CMP process section 5.8

Confirm Right Personnel Involved Qwest confirmed the correct personnel were on the call to resolve the CR.

Identify/Confirm CLEC’s Expectation Change Section 5.8 to add Re-activated as a status code.

Identify any Dependent Systems Change Requests No systems change requests.

Establish Action Plan (Resolution Time Frame) Eschelon will present this CR at the July CMP meeting.


Open Product/Process CR PC070202-2X Detail

 
Title: Time & Material Repair Charges Invoice Process
CR Number Current Status
Date
Area Impacted Products Impacted

PC070202-2X Completed
2/18/2004
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Recker, Jim
Director:
CR PM: Harlan, Cindy

Description Of Change

Currently Qwest leaves a "Time and Materials Invoice" with its retail customers during a repair visit when the trouble was not found in the Qwest network. Qwest does not supply anything to CLECs. This "Invoice" would assist Eschelon in reconcilling its bill. Eschelon asks Qwest to develop, document and train an adhered to process to supply CLECs with this same "Invoice" or something similar, with the same detail, that will state the charges that Qwest plans to bill at the time of the repair visit. The "Invoice" should contain the Qwest repair ticket number, the number or circuit ID which was reported in trouble, the customer's name and address, the Qwest technicians name and telephone number, the date, the USOCs that Qwest will bill and the quantity of each USOC.

Additional Information:

A process to supply CLECs with an "Invoice" of repair charges at the time of the repair visit.


Status History

07/02/02 - CR Submitted

07/02/02 - CR Acknowledged

07/03/02 - CR Posted to Web

07/09/02 - Clarification Meeting Scheduled

07/10/02 - Clarification Meeting Held

07/12/02 - CLEC Provided information, meeting minutes sent to Eschelon

07/17/02 - CMP Meeting - Status changed to clarification

08/14/02 - Draft Response issued

08/19/02 - Issued Mailout Notification to CKECs confirming the Synergy Meeting for Multiple Tickets and Billing CRs scheduled for 8/27/02 2:00 p.m.

08/21/02 - CMP Meeting - Qwest presented it draft response dated 8/13/03. This CR will move to Evaluation status and will be discussed at the Synergy Meeting.

08/28/02 - Crossover CR issued SCR070202-1X

04/07/03 - Crossover CR issued PC070202-2X. Development work is underway and scheduled for completion near the end of June.

4/16/03 - April CMP Meeting minutes will be posted to the database

5/21/03 - May CMP Meeting Minutes will be posted to the database

6/18/03 - June CMP Meeting Minutes will be posted to the database

7/16/03 - July CMP Meeting Minutes will be posted to the data base

8/2003 - August CMP Meeting Minutes will be posted to the data base

9/9/03 - Followed up with Kathy Stichter and she replied the system was working fine

9/17/03 - Sep CMP meeting notes will be posted to the database

10/17/03 - Oct CMP meeting minutes will be posted to the database

10/20/03 - Notification of Ad Hoc Meeting distributed - meeting date 10-28

10/28/03 - Held Ad Hoc meeting to review user guide and system

11/19/03 - Nov CMP meeting mintues will be posted to the database

12/10/03 - Checked with Kathy Stitcher to find out if she is having any new issues. Kathy confirmed she has not identified any new issues.

12/17/03 - Dec CMP meeting notes will be posted to the database

12/16/03 - PROS.12.16.03.F.01170.MainRepairInvoiceTool - Level 1 user guide update

1/21/04 - Jan CMP meeting minutes will be posted to the database

2/2/04 - Met with Kathy Stitcher and reviewed user guide updates - still checking on update time for ND

2/10/04 - Sent email to Kathy explaining the time period for updates is less for ND, but approximately two weeks covers both ND/D - Kathy emailed back that it is okay to publish the user guide with that information

2/18/04 -Feb CMP Meeting notes will be posted to the project meeting section


Project Meetings

February 18, 2004 CMP Meeting Jim Recker – Qwest advised that we made changes to the User Guide to help clarify and correct information regarding frequency of ticket updates and circuit id entry. We reviewed the Guide with Kathy Stitcher – Eschelon before we published it. Kathy agreed it met her needs and approved the changes. Kathy Stitcher – Eschelon advised she is fine with the changes and it is okay to close this CR. Kathy thanked Qwest for making the changes. Stephan Calhoun – Cbeyond asked if this tool is specific to a certain product. Jim Recker – Qwest advised no, it contains design and non design repair tickets. Kathy Stitcher – Eschelon advised this tool give CLECs a heads up on what will be billed. We use it to look at the invoice and CLEC repair system and compare charges. This CR will move to Completed status

January 21, 2004 CMP Meeting Jim Recker – Qwest advised that we reviewed the user guide and we are in the process of scheduling the user guide updates. The user guide was not correct and it is being corrected. This CR will remain in CLEC Test Status.

December 17, 2003 CMP Meeting Minutes Jamal Boudhaouia – Qwest advised the notice for the User Guide updates went out December 16, 2003. The document identified the three changes that Kathy Stitcher requested. Kathy advised she would review the notice and User Guide during the call and report if there are any issues. Kathy reviewed the User Guide and advised that the tickets are not updated as the User Guide specifies. Tickets are sent to the invoice tool 2 weeks after the ticket is closed and it shows up in the tool 2 days after that. Kathy also said the Circuit id search (appendix A) is not accurate either. The appendix says to enter the circuit id exactly the way it is in our system. On the serial number you have to have 10 characters. You have the / and 10 characters. If you have 6-digit serial number you have to enter 4 spaces. Kathy said we need to say this field is not optional or change the serial number. Jamal advised he would check into the changes that were made and provide status next month.

November 19, 2003 CMP Meeting Minutes Craig Suellentrop – Qwest advised that we had a CLEC review meeting and looked at the tool and user guide. The circuit id search was completed successfully. The User Guide updates are underway. The User Guide updates will include information about the circuit id search and also that Internet Explorer is the required browser. Kathy Stitcher – Eschelon advised tickets should be updated within 2 weeks. Kathy advised she reviewed the tickets on 11-18 and the most current ticket was dated 10-31, so the update is taking a little over 2 weeks. . Kathy stated that Qwest should correct the language in the user guide to reflect that design tickets will not show for 2 weeks and 2 days.

CLEC Ad Hoc meeting October 28, 2003 PC070202-2X Repair Invoice Tool

In attendance: Kim Issacs – Eschelon Alice Mathew – Qwest Dan Busetti – Qwest Craig Suellentrop – Qwest Kathy Stitcher – Eschelon Sheldon Anderson – Qwest Joe Blepp – Bulls Eye Telecom Cindy Macy – Qwest

Cindy introduced the team members and explained the plan is to review the user guide and also go through the tool for the people that have CEMR user ids. Dan Busetti – Qwest reviewed the user guide and helped the users log on.

Kathy Stitcher – Eschelon asked if CEMR is down and we call the ticket in, opposed to entering it directly to CEMR, would it be in the Repair Invoice Tool? Dan advised no, it must be entered into CEMR directly,

Dan reviewed the Design and Non Design screens with the team. Dan explained how to export data to a report. Kathy advised she has done this function and it works fine. Dan explained that if you need to print the report you must export the data to excel first.

Kathy Stitcher – Eschelon asked if users are supposed to have two different log in ids. Dan advised you can use your regular CEMR log in id.

Kathy asked if users are supposed to have a different digital certificate, as she gets ‘page not found’? Dan advised no, try to redownload the digital certificate or reload the browser. Kathy also said she experiences trouble when trying to open the application, it seems as if it times out often. Dan Busetti advised he has let his application sit more than 15 minutes and does not have time out issues. Dan advised Internet Explorer is the browser that should be used as this may be causing some problems. Kathy requested in a later voice message to also update the user guide to advise that Internet Explorer is the ‘require’ browser, not the suggested browser, as many functions do not work with the Netscape browser.

Cindy suggested that if problems are found to be sure and call them into the Wholesale Help Desk. Bonnie advised that is not always the best route to handle problems. Discussion continued and it was agreed that a user review/help session is sometimes what is needed, opposed to opening trouble tickets. Cindy agreed that we should be more aware of scheduling these type of reviews on new systems.

Kathy Stitcher advised she has trouble with the circuit id format. She takes the format from the Completion Report and it is different that what this tool accepts. Dan reviewed the correct format. Kathy asked if this is in the user guide? Dan advised no, and agreed to get the user guide updated. Kathy advised she is able to access tickets with circuit id now.

Kathy advised she is only able to get invoices from the 13th, and today is the 28th. Dan confirmed there is a 2-week lag in data.

The team agreed the issues were addressed.

10/15/03 October CMP Meeting Craig Suellentrop – Qwest reported that there are not any open trouble reports on this system and he is not aware of any current issues. Craig requested to close this CR. Kathy Stitcher – Eschelon advised she is having trouble getting a match in the system using a circuit number. Kathy is not aware of what the correct format is for a circuit id. Qwest advised to use the circuit id as identified on the FOC. Kathy Stitcher – Eschelon advised the date range selection works but then you have to page through data to find the invoice you want. Cindy Macy – Qwest offered to schedule a meeting to review the system, user guide and address questions about how to use the system. A CLEC Ad Hoc meeting will be scheduled. Jen Arnold – US Link would like to attend the call. This CR will remain in CLEC Test Status. Kathy Stichter – Eschelon advised that in an earlier conversation Qwest advised that the CKT ID may be formatted as it appears in WFA and that since Eschelon does not have access to WFA Kathy would not know what the formatting is.

9/17/03 September CMP Meeting Craig Suellentrop-Qwest advised this CR was moved to CLEC Test last month and that he proposed we move this CR to Close status. Kathy Stitcher advised she went to look for tickets last week and was unable to find them in the system. Kathy explained she uses the Completion Report and then she views the accounts in RTCI. The tickets she was looking for were not in the system. Dan Busetti-Qwest advised they are aware of this issue and still working on it. Kathy opened a trouble report on September 12, ticket number 301456. Craig advised he will follow up with the help desk and we will leave this CR in CLEC Test status.

8/20/03 CMP Meeting Craig Suellentrop-Qwest advised the problem that Kathy reported last month was determined to be a problem with how the system is doing the ‘ownership check’. A work around is in place and the issue is scheduled to be fixed by September 11. Kathy Stitcher-Eschelon advised that Diana Ward and Dan Busetti were very helpful in getting this figured out. Kathy advised she is now experiencing a different problem. When she is in the tool it gives her ‘This page is not available’ message. She has to back out and this basically logs her off. She then has to start the process all over again and it works. This has happened with multiple functions, such as download and adding date ranges. Craig agreed he would report this to the IT team. Cindy Macy-Qwest advised that Kathy should also contact the Wholesale Help Desk and put in a trouble ticket. This way the correct process is being followed. Kathy agreed to contact the WHD.

7/16/03 July CMP Meeting Minutes Craig Suelletrop-Qwest advised this was deployed the end of June. Kathy Stitcher-Eschelon advised she tried to log on yesterday and she did not get the digital certificate login screen. She did get access to the application but there was not any data for her to review. Craig advised he will check on these items and get back to Kathy. Craig will check with the development team. This CR will stay in CLEC Test.

06/18/03 June CMP Meeting Minutes Craig – Qwest advised we responded to comments last week. Cindy – Qwest asked if we could move this to CLEC Test. Bonnie-Eschelon advised it should stay in Development until the process implements.

05/21/03 May CMP Meeting Minutes Craig Suellentrop – Qwest advised this CR was crossed over from the Systems meeting. This tool is under development and planned for deployment near the end of June. Craig reviewed the screen shots that are included in the package. Bonnie Johnson – Eschelon asked if the data in this tool is loaded from the previous day or if it gets loaded 2 weeks after the order closes and when it is sent to the bill. Craig advised this data should not be used as billing data, it is prebilling data. Craig agreed he would find out how current the information is. The CLEC preference is that it would be ‘next day’ data. This CR will stay in development status.

4/16/03 April CMP Meeting

PC070202-2X Time and Material Repair Charges Invoice Process Craig Suellentrop – Qwest advised this CR was crossed over from the Systems meeting. This tool is under development and planned for deployment near the end of June. Kathy Stitcher said she has been involved in this CR. Qwest agreed we would see if any report mock ups can be provided to the CLECs. This CR will stay in development status.

3/17/03 - Meeting held to discuss Eschelon's concerns. Eschelon would not have to apply for another Digital Certificate and could existing. The ticket information would be provided on a daily basis. Lynn Stecklein/Qwest will contact Kathy Stichter on 3/24/03 when she returns from vacation and provide status and update on Eschelon's concerns and questions.

3/6/03 - Contacted Kathy Stichter/Eschelon regarding Qwest developing a Web Tool to provide this information stead of sending the ticket information via e-mail. Kathy raised three concerns: 1. Don't want to have to apply for another Digital Certificate and asked if they could use there existing certificate. 2. Eschelon would have to look at tickets pro-actively. 3. How often would web be updated with ticket information. Kathy also indicated she would be on vacation until March 24, 2003 and would not be able to provide an answer until that time. 3/3/03 - Talked with Kathy Stichter/Eschelon regarding the description of change. Per Kathy ok to revise the description to remove any reference that Qwest will provide the cost or the total cost of each USOC.. Eschelon agreed that they will identify the rates and total cost associated with each USOC.

1/16/03 CMP Systems Meeting Dan Busetti/Qwest stated that this Change Request is in design. Dan stated that we are providing an updated LOE but it is still not scheduled. Kathy Stichter/Eschelon asked if we would have the implementation date in the February Systems CMP Meeting. Connie Winston/Qwest said that we could work towards that. Kit Thomte/Qwest said that this action item would remain open.

Additional Clarification Meeting / Conference Call Time/Date: 11:00 a.m. (MDT) / Thursday, September 12, 2002 Place: TEL 877.564.8688 Conference Call-In No.: CODE: 8571927 CR No.: CLEC Change Request SCR070202-1X "Time & Material Repair Charges invoice process"

Introduction of Attendees: Kathy Stichter, Eschelon, ILEC Relations Manager Dan Busetti, Qwest, Lead IT Analyst Craig Suellentrop, Qwest, 271 Network Technical Regulatory Roszan Jarman-Konkel, Qwest, Lead QA Engineer Justin Sewell, Qwest, Software Development Engineer Peggy Esquibel-Reed, Qwest, CRPM

Meeting Purpose: This CR was crossed over from a Product & Process CR. Additional clarification is needed form a systems perspective.

Review Requested (Description of) Change: Kathy Stichter/Eschelon stated that when Qwest goes out for repair for a Retail customer, there is a Time & Material invoice left with the customer to advise what will be billed. They leave an RG25-0015; she has a copy of one that was provided to her from one of her customers. Eschelon requests the same type of information provided to them before the charges are billed. Eschelon can then review the information for possible disputes and can check into subsequent tickets. Eschelon is requesting this information prior to the bill. Once is on the bill, is very time consuming to find the charges and to determine if the charges are applicable.

Discussion: Dan Busetti/Qwest asked what type of information is she seeing on the RG25-0015. Kathy Stichter/Eschelon stated the ticket number, customer address, city, state, billing telephone number, customer name, check box for installation visit or repair visit, technician’s name, total labor hours & minutes, list of USOCs, USOC description’s, quantity, cost, and total lines. Dan Busetti/Qwest asked if Eschelon’s request was for Maintenance & Repair charges. Kathy Stichter/Eschelon responded yes, repair only for designed and non-designed services. Dan Busetti/Qwest asked what information Eschelon needs. Kathy Stichter/Eschelon stated ticket number, customer BTN or circuit ID, whatever trouble was found on, USOC, quantity, labor hours, and what is being billed for. For non-designed, it would be a TIC and designed would be dispatch & increments of time charges. Dan Busetti/Qwest asked - how soon do you want the information? Kathy Stichter/Eschelon responded - immediately. The information is left for Retail on the premise as the technician is leaving. Is thinking a daily report. Dan Busetti/Qwest - immediately or the day after? Kathy Stichter/Eschelon - yes, the day after would work. Dan Busetti/Qwest - how do you want to receive the report? Kathy Stichter/Eschelon - via Email. Dan Busetti/Qwest - someone will be looking at the form and do the compilations? Kathy Stichter/Eschelon - yes, I will be doing that. Dan Busetti/Qwest - do you want the Eschelon ticket number? Kathy Stichter/Eschelon - Ideally, yes. Dan Busetti/Qwest - a report the next day would be okay, would get Tuesday’s work on Wednesday? Kathy Stichter/Eschelon - yes, that would be okay. Dan Busetti/Qwest asked Craig Suellentrop/Qwest if he missed anything. Craig Suellentrop/Qwest stated that Dan captured the key issues. Craig stated that it could differ by CLEC and/or by state. Craig asked for verification that the CLECs would get their own rates. Kathy Stichter/Eschelon stated yes, does not expect Qwest to provide the rates, only the increments. Craig Suellentop/Qwest stated that the CLEC ticket number is contained in CEMR Dan Busetti/Qwest stated that on the report, it would be received the next day with the Qwest ticket number, possibly the CLEC ticket number, circuit ID or WTN, date of dispatch. Kathy Stichter/Eschelon - the WTN would be better than the BTN. Dan Busetti/Qwest asked Craig Suellentrop/Qwest if general information regarding the Maintenance of service charge is left with the End Users. Craig Suellentrop/Qwest stated he believes so but will verify for Dan.

There were no other questions or comments. The meeting was adjourned.

-- 07/17/02 - July CMP Meeting Minutes: Eschelon presented their Change Request. CR status is clarification

Alignment/Clarification Meeting Conference Call Time/Date: 2:00 p.m. (MDT) / Wednesday, July 10, 2002 Place:TEL: 877.521.8688 Conference Call-In No.: CODE: 7901848 CR No.:CLEC Change Request PC070202-1"Time & Material Repair Charges invoice process"

Kathy Stichter, Eschelon, ILEC Relations Manager Craig Suellentrop, Qwest, 271 Network Technical Regulatory Alice Matthews, Qwest, Process Specialist Michael Keegan, Qwest, CMP Manager

Introduction of Attendees Attendees introduced.

Review Requested (Description of) Change Description: Currently Qwest leaves a "Time and Materials Invoice" with its retail customers during a repair visit when the trouble was not found in the Qwest network. Qwest does not supply anything to CLECs. This "Invoice" would assist Eschelon in reconcilling its bill. Eschelon asks Qwest to develop, document and train an adhered to process to supply CLECs with this same "Invoice" or something similar, with the same detail, that will state the charges that Qwest plans to bill at the time of the repair visit. The "Invoice" should contain the Qwest repair ticket number, the number or circuit ID which was reported in trouble, the customer's name and address, the Qwest technicians name and telephone number, the date, the USOCs that Qwest will bill, the quantity of each USOC, the cost of each USOC, the total cost and the reason for the charge.

Discussion: Eschelon is requesting that the same type of time & material invoice that is generated by Qwest technicians for Qwest retail customers be generated for the CLECs prior to billing and mailed to the CLEC for review and signature.

Qwest indicated that they understood the scope of this CR. Craig Suellentrop will coordinate the production of the Qwest response. N/A

Confirm Areas & Products Impacted Areas Impacted: Maintenance/Repair Products Impacted: Centrex, Unbundled Loop, UNE Loop, UNE-P, Resale N/A

Confirm Right Personnel Qwest confirmed the correct personnel were on the call.

Identify/Confirm CLEC’s Expectation A process to supply CLECs with an "Invoice" of repair charges at the time of the repair visit.

Identify any Dependent Systems Change Requests None

Establish Action Plan (Resolution Time Frame) Eschelon can present this Change Request to the CLEC community at the July Product/Process CMP meeting scheduled for July 17 Qwest will issue draft response to this Change Request by Aug 14 (one week prior to the Aug 21 CMP meeting). Qwest will discuss the draft response at the Aug 21 CMP meeting.


CenturyLink Response

REVISED RESPONSE

January 17, 2003

RE: SCR070202-1X Time & Material Repair Charges invoice process

Qwest has reviewed the information submitted as part of Change Request SCR070202-1X. Based upon the scope of this CR as agreed to in the Clarification Meeting, Qwest is able to provide an estimated Level of Effort (LOE) of 1500 to 2000 hours for this Change Request.

Qwest will review release schedules and development timetables in an effort to evaluate options for potential scheduling of Change Request SCR070202-1X

Sincerely, Qwest

See Crossover SCR070202-01X

August 13, 2002

DRAFT RESPONSE for PC070202-1 For Review by CLEC Community and Discussion at August’s CMP Meeting

Kathy Stichter ILEC Relations Manager Eschelon

SUBJECT: Qwest’s Change Request Response - CR PC070202-1 “Time and Material Repair invoice process.”

This CR states that Qwest leaves a ‘Time and Materials Invoice’ with its retail customers during a repair visit when the trouble was not found in the Qwest network. The CR requests that Qwest supply CLECs with this same ‘invoice’ or something similar, with the same detail that will state the charges that Qwest plans to bill at the time of the repair visit.

Qwest does leave a Time and Materials Invoice with retail customers when a repair dispatch will result in a charge. This invoice is informational in nature. The technician that is dispatched leaves it at the premises. The actual bill (for both wholesale and retail customers) is generated through automated systems and manual processes that occur when a technician closes a trouble ticket. Qwest does not have a billing relationship with CLEC end-users; therefore, Qwest’s process is to not leave invoices with CLEC end-users. CLECs may use electronic maintenance and repair systems (CEMR) to view trouble ticket history as it appears in Qwest’s systems. This information would be valuable in disputing or substantiating repair charges.

Qwest does not have an organization that is responsible for collecting and distributing these invoices. Qwest believes that a systems CR should be opened to generate an automated report that would provide CLECs with data regarding maintenance and repair billing in the timeframe requested. A meeting will be scheduled for late August to discuss CR’s involving maintenance and repair billing, including this CR. Further clarification and direction for this CR will be determined after this meeting.

Sincerely,

Craig Suellentrop Staff Advocate, Policy & Law Qwest

Cc: Mary Retka, Director-Legal Issues, Qwest Susie Bliss, Director-Process Management, Qwest Alice Matthews, Senior Process Analyst, Qwest


Open Product/Process CR PC030603-1 Detail

 
Title: Documentation process to allow CLECs to request documentation of existing processes, including documentation on the Qwest Wholesale web site.
CR Number Current Status
Date
Area Impacted Products Impacted

PC030603-1 Completed
4/21/2009
PreOrder, Ordering All
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Coyne, Mark
Director:
CR PM: Harlan, Cindy

Description Of Change

Eschelon asks Qwest to develop a quick and effective process for CLECs to obtain readily accessible documentation for existing Qwest processes without having to go through the full, lengthy Change Request (CR) process for each Qwest undocumented process. Qwest has a duty to provide clearly documented processes. When Qwest fails to do so, the burden should not be on CLECs to use CMP to obtain something that Qwest should already have in place without further action by CLECs. Nonetheless, in recent months, Eschelon has had to submit a series of CRs to obtain documented processes for several of Qwest existing processes. (For example, see OC123102-1, PC112502-1 and PC010603-1.) . This is time consuming and a burden to CLECs, even though the duty to provide documentation belongs to Qwest. Simply obtaining documentation for an existing process should not take as many steps and as much time as actually changing a process or system. The reality is that the local service ordering guide (LSOG) and Product Catalog (PCAT) do not always provide needed information, such as information needed for a CLEC to process an accurate LSR, particularly when manual handling is required. Although Qwest has existing internal processes, Qwest has not documented many of those processes for CLECs. Without adequate documentation, when the process breaks down, CLECs are forced to spend unnecessary time and resources debating with Qwest representatives about the process itself, when those challenges could be avoided by simply pointing to mutually accessible documentation that clearly states the process for all involved. Instead, unnecessary escalations waste CLEC and Qwest resources. To avoid this scenario, Qwest needs to provide clear documentation that is readily accessible to CLECs. When Qwest fails to do so, Qwest should have a process in place to obtain the documentation without submitting a CR. CLECs should be involved in development of this process to ensure it meets their needs. The process could include, for example, a CLEC notice of an undocumented process to a specified Qwest single point of contact for this issue and a designated interval for responding to the request and circulating the new documentation that will be posted on the web site. With such a process, the necessary documentation could be provided much more quickly to the CLECs.

Expected Deliverable:

Qwest to develop a process to provide adequate and complete documentation on the Qwest Wholesale web site, in a user-friendly location and format, for existing processes identified by a CLEC or CLECs. Because these are Qwest existing processes and do not require development, the time to document the process should be minimal. Therefore, the process to obtain the documentation should be quick and easy.


Status History

3/6/03: Received CR from Eschelon

3/10/03: Acknowledged CR by P/P CMP Manager

3/12/03: Contacted Customer and scheduled Clarification Meeting for 3/18/03 9:30 - 10:00

3/18/03: Held Clarification Meeting

3/19/03: March CMP Meeting minutes will be posted to the database

4/16/03 - April CMP Meeting minutes will be posted to the database

4/24/03 - Notification advising of CLEC review meeting scheduled for May 14 from 11:30 - 1:00 mst.

5/14/03 - Reviewed Draft process with CLEC Community. Agreed to set up trial with 3 CLECs.

5/21/03 - May CMP Meeting Minutes will be posted to the database

6/3/03 - Training was held for CLECs participating in the trial (Eschelon, ATT and Allegiance). The trial will start effective June 16, 2003.

6/18/03 - June CMP Meeting Minutes will be posted to the database. Bonnie agreed to move this CR to CLEC Test status.

7/16/03 - July CMP Meeting Minutes posted to the database

7/30/03 - Held meeting to gather input from the trial. See notes for details.

8/9/03 - Documentation process released Level 1 (trial CLECs agreed to Level 1)

8/20/03 - August CMP Meeting Minutes - see notes

9/10/03 - Provided existing process information to Eschelon: An existing process is a Qwest standard operating methodology that is normally or usually followed and not included in external Qwest documentation available to CLECs.

9/17/03 - Sep CMP meeting notes will be posted to the database


Project Meetings

September 17, 2003 CMP Meeting Minutes Cindy Macy – Qwest advised this process is in place and working. Cindy Macy did forward to Bonnie the information regarding ‘existing process’. Bonnie Johnson-Eschelon advised she appreciated the response but she will escalate if the documentation team is not in agreement with her documentation requests. Cindy Macy explained that the Documentation team will pull together the SMEs and the CLEC to discuss the CR if there are any questions or concerns about accepting the CR. This group would try to resolve the questions, and if not it could be escalated to Mark Coyne and Sue McNa. Bonnie agreed to close this CR.

August 20, 2003 CMP Meeting Minutes Mark Coyne – Qwest advised the trial ended July 7. Twelve requests came in. Three requests have been completed. Five will publish in two weeks. Two were closed per the CLECs. Two were originally denied and are now back in review. The team met on July 28 to review the trial. As a result of the trial three updates were requested: 1- send confirmation back This has been implemented

2- provide submit button The developer advised the tab button is used to move between fields and the enter key is used to submit the form

3- escalation / review process The process is updated to include a clarification / review call if needed

Training began on August 4 and the process was implemented August 11. Since then, five additional requests have come in and are being worked on.

Bonnie asked for status regarding her question “what is the definition of an existing process?” Is a process considered ‘existing’ if it is documented internally at Qwest but not documented for CLECs? Or is it any process that is being used by Qwest. Cindy Macy – Qwest advised the definition of an existing process is being looked at. Bonnie advised this affects Level 2 notices also. Liz confirmed the documentation process includes documenting ‘gaps’ in existing processes. Cindy Macy – Qwest advised the concern is over documenting individual case processes that are unique. Cindy Macy – Qwest advised additional information will be provided at the next meeting.

CLEC Change Request – PC030603-1 Meeting minutes - Review Documentation Process trial Wednesday, July 30, 2003

Attendees Cindy Macy – CRPM Mark Coyne – Qwest Jackie Cole – Qwest Carla Pardee – ATT Bonnie Johnson – Eschelon Kim Issacs – Eschelon Lori Mendoza – Allegiance Liz Balvin - MCI

Cindy Macy -Qwest welcomed all attendees and reviewed that the purpose of this meeting is to obtain input on how the Documentation trial went. The main concern has to do with accepting and denying Documentation CRs.

Carla Pardee – ATT shared that she believed this was a very good step for Qwest and it has been easy to use so far. She also said that she is very happy that we will be including certain system documentation in the process.

Bonnie Johnson – Eschelon advised she is frustrated about the level of detail on manual processes and that these are not documented clear enough. Bonnie advised the PCAT put together by Joan Wells for Port Within is an example of a process that is documented to the correct level of detail. Bonnie advised the CLECs need the level of detail to send a good LSR and not have to guess or get the LSR rejected. Bonnie also said this process is easier and quicker and it has a lot of benefits.

Lori Mendoza – Allegiance explained her Service Manager worked with Russ Urevig on a process and got the PCAT updated without any CR (CLEC documentation or CMP). The team agreed this can happen with an internal documentation request. The team agreed the Service Managers or process specialist can and do initiate requests on their own.

Mark and the CLECs discussed the CR request for RPON. This was a CR that was originally denied. Mark agreed to add additional detail to the PCAT overview regarding RPON. Mark’s concern has to do with exception processing or situations that are unique or handled as an individual case. Qwest can not document every unique or possible condition. Mark agreed when there is a concern over denying a documentation CR the documentation team will hold a (15 minute) conference call with the product process person, service manager, documentation team and CLEC to discuss and clarify.

Liz Balvin – MCI advised she also has concerns over the use of LA versus SA. Mark asked for examples of this problem and he would be glad to investigate. He will leave this documentation request open until we get examples to proceed. **We have not received examples as of August 5. Please forward examples for us to continue working on this item.

Kim Issacs- Eschelon had the following questions: 1. Submission process - If you hit enter after or at the end of the sentence this sends the CR, even though you may only be ½ done filling out the request. Jackie agreed she would check on this. 2. After submit, the confirmation doesn’t send back the description, only a confirmation. Jackie advised this should be fixed and she will check on it. 3. On denials – the CLECs would like to talk to the process person or get a reason why the CR was denied. Mark advised the documentation team will put together a conference call to discuss requests that are denied. 4. When a request has been accepted what Level will it be? The team discussed the level and agreed none of the documentation requests will be handled as a level 0. The request is for them to be at least a Level 1

Bonnie and Mark discussed the concern over Level 2 Bullet #8 and the definition of an existing process. Bonnie asked what is considered an existing process? What is the criteria for an existing process? Is a process that is being used considered an existing process? Cindy Macy agreed she would clarify the intent of this bullet.

The group discussed this process will be available on the web site August 11. We discussed the level that this process should be released under and the team agreed we should use a Level 1 Notification.

July CMP Meeting Minutes - Mark Coyne – Qwest reported the trial completed last week on July 11, 2003. There were twelve CRs received. Eight were accepted. Out of the eight accepted, one is published and seven are in progress. Of the four remaining one was closed, one was published and two were denied. The target implementation date in the middle of August. We have a meeting scheduled for the week of 7/21 to review the trial results. The CLECs would like to discuss the denial CRs and determine if there is a change that can be made to the denial step. Mark explained Qwest struggles with the level of detail and how much exception processing we document. Bonnie gave an example of LA versus SA and how that causes much confusion in LSR processing. Bonnie requested for the level of detail to not allow for anything to be left to interpretation. She would like to have the information needed to successfully submit the LSR without it being rejected. Bonnie explained she is asking for the same opportunity to have the same information that is available to Qwest. Mark Coyne – Qwest advised this may lead Qwest to revisit the scope and criteria of the Documentation Process. Bonnie Johnson – Eschelon stressed that the process is working, we just have this one glitch to work on. Mark Coyne – Qwest advised we will discuss more next week. This CR will stay in CLEC Test.

June CMP Meeting Minutes - Mark Coyne advised they have received 4-5 documentation requests and are working on them. The training is completed for the CLECs, Service Managers and 50% of the Product/Process Specialists. Qwest would like to move this to CLEC Test. Bonnie advised that was okay.

May CMP Meeting Minutes -

Mark Coyne – Qwest advised we met with the CLECs on May 14, 2003. There was good participation and the process was received very well. Qwest will make minor updates based on comments received. Qwest will trial the process with 3 CLECs: Eschelon, ATT and Allegiance. Qwest will train the 3 CLECs on June 3, with the trial taking place the middle of June – middle of July. Implementation will occur the first week of August. Qwest will leave this CR in Development status. Bonnie Johnson – Eschelon commented the documentation team did a very good job on the process.

PC030603-1 Documentation Process Ad Hoc Meeting May 14, 2003

Review CLEC Documentation Request Process with CLEC Community

In Attendance: Sheila Raunig – Qwest Candice Mowers – Qwest Sharon Van Meter – ATT Donna Osborne Miller – ATT Susan Lamb – Open Access Lori Mendoza – Allegiance Bonnie Johnson – Eschelon John Berard – Covad Jeff Tietz – Qwest Kim Issacs – Eschelon Jackie Cole – Qwest Jill Martain – Qwest Jen Arnold – US Link Sue Mcna – Qwest Cindy Macy – Qwest Mark Coyne – Qwest Liz Balvin – Qwest

Cindy Macy Qwest reviewed the purpose of the meeting and discussed what steps the team has gone through so far. Everyone confirmed they had a copy of the process material to be reviewed.

Mark Coyne reviewed the process in detail. The process was discussed with the following questions/answers provided.

Donna Osborne-Miller reviewed the Scope table and discussed what was in and out of scope.

Bonnie Johnson asked why there are multiple times / places in the process that the scope is reviewed. Mark advised there is a first cut high level view by the documentation team when the request comes in and then the SME makes the lower level more detailed review.

Sharon Van Meter asked if the comment cycle still applied, as she wanted to be sure they had the opportunity to comment if they were not happy with the process documentation. Mark advised yes, the Level 1 / 2 comments cycle would apply. Sue Mcna advised the documentation would be placed on the document review web site as it is done today.

Liz Balvin asked if Qwest is subject to this same process. Sue Mcna advised we are using a version of this same process today. The internal requests are subject to the same ‘in scope/out of scope’ review.

Mark Coyne reiterated the work will be handled first in / first out.

Bonnie Johnson asked if all the fields are required on the Request form. Mark advised no. Bonnie said they might not have data for all the fields. Bonnie wanted to make sure the ‘Detailed Description of Change’ allowed for unlimited or adequate space. Jackie – Qwest advised she would double check the space available and make sure it is large enough.

Bonnie Johnson asked if Qwest would be matching the requests for synergies since we will be handling them FIFO (first in first out). Mark advised we would look at people’s workload and synergies to manage the volume.

Cindy asked if we could move existing CRs to this process if the timing was appropriate. The team agreed that would be okay if the timing worked. Carla asked about a CR that was currently in the response cycle. The team agreed this one would not be a good candidate as it is almost through the process.

Mark advised we would like to trial this process initially. Cindy asked for 2-4 CLECs to trial the process. Eschelon, ATT and Allegiance volunteered to participate in the trial. Sheila – Documentation team advised Qwest would schedule a training session with the trial CLECS. The team agreed to trial the process for approximately a 1-month time frame. The trial team will meet again to review and provide input to the process during the trial.

The CLECs advised the process was well done and very few questions or changes were needed.

Thanks, Cindy Macy

4/16/03 April CMP Meeting - PC030603-1 Documentation Process

Mark Coyne – Qwest advised we are currently meeting to develop a process to support this CR. We are reviewing the CR internally and then will set up a meeting to review and gather input from the CLEC Community. Qwest would like to move this CR to Development status.

3/19/03 March CMP Meeting Minutes - This CR was walked on during the March CMP meeting Bonnie Johnson advised we held the Clarification call on March 18 and she believes Qwest understands the request. Bonnie advised the CLECs would like a process, outside of the CMP process, to advise Qwest about documentation that is missing, in error, or lacking information. Bonnie advised they sometimes need more detail than is in the LSOG. CLECs go to their Service Manager for help but the end result is not updated in the documentation so they continue to go through the same problem. Bonnie advised it is not her responsibility to issue a CR to have the documentation updated after they figure out how to issue the LSR. Sue McNa recapped Bonnie’s request and advised Qwest agreed to look at the CR and brainstorm to determine how to handle this request. Sue advised we want to address how the CLECs can best communicate documentation issues to Qwest and also provide prioritization of the work they identify.

Clarification Meeting March 18, 2003 1-877-572-8688 3393947#

PC030603-1 Documentation Process to allow CLECs to request documentation of existing processes, including documentation on the Qwest Wholesale Web Site

Attendees Jill Martain – Qwest Judy DeRosier – Qwest Sue McNa – Qwest Bonnie Johnson - Eschelon Nancy Chapman – Qwest Cindy Macy - Qwest

Meeting Agenda 1.0 Introduction of Attendees Attendees Introduced

2.0 Review Requested (Description of) Change Bonnie reviewed and clarified the CR. Bonnie explained she is asking for existing processes that are not documented on the Qwest Wholesale web site to be documented without going through the CMP process. It is Eschelon’s belief that Qwest should have these processes documented. Bonnie would like an easy way for the CLECs to be able to request the process to be documented.

Bonnie explained they have been working with the Service Management team on LSR processes such as rejects. We will get an email from Qwest that explains how to issue the LSR. This information should already be on the web site. The responsibility falls on the CLEC to issue the CR and get the process documented. Bonnie would like a process outside of CMP for documentation requests.

Sue Mcna asked for Bonnie to share her thoughts on how this would work, what the CLECs would like.

Bonnie explained possibly a Level 2 Notification would still be required such as ‘Document an existing process that has not been documented before’. The process should be quick and efficient for Qwest too. The process may need a Project Manager.

Sue Mcna said Qwest values the input from the CLECs. We don’t always know what documentation is missing. How would the CLECs notify Qwest of missing / errors in documentation?

Bonnie offered the idea of having it as a ‘standing agenda item’ at the end of the Monthly CMP Product Process Meeting.

Bonnie provided another example of a documentation issue using the documentation links. They do not always link you to the correct process or the process is not detailed enough to help. Then the LSR gets rejected. The LSOG is not always to the level of detail that is needed. They need more details on the ‘Business Rules’.

Bonnie also suggested the web site provide look ups by Process not Product. Sue Mcna advised restructuring the web site would be a huge effort.

Sue clarified what Bonnie is suggesting is an: - easy way to communicate to Qwest missing documentation - errors in documentation - gaps or missing information in documentation

Sue asked how the CLECs would prioritize the requests. Suggestions were possibly by identifying what processes are critical or most problematic.

Cindy agreed she would set up an internal working session meeting to begin discussing the CR. Bonnie will present this CR at the March 19 CMP meeting.

3.0 Confirm Areas & Products Impacted Documentation

4.0 Confirm Right Personnel Involved Mark Coyne, Jill Martain, Joann Garramone, Candace Mauers, Service management resource

5.0 Identify/Confirm CLEC’s Expectation Sue clarified what Bonnie is suggesting is an: - easy way to communicate to Qwest missing documentation - errors in documentation gaps or missing information in documentation

6.0 Identify any Dependent Systems Change Requests None

7.0 Establish Action Plan (Resolution Time Frame) Bonnie will present at the March CMP Meeting Cindy will set up internal meeting to begin working on resolution


CenturyLink Response

For Review by the CLEC Community and Discussion at the May 21, 2003 CMP Meeting

May 14, 2003

Eschelon Bonnie Johnson

SUBJECT: Qwest’s Change Request Response – CR #PC030603-1 Documentation Process to allow CLECs to request documentation of existing processes

This letter is in response to Eschelon’s Change Request (CR) PC030603-1. This CR requests that Qwest establish a process for the CLECs to request documentation on existing processes or gaps in existing processes.

Qwest accepts this CR and is currently developing: ? A Process to address documentation updates outside of CMP ? A Process for tracking and completing external documentation updates

In addition, Qwest has scheduled a walkthrough of the process with Eschelon and other CLECs. This meeting is scheduled for May 14, 2003 from 11:30 – 1:00 MST.

Qwest requests this CR be placed in Development Status and will provide an update at the June CMP Meeting.

Sincerely,

Mark Coyne Qwest


Open Product/Process CR PC012004-1ES Detail

 
Title: Include escalation ticket detail along with the monthly escalation ticket report or create a separate report to provide the detail.
CR Number Current Status
Date
Area Impacted Products Impacted

PC012004-1ES Denied
4/21/2004
Pre-Ordering, Ordering, Billing
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Thacker, Michelle
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Include escalation ticket detail along with the monthly escalation ticket report or create a separate report to provide the detail. The detail should include: (when applicable) escalation ticket number, date received, caller name, caller call back TN, PON, LSR ID, product, complete date, reason for call (code opened under), service order number, remarks, closing code, closing sub code. The customer name and TN optional. Qwest has provided this information to Eschelon before and has this detail.

The detail should include: (when applicable) escalation ticket number, date received, caller name, caller call back TN, PON, LSR ID, product, complete date, reason for call (code opened under), service order number, remarks, closing code, closing sub code. The customer name and TN optional. Qwest has provided this information to Eschelon before and has this detail.

Expected Deliverable:

Include escalation ticket detail with the monthly escalation ticket report or develop a new report to provide the detail separate from the existing report Qwest provides to the CLEC.


Status History

01/20/04 - CR Submitted

01/22/04 - CR Acknowledged

02/04/04 - Held Clarification Meeting

02/18/04 - February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

03/17/04 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/21/04 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

05/19/04 - May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

06/02/04 - Qwest received escalation from Eschelon

06/04/04 - Qwest issued notification CMPR.06.03.04.F.01756.EscalationNoticeEschelon

06/16/04 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

06/16/04 June CMP Meeting Kit Thomte with Qwest said this CR had been escalated and the response sent to Eschelon. Bonnie Johnson with Eschelon said that Qwest did respond to the escalation and explained she was disappointed with the denial and the comment of gathering data for CLECs. Eschelon gathers data for Qwest that Qwest already has and Eschelon will make of point of mentioning it in the future when Qwest asks Eschelon to gather data. Bonnie also asked that blanket coverage be provided to the CSIE employees explaining they should provide the closing code and sub-code reasons when the CLEC asks for the information. Jen Arnold with TDS Metrocom/USLink asked if it was appropriate to get status codes that are spelled differently, e.g. pre-ordering, and will e-mail Linda Sanchez-Steinke. This CR will remain in Denied status.

05/19/04 May CMP Meeting Michelle Thacker with Qwest said that this CR was denied last month and there was an action item opened to research additional information that could be provided in the report. Qwest is unable to provide additional data and the CLEC already provides the requested data with the opening of the call center ticket. Bonnie Johnson with Eschelon said that Qwest was going to find out what additional information was available. Susie Bliss with Qwest said that it is expensive to pull the information and we are not required to compile your data. Stephanie Prull with Eschelon said that the original intent of the CR was to be able to use the report as a training tool, and the current report provides data that we are unable to determine who might be making errors. Eschelon is not always tracking the way they should. Susie said that she understands but we are not able to provide any more at this point. This CR will remain in Denied status.

04/21/04 April CMP Meeting Michelle Thacker with Qwest said that after researching this CR Qwest determined that it was economically not feasible to produce manual spreadsheets because it takes 91 hours to produce the spreadsheets for only 14 CLECs. Before an escalation ticket can be opened, the CLEC name opening the ticket, LSR ID or PON, are data that the CLEC already has.

Bonnie Johnson with Eschelon said that the report provided today to the CLECs could include those data fields that can be electronically pulled. Bonnie said she would have a problem if the current report couldn’t be expanded to include those specific fields that are critical. Bonnie asked that it be communicated which fields can be provided. Caller Name TN and Subcode are critical information contained in the specific fields, and would be critical for the report. Michelle said that CLECs would have that information within their company. Bonnie said that there is a need to reconcile the data. Kim Issacs with Eschelon added that some tickets have been coded as Eschelon but are not tickets opened by Eschelon. Michelle said she would continue to research the separate report, and the current report from the database provides statistical information and counts the numbers of tickets.

Bonnie asked if Qwest uses reports from the escalation database for quality review and training. Michelle said that there are manual reports pulled, like the one Eschelon received from their service manager. These reports are used to sample tickets and work through spreadsheets and word documents. The samples are then discussed with supervisors and coaches and used for training. Bonnie said there might be some type of “crystal” program that would pull data electronically that could be used to provide the report requested and may help Michelle if she no longer needed to pull the manual report. This CR will remain in Evaluation status.

Sent 4/19/04 6:58 a.m. From: Johnson, Bonnie J. [bjjohnson@eschelon.com] To: Sanchez Steinke, Linda, Johnson, Bonnie J. Subject: RE: Draft Response PC012004-1

Linda, I would like Qwest to determine what additional they could add to the existing escalation ticket report that would not need to be manually produced. For example, the sub codes and TN of caller...etc.

Thanks you,

Bonnie J. Johnson Director Carrier Relations Eschelon Telecom, Inc. Phone 612 436-6218 Fax 612 436-6318 Cell 612 743-6724 bjjohnson@eschelon.com

03/17/04 March CMP Meeting Michelle Thacker with Qwest said investigation and research is being conducted on this CR and asked if it could be moved to evaluation status and an updated response be provided at the April CMP meeting. This CR will move to Evaluation status. - 02/18/04 February CMP Meeting Bonnie Johnson with Eschelon presented this CR. Bonnie said this is an extension to the CR just closed and this CR asks for more detail than the report currently provides. Eschelon’s service manager has provided a report that included the level of detail required to address Eschelon’s training needs. This CR will be moved to Presented status.

CLEC Change Request Clarification Meeting

1:00 p.m. (MDT) / Tuesday February 3, 2004

1-877-572-8687 3393947# PC012004-1 Include escalation ticket detail along with the monthly escalation ticket report or create a separate report to provide the detail.

Name/Company: Bonnie Johnson, Eschelon Kim Isaacs, Eschelon Michelle Thacker, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Qwest welcomed all attendees to the meeting. Review Requested (Description of) Change

Linda Sanchez-Steinke with Qwest read the description of change; Include escalation ticket detail along with the monthly escalation ticket report or create a separate report to provide the detail. The detail should include: (when applicable) escalation ticket number, date received, caller name, caller call back TN, PON, LSR ID, product, complete date, reason for call (code opened under), service order number, remarks, closing code, closing sub code. The customer name and TN optional. Qwest has provided this information to Eschelon before and has this detail.

The detail should include: (when applicable) escalation ticket number, date received, caller name, caller call back TN, PON, LSR ID, product, complete date, reason for call (code opened under), service order number, remarks, closing code, closing sub code. The customer name and TN optional. Qwest has provided this information to Eschelon before and has this detail.

Expected Deliverable: Include escalation ticket detail with the monthly escalation ticket report or develop a new report to provide the detail separate from the existing report Qwest provides to the CLEC.

Bonnie Johnson with Eschelon said that the report Jean Novak provided was for February 2003 Escalation tickets. The report provided to Eschelon in April identified a high number of calls for account ownership. After researching the calls, Eschelon made internal changes and also discovered the loss report was inaccurate. Bonnie said she is disappointed that the original report did not include detailed information and it will be helpful to have additional details in the existing report as currently Eschelon doesn’t not have details about who made the calls and what department calls are being made from. Bonnie said that the report could be provided through the existing report or through the service manager.

Michelle Thacker with Qwest asked if Eschelon tracks the calls made to Qwest. Bonnie said that only one group is tracking calls and there are many departments that call Qwest.

Michelle asked if Eschelon asks the SDC for critical information on the ticket such as status or Product reason code, close code and sub close code. Bonnie said that she didn’t know if all departments were requesting that information. Bonnie said that Provisioning, Maintenance and Repair departments all make calls and the Billing group fields complaints for double billing, but primarily service delivery makes the calls.

Bonnie added that she is hopeful that with 14.0, information will be stored and will have the capability to search by TN which will help reduce the number of calls and will provide order number and due date.

Michelle asked if Jean would be tracking calls before and after the release. Bonnie said when Qwest provided the report in April 2003, no analysis was performed, just the report was provided.

Confirm Areas & Products Impacted Pre-Ordering, Ordering, Billing

Confirm Right Personnel Involved Correct Qwest personnel were involved in the clarification meeting.

Identify/Confirm CLEC’s Expectation Include escalation ticket detail with the monthly escalation ticket report or develop a new report to provide the detail separate from the existing report Qwest provides to the CLEC. I dentify any Dependent Systems Change Requests None identified.

Establish Action Plan (Resolution Time Frame) Eschelon will present this CR at the February CMP Meeting and Qwest will provide a response in March.


CenturyLink Response

April 12, 2004

DRAFT RESPONSE For Review by CLEC Community and Discussion at April’s CMP Meeting

Bonnie Johnson Eschelon

SUBJECT: "Qwest’s Change Request Response - CR # PC012004-1 (Include escalation ticket detail along with the monthly escalation ticket report or create a separate report to provide the detail)"

This letter is in response to CLEC Change Request (CR) PC012004-1. This CR is a request by Eschelon to establish a process whereby CLECs can receive, on a monthly basis, ticket detail including (when applicable) escalation ticket number, date received, caller name, caller TN, PON, LSR ID, product, complete date, reason for call (code opened under), service order number, remarks, closing code, and closing sub code. The customer name and TN is optional.

Currently CLECs can request via their Service Manager a statistical report of their activity with the Call Handling Centers. These reports are sent monthly and contain the following data: - Total Tickets Received - Total Tickets Received by Date Across Tier - Total Tickets Received by Product Across Tier - Total Tickets Resolved Across Tier - Total Tickets Resolved by Reason Code Across Tier - Total Tickets Resolved by Product Across Tier

In assessing this request, Qwest evaluated the scope in relationship to the Change Management Process, business benefit, feasibility and the financial impact to implement this process.

Today, CLECs provide Qwest with the following details in order to open a call center database ticket: - Caller name - CLEC Representative - Caller TN - Call back number for CLEC Representative - PON or LSRID - End User Name - End User Telephone Number - Product (although this can be obtained by pulling a copy of the LSR) - A detailed explanation of their reason for calling

Once this detail is input on the ticket the Qwest Representative begins to research and gather additional information to assist the CLEC. A ticket cannot be opened properly if the CLEC does not provide the detail above.

Other requested fields such as Service Order Number, Escalation Ticket Number, Date Ticket Opened/Date Ticket Closed, and Close Code are available upon request from the Call Center Representative.

The remarks field detail requested by the CLEC contains data that may be confidential, proprietary, or extraneous to the information requested by the CLEC. Confidential data includes, but is not limited to, proper names of Qwest personnel, intracompany telephone numbers for Qwest personnel, data that may be a cut and paste from an internal website, etc. Qwest currently has no system that can read or parse confidential data from the remark fields. In order to accommodate this request, Qwest must manually retrieve data from the Call Center database, review each ticket, parse confidential/proprietary data and prepare the report to be sent to the CLEC. This currently would be an excel spreadsheet.

Eschelon sent along with the change request a copy of an excel spreadsheet that contained call center ticket data from February 2003 provided by Qwest. This report, in fact, was manually produced using the steps above.

Qwest performed analysis to determine the amount of time required to produce an excel report of tickets. A total of 8332 tickets were reviewed for 6 CLECs for an average of 1389 per CLEC for one month. The average time to parse an Excel spreadsheet was 39 hours, which consisted of reading and editing 214 tickets per hour. Today, we have 14 CLECs subscribing to the original request which is 1289 average tickets per CLEC X 14 CLECs = 19,446 tickets to parse with an average of 214 per hour. The hours of manual work per month for only 14 CLECs would be 91 hours. It is expected the number of CLECs requesting the monthly report will increase if the requested data is available.

Qwest respectfully denies this change request because it is economically not feasible, cost prohibitive to implement the request and because the requested change does not result in a reasonably demonstrable business benefit. CLECs currently provide Qwest with data to open a call center ticket, therefore, CLECs would already have some of the data they are requesting Qwest provide to them. Qwest provides detail requested via other sources.

Sincerely,

Michelle Thacker Sr. Process Analyst Qwest Communications

March 9, 2004

DRAFT RESPONSE For Review by the CLEC Community and Discussion at the March 17, 2004 CMP Meeting

Bonnie Johnson Eschelon

SUBJECT: Qwest’s Change Request Response - PC012004-1 "Include escalation ticket detail along with the monthly escalation ticket report or create a separate report to provide the detail"

This letter is in response to CLEC Change Request (CR) PC012004-1. This CR is a request by Eschelon to establish a process whereby CLECs can receive, on a monthly basis, ticket detail including (when applicable) escalation ticket number, date received, caller name, caller TN, PON, LSR ID, product, complete date, reason for call (code opened under), service order number, remarks, closing code, and closing sub code. The customer name and TN is optional.

Qwest is currently evaluating this change request and propose moving this CR into Evaluation Status while a complete answer to the request is prepared.

Sincerely,

Michelle Thacker Sr. Process Manager Qwest


Open Product/Process CR PC022304-1 Detail

 
Title: Develop a web based electronic interface to enter and maintain the New Customer Questionnaire
CR Number Current Status
Date
Area Impacted Products Impacted

PC022304-1 Denied
5/19/2004
New Customer Questionnaire
Originator: Isaacs, Kim
Originator Company Name: Eschelon
Owner: Lewis, Judy
Director:
CR PM: Andreen, Doug

Description Of Change

Eschelon is requesting that Qwest develop a web based electronic interface to enter and maintain information on the New Customer Questionnaire. The current Word version of the New Customer Questionnaire makes viewing the current information and updating the information difficult for CLECs. Eschelon requests that this web based tool allow multiple CLEC users to view the most current CLEC profile data and allows a CLEC to update individual sections of the CLEC profile as needed. Eschelon believes a web based New Customer Questionnaire would streamline the process to make needed updates to the questionnaire saving the CLEC and Qwest time and resources

Expected Deliverable:

1. Create a secure web based electronic New Customer Questionnaire

2. Develop questionnaire sections so only sections requiring updates will need to be submitted


Status History

02/23/04 - CR submitted

02/25/04 - CR acknowledged

03/01/04 - Held Clarification call

3/17/04 -March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

3/17/04 - Status changed to Presented

4/21/04 -April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

5/19/04 -May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

6/16/04 -June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

7/21/04 -July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

7/21/04 July CMP Meeting Judy Lewis, Qwest stated that this month we have researched the Verizon questionnaire. Doug Andreen obtained a paper copy of the Questionnaire and spoke to the Verizon contact. The Verizon Questionnaire would require changes to naming conventions among other items to implement at Qwest. Judy also pointed out that this Questionnaire is similar to the one used by SBC. Judy said we are in the same position where there is no funding for this request. Bonnie Johnson, Eschelon said she understands the CR is in denial status and appreciated Qwest’s efforts in researching the additional companies. The CR will move to inactive as it was already in Denied status.

-- 6/16/04 CMP Meeting Minutes Judy Lewis, Qwest said since the last meeting she had looked at SBC’s questionnaire and found many similar items. The major difference is that the SBC model is designed to get the information to the entity it affects. Therefore, the program would require many modifications to work at Qwest. Judy did add she reviewed a word document of the system since she was not able to obtain access to the on-line system. Kim Isaacs, Eschelon said that Verizon is rolling out an electronic profile. Judy asked for a contact at Verizon and Kim said it was Gee GeeVanvig at 212-240-7841. Judy will contact Verizon. This CR will remain in denied status.

5/19/04 May CMP meeting Judy Lewis, Qwest summarized the response by saying that a list of requirements were sent to IT along with a request for a level of effort. The LOE came back with 16,600 hours to do the front end system work and data base development combined with the necessary testing and maintenance required. Therefore Qwest is denying this CR because it is economically not feasible. John Berard, Covad asked if the Bell South system was an option. It is called the On Line Profile System. Judy said that Qwest could look at that. Bonnie Johnson and Kim Isaacs, Eschelon said that this information was provided in the clarification call and Kim added that SBC believes that it is a help to them also. Judy said she didn’t recall getting a contact name. Ken Beck, Qwest said that he could call and obtain a contact. Susie Bliss, Qwest said that the denial would stand but we would check into the SBC system. She added that she would have Steve and Mark take a look as well. Liz Balvin, MCI said that it would help everyone if the system were mechanized. Bonnie asked if we could open an action item on this issue. Susie said yes. The CR will move to Denial but remain open.

- 4/21/04 April CMP Meeting Judy Lewis, Qwest stated that the requirements have been developed and a LOE has just been received. She said a response would be available next month. Bonnie Johnson, Eschelon asked if any of the development previously done could be used to satisfy this CR. Judy replied that this had been checked and the development did not meet today’s requirements. The CR will be moved to Evaluation.

-- 03/17/04 March CMP Meeting Bonnie Johnson, Eschelon presented this CR calling for a New Customer Questionnaire that is web based and would be updateable by individual section. She stated that there is difficulty in updating the current questionnaire and that she hoped some work that might have been started one or two years ago could be used in developing the new questionnaire. She also stated that SBC has a questionnaire that is web based. Bonnie said that the SBC questionnaire takes the same path as it did previously once the updates are made. AT&T also supports the request. Ervin Rae, AT&T added that Sprint has this type of questionnaire but is having some problems with version control. This CR will be moved to Presented status.

-- CLEC Clarification Call 11:00 a.m. (MDT) / Monday March 1, 2004

1-877-521-8688 1456160# PC022304-1 Develop a web based electronic interface to enter and maintain the New Customer Questionnaire Attendees Attended Conference Call Name/Company: Kim Isaacs, Eschelon Bonnie Johnson, Eschelon Doug Andreen, Qwest Judy Lewis, Qwest Carrie Bell, Qwest Jennifer Beach, Qwest Ryan Hinkins, Qwest

Meeting Agenda:

1.0 Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed. 2.0 Review Requested (Description of) Change Doug read the CR description: Eschelon is requesting that Qwest develop a web based electronic interface to enter and maintain information on the New Customer Questionnaire. The current Word version of the New Customer Questionnaire makes viewing the current information and updating the information difficult for CLECs. Eschelon requests that this web-based tool allows multiple CLEC users to view the most current CLEC profile data and allow a CLEC to update individual sections of the CLEC profile as needed. Eschelon believes a web based New Customer Questionnaire would streamline the process to make needed updates to the questionnaire saving the CLEC and Qwest time and resources. The expected deliverables are to create a secure web based electronic New Customer Questionnaire and Develop questionnaire sections so only sections requiring updates will need to be submitted.

Kim Isaacs, Eschelon added that recently she needed to update both the Qwest questionnaire and the SBC GUI profile and found it much easier to update the SBC GUI. She feels that we would also get more accurate information from an on-line version. It would also save time and resources for both Qwest and the CLECs.

Bonnie Johnson, Eschelon said that this used to be a frequent topic of conversation in the CMP meetings and that the CLECs were told quite some time ago that Qwest had started work. So there may be some work already done.

Doug Andreen, Qwest stated that Qwest would look into any work that had been started.

Jennifer Beach, Qwest asked if the amendments should also be added to the questionnaire.

Bonnie Johnson answered yes after Judy Lewis, Qwest clarified that we were talking about the product amendments.

Jennifer Beach asked if there should be edits for quality and business rules and Kim replied yes that would be fine.

Judy Lewis, Qwest asked if the SBC GUI was set up with digital certificates and Kim replied that it was.

Judy also asked if on the SBC system if multiple Eschelon employees can use the system at the same time. Kim replied yes but there are edits around who can submit the profile and who has read only capabilities.

Ryan Hinkins, Qwest asked how long the SBC GUI had been active.

Kim replied since January and added that each different section is routed mechanically to the appropriate employee in SBC.

Ryan asked how access control was envisioned.

Kim said either digital certificates or by id and password.

Bonnie added that there would have to be one type for update capabilities and one for read only or view capabilities.

Ryan asked if SBC allows read only and change.

Kim said yes for Eschelon 2 employees can make changes and the remainder is read only.

Judy said then it similar to what we have in IMA. Kim answered yes. Ryan verified that what your looking for is ability to retrieve, update and submit. Kim said yes with an added qualifier that SBC has time stamp and will reject sections with errors through status messages on the web.

Ryan asked if there were different questionnaires for different states. Kim answered no, just one questionnaire but with the option to select states and contacts.

Judy asked if the previous information in SBC was put in the GUI or if Eschelon had to load. Kim answered that Eschelon had to populate initially.

3.0 Confirm Areas & Products Impacted Web based questionnaire

4.0 Confirm Right Personnel Involved Correct personnel were involved in the meeting.

5.0 Identify/Confirm CLEC’s Expectation The expected deliverables are to create a secure web based electronic New Customer Questionnaire and Develop questionnaire sections so only sections requiring updates will need to be submitted.

6.0 Identify any Dependent Systems Change Requests none

7.0 Establish Action Plan (Resolution Time Frame) Eschelon will present at the March CMP meeting.


CenturyLink Response

May 12, 2004

RESPONSE For Review by CLEC Community and Discussion at the May 19, 2004, CMP Product/Process Meeting

Kim Isaacs ILEC Relations Process Analyst Eschelon Telecom

SUBJECT: Qwest’s Change Request Response - CR 022304-1

This is Qwest’s response to Eschelon’s request to develop a web-based electronic interface to enter and maintain the New Customer Questionnaire.

A list of requirements was drafted that included Eschelon’s input from the clarification call held on March 1. A request for Level of Effort (LOE) along with the list of requirements was made to the Qwest IT department regarding this change request. The estimated time to complete the front end system and database development, combined with the necessary testing and maintenance required was approximately 16, 600 hours. Qwest is denying this CR because it is economically not feasible.

Sincerely,

Judy Lewis Customer Account Consultant

April 5, 2004

DRAFT RESPONSE For Review by the CLEC Community and Discussion at the April 21, 2004 CMP Meeting

Kim Isaacs ILEC Relations Process Analyst Eschelon Telecom

SUBJECT: Qwest’s Change Request Response PC022304-1 "Develop web based electronic interface to enter and maintain the New Customer Questionnaire"

This letter is in response to CLEC Change Request (CR) PC022304-1. This CR is a request by Eschelon for Qwest to develop a web based electronic New Customer Questionnaire.

Qwest is currently evaluating this change request and propose moving this CR into Evaluation Status while a complete answer to the request is prepared.

Sincerely,

Judy Lewis Qwest


Open Product/Process CR PC120903-1 Detail

 
Title: Qwest will track "access required" information in its systems when Qwest installs new service, or when Qwest dispatches on the repair of an existing line/circuit. Qwest will make the information available to CLECs for use when a CLEC opens arepair ticket
CR Number Current Status
Date
Area Impacted Products Impacted

PC120903-1 Completed
10/20/2004
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Tolman, Don
Director:
CR PM: Andreen, Doug

Description Of Change

Title: Qwest will track "access required" information in its systems when Qwest installs new service, or when Qwest dispatches on the repair of an existing line/circuit. Qwest will make the information available to CLECs for use when a CLEC opens a repair ticket for a CLEC end user customer.

Eschelon requests that Qwest develop and train a process that tracks if Qwest will require access to the customer premise to perform repair and maintenance work. Qwest does not track this data for lines/circuits it installs/repairs. As a result Qwest is causing an unnecessary delay for CLECs customers repair interval. For Qwest to complete its work to repair a line, Qwest process always requires a CLEC to communicate access hours for access to the customer premise, however, Qwest does not always need access from the customer/building owner for Qwest to complete the required repair and maintenance work to repair the Qwest caused trouble. For example, if a CLEC opens a ticket at 4 PM because a customer is out of service, and the CLEC designates access hours of 8 AM to 5 PM for the customer and Qwest cannot dispatch by 5 PM that day, Qwest could put the ticket in a "No Access" status until 8 AM the next morning. Eschelon has provided examples to its Service Management team where Qwest put tickets in a "No Access" status after access hours , the trouble was in the Qwest network and Qwest did not require the customer end user or building owner to provide access. If Qwest tracked "Access required" information in its systems and made that information available to the CLECs when opening a ticket, the CLEC could set clear expectations for repair intervals with its own customers and Qwest could set clear expectations and interval with the CLECs. Because Qwest does not track this information, the decision is left to Qwest personnel to make a decision on whether Qwest needs access to its equipment. In addition, if Qwest and a CLEC knew when access was required, the number of unnecessary dispatches and associated charges to the CLEC could be reduced.


Status History

12/09/03 - CR Submitted

12/11/03 - CR Acknowledged

12/18/03 - Held Clarification Call

12/26/03- Clarification Minutes sent

01/07/04 - Updated Clarification Call minutes sent to CLECs

1/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

1/21/04 - Status changed to Presented

2/18/04 -February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

2/18/04 - Status changed to evaluation

3/17/04 -March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

3/17/04 - Status changed to development

4/20/04 - Qwest generated notification PROS.04.20.04.F.01593.Track_CLEC_Access_Rqmts

4/21/04 -April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

5/19/04 -May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

6/16/04 -June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

7/20/04 - Qwest generated notice PROS.07.20.04.F.01884.MaintenanceV34

7/21/04 -July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

8/18/04 - Qwest generated notice PROS.08.18.04.F.01983.FNL_MaintenanceV34

8/18/04 -August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

9/16/04 -September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

10/20/04 CMP Meeting Minutes Doug Andreen reported that this process was effective September 3rd and would like to close the CR. Eschelon agreed and the CR will move to completed status.

9/16/04 CMP Meeting Minutes Don Tolman reported that the updates to the PCAT were implemented on September 3rd. He requested that the CR be moved to Test and Eschelon concurred. The CR will move to Test Status.

-- 8/18/04 CMP Meeting Don Tolman reported that the PCAT changes have been out for comment. Two were received, one about streamlining around NIU access and one that required clarification. Susan Lorence said the response to comments goes out today. Bonnie Johnson added that she hoped Qwest took Eschelon’s recommendations for clarity, and Don assured her they had. The CR will be affective September 3. The CR will stay in Development.

-- 7/21/04 July CMP Meeting Doug Andreen, Qwest reported that there was one outstanding question from Bonnie that Don Tolman has answered. Bonnie added that the documentation was out for review as of yesterday July 20. The CR will remain in Development.

6/16/04 CMP June meeting minutes Don Tolman, Qwest provided an update on activities since the last meeting. The process surrounding entering access information in circuit notes will be placed in the Overview of the M&R PCAT. He said he is getting ready to establish timeframes for comment and response. Bonnie Johnson, Eschelon asked when this would be issued for review and Don responded within the week. He added that Qwest people have been asked to start following the new process to acquire information and enter it in the circuit notes and OSLOG notes. Bonnie asked if we would proceed like we do today if there is no definite information. Don answered yes that Qwest would validate with the customer of record and proceed. Liz Balvin, MCI wanted to verify that the information would be available in CEMR and also in BTA. Don said it should be. Doug Andreen, Qwest added that the information would not show up in CEMR until after the fall release. John Berard, Covad questioned if the information would be in a separate field or in the notes field. Don explained there is a field in the circuit notes for NIU Access = Y or N and is part of the testing information that is emailed to the CLECs. If yes is populated it means that Qwest can access the NIU without assistance from either the CLEC or the end user. This information will be kept in the circuit notes and also the OSLOG. When a repair ticket is issued the technicians will validate NIU access field. John then asked which products are covered. Don said unbundled basic products. John asked if this included XDSL and Don said yes. The CR will remain in Development.

- 5/19/04 May CMP meeting Don Tolman, Qwest said that as Qwest installs a service Qwest will note in testing information that is emailed to the CLECs NIU Access = Y or N. If yes is populated it means that Qwest can access the NIU without assistance from either the CLEC or the end user. This information will be kept in the circuit notes and also the OSLOG. When a repair ticket is issued the technicians will validate NIU access field. If yes we still validate for changes with the customer. If Qwest is unable to make contact and the Y is checked then Qwest will make the assumption that access to the NIU is still available and dispatch accordingly. Qwest will put this information into the M&R PCAT under the title of “No Access Information”. Don also noted that if Qwest tries to access the location based on the information in the system and there is no access to the NIU, there will be dispatch charges associated with the trouble ticket. Bonnie Johnson, Eschelon asked if we were to verify with the end user if the building had undergone construction, and they say no, would that be sufficient or does end user need to contact the building manager to verify access. Don answered that he will give examples in the PCAT. Bonnie also asked when doing a repair will the appropriate access information be gathered or updated. Don answered yes. Lastly Bonnie asked if field is blank will it be populated on repair visits. Don answered yes to this also. Doug Andreen, Qwest added that this information will be available in CEMR with the fall release. The timing of the PCAT and notices have yet to be finalized. The CR will remain in Development.

4/21/04 April CMP Meeting Don Tolman, Qwest said that the process has been confirmed with all repair centers and that Qwest is seeing access information being populated. He requested that the CR be moved to CLEC Test. Bonnie Johnson, Eschelon asked if on new installs and repair call if Qwest is going to input access information. Don stated yes, but since the information can change it requires updating when subsequent calls are made to the CLEC. Bonnie asked if Don could quantify at the time of the install or repair ticket how often this information changes. Don stated he could not quantify but it is likely when for instance Qwest terminates to a room not yet built or to an outside location. He further clarified that if Qwest terminates to a closet and notes that a key is needed that information needs to be verified on subsequent calls as to who has the key. Don said we would capture the information to know if access is needed for Qwest NIU. Bonnie asked if the information could be in CEMR and documented in the PCAT that the last demark might be on the customer premise. Don answered that he would take it off line to see if this could be done. The CR will stay in Development.

-- 03/17/04 March CMP Meeting Don Tolman, Qwest covered the response to this CR stating that Qwest has reviewed with Repair Managers the necessity to test to the last point of availability and then call/email the customer of record. He also stated that on repair tickets entered electronically the location and circuit access information should be filled in to aid Qwest in making every attempt to fix the problem. Repair technicians have been advised to obtain this information on calls to the repair centers. Bonnie Johnson, Eschelon asked if Qwest was going to enter the information in its systems and Don answered yes. Bonnie also asked if Qwest would dispatch even after hours and Don said they will. It has been validated that Qwest will test to the last point. John Berard, Covad asked if access required information would be in the notes field and Don answered that if entered through CEMR there are specific fields for this information. Bonnie reiterated that if the CLECs have access information then Qwest wants them to pass the information along and Don said yes. This CR will be moved to Development status.

- 2/18/04 CMP Meeting Don Tolman, Qwest stated that Qwest is currently reviewing the request and will provide a complete response in the March meeting. He requested the CR be moved to Evaluation status.

-- 1/21/04 January CMP Meeting Bonnie Johnson, Eschelon presented this CR. It is designed to provide information regarding if the end user customer or building manager is needed to access the demarc. Late in the day some tickets are put in “no access” status by Qwest when the customer was not needed to access the demarc. She is asking that Qwest note in their systems if the customer has to give access to the demarc when Qwest does an install or repair on a going forward basis. (She also stated to Doug Andreen later in the meeting that DS1 and above are the biggest concern because of customer impact). The CR will move to Presented status.

-- 1/7/04 Clarification to statement made in Clarification Meeting 12/18 (see Below) additional information is in parentheeses. Roszan Jarman-Konkel, Qwest said that in the design world, there is an ability to enter three days worth of premise ( and circuit) access(hours via CEMR.)

Clarification Meeting 8:00 a.m. (MDT) / Thursday 12/18, 2003 1-877-521-8688 1456160# PC120903-1 Qwest will track access required information in it’s systems

Attendees

Kim Isaacs, Eschelon Bonnie Johnson, Eschelon Julie Pickar, U S Link Doug Andreen, Qwest Roszan Jarman-Konkel Paul Hanser, Eschelon Curt Anderson, Qwest Tom McAldine, Eschelon Jim Recker, Qwest Jean Novak, Qwest

Doug Andreen read the full title of the CR as follows: Qwest will track access required information in its systems when Qwest installs new service, or when Qwest dispatches on the repair of an existing line/circuit. Qwest will make the information available to CLECs for use when a CLEC opens a repair ticket for a CLEC end user customer.

Bonnie Johnson, Eschelon explained the reason for the request is that a few months ago Eschelon noticed on POTS and Design that numerous tickets were going to a no access status. Through analysis Eschelon found that on certain tickets Qwest did not need access to the premise to clear the ticket. Eschelon then asked Qwest if they track access needs for the Demarc or circuit. The answer was no. The CR therefore is for Qwest to develop a tracking mechanism to track access information in its systems when installing new service or on the repair of an existing line/circuit.

Doug asked if this would be on a going forward basis and Eschelon answered yes.

Tom McAldine, Eschelon gave an example where a ticket is opened at 3 p.m., Qwest troubleshoots till 6 p.m. and finds the trouble to be outside the serving central office. Eschelon cannot contact the customer and the ticket is then put off till 6 a.m. the next day. Tom said in many cases Qwest will find that in order to fix the problem no premise access was required. Tom further stated that Qwest’s policy is to troubleshoot all the way to customer premise.

Curt Anderson, Qwest clarified that what is asked for is to first ensure that Qwest is following process that is now in place and second, to begin tracking access requirements.

Bonnie answered yes, but the CR is not designed for the compliance issue as this is being addressed by other means.

Jim Recker, Qwest asked if Eschelon was asking for the location of the NIU? Bonnie answered yes.

Roszan Jarman-Konkel, Qwest said that in the design world, there is an ability to enter three days worth of premise access.

Jim asked if this were for design or POTS since different systems are used.

Bonnie answered both.

Doug asked of it was fair to say most of the existing problems are on the design side. Bonnie answered yes DS1 and above are the main areas.

Tom added that the main point was looking beyond the end office to the fiber hut etc. i.e. the equipment between the end office and equipment needing premise access.

Bonnie added that some of the existing information on the Qwest work docs is incomplete and Tom agreed. Confirm Areas & Products Impacted All new service and all lines and circuits that require Qwest repair.

Confirm Right Personnel Involved Cathy Garcia needs to be added. Doug will ensure this happens as she is on vacation now.

Identify/Confirm CLEC’s Expectation These expectations were confirmed. 1. Qwest will develop and train a process that will track whether access is required for future repairs for all new installs and repairs to existing lines circuits. 2. Qwest will make the information available to CLECs when a CLEC opens a repair ticket. 3. Qwest will complete any systems work required to implement the process.

Identify any Dependent Systems Change Requests None identified.

Establish Action Plan (Resolution Time Frame) Bonnie will present the CR at the January CMP meeting with a response being in the February timeframe.


CenturyLink Response

March 9, 2004

For Review by the CLEC Community and Discussion at the March 2004 CMP Meeting

Bonnie Johnson Senior Manager, ILEC Relations Eschelon Communications

SUBJECT: Qwest Change Request Response CR # PC120903-1 Description of CR: Qwest will track access required information in its systems when Qwest installs new service, or when Qwest dispatches on the repair of an existing line/circuit. Qwest will make the information available to CLECs for use when a CLEC opens a repair ticket for a CLEC end user customer.

For example, if a CLEC opens a ticket at 4 PM because a customer is out of service, and the CLEC designates access hours of 8 AM to 5 PM for the customer and Qwest cannot dispatch by 5 PM that day, Qwest could put the ticket in a No Access status until 8 AM the next morning. Eschelon has provided examples to its Service Management team where Qwest put tickets in a No Access status after access hours, the trouble was in the Qwest network and Qwest did not require the customer end user or building owner to provide access. If Qwest tracked Access required information in its systems and made that information available to the CLECs when opening a ticket, the CLEC could set clear expectations for repair intervals with its own customers and Qwest could set clear expectations and interval with the CLECs. Because Qwest does not track this information, the decision is left to Qwest personnel to make a decision on whether Qwest needs access to its equipment. In addition, if Qwest and a CLEC knew when access was required, the number of unnecessary dispatches and associated charges to the CLEC could be reduced.

The Qwest Operations Staff has reviewed the problem described above and have covered this issue with the repair managers of the maintenance centers. The repair managers are covering all technicians on the requirement to test to the last access point in the circuit that is available. When premise access is needed, Qwest technicians will call or send an electronic message to the CLEC to validate access to the network interface devise before establishing No Access time.

Also, the CEMR user online help provides the following information to the CLEC for inputting of their trouble tickets and access information.

The online help is available to the customers at: http://www.qwest.com/wholesale/systems/WebHelp/Introduction.htm This is CEMR version 2.0 and is supported by Netscape Communicator version 7.0 and Internet Explorer version 5.5.

Access Hours (00:00-23:59 Local Time)

Location The location of the premises where the trouble ticket is submitted, for a Qwest technician to access, if required. Enter the earliest and latest times that a Qwest technician can access the premises for three days, starting on the day the trouble report is entered. You must enter the time in the military format, and the earliest time must be prior to the latest time. For example, 8:00 a.m. must be entered as 08:00, and 1:00 p.m. must be entered as 13:00. You cannot use 24:00 to indicate 12:00 a.m. Enter 23:59 instead. If premises access is not available on these dates, enter normal business hours for both the earliest and latest times. Then, in the Description field, enter No prem access until (specific date).

Circuit The location of the circuit, for a Qwest technician to access, if required. Enter the earliest and latest times that a Qwest technician can access the circuit for three days, starting on the day the trouble report is entered. You must enter the time in the military format, and the earliest time must be prior to the latest time. For example, 8:00 a.m. must be entered as 08:00, and 1:00 p.m. must be entered as 13:00. You cannot use 24:00 to indicate 12:00 a.m. Enter 23:59 instead. If circuit access is not available on these dates, please enter normal business hours for both the earliest and latest times. Then, in the Description field, enter No prem access until (specific date).

Additionally, in an effort to strengthen obtaining correct access, Qwest has made it mandatory for the repair answering centers to obtain all access information, circuit, premise and local contacts as they enter the trouble ticket.

Again all technicians will be required to test to the last access point in the circuit that is available. When premise access is needed, Qwest technicians will call or send an electronic message to the CLEC to validate access to the network interface device before establishing No Access time.

Sincerely,

Don Tolman Qwest Communications


Open Product/Process CR PC030204-1 Detail

 
Title: Qwest to develop and implement a Directory Assistance only block.
CR Number Current Status
Date
Area Impacted Products Impacted

PC030204-1 Denied
4/21/2004
Centrex, Resale, Switched Service, Switching, UNE-P, UNE Other
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Stouffer, Jim
Director:
CR PM: Andreen, Doug

Description Of Change

Eschelon requests Qwest develop a block that allows blocking for local directory assistance (411 and 555-1212). Qwest currently only offers the ability to block 411 and 555-1212 through the Custom-net block. Customers do not always want to block direct dial long distance but do have a need to block local directory assistance. Custom-net forces the End User Customer to use an alternate billing method for long distance. Alternate billing for long distance is difficult to use because it requires a calling card or third party billing and can be very costly. Eschelon’s customers are often forced to absorb the cost of unauthorized directory assistance calls because the consequence of fraud or misuse on a calling card can be catastrophic to a business owner. Qwest should provide a blocking in a manner that meets customers needs. Qwest should not “package” directory assistance blocking so that a customer is forced to have additional blocks they do not need. The functionality does exist in at least the DMS100 and 5E switch to block only local directory assistance without requiring a customer use alternate billing for long distance.

Expected Deliverable:

Qwest will offer a block to block local directory assistance calls only without requiring additional blocks that a customer may not need.


Status History

3/2/04 CR Submitted

3/3/04 CR Acknowledged

3/17/04 -March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

3/17/04 - Status changed to Presented

4/21/04 -April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

5/12/04 - Sent Bonnie Johnson email and example of notification with url link to SGAT web site (see below)

__________________________________________________________________________________________

Announcement Date:

April 26, 2004

Effective Date: April 27, 2004

Document Number:

Notification Category: Process Notification

Target Audience: CLECs, Resellers

Subject: Wholesale Interconnection Agreements & Amendments –SGATs

Summary of Change:

On April 27, 2004, Qwest will post updates to its Wholesale Product Catalog that includes new/revised documentation for Wholesale Interconnection Agreements & Amendments – SGATs. This material becomes effective on April 27, 2004.

SGATs:

Qwest is replacing the Wyoming Exhibit A with the correct version dated 10-16-02.

Redline SGAT documents are found at URL: http://www.qwest.com/about/policy/sgats/

Actual updates are found on the Qwest Wholesale Web site at this URL:

http://www.qwest.com/wholesale/clecs/sgatswireline.html

You are encouraged to provide feedback to this notice through our web site. We provide an easy to use feedback form at http://www.qwest.com/wholesale/feedback.html. A Qwest representative will contact you shortly to discuss your suggestion.

Sincerely,

Qwest

_______________________________________________________________________________________________________________


Project Meetings

5/12/04 - Announcement Date: April 26, 2004 Effective Date: April 27, 2004 Document Number: Notification Category: Process Notification Target Audience: CLECs, Resellers Subject: Wholesale Interconnection Agreements & Amendments - SGATs

Summary of Change: On April 27, 2004, Qwest will post updates to its Wholesale Product Catalog that includes new/revised documentation for Wholesale Interconnection Agreements & Amendments - SGATs. This material becomes effective on April 27, 2004.

SGATs: Qwest is replacing the Wyoming Exhibit A with the correct version dated 10-16-02. Redline SGAT documents are found at URL: http://www.qwest.com/about/policy/sgats/ Actual updates are found on the Qwest Wholesale Web site at this URL: http://www.qwest.com/wholesale/clecs/sgatswireline.html

You are encouraged to provide feedback to this notice through our web site. We provide an easy to use feedback form at http://www.qwest.com/wholesale/feedback.html. A Qwest representative will contact you shortly to discuss your suggestion.

Sincerely, Qwest

-- 04/21/04 April CMP Meeting Sandy Foster, Qwest explained that when this CR was opened it was thought that Directory Blocking might be a software option in the switch. This was later found not to be true. Since CustomNet blocks other items along with directory assistance the only other alternative was found to be Customized Routing. If this did not meet the need of the CLECs then a new product would be needed. The CR on that basis was denied. Bonnie commented on the length of time it took to get this denial since it was obvious to her a current product did not exist. Sandy stated it was felt Qwest needed to do due diligence on the CR. Connee Mofffatt, Qwest also stated that she had hoped the software option would have been true. She also added that if it is a product that can be purchased that poses different problem from a translation that needs to be done on each switch. Bonnie asked how to handle this type of request in the future. Kit Thomte, Qwest stated that generally going forward such requests should start with the Special Request Process. Bonnie said that if a product is not currently offered a Special Request is needed, but she understands that on this CR Qwest was looking for an alternative. The CR is denied.

-- 03/17/04 March CMP Meeting Bonnie Johnson, Eschelon presented this CR that requests a block for directory assistance. She is aware that Qwest offers a block through CustomNet but that this product blocks direct dial LD at the same time. Bonnie said long distance blocks can be managed through account codes by the customer. She said she knows the feature is available on the DMS 100 and 5E switches. Connee Moffatt, Qwest stated that this is not a software feature. Bonnie and Connie agreed that the need is for a translation capability rather than an existing software feature. The status will be moved to Presented.

- Clarification Meeting 9:30 a.m. (MDT) Thursday March 11, 2003 1-877-521-8688 1456160# PC030204-1 Qwest to develop and implement a Directory Assistance only block.

Attendees: Kim Isaacs, Eschelon Stephanie Prull, Eschelon Connee Moffatt, Qwest Nancy Sanders, Comcast Emily Baird, POP Communications Doug Andreen, Qwest Sandy Foster, Qwest Bonnie Johnson, Eschelon Carla Pardee, AT&T

1.0 Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

2.0 Review Requested (Description of) Change Doug Andreen, Qwest read the full description of the CR as follows: Eschelon requests Qwest develop a block that allows blocking for local directory assistance (411 and 555-1212). Qwest currently only offers the ability to block 411 and 555-1212 through the Custom-net block. Customers do not always want to block direct dial long distance but do have a need to block local directory assistance. Custom-net forces the End User Customer to use an alternate billing method for long distance. Alternate billing for long distance is difficult to use because it requires a calling card or third party billing and can be very costly. Eschelon’s customers are often forced to absorb the cost of unauthorized directory assistance calls because the consequence of fraud or misuse on a calling card can be catastrophic to a business owner. Qwest should provide a blocking in a manner that meets customers needs. Qwest should not package directory assistance blocking so that a customer is forced to have additional blocks they do not need. The functionality does exist in at least the DMS100 and 5E switch to block only local directory assistance without requiring a customer use alternate billing for long distance.

Doug asked Bonnie Johnson, Eschelon if she was asking for one identifier across the region. Bonnie said this would be preferable but Eschelon is not opposed to more if there are differences in switches or regions.

Sandy Foster, Qwest asked if by not blocking long distance is Eschelon leaving themselves open to misuse in that area.

Bonnie answered that there has been a long-standing need for a directory assistance block only without having to use alternate billing for long distance.

Sandy stated that she has not witnessed a need from Qwest customers and wondered why the need from Eschelon customers. Bonnie answered that she does recognize a need among Qwest customers also.

Connee Moffatt, Qwest asked if Eschelon is asking for this on the DMS10 or Erickson switches. Bonnie answered no, not specifically that she had put these two in because she knows the functionality exists.

Emily Baird, POP Telecom said they have several customers who would like to block directory assistance but who need long distance capabilities and use/have codes that manage that inside the line. Bonnie echoed that this is an important point.

It was noted that Comcast and AT&T also support this CR.

3.0 Confirm Areas & Products Impacted All services that have Qwest switch translations

4.0 Confirm Right Personnel Involved Yes

5.0 Identify/Confirm CLEC’s Expectation Qwest will offer a block for directory assistance calls only without requiring additional blocks that customer may not need.

6.0 Identify any Dependent Systems Change Requests None identified.

7.0 Establish Action Plan (Resolution Time Frame) Eschelon will present the CR at the March CMP meeting with a response being in the April timeframe.


CenturyLink Response

For Review by the CLEC Community and Discussion at the April 21, 2004 CMP Meeting

Bonnie Johnson Director Carrier Relations Eschelon Telecom

SUBJECT: Qwest’s Change Request Response - PC030204-1 Qwest to develop and implement a Directory Assistance only block.

This letter is in response to CLEC Change Request PC030204-1. This CR is a request by Eschelon for Qwest to develop and implement a local service Directory Assistance (411) only block.

Qwest does not currently offer a 411 block on a standalone basis. We have analyzed our existing product offerings and, other than CustomNet, found one option, Customized Routing that Eschelon might be interested in: Customized Routing http://www.qwest.com/wholesale/pcat/customrouting.html

CustomNet http://www.qwest.com/wholesale/clecs/features/customnet.html

If this product offering does not meet Eschelon’s customers’ needs, a request should be submitted using the SRP (Special Request Process) as detailed in your ICA. SRP http://www.qwest.com/wholesale/preorder/bfrsrprocess.html

On this basis Qwest respectfully denies this request as being out of the scope of the CMP process.

Sincerely,

Sandy Foster Product Manager Qwest

-- April 8, 2004


Open Product/Process CR PC030204-2 Detail

 
Title: Qwest will red line and provide the changes made to the SGAT, Amendments and Negotiation Template in its Process notices.
CR Number Current Status
Date
Area Impacted Products Impacted

PC030204-2 Denied
4/21/2004
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Williams, Susan
Director:
CR PM: Harlan, Cindy

Description Of Change

Eschelon requested and Qwest implemented a red line process to notify CLECs of changes to documents and/or PCATs. However, Qwest does not use this red line method or any method to identify changes it is making on SGAT, Amendment or Negotiation Template process notices. Eschelon asks that Qwest red line and provide CLECs with the changes being made in these documents. A CLEC should not have to do a comparison of documents to identify the process changes Qwest is making in the Qwest notices. A CLEC is required to do a comparison to determine the changes that have been made because Qwest does not provide a record of the changes.

Expected Deliverable:

Qwest will send a red line attachment of changes along with the Process Notification for the SGAT, Amendment and Negotiation Template.


Status History

3/2/04 CR Submitted

3/3/04 CR Acknowledged

3/5/04 Contacted CLEC to schedule Clarification call

3/17/04 - March CMP meeting notes will be posted to the project meeting section

4/21/04 - April CMP meeting notes will be posted to the project meeting section


Project Meetings

April 21, 2004 CMP Meeting notes: Cindy Macy – Qwest reviewed the response for this CR. Cindy advised that Bonnie and I have been passing emails on this CR. Bonnie Johnson explained that Eschelon is just asking for the document to be attached to the notification or linked. We are not asking to change the process. Cindy advised that this CR is being denied as these documents are outside of the scope of CMP. The notices that are sent for SGAT, Amendments and Negotiation Templates are non CMP notices. Cindy clarified the difference between a CMP and non CMP notice. CMP notices have a Level 1-4 associated to them. Liz Balvin – MCI advised that the request is to make a process change to the notification process which is part of CMP. Cindy clarified that there are two parts to this CR. There is the request to link the notice to the documents and to also produce these documents in redlined format. Jarby Blackmun – Qwest advised there would be issues with space limitation on sender and receiver’s mailbox if we attached the SGAT to the notice. Bonnie advised she did not ask for redlined versions of the Amendments and Negotiation Templates, even though she thinks they should be produced. Bonnie advised she just wants to have the redlined SGAT linked to the notification so they do not have to search a website for the document. Bonnie advised that she will use the right process to ask for further assistance on the other documents. Cindy agreed that she would hold an internal meeting to determine if we can provide a link to the redlined version of the SGAT. Kit Thomte – Qwest advised that this CR will stay in denied status, but we will open an action item on the linking question. This CR will move to Denied Status.

March 17, 2004 CMP Meeting notes: Bonnie Johnson – Eschelon advised that we held a clarification call on Monday. Bonnie worked with Neil Houston during the call to show him on the website what she was requesting. She believes Qwest understands what Eschelon is requesting. Bonnie explained that they are not requesting for Qwest to change the process, just to attach either the redlined document (SGAT, Amendments and Negotiations Templates) to the notices or to provide a direct link to the document. Bonnie explained they just want access to the document so they know what is being changed. Currently there is a link to a web site, and then you have to search for the document on the web site. Bonnie would like the notice to have a direct link to the document, in redlined version. This CR will move to Presented Status.

PC030204-2 Redline SGAT, Amendments and Negotiation Templates

Clarification Call March 15, 2004 3:00 – 4:00

In attendance: Neil Houston – Qwest Cindy Pierson – Qwest Bonnie Johnson – Eschelon Cindy Macy – Qwest Kim Isaacs – Eschelon

Cindy Macy – Qwest opened the call and reviewed the agenda.

Bonnie Johnson – Eschelon reviewed the CR. Bonnie explained that they are having some degree of difficulty when reading the notices to determine what has changed to the SGATs, Amendments and Negotiations Templates. Bonnie would like to have a redlined version linked to each notice when changes are made to these documents. Currently a link is provided but it is to a web site and then you have to look for the right document. Bonnie would like the documents linked, just like the PCATs are linked to the notices. Bonnie explained she does not want to change the process; she just wants access to the documents that are changing. Bonnie stepped through the path to the documents, and explained how she would like that changed.

Cindy Pierson – Qwest asked if the documents are on the document web site, does this make it part of the CMP process. Bonnie advised that it doesn’t have to be part of CMP. Level 1 notices do not have comment cycles.

Cindy Macy – Qwest verified that these are changes to the state level documents, not to individual CLEC documents. Bonnie agreed and advised she is not asking to change the process; she just needs to understand what has changed.

The team agreed that they understand the request. Next steps are for Bonnie to present the CR at the March CMP meeting, and for Qwest to provide a response at the April CMP meeting.


CenturyLink Response

April 14, 2004

For Review by CLEC Community and Discussion at the April 21, 2004 CMP Meeting

Bonnie Johnson Eschelon

SUBJECT: Change Request Response – CR #PC030204-2 ‘Provide Redline SGAT, Negotiation Template and Amendments in its Process notices’

This letter is in response to Eschelon’s Change Request (CR) PC030204-2. This CR requests that Qwest provide redlined versions of its SGAT, Negotiation Template and Amendments in its Process notices.

Qwest denies this CR on the basis that it is outside the scope of the Change Management Process as SGAT, Negotiation Template and Amendment documents do not fall within CMP.

The CLEC community currently has multiple avenues to provide input to the Amendment documents. These documents are then migrated into the SGATs. In addition, Qwest already provides redline versions of the SGAT documents via a link from the Wholesale web site.

Sincerely,

Qwest Communications


Open Product/Process CR PC070804-1 Detail

 
Title: Develop more efficient and effective process for ASR jeopardies
CR Number Current Status
Date
Area Impacted Products Impacted

PC070804-1 Completed
9/10/2012
Ordering and Provisioning All products where CLEC sends an ASR
Originator:
Originator Company Name: Eschelon
Owner: Sunins, Phyllis
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Qwest notifies a CLEC of an ASR jeopardy via a phone call or voice mail message. This is not an effective or efficient process because there is no record of that the jeopardy notification for the ASR. For a CLEC to effectively manage jeopardies on services the CLECs order for their customers, CLECs require some record (non verbal) of the jeopardies Qwest sends to the CLEC with consist information on the jeopardy. For example, each CLEC may have a different process to manage jeopardies. Qwest should provide consistent information in a template format and provide the information using a process that allows a CLEC to chose how they would like to manage jeopardies. Qwest currently uses the phone and voice mails to notify CLECs of ASR jeopardies. This process is not consistent with LSRs and does not allow the CLEC to a choice on how to manage their jeopardies. The CLEC cannot use the same internal process for ASRs as LSRs because the process is so different. If the C:LEC Service Delivery representative is not available at the time Qwest calls, or is not able to retrieve the message for any reason, potentially Eschelon could be unaware of the jeopardy for a period of time. This could cause delays in delivery of service to the customer. In addition, there could be disputes about dates, times and content of conversation held between Qwest and CLEC when Qwest calls the CLEC. Qwest should use the same process as Qwest uses for LSRs, even if the mode of communication cannot be system generated. E-mail with a standard template (like LSR jeopardy notices) would be more efficient for CLECs. Qwest recently implemented a new process using E-mail for providing a CLEC status on a LSRs after order/LSR completion. Qwest should consider the same kind of solution for ASR jeopardies.

Expected Deliverables: Qwest and CLEC will collaboratively develop a new process for ASR jeopardies that provides the CLEC consistent jeopardy information in a non-verbal communication mode.


Status History

7/8/04 - CR Submitted

7/8/04 - CR Acknowledged

7/12/04 - Contacted Bonnie at Eschelon to schedule clarification call for 7-20-04

7/20/04 - Held Clarification call - this CR will be presented at the August CMP meeting

8/16/04 - August CMP meeting mintues will be posted to the database

9/15/04 - September CMP Meeting minutes will be posted to the database

10/20/04 - October CMP Meeting minutes will be posted to the database

11/17/04 - November CMP Meeting minutes will be posted to the database

12/14/04 - Scheduled ad hoc meeting for Jan 10

12/15/04 - December meeting minutes will be posted to the database

1/10/05 - Ad hoc meeting held

1/19/05 - Jan CMP Meeting minutes will be posted to the database

2/2/05 - Notification of ad hoc meeting sent CMPR.02.02.05.F.02525.CMP_Ad_Hoc_mtg_PC070804-1 scheduled for 2/14/05 2:30 pm mtn

2/14/05 - Ad hoc meeting held

2/16/05 - Feb CMP Meeting minutes will be posted to the database

02/21/05 - Related Change Request PC022105-1 - This CR will be changed to Deferred Status as a result of PC022105-1

3/16/05 - March meeting minutes will be posted to the database

4/14/05 - Changed status to Closed/archived


Project Meetings

08/15/12 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed that in the July meeting, CenturyLink had asked the owner of each Deferred CR to determine if it should remain in Deferred status, is it should be Withdrawn, or whether it should be re- evaluated. Mark then reviewed the status of each CR as listed on the Attachment:

PC070804-1 Develop more efficient and effective process for ASR jeopardizes - CR Status changed to Closed. Per Kim Isaacs, Integra: CR can be closed with a note that this request was met when Qwest implemented the C/NR in QORA.

Kim Isaacs – Integra wondered if the CR should show Closed or show as crossed over to systems.

Susan Lorence – CenturyLink said she was going to investigate when this functionality was implemented and reference that CR and then show the CR as Completed.

Kim Isaacs – Integra agreed.

March CMP Meeting Minutes: Jill Martain - Qwest advised that this CR will move to Deferred Status as Qwest will work the 'initial jeopardy email' piece of this CR using PC022105-1. Bonnie Johnson - Eschelon advised that she issued the new CR as she wanted the CR titled to reflect accurately what Qwest is doing. Bonnie agreed to move forward with the piece that Qwest will implement and Bonnie advised that it is okay to move this CR to Deferred Status.

February CMP Meeting Minutes: Cindy Harlan - Qwest advised that Qwest held an ad hoc call on Monday February 14. The purpose of the call was to review Qwest's proposed process and obtain a decision from the CLEC community regarding whether to move forward or defer the CR. Bonnie agreed that she would provide a decision at the February CMP Meeting. Bonnie Johnson - Eschelon reported at the February CMP meeting that she took this back internally and would like to move forward implementing the email on initial facility jeopardy notifications. Bonnie advised that she is deciding how she wants to move forward with the CR. There was some discussion around either moving forward with the existing CR or deferring the existing one and creating a new one. Bonnie advised that she does not want to loose the work that has been done as the CLECs may want to revisit this, if something changes at Qwest as it may be possible to implement the rest of this CR at a later time. Cindy Harlan - Qwest advised we can work together to determine how to implement some of the work and defer the rest. Liz Balvin-Covad asked who would receive the email jeopardy. Jill advised an email address needs to be populated in the initiator field on the ASR and that is where the email jeopardy would be sent. Jill advised that Qwest has internal work that needs to be done to implement this. This CR will remain in Development Status.

PC070804-1 ASR Jeopardy Process Ad Hoc Call February 14, 2005

In attendance: Jeff Sonnier – Sprint Cindy Dahlstedt - Qwest Communications Bill Trefts – Time Warner Communications Bonnie Johnson – Eschelon Bob Eggert – SBC Rosyln Davis – MCI Kathy Oaken - Qwest Communications Doug Denny – Eschelon Phyllis Sunins - Qwest Communications Cindy Harlan - Qwest Communications

Cindy Harlan reviewed the history of the CR. This CR requested that a process similar to LSR jeopardy process be implemented for ASRs. Qwest reviewed the ASR jeopardy process and offered to provide a email jeopardy on initial facility jeopardy condition (pre-RID), on Post RID jeopardy condition, and to utilize the current CNR jeopardy process. Cindy explained that the CLECs mentioned a concern regarding ‘piece parting’ the process and causing inconsistencies, but would check with their organization and provide feedback during this ad hoc call.

Bonnie Johnson – Eschelon recapped her concern about the process being inconsistent and using different methods. Bonnie explained that Eschelon didn’t want to defer the CR without getting other CLEC input. Bonnie advised that the Qwest representatives (who work the process delay orders on ASRs) in Des Moines are experienced and changing the process may cause inconsistencies. Bonnie said if Qwest implements the email jeopardy on the initial facility jeopardy, Eschelon would like the CR functionality request that Qwest is unable to provide to stay in deferred status, as something may change in the future and allow Qwest to implement her request. Bonnie further explained that some type of system or process change, or center movement may occur that creates an opportunity for Qwest to look at this request again.

Bill Trefts – Time Warner expressed his desire to have Qwest implement the email jeopardy on the initial facility jeopardy condition. Bill advised he is the Escalations manager and when the Time Warner representative gets a voice message, the rep can be on vacation and Time Warner is not able to address the jeopardy. Phyllis Sunins – Qwest advised the CLECs would need to set up a ‘group email box’ that allows multiple people to access, otherwise, if the initiator is on vacation and no one is checking their email, the same problem would occur. Phyllis clarified that the Qwest representative would not call if no response was received via the email. The email initial jeopardy would have basic information on it as currently sent for LSR jeopardy notifications, e.g. Jeopardy Code & explanation. Next steps in the process are that Qwest would provide an FOC if a date became available, or call within 72 hours to provide additional jeopardy information.

Bonnie said it sounds as if the CLECs would like to consider implementing the email jeopardy on the initial facility jeopardy only. Bonnie advised Eschelon would prefer to have the full functionality that was requested on this CR, and if we implement the initial jeopardy, Eschelon would still like to have the request stay on the back burner, maybe put in defer status. Bonnie said that Qwest could implement the initial jeopardy with a new CR, and place this CR in deferred status. Cindy Harlan – Qwest agreed that we can determine the best way to handle the logistics of the CR.

Cindy Harlan – Qwest asked the other CLECs if they had additional input from their organizations. Jeff Sonnier – Sprint advised he does not have specific information from his organization as they use LSRs primarily, and he does not work on the ASR side. Phyllis advised that the Sprint Service Manager, Mark Tsypin worked with Sprint on the ASR side. Phyllis advised Jeff to contact Mark to discuss further.

Roslyn Davis – MCI advised using email is acceptable. Roslyn asked if Qwest would call if there is not a response to the email. Phyllis explained that the e-mailed jeopardy notification of a facility problem would be a 1 way communication . Phyllis advised that Qwest would not call to follow up on that the initial e-mailed facility jeopardy was received. The only initial facility notification would be the email jeopardy. The next step of the process is either the FOC or a phone call within 72 hours to provide more information. Phyllis advised the CLECs that they would need to set up a ‘group or community email box’ for this process to work effectively.

Bonnie advised she would like to take this back and discuss again. Bonnie advised she will provide status and a decision at the Feb. 16 CMP meeting. Phyllis advised if Qwest does move forward with the email initial jeopardy notice on facility conditions, Qwest has internal work that needs to be done. Bonnie advised okay and will provide an update at the February CMP meeting.

January CMP Meeting Minutes Cindy Harlan/Qwest advised that an ad hoc meeting was held on January 10th and Qwest proposed the following jeopardy process. The email jeopardy could be sent Pre-RID which would addresses the initial facility jeopardy, a Post-RID email jeopardy could be sent at due date, and continue utilizing the existing CNR jeopardy process. Cindy advised that during the January 10th ad-hoc call that Eschelon expressed that they wanted to receive the 72 hour jeopardy details via email. Qwest is unable to provide this jeopardy via email due to the manual efforts involved. As a result of the ad hoc call the CLECs agreed to take this back to their operations centers to see if the recommendation would work. Bonnie Johnson/Eschelon advised their view is that if we piece part the process it may do more harm than good. Right now, the process is consistent and experienced people are performing the process. If we piece part the process, each stage of the process would be handled differently and cause confusion and provide an opportunity to not be in compliance. Bonnie said Eschelon does not need another process to measure compliance on. Bonnie asked the other CLECs to take the issue to internal operations personnel and get feedback. Jill Martain/Qwest advised that we will then schedule another ad hoc meeting to review this with the CLEC Community. Bonnie suggested that we could possibly put the CR in Deferred Status. Bonnie said that if for example, Qwest were to shift work from the current centers and new people are doing the work we could reinstate the CR. Jill advised we can schedule an ad hoc meeting to get input for other CLEC operational organizations and then determine next steps or Deferring this CR. This CR will remain in Development Status.

PC070804-1 ASR Jeopardy Process Ad Hoc Meeting January 10, 2005

In attendance: Phyllis Sunins - Qwest Cindy Dahlstedt – Qwest Sharon Van Meter – ATT Jo McCleen – ATT Amanda Silva – VCI Bob Eggert – SBC Bonnie Johnson – Eschelon Jennifer Arnold – TDS Metro Roslyn Davis – MCI Cindy Harlan – Qwest Gary Pierce – DSAT

Cindy Harlan – Qwest reviewed the history of this CR and the purpose of the meeting. Cindy explained that the team has met several times. At the last meeting Qwest offered to implement an email jeopardy process for the initial jeopardy only. The CLECs requested for Qwest to go back and see if an email process for the entire life cycle of the jeopardy and for all jeopardy types is possible.

Phyllis reported that Wholesale has looked at the request and determined that we can provide notifications in 1 of 3 ways:

PRE-RID: Implement a process that addresses the initial facility jeopardy. POST-RID -Network has an existing process that addresses a jeopardy at due date. CNR - CNR jeopardy process is currently available and would not change.

Phyllis summarized that Qwest can offer a pre-RID email jeopardy that is sent to the email id in the initiator field on the ASR if populated. Cindy Dahlsteadt explained the PTA post RID jeopardy process. The CLEC would have to be set up to have PTA (provider test access). A test is done on PTD and the test results are emailed to the CLEC. The order is closed on the due date (5 days later). The jeopardy goes out on the due date, not PTD. This is for Qwest jeopardy, not CNR.

Sharon Van Meter – ATT asked if this is for all products types. Phyllis advised yes it would be for any product ordered via ASR. . Bonnie Johnson – Eschelon, said she was looking for something that resembled the LSR jeopardy process. Bonnie advised what she is looking for is the jeopardy that is sent within 72 hours, that has more detailed information, to be sent via email.

Phyllis advised that we have looked at the process and we are trying to make a process work with the resources that we have. We are not able to provide the 72 hour jeopardy via email as that increases the manual work. We did received objections from an IXC customer and we have to develop a process to meet their needs too.

Sharon Van Meter – ATT asked if it would help the manual effort if the process was just for local service first and then add the IXC customer later. Bonnie advised she needs this process for Private Line customers.

Bonnie advised they need to know the level of detail on the jeopardy so they know whether they should offer other alternatives to their customers. Bonnie said she will check with her operations centers and see if they can make Qwest’s recommendation work.

Phyllis also said that based on the feedback, Qwest does have internal work to do to accomplish the PRE-RID e-mail notification so we can’t implement the PRE-RID process until that is complete. We will leave the CR in development until the delivery date is determined.

Sharon Van Meter – ATT confirmed that the meeting notes will capture the summarized process so the CLECs can all check with their organizations and provide status back to Qwest.

Cindy Harlan – Qwest advised notes will be taken and posted to the web. Qwest will Look for status from the CLECs in the near future.

December CMP Meeting Minutes Cindy Macy – Qwest advised an ad hoc meeting is scheduled for January 10. We are reviewing this request internally and having discussions with our customers who order via an ASR to determine impacts. Liz Balvin – Covad asked if this CR is specific to Interconnect products and if it is could that information be put on the meeting notification. Jill Martain – Qwest advised that Eschelon did request for this process to apply to all products ordered via an ASR. Kim Isaacs asked Cindy Macy to verify that we did include PLT. Cindy advised yes PLT was specifically requested. Cindy advised that during the last ad hoc meeting Qwest presented an option and the CLEC community was not happy with that option and asked Qwest to expand the scope for it to cover all jeopardy types and the entire life cycle of the jeopardy. Qwest has been reviewing the request based on a process that supports all products. Jill advised that although Qwest is reviewing this process for all products that the specific products/process for this forum is specifically around Interconnect products. Qwest will review our findings at the ad hoc meeting in January. This CR will remain in Development Status.

11/17/04 November meeting minutes Phyllis Sunins – Qwest advised we held an ad hoc meeting on November 12. Phyllis reviewed the CR request and advised that Qwest proposed that we could send an email jeopardy on the initial jeopardy by responding to the email address that is populated in the initiator field on the ASR for jobs held for engineering. Phyllis advised issues were discussed regarding the email field and whether this should be required or not. (insert comment from Eschelon) AT&T expressed concern about making the E-Mail field mandatory (end comment). Some CLECs had concerns and they expressed if this was changed (insert) and that field was made a mandatory field that (end insert) it needs to be coordinated with an ASOG release. The CLECs would need to identify the impacts to their organizations as they would potentially need a separate email address to receive the jeopardy from Qwest. The request was made to extend the email jeopardy process to all jeopardy conditions, not just K jeps, and the entire life cycle of the jeopardy, not just the initial jeopardy. Qwest will review the request and another ad hoc meeting will be scheduled for a later date. This CR will remain in Development Status.

PC070804-1 ASR Jeopardy Process Ad Hoc Meeting November 12, 2004

In attendance: Liz Balvin – Covad Diane Friend – Time Warner Sharon VanMeter – ATT Stephanie Prull – Eschelon Tomas Soto = SBC Phyllis Sunins – Qwest Cindy Macy – Qwest Terri Lee – SBC Lori Nelson – Mid-Continent Comm Jeff Sonier – Sprint Lynn – ELI Bonnie Johnson – Eschelon Bonnie Marnie – TDS MetroComm

Cindy Macy – Qwest reviewed the CR and explained that Eschelon requested that Qwest provide email jeopardy notifications so the process is more consistent with the LSR jeopardy process and that the jeopardy information is documented.

Phyllis Sunins – Qwest reviewed the draft process that Qwest put together. Phyllis explained that the ASR process is not as mechanized as the LSR process. Phyllis explained with the new ASR process the notification would go to Interexchange and Wireless customers also. The key action that the CLEC needs to take is to populate the email address in the field on the ASR. Phyllis advised Qwest would create an email jeopardy notification that will be patterned after the information that is provided on the LSR jep. The format will be different as the LSR jep is generated by a system. The ASR jep would be generated manually and sent via email.

Bonnie Johnson – Eschelon thanked Qwest for including the other Interexchange products and customers in this process. Bonnie asked what information would be on the email? Would the same jep codes be used for ASRs as LSRs? Phyllis advised yes for UBL and Interexchange products. Phyllis advised that PCAT would be sent out for CLEC review as part of this CR.

Bonnie Johnson – Eschelon asked why is this just for the initial jeopardy? Phyllis advised in the LSR world we have the jeopardy process mechanized and the conditions are different between LSRs and ASRs. Phyllis explained there are several other variables and process changes that would have to be developed if we look at more than the initial jeopardy. For example the time frame for the CLECs to respond on an ASR jep would have to be determined. The process becomes much more manual as the systems are not mechanized and for Qwest to pull the information needed and create the manual jeopardy notification is more time consuming than making a phone call.

Phyllis advised she would like to start with the draft process that she proposed and look at improving it, if possible, at a later date. Qwest feels that we can send an email jeopardy notification on the initial jeopardy if there is an engineering job opened. This would be for K jeps only. Phyllis advised we would follow the same patter as LSRs as we will provide the initial jeopardy via email and then follow up 72 hours later to provide additional information. The second jeopardy that provides more information would be a phone call. Bonnie Johnson – Eschelon advised this is the situation that they need and want the information to be in writing. Phyllis advised there is not mechanization in place to do this.

Bonnie Johnson – Eschelon asked if Qwest could change the process to include only K jeopardy notifications but for the entire life cycle, not just for initial jeps. Phyllis advised this increases the cycle time for the SDCs. Phyllis asked if the second email would need to carry the initial jeopardy information? This would require a single mail location for all jeps to be sent from.

Bonnie asked what the time frame is today for a call back from CLECs on phone call jeps? Phyllis advised Qwest has an open but reasonable time frame. Phyllis advised the work goes back and forth between Qwest and the CLECs for approximately 10-20% of the K jeps, so it becomes an interactive process. Bonnie advised the CLECs prefer the entire flow be done via email.

Phyllis explained the additional work will impact the SDCs. Bonnie asked how it would impact the SDCs. Phyllis explained that today they place a phone call and can resolve the issue verbally. Tomorrow we will have to manually check each ASR to determine how to handle it (phone call or email) and gather data to populate the email template.

Diane Friend – Time Warner asked if Qwest required the email field to be populated. Phyllis advised no, that OBF says it is optional. Phyllis advised approximately 80% is populated today. Diane said that Qwest could make it a required field, but they would have to notify all of their operating partners and it would have to be implemented with an ASOG upgrade. ATT expressed their concern if Qwest tries to make it required, as they would have to make programming changes. Qwest is also concerned that if the emails are not monitored it could increase calls into the centers.

Phyllis advised this process would impact the CLECs operating centers also as they would need to make sure they had a designated email address that could be used, or each representative would have to have their own email addresses, and if they were gone the jep would not be worked.

Bonnie asked if we could look at the process and see if we could extend it to the entire jeopardy life cycle for either all jeps or just K jeps.

Cindy Macy – Qwest advised that Qwest looked at the process and determined that we could provide an email jep on initial K jeps only. The process has many variables and became very manual if we provided email jeps on anything else. Phyllis agreed that we can review the request and see if there is anything that we can do.

Phyllis agreed our next steps are to look at the ASR email field (optional or required) and to check the feasibility of sending additional jep notifications via email. We will have to look at the impacts to our centers. Qwest will do further investigation and have another ad hoc meeting.

The CLECs need to determine the impact to their operations also, as this change will impact their centers also.

10/20/04 CMP Meeting Minutes Cindy Macy – Qwest advised that this process is under development. We are planning on holding an ad hoc meeting to review the draft process in early November. Bonnie Johnson – Eschelon asked if we are able to include Private Line Services in the process. Jill Martain – Qwest advised that we are including this product in the review. It is too soon to tell if it will be accepted but we are looking at the process for all products. This CR will remain in Development Status.

9/15/04 CMP Meeting Minutes Cindy Macy – Qwest reviewed the CR request and advised that Qwest is accepting this CR. Qwest is developing a draft ASR Jeopardy process that will focus on Interconnect products ordered via the ASR. Bonnie Johnson – Eschelon commented that the response states that Qwest is focusing on Interconnect products. Bonnie advised that the CLEC Community needs this process to handle additional products ordered via the ASR process, in particular PLT services. Jill Martain – Qwest advised that our focus is on Local Interconnect products as that is what CMP addresses, but Qwest will review the other products and determine what makes the most sense. Bonnie asked what other forum is available for the CLECs to use to address the other products. Jill advised that we will have that discussion if the decision is to not include additional products but for now we will continue working on the draft process. Cindy Macy advised that ad hoc meetings will be set up to review the draft process. This CR will remain in Development Status.

8/16/04 CMP Meeting Mintues Bonnie Johnson – Eschelon presented this CR. Bonnie explained that Eschelon previously submitted a systems CR that Qwest denied for economic reasons. Eschelon understands that this process can not be fully mechanized, but would like an electronic notification that is similar to LSRs. The current ASR jeopardy process is done via voice mail. This doesn’t provide any consistency or tracking. The Clarification Call was held and Eschelon did request the PLT product to be included in this process. Eschelon wants PLT included, especially with Qwest’s TRO position on Unbundled Loop. This CR will move to Presented Status.

PC070804-1 Develop more efficient and effective process for ASR jeopardies Clarification Call July 20, 2004 12:00 1:00

In attendance: Phyllis Sunnis Qwest Liz Balvin MCI Kim Isaacs Eschelon Stephanie Prull Eschelon Connie Nelson US Link Paul M Johnson Qwest Cindy Macy Qwest

Cindy began the call and introduced the attendees. Cindy reviewed the agenda and asked Bonnie Johnson Eschelon to review the CR with the team.

Bonnie Johnson Eschelon advised that she submitted a systems CR asking for mechanized jeopardy for QORA and requested an interim manual process until the system work could be done. The system CR was denied for economically not feasible reasons. Qwest also stated there were issues as this process affects Interexchange customers. Bonnie advised Qwest that if this impacts Interexchange customer they should be included, as she is okay with them attending the meetings. Bonnie was advised to issue a Product Process CR. Additional conversation occurred with Qwest stating that the CMP process is for CLEC customers, not Interexchange customers, so the analysis that is done is based on impacts to Interconnection processes and customers. We do not utilize the CMP process to implement process for Interexchange customers. We only use the CMP process for Interconnection. Qwest also stated that if the process works for Interexchange than it may be implemented, but that would be handled outside of CMP.

Bonnie continued to review the CR with the team. Bonnie explained that the voice mail process for ASR jeopardies leaves room for problems, lack of communication, and no documentation. Bonnie would like to work with Qwest to develop a more efficient and effective process. Bonnie would like for Qwest to look at an alternative such as email. The process that is used for ‘Notification after completion’ may work as a model as it was developed manually first. The voice mail process does not always work as we have a group that manages jeopardies and if we can’t auto forward information to this group it causes delays. Bonnie advised they would like consistency to the LSR side; such as a standard form, standard jeopardy codes. When a jeopardy code is used, it means the same thing whether it is an ASR or an LSR. Eschelon would like an alternative to voice mail.

Liz Balvin MCI advised that it is appropriate to work together to get the process cleaner and to use appropriate jep codes and reasons. This will benefit everyone.

Bonnie stressed that Eschelon has no objection to including IXC and Wireless customers if we need an open forum. Bonnie said that their main focus is LSRs, but with TRO, if Qwest gets their wish, DS1 capable loops go away and Special Access will increase, thus increasing ASR activity.

Phyllis Sunnis Qwest advised that based on past history on the LSR side we have made improvements in this area. We will have ad hoc meetings to discuss this process and work to make it more consistent and efficient. Phyllis advised that for CMP purposes we focus on Interconnect products so we can meet the CLEC needs. We do not want to impede the CMP process with additional players. We want to address the CLEC concerns first. This does not preclude the process from being implemented for additional ASR products, but that will not be included in the CMP process for this CR.

Liz Balvin MCI asked if we have different personnel that handle ASR and LSRs. Phyllis advised it depends on the function, such as ordering, provisioning and billing. Liz stated that wouldn’t Qwest want a standard process for personnel to follow. Phyllis advised that the CMP process is for CLEC needs. Qwest may choose to implement a process for both LSR and ASR products but the focus with this CR is for Interconnect products handled via an ASR. These products include LIS, UDIT, UDF, 911/PS ALI.

Cindy Macy Qwest recapped that CMP is for Interconnection products and certain Interconnection products are handled via an ASR.

Bonnie asked if Private Line was included. Phyllis advised it does not include Private Line that is ordered out of FCC #1 tariff. Bonnie asked how could that product be included. Phyllis advised she will have to check further. Bonnie advised the DS1 capable loop is the CLEC comparable to the Private Line for Retail.

Cindy advised that Qwest will begin to work on this CR. This CR will be presented by Eschelon at the August CMP meeting.


CenturyLink Response

September 8, 2004

RESPONSE For Review by the CLEC Community and Discussion at the September 16, 2004 CMP Meeting

Bonnie Johnson Eschelon

SUBJECT: Qwest’s Change Request Response - PC070804-1 “ASR Jeopardy Process”

Eschelon is requesting Qwest to develop a more efficient and effective process for ASR jeopardizes. Eschelon would like a process that provides consistency and tracking

Qwest accepts this CR and is in the process of developing an ASR Jeopardy Process that focus’ on the Interconnect products ordered using the ASR process. Qwest will schedule ad hoc meetings to review the draft process with the CLEC Community. This CR will move to Development Status.

Sincerely,

Phyllis Sunins Process Specialist


Open Product/Process CR PC081403-1 Detail

 
Title: Jeopardy Notification Process Changes (new title). Delayed order process modifed to allow theCLEC a designated time frame to respond to a released delayed order after Qwest sends an updated FOC (old title).
CR Number Current Status
Date
Area Impacted Products Impacted

PC081403-1 Completed
7/21/2004
Provisioning Private Line, Resale, Unbundled Loop, EEL (UNE-C), UNE-P
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Sunins, Phyllis
Director:
CR PM: Harlan, Cindy

Description Of Change

Changed the description of this CR as a result of synergies with PC072303-1. During the October 15 CMP meeting we discussed whether we should close/leave open/ or update CR PC081403-1 'Delayed order process modified to allow the CLEC a designated time frame to respond to a released delayed order'. The reason we wanted to close/leave open or update PC081403-1 is because PC072303-1 is meeting many of the needs. Bonnie Johnson agreed to change this CR, as long as we retained the original CR description.

********************************************************************************

Change Jeopardy Notices sent on DVA and PTD for Designed Services

After analysis of Due Dates that are being missed when jeopardy

notices are sent prior to the Due Date, Qwest is proposing that only

specific jeopardy conditions be sent to the CLEC on the critical date of DVA

and PTD. On DVA, Qwest would prefer to only send jeopardy notices for

facility and plug-in issues. The jeopardy codes would be those that start

with a "K" (facility reasons) or on a jeopardy code of V25 (PICS/BRI

plug-ins required.) For the critical date of PTD, Qwest would continue to

send all jeopardy notices except those that end in "33" (work force issues)

i.e., B33, E33, P33. The reason for eliminating the "33" jeopardy code is

due to the fact that Qwest is not missing Due Dates for this reason and is

causing unnecessary jeopardy notices being sent to the CLEC. Along with these proposed changes, Qwest would also like to hear suggestions from the CLEC community any changes they feel would benefit the overall jeopardy notification process. Changes being implemented with PC072303-01, Expanding the Jeopardy Notifications to 6 p.m. Mountain Time are also helping the overall jeopardy process.

Expected Deliverable:

Change the jeopardy notification process to reduce unnecessary

jeopardy notices being sent to the CLEC when the Due Date is not in jeopardy

and to improve the overall jeopardy notification process.

***********************************************************************************

Qwest will contact the CLEC to test and accept only after the updated FOC has been sent and a designated time frame has passed. Qwest will not put the order in a CNR (customer not ready) jeopardy status until this time frame has passed and the CLEC is not ready.

When Qwest puts a CLECs request in delayed for facilities jeopardy status, Qwest should be required to send the CLEC an updated FOC when the delayed order is released and allow the CLEC a reasonable time frame to prepare to accept the circuit. Qwest releases orders form a held status (in some cases the CLEC has not even received an updated FOC) and immediately contacts the CLEC to accept the circuit. Because Qwest does not allow the CLEC a reasonable amount of time to prepare for the release of the delayed order, the CLEC may not be ready when Qwest calls to test with the CLEC. Qwest then places the request in a CNR jeopardy status. Qwest should modify the Delayed order process, to require Qwest to send an updated FOC and then allow a reasonable amount of time for the CLEC to react and prepare to accept the circuit before contacting the CLEC for testing.

Expected Deliverable:

Qwest will modify, document and train a process, that requires Qwest to send an updated FOC and allow a CLEC a reasonable amount of time (from the time the updated FOC is sent) to prepare for testing before Qwest contacts the CLEC to test and accept the circuit. Qwest should cease applying a jeopardy status of CNR to delayed orders that are released and the CLEC has not been provided a reasonable amount of time to prepare to test/accept the circuit.

This should apply to all orders where the delayed order process is followed and testing is required.


Status History

08/14/03 - CR Submitted

08/15/03 - CR Acknowledged

8/19/03 - LWTC for Bonnie regarding Clarification Meeting

8/26/03 - Held Clarification Call

9/17/03 - Sep CMP meeting minutes will be posted to the database

10/6/03 - Held CLEC Ad Hoc call to discuss synergys between this CR and PC072303-1

10/8/03 - Sent response to CLEC

10/10/03 - Sent email to Bonnie to request change of statusto withdraw due to syncergy's with other CR PC072303-1

10/13/03 - Bonnie advised she would like to keep open and reference PC072303-1 and Jill's new CR when it is issued

10/15/03 - Oct CMP meeting minutes will be posted to the project meeting section

10/30/03 - Changed the description of this CR as a result of synergies with PC072303-1. During the October 15 CMP meeting we discussed whether we should close/leave open/ or update CR PC081403-1 'Delayed order process modified to allow the CLEC a designated time frame to respond to a released delayed order'. The reason we wanted to close/leave open or update PC081403-1 is because PC072303-1 is meeting many of the needs. Bonnie Johnson agreed to change this CR, as long as we retained the original CR description.

11/19/03 - Nov CMP meeting minutes will be posted to the database

12/1/03 - Scheduled CLEC ad hoc meeting for 12/8/03 to review jep codes/content

12/5/03 - CMPR.12.05.03.F.01144.JeopardyProcessHandout

12/8/03 - Held ad hoc meeting to review jep codes / content

12/17/03 - Dec CMP Meeting notes will be posted to the database

1/21/03 - Jan CMP meeting minutes will be posted to the database

2/18/04 -Feb CMP Meeting notes will be posted to the project meeting section

3/4/04 - Held ad hoc meeting with CLECs

3/17/04 - March CMP meeting notes will be posted to the project meeting section

4//12/04 - Sent document to document review site

4/21/04 - April CMP meeting notes will be posted to the project meeting section

5/19/04 - May CMP Meeting notes will be posted to the project meeting section

6/16/04 - June CMP Meeting notes will be posted to the project meeting section

7/21/04 - July CMP Meeting notes will be posted to the project meeting section


Project Meetings

July 21, 2004 CMP Meeting notes: Cindy Macy – Qwest advised that this CR was implemented May 27. Qwest would like to close this CR. Bonnie Johnson – Eschelon advised she is having a problem with compliance to this process. Bonnie asked if there is additional work going on for this CR? Jill advised we put the process in place to identify and work critical jeopardy codes so the CLECs do not have to worry about the interim jeopardy codes. In addition the process includes providing additional details on the jeopardy within 72 hours if we are not able to send an FOC within that time frame. Jill Martain – Qwest asked if this is a compliance issue or a process problem. Bonnie said it is hard to determine at times, but she is willing to close this CR and handle the compliance issue with the Service Manager. The CLECs agreed to close the CR.

June 16, 2004 CMP Meeting notes: Cindy Macy – Qwest advised this process was implemented May 27. No comments came in for this CR. We would like to move this CR to CLEC Test Status.

May 19, 2004 CMP Meeting notes: Cindy Macy – Qwest advised this process will be implemented May 27. No comments were received. Cindy thanked Phyllis Sunins and Jill Martain for all of their work on this CR. Qwest held several input sessions with the CLECs to work out issues prior to releasing the documentation. This CR will remain in Development Status.

April 21, 2004 CMP Meeting notes: Phyllis Sunins – Qwest advised that the updates to the documentation have posted to the documentation site. The comment cycle is open with customer feedback due by April 27. This CR will remain in Development Status.

March 17, 2004 CMP Meeting notes: Agreement was reached that the initial jeopardy notice would continue to be sent as documented (based on current system functionality). Qwest proposed that an updated Jeopardy Notification with additional detailed remarks would be sent within 72 hrs from when the Initial Jeopardy was sent if a solution to the delayed condition has not been reached. The proposal means that within 72 hrs from the initial Jeopardy Notification, the CLEC will receive one of the following: 1. FOC confirming original Due Date 2. FOC confirming revised Due Date based on Network resolution of the Jeopardy condition including details on the delay. 3) An “updated” Jeopardy Notification with more specific details of the Jeopardy condition. An FOC will follow when the revised Due Date has been determined.

In addition, Qwest will discontinue critical date jeopardy notifications and continue due date jeopardy notifications. (Critical date jeopardy notifications will still go out until a system enhancement can be made to change this, but the CLECs can disregard them). Phyllis will revise the PCAT to identify jeopardy codes where “The Due Date is in Jeopardy” (YES/NO) so that you can ignore “Critical Date” Jeopardy Codes that do not impact the Due Date until a separate enhancement can be made. The PCAT update has been forwarded to the external documentation team. Bonnie Johnson – Eschelon stated that she wants to make sure that we get documentation to support the process that an FOC must be sent before a customer not ready jeopardy occurs. Phyllis advised she is still working on this issue with an interdepartmental team . Phyllis advised that Jean Novak – Service Manager has had meetings with Network to respond to the examples that Eschelon forwarded as “inaccurate Jeopardy Notices and is still working on the issue. Jean is working on ‘inaccurate jeopardy notices’ and Phyllis is working on ‘when you don’t get an FOC’. Bonnie Johnson advised Qwest can contact us anytime during the day to accept the service. If we are contacted after 5PM we don’t want the jeopardy to be considered a customer not ready. Bonnie advised she wants this information in the PCAT. This CR will stay in Development Status.

PC081403-1 Jeopardy Notification Process Ad hoc meeting March 4, 2004

In attendance: Kim Isaacs – Eschelon Phyllis Sunins – Qwest Julie Pickard – US Link Bonnie Johnson – Eschelon Regina Mosely – ATT Cheryl Peterson – ATT Phyllis Burt – ATT Carla Pardee – ATT Jill Martain – Qwest Jim McClusky – Accenture Donna Osborne Miller – ATT Peggy Rehn – New Start Stephanie Prull – Eschelon

Cindy Macy – Qwest opened the call and reviewed the agenda items. Phyllis Sunins – Qwest thanked Kim Isaacs – Eschelon for providing examples that Phyllis investigated. Phyllis asked if the CLECs had the chance to review the documentation and if they had any questions.

Bonnie Johnson – Eschelon said she reviewed the documentation and summarized the changes. Bonnie verified that Qwest is proposing to omit critical jeopardy notifications, but not due date impacting jeopardy notifications. All of the CLECs agreed to this change as previous meetings so this change is okay to implement.

Bonnie asked if the mechanical notifications are the ones that will not be updated with additional information. Phyllis advised that it could be a manual notification also, as the same notification goes out, it is just that the process is manual.

Phyllis explained we could send additional information on the updated notification. Qwest does not always have enough information when we first determine a jeopardy condition. If we try to provide more information in the beginning, the chances are that the information will not be very accurate. We do not want to convey a service issue if it really isn’t a problem. Phyllis advised Qwest would send additional information within 72 hours.

Bonnie confirmed that the CLEC should always receive the FOC before the due date. Phyllis agreed, and confirmed that Qwest cannot expect the CLEC to be ready for the service if we haven’t notified you. Bonnie asked about the CNR in error? (When the CLEC has gotten a CNR without a FOC). Jill Martain – Qwest advised that we believe eliminating the ‘critical date’ jeopardies will take care of the bulk of the problem with CNR jeopardies.

Jill advised this solution would be implemented in two phases. The CLECs will get jeopardy notices, but you can ignore the ‘critical date’ jeopardy notices. These jeopardies are identified on the matrix that Phyllis put together. System changes are needed to stop these jeopardies and that will take awhile to get implemented. We would like to implement this process and monitor the impact and see if it has reduced the number of issues.

Cindy Macy – Qwest asked how will the CLECs know which jeopardy codes to ignore? Jill and Phyllis asked for the CLECs preference to how they would like this identified on the matrix. Agreement was reached to add a column to the matrix (3rd column) and call it ‘Due Dates in Jeopardy’.

Phyllis Burt – ATT asked if these codes are going away and we wouldn’t see them on the order. Phyllis – Qwest advised these are not due date impacting codes, they are interim steps before the due date. These codes will not go away until the system changes can be made. The CLECs do not need to take action on these codes.

Bonnie Johnson – Eschelon asked Stephanie about the EDI impacts. Can we ignore these or do we have to change any code? Stephanie said so far it seems as if this will work for us.

Bonnie confirmed that Qwest would provide additional information on Jeopardies within 72 hours from distribution of the initial jeopardy notification. Jill agreed and summarized that we will publish the process as a Level 3 with a comment cycle. If the CLECs need to meet again before we publish the document please advise Cindy Macy. The CLECs should monitor the process after it is implemented to determine if it has improved.

Next steps: Publish documentation Level 3.

February 18, 2004 CMP Meeting Phyllis Sunins – Qwest advised that she is working with Kim Isaacs – Eschelon and analyzing some examples that were sent in. Qwest did find a few process compliance examples that are being addressed. Cindy Macy – Qwest will provide a document to address Eschelon’s examples and this will be reviewed during the ad hoc meeting the first week in March. This CR will remain in Development Status.

Ad Hoc Call January 23, 2004 PC081403-1 Jeopardy Process

In attendance: Liz Balvin – MCI Karen Severson – Telephone Associates Kim Isaacs – Eschelon Phyllis Sunins – Qwest Jill Martain – Qwest Stephanie Prull – Eschelon Trudy Hughs – Idea One Shirley Richard – Idea One Rosie Glastell – Idea One Bonnie Johnson – Eschelon Colleen Sponseller – MCI Mary Hunt – MCI Carla Pardee – ATT Linda Sanchez-Steinke – Qwest Cindy Macy – Qwest Nancy Sanders – Comcast

Cindy Macy – Qwest opened the call and reviewed the agenda. Cindy advised that we will discuss providing more detail on Jep Notices, review the improvements as a result of the CNR 6pm Jep CR, and discuss examples that were sent in regarding subsequent FOC not sent.

Jill Martain reviewed the agenda and advised that Phyllis Sunins will provide additional details regarding the work that has been completed. Phyllis will share where we have been, where we are and where we want to go with this CR.

Phyllis began the discussion and asked the CLECs how the jeopardy notification process change to 6pm is going? Kim Isaacs – Eschelon advised she had gathered a couple weeks worth of data. It does appear there has been an effect. The impact is not as great as she thought it would be, but they will continue to monitor the change. Kim explained she noticed an interesting situation and Eschelon saw that quite a few sups of due date, then FOC on due date and then Jep on sup. Kim will send examples to Phyllis to investigate.

Rosemary – Idea One asked why is Qwest holding the jep until 6 PM. Phyllis explained a CR was issued to implement a new process. Effective with the new process a jeopardy notification is not sent when a jeopardy condition is cleared the same day by 6 PM. Kim Isaacs – Eschelon advised this process is only on mechanized jeps, not manual jeps.

Phyllis said the next topic to discuss is the request for additional wording on jeps. Phyllis explained that we can provide more detail on subsequent jeps. The first jep that goes out is considered a preliminary jep, with a preliminary view of the issue. Qwest does not know additional details until the engineer does investigation and finds out more. Our target is that within 72 hrs Qwest would either send an FOC or another jeopardy notification with additional detail. Bonnie Johnson – Eschelon advised the mechanical jeps are not detailed enough.

Phyllis advised another idea that may be possible is to use HEET, which is used on the ASR side. This is a web tool to check status on delayed orders. It may be possible to implement for LSRs. Rosemary – Idea One asked what is RTT. Phyllis advised RTT is a Referral Tracking Tool that tracks facility shortages. RTT is Engineering’s database for resolving facility situations referred to them. Bonnie advised she would like to review other alternatives if HEET is not a viable solution.

Today Qwest sends jeopardy notifications for both Critical Date Jeopardies and Due Date Jeopardies. Phyllis discussed the idea of sending jeopardy notifications that would impact the Due Date only. Qwest would discontinue sending jeopardy notifications for jeopardies on Critical Dates that are cleared the same day or the next day and the Due Date is still met. As an example; Qwest sends jeopardy notifications for PICs – V25 (plug in network cards) problems. This jeopardy situation is resolved so that the Due Date is met. Another example is Jeopardy Notifications for Work Force Issues (33’s). Qwest works with our Work Forces to readjust their loads so that the Due Date is met. Bonnie Johnson – Eschelon agreed they do not want to see jeps for ‘interim date’ issues. If the end due date is impacted, then they need to know. Idea One and MCI supported Bonnie’s comment. Phyllis confirmed that the due date jep would still happen, (Qwest could discontinue the Critical Date jeopardies which are cleared by Due Date) . If the Due Date will be missed, it is part of Qwest’s Network Processes to call the CLEC on the Due Date. In addition, the CLECs will receive their jeopardy notification after 6 PM. MCI verified when the jep is sent it comes as an 865 EDI transaction, and the FOC is an 855 EDI transaction.

Bonnie advised they do want more detail on what the jep’d problem is. They need to know if it is a F1 pair, or the street needs to be dug up. She would like more detail on one jep in particular: ‘Local Facility not available’. Bonnie asked when does this jep occur. What situation causes this jep to be assigned?

Phyllis discussed the two examples that Eschelon sent in. 1) One was a jeopardy notification sent for a PICs issue, no FOC was sent & then CNR. – This was an example of a Critical Date Jeopardy that would be addressed by the proposal of not sending Critical Date Jeopardy Notifications as the situation is cleared so that the Due Date can be met, thus the CLEC would expect Qwest to deliver on the Due Date.

2) The other example is a Network compliance issue, which Phyllis is working with Network to correct.

Bonnie thanked Phyllis for reviewing the examples. Bonnie advised that if they receive a CNR jep, and the CLEC has not received the FOC, they would escalate the situation. Bonnie advised they want the order worked without having to sup the order and they would like the jep lifted. Bonnie advised she would like to develop a process of how we will handle this situation when we get a CNR and didn’t get the FOC.

Phyllis summarized our next steps:

Kim Isaacs will send examples to Phyllis of orders sup’d on due date

CLECs will continue to monitor 6pm jeps

Jill / Phyllis will review wording of jeps to add more detail

Bonnie brought up a concern on the time required for getting funding to implement the “Due Date only” Jeopardy notifications (from a mechanical perspective). She proposed having Qwest furnish a list of “Critical Date” jeopardy notifications which could be “disregarded on an interim basis. Phyllis will research this request. This information will be worked via the CMP process and additional meetings.

January 21, 2004 CMP Meeting Jill Martain – Qwest advised that we met with the CLECs last month and agreed to monitor the JEP process and then meet again in January to review additional information that can be put on the Jeopardy notice. We have a meeting scheduled for January 23 to discuss this further. Bonnie sent in two examples where they did not get a subsequent FOC and the order was jep’d for CNR. Bonnie advised that Qwest needs to find a way to get the FOC to the CLEC. The impact to our business is that we are forced to supp the order and take a new due date. Qwest no longer takes the hit on the held order in this situation too. Bonnie advised that Qwest needs to aggressively tackle this issue as it impacts our business, end users and held orders. It is high profile and critical and it needs to be fixed. Jill Martain – Qwest advised we have the examples and we are prepared to talk in more detail at the Friday meeting. This CR will remain in Development Status.

- December 17, 2003 CMP Meeting Jill Martain – Qwest advised we had an ad hoc meeting to review the updated Jeopardy matrix. Jill is working with the centers to provide additional information on the Jeopardy notices. The team agreed to monitor the impact of the change to 6pm jep notices and meet again next month to review any additional changes needed and to review enhanced jeopardy description information. Bonnie Johnson – Eschelon advised she will monitor internally the impact to the change in jeopardy time frames and provide feedback at our next meeting. (Included comment from Bonnie Johnson in the following sentence). Bonnie said this CR is not related to CR to change the jeopardy to 6pm). This CR will remain in Development Status.

Clarification Call PC081403-1 Jeopardy Notification Process

December 8, 2003 3:00 – 4:00

In attendance: Valerie Estorga – Qwest Valerie Star – NoaNet Oregon Marty Petrowski – WAN Tel Oregon Kim Isaacs – Eschelon Anne Atkinson – ATT Jill Martain – Qwest Phyllis Burt – ATT James McClusky – Accenture Donna Osborne Miller – ATT Steph Prull – Eschelon Ray Smith – Eschelon Cheryl Peterson – ATT Carla Pardee – ATT Wayne Hart – Idaho PUC Bonnie Johnson – Eschelon Cindy Macy – Qwest

Cindy Macy – Qwest introduced the attendees and reviewed the purpose of the call. Cindy verified the attendees had the Jeopardy Notification matrix.

Jill Martain – Qwest explained we have held discussions with the CLECs in hopes of improving the jeopardy process. Jill would like to review the matrix and allow the CLECs to ask questions and voice their concerns.

Jill explained the change to send jeopardy notification at 6pm was effective over the weekend. This applies to all mechanized jeopardy codes. The intent of this change should reduce the number of jeopardies sent, as Qwest clears many jeopardies through out the day.

Jill explained there are some manual jeopardies that are not part of this process, such as C)% and SX. Based on investigation, we are looking at sending jeopardies on Facility and Plug in equipment issues. These would be K and V25 – PICS jeps. Possibility exists to eliminate all 33 work force jeps. This will allow us to reduce the number of jeps sent on certain phases of the order.

Bonnie Johnson – Eschelon said she would be glad to try this process and see what improvement it makes.

Marty – WAN Tel asked if Qwest could send more information on the jep notification. If the description / content / reason why Qwest is placing the order in jep, would help the CLEC understand and address the problem. For example, if Qwest says there are local facility issues but does not say what kind of issue, the CLEC can not take action on the issue. It is very difficult for the CLEC to find more out about the issue too. Jill agreed she would see if we could provide more detail on why the order was placed in jeopardy. Jill said if more information can be included she would try to get that implemented as soon as possible.

Bonnie Johnson – Eschelon agreed that providing adequate information on jeopardy notices is critical for the CLEC to look at alternative solutions.

Steph Prull – Eschelon asked if the process could be revised to include the correlation between the ‘reason code’ and the ‘jeopardy detail code’ on the jeopardy notice. The Disclosure document has the reason code but does not have a correlation to the jeopardy detail code. Jill advised she would look into this.

Kim Isaacs – Eschelon asked about C09 as this code seems in conflict with the held order process. Jill advised C09 would not occur on a held order situation. Jill advised jeps are per order, not per LSR.

Bonnie Johnson – Eschelon asked about the CR request regarding when the CLEC gets a jep, and then Qwest does not allow the CLEC time to react to the FOC (4 hour minimum). Jill asked Bonnie if we could wait and determine the impact of the 6pm jep time change as this change should reduce the number of jeps and reduce this issue. Bonnie agreed we could discuss this later if it is still an issue.

Bonnie also asked if there was a CLEC forum planned for January. Cindy advised she did not know but would check on. Bonnie suggested we talk about it at the December CMP meeting, and that possibly a better time for the Forum would be in February.

Jill agreed to check on the following items:

1 – adding content to the jeopardy description to make it more informative 2 – check how reason codes match to jep codes in the Disclosure document

Next Steps: The team agreed to meet again around the week of January 13 to review how the 6pm jeopardy change has impacted the process and to determine our next steps

Novmeber 19, 2003 CMP Meeting Jill Martain- Qwest advised this CR was revised to say that the CR was going to revisit the existing Jeopardy process, including what notices should be sent to the customer and then also discuss the content of those notices. Bonnie Johnson – Eschelon agreed updating the CR was okay. Jill Martain-Qwest advised the next step is to schedule an ad hoc meeting to review information and gather input. John Berard – Covad advised he has a jeopardy request item to be included in this CR.

Oct 15, 2003 CMP Meeting Phyllis Sunins – Qwest reported that she is doing a study of the August data and that there are synergies with this CR and PC072303-1. Jill Martain will also open a new CR to address the overall Jeopardy Process. Bonnie Johnson – Eschelon advised she would like to keep this CR open and reference it to PC072303-1 and Jill’s new CR. Discussion took place regarding maybe the scope of this CR should be changed, instead of Jill creating a new CR. Cindy agreed she would talk to Jill about this. Liz Balvin – MCI advised she has some questions about what certain jep codes mean. A documentation CR has been issued to request definition of jep codes. The team advised that Liz should respond during the comment cycle and ask about the jep codes she is interested in (C31 and C34). John Berard – Covad asked how many jeps are resolved the same day? Bonnie Johnson – Eschelon said she did not know numbers but Jill implied the majority of jeps are resolved the same day. This CR will move to Development Status.

10/6/03 Ad Hoc Meeting

Lori Mendoza Allegiance Russ Urevig Qwest Deni Toye Qwest Phyllis Burt ATT Julie Pickar US Link Dave Hahn Qwest Jeanne Whisnet Qwest Laurie Dalton Qwest Ann Adkinson ATT Jill Martain Qwest Phyllis Sunins Qwest Carla Pardee ATT Jen Arnold US Link Kim Issacs Eschelon Bonnie Johnson Eschelon Donna Osborne Miller ATT Regina Mosely ATT

Jill Martain discussed the synergy's between PC072303-1 and this CR and the issue that came up in the CLEC Forum about FOCs not being sent after a delayed order is released. Jill explained she would like to implement changing the jep timeframe to 6 pm as identified in PC072303-1. As a result of this change it will address many of the issues with not enough time to respond to a jep. Jill referred to this as Phase 1. Jill will issue a Qwest CR to modify the Jep Process and make additional changes as needed. Changes such as define jep codes, determine when to send jeps, and for what conditions. Jill said she certainly can accommodate some time frames in between FOC and Jep. Jill referred to this as Phase 2. Bonnie agreed that Jill's new CR and implementing the changes for PC072303-1 will take care of this CR. Changing the jep times will take care of most of these issues.

- 9/17/03 CMP Meeting Bonnie Johnson – Eschelon presented the CR to the CLEC Community. Bonnie advised this continues to be a problem. Eschelon does not normally get an FOC after a delayed order gets released. Sometimes we get the FOC and we do not have time to react. Qwest needs to make certain that if we release an order from delayed status that the CLEC gets an FOC, and has time to react before the order is put in a CNR jep. This happens often. Our service delivery personnel escalate with the tester and the FOC group. Jill Martain is working on the issue with not receiving an FOC. This was brought up at the CLEC forum. Cindy Macy-Qwest asked if the changes associated to PC072303-1 – changing the time when Qwest jeps for CNR, would meet this CR. Bonnie advised no, because in this case the order is being released from delayed status and the original FOC has already occurred.

CLEC Change Request – PC081403-1 Clarification Meeting Tuesday August 26, 2003

1-877-552-8688 7146042#

Attendees Cindy Macy – CRPM Russ Urevig – Qwest Phyllis Sunins – Qwest Laurie Dalton – Qwesst Bonnie Johnson – Eschelon Deni Toye – Qwest Stephanie Prull – McLeod Julie Picker - US Link

Introduction of Attendees Cindy Macy-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Bonnie Johnson-Eschelon reviewed the CR. Bonnie explained that ½ the time they do not get an FOC after the order is released. This problem is being addressed by Jill Martain and is not part of this CR but it is an issue that impacts this CR. The CLEC needs time to react to the released LSR and to accept the circuit.

Phyllis explained the jep could be placed early in the morning and the tech working on the it may get a solution the same day. This creates a timing difficulty. The current process is for the order to be jep’d, Qwest would send an FOC when they find out the issue has been taken care of, and then if the customer is not ready the LSR is put in CNR.

Bonnie advised they would like a 2-4 business hour time frame to respond to the FOC before Qwest puts the LSR in CNR.

The process today does not give a time frame on the FOC, it gives a date but no time frame.

Confirm Areas and Products Impacted Macy - Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted.

Confirm Right Personnel Involved Macy - Qwest confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation Macy-Qwest reviewed the request to confirm Eschelon’s expectation.

Identify and Dependant Systems Change Requests Macy-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan Macy-Qwest asked attendees if there were any further questions. There were none. Macy-Qwest stated that the next step was for Eschelon to present the CR at the September Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

October 8, 2003

For Review by CLEC Community and Discussion at the October 15, 2003, CMP Product/Process Meeting

Bonnie Johnson Eschelon

SUBJECT: CLEC Change Request Response - CR # PC081403-1

This is a preliminary response regarding the Eschelon CR PC081403-1. This CR requests that the ‘Delayed order process be modified to allow the CLEC a designated time frame to respond to a released delayed order after Qwest sends and updated FOC. Qwest will contact the CLEC to test and accept only after the updated FOC has been sent and a designated time frame has passed. Qwest will not put the order in a CNR (customer not ready) jeopardy status until this time frame has passed and the CLEC is not ready’.

Qwest believes this CR has synergies with the Eschelon CR PC072303-1 ‘Customer Not Ready (CNR) jeopardy notice should not be sent by Qwest to CLEC before 5 PM’. Qwest proposes moving this Change Request into Evaluation Status while we investigate the commonalities further and will provide a status update at the November CMP meeting.

An Ad Hoc Meeting is scheduled for Monday, October 6, 2003 from 10:00 – 11:30 a.m. MST to discuss CR# PC072303-1 and PC081403-1.

Sincerely,

Phyllis Sunins Wholesale Markets Process Organization


Open Product/Process CR PC081403-2 Detail

 
Title: Workback process/products expanded to include additional products and allow partial workbacks. Qwest will post the process and products included in the Business Procedure section of the web site.
CR Number Current Status
Date
Area Impacted Products Impacted

PC081403-2 Completed
8/18/2004
Products to be defined through a collaborative effort including Qwest and the CLEC Community
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Wells, Joan
Director:
CR PM: Harlan, Cindy

Description Of Change

Qwest should expand the current work back process to include additional products and partial workbacks. Qwest currently allows workbacks for only LNP (Local number portability) orders and requires the entire LSR to be worked back. CLECs sometimes have a need to request a workback on only a portion of an LSR or for products outside of the current products this process applies to (LNP). The current Qwest documentation for the workback process is located in the Qwest LNP PCAT (titled end user out of service) and does not define that a CLEC is required to do the workback on an entire LSR. Qwest documentation should not leave this to interpretation. Qwest should provide clear documentation of the entire process in the Business Procedure section of the web site. This should include a detailed process and the products the workback process applies to.

Expected Deliverable:

Qwest will develop, document and train an expanded "workback" process to include additional products and partial workbacks. Qwest should allow the CLEC to do workbacks on partial LSRs and include additional products. Qwest should post this as a "process" under the business procedure section of the Qwest Wholesale web site.


Status History

08/14/03 - CR Submitted

08/15/03 - CR Acknowledged

8/19/03 - LWTC for Bonnie regarding Clarification meeting date

8/26/03 - Held Clarification Meeting

9/17/03 - Sep CMP meeting minutes will be posted to the database

10/8/03 - Sent response to CLEC

10/15/03 - Oct CMP meeting minutes will be posted to the project meeting section

11/19/03 - Nov CMP meeting minutes will be posted to the database

12/17/03 - Dec CMP meeting minutes will be posted to the database

1/2/04 - Notification distributed to review draft process on 1/12/03

1/8/03 - PROD.01.08.04.F.01226.LNP_V25

1/12/03 - Held CLEC ad hoc meeting to review draft process

1/21/03 - Jan CMP meeting minutes will be posted to the database

2/18/04 -Feb CMP Meeting notes will be posted to the project meeting section

3/17/04 - March CMP meeting notes will be posted to the project meeting section

4/6/04 - Sent Ad Hoc meeting notification for CLEC meeting on 4-16

4/21/04 - April CMP meeting notes will be posted to the project meeting section

5/18/04 - PROS.05.18.04.F.01688.ExpeditesV9

5/19/04 - May CMP Meeting notes will be posted to the project meeting section

6/16/04 - June CMP Meeting notes will be posted to the project meeting section

7/21/04 - July CMP Meeting notes will be posted to the project meeting section

8/16/04 - August CMP meeting mintues will be posted to the database


Project Meetings

8/16/04 CMP Meeting Mintues Cindy Macy – Qwest advised that the PCAT was implemented and effective June 29. Cindy asked if we could close this CR. Kim Isaacs – Eschelon advised it is okay to close the CR. This CR will move to Completed Status.

July 21, 2004 CMP Meeting notes: Cindy Macy –Qwest advised that this CR was effective June 29. Qwest will move this CR to CLEC Test status.

June 16, 2004 CMP Meeting notes: Jill Martain – Qwest advised that comments were received and responded to for this CR. This CR will be effective June 29. The CLECs agreed to move this CR to CLEC Test on June 29. Bonnie Johnson – Eschelon advised that she would prefer for Qwest to be consistent and move things to CLEC test after the effective date, but not before. While reviewing the Change Management Process document section 5.8, Qwest believes that the work needs to be completed for each status type (i.e. CLEC Test) before the status is changed. Status should only be changed upon agreement in the Monthly Meeting. This CR will remain in Development Status. This CR would move to CLEC Test in July as the effective date is June 29.

May 19, 2004 CMP Meeting notes: Jill Martain – Qwest advised that the documentation for this CR was released on May 18 and should be implemented July 2. This CR will remain in Development Status.

April 21, 2004 CMP Meeting notes: Jill Martain – Qwest provided status on this CR for Joan Wells. Jill advised that Qwest held another adhoc meeting with the CLECs. We will update the PCAT with additional information that will clarify the process. We also discussed and documented how Workback for other products should follow the Expedite process. This documentation should be updated by the end of the month. Bonnie Johnson – Eschelon advised that this topic covers such a broad scope, that it makes sense for it to be in the Expedite and Escalation process. Bonnie confirmed that Qwest will tell the CLECs what to do on a case by case basis, but because it is documented then Qwest will know there is a process to follow. Bonnie said Eschelon submitted this CR because during an escalation Qwest told Eschelon that Qwest did not do workbacks. Bonnie said after Qwest documents the process Qwest employees will know that a process exists. This CR will remain in Development Status.

CLEC Ad Hoc Meeting PC081403-2 Work Back Process CR April 16, 2004

In attendance: Jennifer Fischer - Qwest Communications Bonnie Johnson – Eschelon Kim Isaacs – Eschelon Jill Martain - Qwest Communications Kathy Rein - Qwest Communications Stephanie Prull – Eschelon Pete Budner - Qwest Communications Chris Quinn-Struck Qwest Communications Julie Picker – US Link Joan Wells - Qwest Communications Cindy Macy - Qwest Communications

Cindy Macy – Qwest took attendance and explained the purpose of the call was to review the changes that had been made so far as a result of this CR, and the proposed changes needed to close the CR.

Joan Wells - Qwest Communications explained that she updated the PCAT and there were concerns with the updates that were made. Joan clarified the updates and verified that there were not process changes as a result of the updates, except to add the language around full and partial workbacks. Bonnie Johnson – Eschelon agreed and confirmed that it was a misunderstanding regarding when the escalation process was being used.

Joan Wells advised that Qwest will use existing expedite processes for the expansion to other products with additional language added.. And that this information will be included in the existing Escalation and Expedites PCAT.. Joan advised Wholesale will handle the customer requests; they will not be referred to Retail. Bonnie Johnson – Eschelon advised she was happy about this. Joan advised the method of restoral is ICB, based on the actual situation, and the Customer Service group will advise the CLEC how to proceed with restoral and whether an LSR is needed.

Bonnie Johnson – Eschelon wanted to make sure that there will be enough level of detail for the centers to determine what course of action is needed to restore the service. Joan advised yes. Bonnie asked about the 24 hour restriction. Joan confirmed it is a 24 hour, not 24 business hour timeframe.

Bonnie advised she is okay with updating the process if the documentation provides enough level of detail for the centers to take action. Joan agreed and advised she is planning on getting the documentation released soon. The plan would be to move this CR to CLEC Test in May, and close in June.

March 17, 2004 CMP Meeting notes: Bonnie Johnson – Eschelon advised that she is concerned that Qwest has stated that we can not workback a customer if the port has taken place. If this is the case, then Qwest has changed the process as we currently do this today. Joan Wells – Qwest advised that we did not change anything in the PCAT regarding this. What was changed is that we added that you can now request a full and partial workback. No other language was changed and it has been this way for the past two years. Bonnie Johnson – Eschelon asked if Qwest is aware that workbacks are occurring even when the port has been completed. Joan Wells – said it could be possible that this happens, but it is not in the process. Ervin Rae – ATT advised they average 50-60 a day, after the subscription has been completed. Joan Wells – Qwest advised we average 50 workbacks a month total. Bonnie Johnson asked is it possible there is another piece that we are missing. Joan Wells advised that we don’t disconnect the customer until 2 days after the due date, at 11:59 the next business day. We already pull these from the completion workload and give extra time. Qwest is not sure if we are in a position to workback customers for no charge, after the port has taken place, as at least 2+ days have already gone by. Bonnie Johnson asked why does Qwest hold the account if they are not willing to do a workback? Bonnie asked if Qwest can still do this on the subscription piece? Joan advised that Qwest will have the ability to do this by canceling the subscription and order. The opportunity is there but we shouldn’t do this without a charge. Joan confirmed that the process was not changed, our response was to document full and partial workbacks. If further documentation is needed it would be outside the scope if this CR. Ervin Rae – ATT advised this needs to be expanded to include all products. Joan Wells advised this piece is still being worked on and is under development. Jill Martain – Qwest advised that the Covad CR PC021904-1 Enhancements to Expedite Process is similar to this request, and she will try to work the issue on that CR also. Bonnie advised that she needs to take this back and talk to additional people in her organization. Bonnie confirmed that Qwest’s position is that we do not do a workback after the port has been complete. When this occurs it is using the escalation process. Maybe Qwest needs to update the PCAT to include the escalate process if workbacks are needed after the service order has completed. Joan Wells said that volume is low. Bonnie Johnson will check with her team and get back to us. This CR will remain in Development Status.

February 18, 2004 CMP Meeting Cindy Macy – Qwest provided status for Joan Wells. The first part of this process was published and implemented. Joan is working on the process for the additional products. Joan is working with Retail to identify impacts. This CR will remain in Development Status.

January 21, 2004 CMP Meeting Cindy Macy – Qwest advised that Joan Wells – Qwest held an ad hoc meeting on January 12 and reviewed the draft process. Joan took some points to incorporate into the process and review. The documentation is in progress. This CR will remain in Development Status.

Ad-hoc Meeting 1:00 p.m. (MDT) / Monday January 12, 2004

1-877-552-8688 7146042 PC 081403-2

Attended Conference Call Name/Company: Carla Pardee, AT&T Donna Osborn-Miller, AT&T Cheryl Miller, AT&T Andrea Niles, AT&T David Bellinger, AT&T Joyce Perry, AT&T Bonnie Johnson, Eschelon Kim Isaacs, Eschelon Kim Sutton, Cox Communication Carol Roland, Cox Communication Carla Cox, 180 Communication Janet Harper, 180 Communication Joan Wells, Qwest Susie Wells, Qwest Terri Kilker, Qwest Linda Harmon, Qwest

Meeting Agenda: Action 1.0 Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed. 2.0 Review Requested (Description of) Change Joan Wells, Qwest reviewed the Draft Proposal process and scenarios. This is for Part II Workback Expansion Proposal to include additional products.

The following were questions or clarifications made during the meeting:

David Bellinger, AT&T asked what the intervals would be for getting the customer back in service. Joan said she would have to check but in any case they would mirror the existing timeframes.

Joan verified that this process is to cover when orders have completed and has nothing to do with LNP or number portability in general.

Cheryl Peterson, AT&T asked what time orders are completed. Joan answered that it often depends on the type of order.

Kim Isaacs, Eschelon ask if process steps 6-10 is for when the account is UNE-P with another CLEC. Joan answered yes and that she will clarify in document.

Bonnie Johnson, Eschelon asked if Restriction 4 was also the practice in Retail as well. Joan said yes that there are no parity issues.

Bonnie commented that process steps 11 through 13 are where most of these cases fall and customers are impacted. She stated the purpose of the CR was to have a different process from going through the Retail front door since the area between Wholesale and Retail is often painful to the customer and CLEC. Bonnie is not asking that Retail not be involved but to have a process where someone knowledgeable handles the situation and where the customer or CLEC does not have to start at the Retail front door. Joan stated that Wholesale couldn’t handle Retail involvement she agreed to look into what could be done. Bonnie said if we could get resolution to the front door issue that she is fine with the process. AT&T and 180 Communication agreed

Joan stated that Part 1 of the documentation should be out in a few weeks. She also said she will try to have an update for the January CMP meeting and will continue to evaluate the need for another meeting.

December 17, 2003 CMP Meeting Joan Wells – Qwest advised she has sent the documentation for Partial Work backs on LNP to the documentation team. She also has a draft proposal available for the other products that she would like to review with the CLECs. A meeting will be scheduled the week of January 5 to review the draft proposal. Bonnie Johnson – Eschelon requested to have the process sent out in advance so it could be reviewed prior to the meeting. Joan agreed and advised it would be included in the meeting notification ahead of the meeting date. This CR will remain in Development Status.

November 19, 2003 CMP Meeting Joan Wells reviewed Qwest’s response and identified the products that will be addressed with this CR. Joan explained she would like to call this process the ‘Restoral Request’ process. Ervin Rea-ATT asked what are the requirements to get the customer back in service? Joan advised they are developing those requirements as part of this CR. Basically the process would consist of the customer contacting the Call Center to advise of the problem. A ticket is issued. A supplement may need to be issued to the LSR depending on if the work or LSR is completed. The service would follow an expedite process to restore. Qwest is looking into the criteria to determine when a restoral request is allowed and when charges would be incurred to reinstate the service.

Oct 15, 2003 CMP Meeting Cindy Macy – Qwest advised she would page Joan to the call as she is on vacation. Bonnie Johnson – Eschelon said she has reviewed the response and understands Qwest will begin working on the partial workback process for LNP and the other products are under review. Bonnie advised we did not need to page Joan to the meeting. This CR will move to Development Status.

Sept 17, 2003 CMP Meeting Bonnie Johnson advised we had a good clarification call. There were attempts made a reeling in the scope of this CR. Bonnie advised she would like the process expanded on product where it is workable. Today, Workback is on LNP and it is all or nothing. Bonnie requested for Qwest to expand where this can be done and also to be able to do a partial Workback. Joan asked if another ad hoc meeting may be appropriate to gather additional issues, on a product by product basis from other CLECs. Any product that is can be included on should be included. This request is clearly asking for these product and when a CLEC can do a Workback. Judy Schultz asked if it was appropriate for Qwest to prepare a recommendation. Bonnie agreed for Qwest to review scenarios and do this on a case by case basis. Bonnie advised this request is a result of an escalation. Escalations usually drive process improvements. Susie Bliss advised Qwest would also look at volumes and costs.

CLEC Change Request – PC081403-2 Clarification Meeting Tuesday, August 26, 2003

1-877-552-8688 7146042#

Attendees Cindy Macy – CRPM Dusti Bastian – Qwest Mallory Paxton – Qwest Joan Wells – Qwest Sharon Van Meter – ATT Bonnie Johnson - Eschelon

Introduction of Attendees Macy-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Bonnie Johnson-Eschelon reviewed the CR. Bonnie explained the PCAT defines a work back process, however it is for LNP only and does not include partial work backs. Eschelon had a situation where they were trying to work back the DSL portion of a cut and could not do a partial work back. Qwest did do this but it was very difficult.

Joan Wells asked if Bonnie wanted work backs available to new products or products associated to LNP? Bonnie advised there are multiple situations when this may be needed. For example, when we are converting a customer from Qwest Retail to Eschelon UNE-P.

Joan Wells advised the work back process was put in place when Qwest was disconnecting customers and the CLECs were having trouble getting the customer installed on the same due date. This is not occurring very much any more. On a conversion there is usually no facility change that occurs so there wouldn’t be a work back situation. Bonnie advised there can be circumstances that cause facility changes and thus the need for a work back; such as Qwest record issues that show the DSL on the wrong line, or PBX that causes trouble on the line, credit card machines etc. Bonnie agreed it is not a high percentage of times that this happens, but it is important when it does happen.

The group discussed that there are many variables and it could be a different process based on each circumstance. The group tried to determine the scope of the CR as the process may be different based on each product or situation. Joan Wells advised she can not document what the CLEC needs to do for their part of the work back.

Joan asked if the CLECs would be willing to pay for this service. Bonnie advised under certain circumstances it makes sense. Mallory Paxton – Qwest advised in some cased it would involve Qwest doing a New Connect. Joan Wells advised there should be parameters around how much time can go by to determine if a work back is a valid option.

Bonnie advised she would like this in the Business Process section of the PCAT, and not be product specific. Cindy Macy-Qwest advised this would imply the process would be a high level process about work backs in general and not be specific to each product. Mallory advised the process would be different for different products so a general process may not provide a lot of value. Some things to consider are the time constraints, charges, process by product, identify the limitations of the process versus all the conditions that it could apply to.

Bonnie advised UNE-P and Resale are the most commonly ordered products so it would make sense to document it for those two products. Additionally, adding information to the LNP product to include partial work backs is needed. Bonnie advised she would lke the process defined and documented so we have a process to follow. It doesn’t have to cover the universe.

Confirm Areas and Products Impacted Cindy Macy-Qwest reviewed the scope of the CR.

Confirm Right Personnel Involved Cindy Macy-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation Cindy Macy-Qwest reviewed the request to confirm Eschelon’s expectation.

Identify and Dependant Systems Change Requests Cindy Macy-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan Macy-Qwest asked attendees if there were any further questions. There were none. Macy-Qwest stated that the next step was for Eschelon to present the CR at the September Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

Response Update

For Review by the CLEC Community and Discussion at the November 19, 2003 CMP Meeting November 11, 2003

Eschelon Bonnie Johnson Sr. Manager ILEC Relations

SUBJECT: CR # PC081403-2 Workback process/products expanded to include additional products and allow partial workbacks. Qwest will post the process and products included in the Business Procedure section of the web site.

This letter is being issued to provide an updated response on the development of Eschelon’s Change Request (CR) PC081403-2. This CR requests that:

· Qwest expand the existing LNP workback process to allow partial workbacks · Qwest expand the workback process to include additional products Qwest is currently in the development stages of both a new “Workback”(WB) process for LNP that will include partial restorals and a new expanded Workback process that will be identified as a “Restoral Request” (RR) for the Resale / UNE-P POTS and Resale / UNE-P Centrex 21 products. Qwest will provide an updated status on the process development at the December CMP meeting.

Sincerely, Joan Wells Sr. Process Analyst Qwest Communications

For Review by the CLEC Community and Discussion at the October 15, 2003 CMP Meeting

October 8, 2003

Eschelon Bonnie Johnson Sr. Manager ILEC Relations

SUBJECT: CR # PC081403-2 Workback process/products expanded to include additional products and allow partial workbacks. Qwest will post the process and products included in the Business Procedure section of the web site.

This letter is in response to Eschelon’s Change Request (CR) PC081403-2. This CR requests that: ? Qwest expand the existing LNP workback process to allow partial workbacks ? Qwest expand the workback process to include additional products

Qwest accepts this request. Qwest will change the workback process for Local Number Portability and Loop Service with Local Number Portability to include partial workbacks. This change will be identified and documented within the current workback process located in the existing LNP PCAT.

Qwest is currently reviewing the workback process expansion request and its applicability to other products and processes that it will apply to. Qwest requests that this CR be placed in development status. Qwest will provide an update at the November CMP meeting.

Sincerely,

Joan Wells Sr. Process Analyst Qwest Communications


Open Product/Process CR PC070103-3 Detail

 
Title: DSL Volume provider and data migration process to prevent extended DSL outage
CR Number Current Status
Date
Area Impacted Products Impacted

PC070103-3 Completed
2/15/2004
Ordering, Provisioning line/loop splitting and sharing, UNE LOOP, UNE P Resale
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: James, Nicole
Director:
CR PM: Stecklein, Lynn

Description Of Change

Eschelon and Covad jointly submit this request. This request applies to all types of DSL (Qwest Retail, Qwest resold DSL, volume provider DSL, CLEC DSL, etc.). Any migration of voice, data or voice/data should be handled by Qwest with a single Local Service Request (“LSR”) with only minimal interruption to service.

An end user customer should be able to obtain one due date for installation/functioning of both voice and data. Carriers should be able to place a single LSR to convert physical DSL service (regardless of the identity of the ISP) to any provider without undue service interruption. Regardless of the ISP (or of the sharing scenario, if any), customer switches that involve both voice and data should be performed with (1) one LSR, and (2) no extended service disruption. With this request, we seek, for example, to: (1) ensure that the use/presence of a DSL Volume provider does not adversely impact conversions/conversion intervals when switching providers. (If a conversion would not result in an extended outage or longer intervals if a non-volume DSL provider is involved, then the same conversion should not result in an extended outage or longer intervals if a volume DSL provider is involved); and (2) to convert (using a single LSR) a customer’s existing DSL service regardless of how service is provided [including various sharing scenarios (e.g., line sharing/splitting; loop sharing/splitting)] without extended service interruption to data or voice providers.

#1

There should be no exception to the process for volume providers. Currently, when a customer switches from Qwest Retail DSL and Qwest ISP service to a CLEC, Qwest processes allow a CLEC/DLEC, using one LSR, to (a) convert the DSL and change the ISP (for resale/UNE-P), or (b) perform a partial conversion (such as leaving the line and DSL with Qwest Retail for one line and converting the remaining lines in the account to CLEC) – both without disconnecting the DSL. In contrast, when the customer has DSL service from a volume provider, Qwest will disconnect the DSL in both of these scenarios. The disconnect is not momentary. It results in a DSL outage for the customer for the length of the entire interval required to add the DSL again (5 days or more). Such outages are harmful to competition, because customers are reluctant to switch carriers when faced with such an extended DSL outage. The presence or absence of a volume provider should not affect the result. In any case, such an extended DSL outage should not occur. CLECs should be able to request these conversions using one LSR.

#2

The current process that does not require DSL disconnects (see #1a and #1b) should be expanded to include the types of conversions that currently result in DSL disconnects/outages, cannot be ordered using one LSR, or both. When switching carriers, an end user customer should be able to obtain one due date for installation/functioning of both voice and data and should not experience extended DSL outages. This result should not depend on the product that the customer currently uses or to which it is switching. Currently, the result does vary by product. For example, if a customer is on line sharing (with Qwest Retail voice and Covad data) and wants to switch to a UNE-P line splitting product (with CLEC voice and Covad data), Qwest will disconnect the DSL. Again, the disconnect is not momentary and results in an extended DSL outage. Even though the data is staying with Covad in this example, Qwest requires disconnection of the line sharing product and re-establishment of the UNE-P line splitting product as a physical matter. In reality, however, this should just be a pure records change for data and should not affect the customer’s service. CLECs should be able to request these conversions using one LSR.

Expected Deliverable:

Qwest will develop, document and train a process(es) that meets the needs described in the above Description of Change. The process will expand the current one to avoid DSL disconnects/outages in situations that currently result in disconnects/outages; it will allow use of a single LSR for ordering these conversions; and it will not include any exception for volume providers. If different parts of this CR can be done earlier than others, please describe the options to CLECs. Also, if different methods would be used to provide these conversions (such as a coordinated hot cut type elective option), please describe. Eschelon and Covad bring these issues together in one CR so that portions of the request do not fall between the cracks.

Text of e-mail message from Bonnie Johnson:

“Scenario #1

Qwest Retail customer is converting to Eschelon (Resale or UNE-P) and hasQwest DSL with the DVDP FID. Eschelon sends conversion request and retains Qwest DSL but changes the ISP host (we do these today when the customer does not have volume provider arrangement).

Scenario #2

Qwest Retail customer is converting to Eschelon (Resale or UNE-P) and has Qwest DSL with the DVDP FID. Eschelon sends conversion request and requests the line with Qwest DSL with volume provider stay with Qwest and Eschelon converts all or a part of the remaining account (we do these today when the customer does not have volume provider arrangement).

Scenario #3

Qwest Retail customer is converting to Eschelon (Facility based) and has Qwest DSL with or without a volume provider. Eschelon converts the line with DSL to a DSL (XDSL-I) capable loop.”


Status History

07/01/03 - CR Received

07/02/03 - CR Acknowledged

07/16/03 - CR Discussed at CMP Monthly Meeting

08/04/03 - Sent e-mail question to Bonnie Johnson re: Scenario #2, rec'd e-mail response from Bonnie Johnson re: Scenario #2

08/06/03 - Sent e-mail question to Bonnie Johnson re: Scenario #3

08/08/03 - Rec'd e-mail response from Bonnie Johnson re: Scenario #3

08/20/03 - Discussed at CMP Meeting

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

09/30/03 - Held clarification meting with Bonnie Johnson re: Scenario #1

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/26/04 - Qwest Issued PROS.01.26.04.F.01274.MigrationsV14 Level 1 effective 1/27/04

02/18/04 - February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

03/17/04 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/21/04 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

05/19/04 - May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

06/16/04 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

07/21/04 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

8/16/04 - August CMP meeting mintues will be posted to the database

9/15/04 - September CMP Meeting minutes will be posted to the database

10/20/04 - October CMP Meeting minutes will be posted to the database

11/17/04 - November CMP Meeting minutes will be posted to the database

12/4/04 - Release due date 12-4

12/15/04 - December meeting minutes will be posted to the database

1/3/05 - Eschelon requested copy of notice number on this CR - provided information to Kim Isaacs ( PROD.10.28.04.F.02243.ResaleUNE_DSL, PROD.11.19.04.F.02316.FNL_ResaleUNE_DSL)

1/19/05 - Discussed in the January Product/Process Meeting - See attachment C in the distribution package.

2/16/05 - Discussed in the February Product/Process Meeting - See attachment C in the distribution package.

3/16/05 - Discussed in the March Product/Process Meeting - See attachment C in the distribution package.

2/16/05 - Status changed to completed


Project Meetings

3/16/05 Systems CMP Meeting Discussion:

Jill Martain/Qwest stated that this CR was closed in the February CMP Meeting.

2/16/05 Product Process CMP Meeting

Jill Martain - Qwest stated that this CR was effective 12/4/04 and that we addressed the global concern Eschelon raised last month regarding notifications. Jill said that notifications should now include the CR number in the title and the notes.

Bonnie Johnson - Eschelon said that she was ok to close this CR. She said that the problem is with DSL and typing errors on the DD and it is hard to determine if the problem is due to the global concern she raised last month. Bonnie thanked Qwest for the additional information on the notifications.

1/19/05 CMP Meeting

Lynn Stecklein/Qwest stated that this CR was effective December 4, 2004 and should be ready to close. Bonnie Johnson/Eschelon said that she has a global concern associated with notifications. Bonnie said that the notification for this CR did not include the CR number that the notice was associated to and asked if Qwest could include the CR number on the notices. She stated that she would like to keep this CR open another month. Jill Martain/Qwest stated that we will take an action item to review the notification issue. Jill Martain/Qwest stated the CR would remain in CLEC test.

December CMP Meeting Minutes Cindy Macy – Qwest advised this CR was effective December 4. This CR will move to CLEC Test Status.

11/17/04 November meeting minutes Cindy Macy – Qwest advised this CR is still on track for December 2004 due date. This CR will remain in Development Status.

10/20/04 CMP Meeting Minutes Cindy Macy – Qwest advised this CR is still on track for December 2004 due date. This CR will remain in Development Status.

9/15/04 CMP Meeting Minutes Cindy Macy – Qwest advised this CR is still on track for target deployment in December 2004. This CR will remain in Development Status.

8/16/04 CMP Meeting Mintues Cindy Macy – Qwest advised that the target implementation date is December 2004. There is system work that needs to occur that is in progress. This CR will remain in Development Status.

07/21/04 July CMP Meeting: Cindy Macy – Qwest advised that this CR is effective October 18. The PCAT is currently being updated. This CR will remain in Development status until the CR is implemented in October.

06/16/04 June CMP Meeting Linda Sanchez-Steinke with Qwest said there is no new information since April’s update and implementation is tentatively scheduled for 10/16/04. This CR will remain in Development status.

-- 05/19/04 May CMP Meeting Linda Sanchez-Steinke with Qwest said last month’s update was that implementation is tentatively scheduled for 10/16/04. This CR will remain in Development status.

04/21/04 April CMP Meeting Anthony Washington with Qwest gave an update that the implementation date is tentatively scheduled for 10/16/04. We are currently finalizing the requirements. Bonnie Johnson with Eschelon asked if there were systems impacted. Anthony said FTS and Integrator are impacted. This CR will remain in Development status.

03/17/04 March CMP Meeting Linda Sanchez-Steinke with Qwest gave an update that funding approval has been received and we are waiting for an implementation date and will give an update on the implementation date at the April meeting or before if available. John Berard asked if all requirements for development were complete and which systems were being changed. Linda said the systems were not CLEC facing and could not answer if development was completed. This CR will remain in Development status.

- 02/18/04 February CMP Meeting Anthony Washington with Qwest provided an update that we have received funding approval and are waiting for an implementation date. This CR will remain in Development status.

01/21/04 January CMP Meeting Russ Urevig with Qwest gave an update that the Migration/Conversion PCAT will contain a link for unbundled loop scenarios and will explain if a single or a combination of LSRs is required. The documentation will be available in the late January timeframe and will be located at the end of the ordering section in the Migration/Conversion PCAT. This CR will remain in Development status.

12/17/03 December CMP Meeting Russ Urevig with Qwest said that there were questions submitting orders and the scenarios for migrations and conversions. Bonnie Johnson with Eschelon added they need to know how to submit the LSRs. Russ asked if the CR should be left open for this documentation change. Linda Sanchez-Steinke with Qwest said that the CR should remain open due to systems changes needed. This CR will remain in Development status.

11/19/03 November CMP Meeting Anthony Washington with Qwest gave an update on Scenario #1 and said that Qwest accepts this CR and the process changes will be initiated. Updates will be provided as the project moves forward. Jamal Boudhaouia with Qwest added that the CLECs should understand that the CLEC should provide the end user a modem and a profile should be ready and built in the new ISP to additionally minimize downtime. Bonnie Johnson with Eschelon said she did understand. Bonnie added that Qwest had announced PCAT changes associated with scenario #3 and needs to provide additional information on how to submit an LSR when ordering four voice retail lines to convert to an unbundled loop and one data line is converting to an unbundled loop with DSL service. Russ Urevig said that he is doing research and will determine if a PCAT update is needed. This CR will move to Development status.

10/15/03 October CMP Meeting Deb Smith with Qwest gave an update on Scenario #3 and #4. Updates have been made to PCATS for Line Sharing, Loop Splitting, Line Splitting, Unbundled Loops and Migrations and Procedures. The procedure identifies if 1 or more LSRs are needed and explains that downtime will not exceed 45 minutes. Kim Isaacs with Eschelon asked if the DSL notices were in the UNE loop PCAT. Deb Smith said the unbundled loop PCAT went out as a level 2 on 10/1/03. Kim said that she will review the changes and added that she didn’t know that the CR was associated with the PCAT.

Anthony Washington with Qwest gave an update on Scenario #1. Qwest SME’s held a meeting with Bonnie Johnson to discuss looking at separate service orders to resolve the CR. Qwest is re-evaluating and will have an update at the November meeting. This CR will remain in Evaluation status.

Meeting Minutes PC070103-3 September 30, 2003 1-877-572-8687, Conference ID 3393947# 1:00 p.m. - 1:45 p.m. Mountain Time

List of Attendees: Bonnie Johnson - Eschelon Janean Van Dusen - Qwest Cindy Schwartze - Qwest Anthony Washington - Qwest Michael Whitt - Qwest Linda Sanchez-Steinke - Qwest

The meeting began with Qwest making introductions and welcoming all attendees. Linda Sanchez-Steinke with Qwest explained that the purpose of the meeting was to discuss CR PC070103-3 and Bonnie’s request at the September CMP meeting to review whether the process could be accomplished by Qwest initiating two service orders.

Bonnie said at the September CMP meeting, Qwest denied this CR because it was economically unfeasible due to changes to systems that would have to be done. Eschelon would like to convert customers with no downtime on DSL when a customer has a volume service provider. From a process perspective, issue an order to disconnect DSL volume service provider and ISP then consecutively issue an order to install Qwest DSL ISP of choice. This process would re-install the service order so the customer is not without DSL service.

Cindy Schwartze asked if Eschelon wants Qwest to take the LSR and if it has VISP remove that and keep the same speed, change the host and there will no outage of DSL. Bonnie agreed.

Bonnie said the response at September CMP didn’t make sense because systems would not need to be changed to accomplish, when it can be done by changing a process. An order could be issued with Qwest DSL staying or changing and another order, with one due date, the date of conversion, getting rid of the host and getting a new one. The request is not to have any downtime.

Anthony Washington asked how much downtime, Bonnie said that we have discussed this and Linda said that 45 minutes downtime had been identified as acceptable in the change request.

Janean Van Dusen said that we have legal and contractual obligations with the volume ISP.

Bonnie said that when the LSR is sent in, Qwest allows the disconnect of the volume ISP. Bonnie suggested that if we look at this as a process solution, we could use 2 service orders to accomplish the same thing, the volume ISP would go away, and the customer would not have the 5 day lag time without DSL. It is not logical that system changes would be required to accomplish the change request.

Cindy asked if this example would be accurate: Eschelon wants to issue 1 LSR to convert the account, remove the VISP, add or change what is existing for Qwest DSL with the same due date. Cindy further explained that today Eschelon issues 1 LSR to convert and remove the VISP and 1 LSR to add Qwest DSL and host. Bonnie said that the second LSR can’t be submitted until the VISP order is completed.

Michael Whitt asked if Eschelon would be willing to send more than 1 LSR. Bonnie said it is not Eschelon’s preference and it would leave more room for gaps and rejects in error. Bonnie asked if they would get IMA up front errors.

Cindy asked if there was a question about different modems for the end user and new I-host. Anthony said he did not believe that has anything to do with Qwest.

Cindy asked if the VCI/VPI would be an issue. Bonnie said that Qwest resale or Qwest retail change, VCI/VPI, on Qwest Q host on the same day.

Cindy said the CLEC gets the VCI/VPI within 1 hour and Integrator does translations.

Bonnie said that Eschelon is currently using this process with customers on Qwest retail DSL with Qwest ISP. Volume ISP is a contractual agreement. If it is not a Volume ISP and the costs are $1 M, what systems need to be changed and why does the process work currently when there is not a volume ISP.

Cindy Schwartze said that the VISP isn’t a resale-able product. Originally we rejected LSR’s because it wasn’t a resale-able product. Cindy said that Qwest needs to get everyone together for an estimate of what it would take.

Michael Whitt said that we can’t promise that the response will be different and said that we have been working on a way to provide the change requested. Bonnie said that the CMP process states that if the CR is denied that Qwest should provide details.

Linda asked if there were any additional questions. No questions were asked and Linda said that we would discuss this CR at the October CMP meeting.

09/17/03 September CMP Meeting Deb Smith with Qwest explained this CR was submitted jointly by Eschelon and Covad and was divided into Scenarios 1 through 4.

Deb read the draft response for Scenario 3, a Qwest Retail customer is converting to Eschelon (Facility based) and has Qwest DSL with or without a volume provider. Eschelon converts the line with DSL to a DSL (xDSL-I) Capable Loop. Qwest and Eschelon agreed that downtime will not exceed 45 minutes on these type of requests and will update the Unbundled Loop PCAT with this information.

Deb read the draft response for Scenario 4, Line Sharing, Line Splitting and Loop Splitting, has been addressed in a CR PC012703-2 and Qwest has updated the Migration and Conversion PCAT addressing the need for more than 1 LSR for each migration or conversion possible. The PCAT will be updated to reflect the 45 minute timeframe and will get the information to the documentation team by Friday. Notification of updated PCAT will be provided to the CLEC Community.

Anthony Washington read the draft response for Scenario #1. Liz Balvin with MCI said that the CMP document says that if a CR is denied as economically not feasible, then Qwest should provide some details around the costs in excess of one million dollars. Bonnie Johnson with Eschelon stated she wants Qwest to go back to the drawing board and determine if this can be done by issuing separate service orders. Eschelon wants to have Qwest DSL that same day and not 5 days later. A separate call will be held to discuss alternate process solutions to implement this scenario.

Anthony read the response for Scenario #2, Qwest is currently providing this capability. This CR will remain in Evaluation status.

CMP Meeting 08-20-03

Smith-Qwest presented the response; Qwest is still evaluating the request. The request was moved to Evaluation status.

===========================================

Sent: Fri 8/8/03 5:48 AM From: Bonnie Johnson To: Linda Sanchez-Steinke RE: Question Scenario #3 PC070103-3 Hi Linda, The customer in this scenario would be converting both voice and data to the CLEC. No services would be left with Qwest.

Let me know if this helps!

Have a good day!

Bonnie Johnson Sr. Manager ILEC Relations Eschelon Telecom, Inc. Phone 612 436-6218 Fax 612 436-6318 Cell 612 743-6724

Sent: Wed 8/6/03 1:31 PM To: Bonnie Johnson From: Linda Sanchez-Steinke Subject: Question Scenario #3 PC070103-3

Bonnie - Below is a question from Deb Smith, on CR PC070103-3. Would you respond back to me and I'll e-mail on to Deb.

Thank you Linda Sanchez-Steinke CRPM Qwest 303-965-0972

Scenario #3 Qwest Retail customer is converting to Eschelon (Facility based) and has Qwest DSL with or without a volume provider. Eschelon converts the line with DSL to a DSL (XDSL-I) capable loop.

Bonnie,

We need a bit more clarification on scenario #3. Our understanding of scenario #3 is that a Qwest Retail customer is converting both voice and data to Eschelon. Is that correct? If so, this would be a conversion to an Unbundled Loop xDSL-I reusing existing facilities (if facilities qualify). If the voice portion is remaining with Qwest, this is not a conversion and would require a new Unbundled Loop to the premise.

Any additional clarification would be greatly appreciated.

Thank you, Deb Smith

Mon 8/4/03 11:48 A From: Bonnie Johnson To: Linda Sanchez-Steinke RE: PC070103-3 Scenario #2

Linda, I clarified all of this on the clarification call, however, if Qwest needs further information then we need a call. Yes Qwest currently offers partial conversions but the DSL is disconnected at the time of conversion when they have a volume provider. Bonnie Johnson Sr. Manager ILEC Relations Eschelon Telecom, Inc. Phone 612 436-6218 Fax 612 436-6318 Cell 612 743-6724

From: Linda Sanchez-Steinke To: Bonnie Johnson Sent 8/4/03 8:36 Bonnie -

I am backfilling for Matt White and Anthony Washington had a question about PC070103-3, scenario #2.

The following is Anthony's question: Scenario #2 appears to be a partial conversion, which Qwest already makes available to CLECs. Therefore, explain how the scenario differs from a partial conversion, and or, revise the scenario in a manner that differs from scenario #1 and #3.

Bonnie, I've attached the scenarios and would you e-mail me back, if needed we can get Anthony on a conference call.

Thank you

Linda Sanchez-Steinke CRPM Qwest 303-965-0972

Clarification Meeting - 07-21-03

Attendees Matt White Deb Smith Crystal Soderlund Cindy Schwartze Janean Van Dusen Karen McClemic Bonnie Johnson John Berard

(NOTE: Prior to this meeting, Johnson-Eschelon forwarded three scenarios that involved the change requested in this CR. The text of this e-mail is included at the end of these minutes.)

White-Qwest described the purpose of the meeting and asked the Qwest attendees if they could articulate their questions to Bonnie.

Smith-Qwest thanked Johnson for the scenarios she provided by e-mail. She stated that there is mention in the CR of line splitting and line sharing. Johnson-Eschelon stated that Berard should send Qwest examples of these scenarios. Berard-Covad stated that he would send those examples. He stated that what he wanted to address is the down time that is involved with a conversion. Smith-Qwest asked if Covad was seeking to issue only one LSR. Berard-Covad stated that he was interested in only one LSR and the issue of the 5 days of down time.

Johnson-Eschelon stated that whatever process Qwest develops, even if it involves that CLECs need to send a separate LSR that piggybacks on the first one one, the due dates should match. Soderlund-Qwest asked what product Johnson was referring to. Johnson-Eschelon stated that she was interested in Resale, UNP-P, UNE loop, line sharing and line splitting. Soderlund-Qwest asked what the conversion would be from. Johnson-Eschelon stated that this was a very large CR that may have to be done in pieces. She emphasized that she wanted to ensure that no piece slipped through the cracks.

Schwartze-Qwest stated that she had reviewed the scenarios Johnson had send and that she wanted to better understand scenario 1. She explained that the CR included information about converting to resale or UNE. She asked if Johnson understood, that with 13.0, Qwest would remove the DVDP FID and then the CLECs would need to submit another LSR. She stated that he understanding was the Eschelon did not want to submit the additional LSR or be subjected to the 5-day due date. Johnson-Eschelon stated that all the work happens on the due date. Schwartze-Qwest asked if Eschelon wanted to be able to provide the new I-host to Qwest rather than disconnecting the DSL and having to order the feature on the line.

Van Dusen-Qwest asked what the difference was between scenarios 1 and 2. Johnson-Eschelon stated that scenario 2 is where the customer wants to keep DSL with MSN and Eschelon wants to opportunity to leave it behind. She stated that was doing a partial conversion where Eschelon leaves the line and DSL as they are. She explained that she was asking for a partial conversion but that she wanted the line and DSL to stay as a Qwest retail account. She stated that this would occur if a customer has 5 lines wherein one is 1FB with Qwest DSL with MSN and Eschelon wants to convert the other 4 lines. Smith-Qwest asked of the 3rd scenario referred only to unbundled capable XDSL-I. She confirmed that Eschelon wanted Qwest only to be validating that the line was DSL capable, not validating the dial tone. Johnson-Eschelon stated that Eschelon wants to reuse the facilities and turn it into a DSL capable loop.

Berard–Covad stated that he could prioritize the scenarios that have already been identified. He stated that Covad could not live with a 5-day disconnect. He explained that Covad wanted voice and DSL to have same due date. Soderlund-Qwest asked Berard and Johnson could provide Qwest with a prioritized list of all the examples that fell under this change. Johnson-Eschelon stated that she had provided her examples and that numbers 1 and 2 were her top priority. She explained that every example left the customer without service. She stated that she did not want Qwest to work these examples in series. She stated that she expected to work on these examples in parallel. Soderlund-Qwest stated that she wanted to ensure that Eschelon and Covad were on the same page when it came to the examples. She explained that Qwest needed to be sure that Eschelon’s and Covad’s priorities are the same. Berard-Covad stated that he would take Johnson’s examples and add any additional ones that he felt were appropriate. Johnson-Eschelon stated that Eschelon and Covad were jointly submitting the CR and that the big scope of the CR is that we don’t want our customers to be without DSL service. She stated that the intent of the CR is to have Qwest develop a process to avoid a situation where customers are making decisions to change to Eschelon or Covad and then changing their minds because they will be without service for 5 days. She explained that she want processes to stop this impact on the customers and that she did not want to have to prioritize her examples. She stated that Eschelon wanted them all to have top priority. She explained that she understood that each product might have a different timeframe depending on the scope of the change, but that she did not want to send a prioritized list because the CR is asking for Qwest to develop processes. Soderlund-Qwest thanked he for her input.

White-Qwest asked if there were any additional examples needed. Smith-Qwest asked if Covad was going to provide more examples. Berard-Covad stated that he would go through existing documentation and send any additional examples to White-Qwest. Berard-Covad asked if there were any instances when the DSL does not go down. Schwartze-Qwest stated that with the DVDP arrangement, DSL goes down on all sides. She stated that she was concerned about line sharing/splitting and loop sharing and asked if Berard could send outage examples for these products. Berard-Covad stated that the big examples for Covad are line sharing and line spliting. Johnson-Eschelon stated that she understand that there would be some outage time on the dure date because work must occur. Smith-Qwest stated that Berard had said that 45 minutes would be an acceptable amount of down time. Berard-Covad stated that he was fine with that. He understood that Qwest needed time to move and test the cross connects.

Johnson-Eschelon stated that she agreed. She also stated that her biggest challenge is getting the DVPIVCI info off Q-host. Schwartze-Qwest stated that she had been told that the integrator refreshes every hour. Johnson-Eschelon stated that her problem was with it getting translated.

White-Qwest confirmed that there were no more questions. Johnson-Eschelon asked that if Qwest had any questions that they contact her for an impromptu meeting or call.

Text of e-mail message from Bonnie Johnson:

Scenario #1 Qwest Retail customer is converting to Eschelon (Resale or UNE-P) and hasQwest DSL with the DVDP FID. Eschelon sends conversion request and retains Qwest DSL but changes the ISP host (we do these today when the customer does not have volume provider arrangement).

Scenario #2 Qwest Retail customer is converting to Eschelon (Resale or UNE-P) and has Qwest DSL with the DVDP FID. Eschelon sends conversion request and requests the line with Qwest DSL with volume provider stay with Qwest and Eschelon converts all or a part of the remaining account (we do these today when the customer does not have volume provider arrangement).

Scenario #3 Qwest Retail customer is converting to Eschelon (Facility based) and has Qwest DSL with or without a volume provider. Eschelon converts the line with DSL to a DSL (XDSL-I) capable loop.

07-17-03 Clarification Meeting

Attendees Matt White - Qwest Deb Smith – Qwest Heidi Moreland - Qwest Crystal Soderlund - Qwest Monica Manning - Qwest Karen McClimek - Qwest Janean Van Dusen - Qwest Cindy Schwartze - Qwest Terry Kilker - Qwest Anthony Washington - Qwest John Berard - Covad

White-Qwest welcomed the attendees and explained the purpose of the call. He asked Berard-Covad to review the change. Berard-Covad reviewed the change. On any data migration CLECs should submit a single LSR for both voice and data. Similarly, the migration should get one due date for voice and data and there should be no more than 30-45 minutes of down time instead of five days. Soderlund-Qwest asked if Berard was talking about all of the shared products for this CR. Berard-Covad stated that he was. Smith-Qwest what UNE-P products the CR was referring to. Berard-Covad stated that the CR sought that the existing UNE P migration process now be linked to the data product. He stated that it encompasses many different scenarios and that Covad was looking for no down time for customers who ask for no down time. There was further discussion of different scenarios that this CR may apply to. Various Qwest SME’s asked that Berard and Johnson create a list of all possible scenarios that this CR would apply to so they could more appropriately respond to the request. Berard-Covad stated that he would like to have another clarification call with Johnson-Eschelon on the line. He stated that Covad and Eschelon would produce a list of all possible scenarios. White-Qwest stated that he would schedule another clarification call. He thanked the attendees and adjourned the meeting.

============================================ CMP Meeting 07-16-03

White-Qwest stated that this CR will have the clarification meeting on 7/17. Johnson-Eschelon presented the CR. CR to Presented status.


CenturyLink Response

November 11, 2003

For Review by the CLEC Community and Discussion at the November 19, 2003 CMP Meeting

Bonnie Johnson Director Eschelon Telecom Inc. 720 2nd Avenue South, Suite 1200 Minneapolis, MN 55402

SUBJECT:Qwest’s Change Request Revised Response PC070103-3 DSL Volume provider and data migration process to prevent extended DSL outage

This letter is in response to CLEC Change Request PC070103-3, scenario number one, re-evaluation. This CR is a request by Eschelon for Qwest to reduce its current provisioning interval for VISP conversions from the standard 5 days to a much more reasonable timeframe.

Qwest will accept this request. The following provides details surrounding this decision.

Qwest will allow CLECs to submit one LSR to convert VISP end users. The conversion process involves changing the host through a C & T action on the service order; therefore, Qwest will remove the VISP arrangement while not taking down the DSL service. This will alleviate the need for CLECs to submit two LSRs, one to remove the VISP and another to add the DSL service five days later.

The conversion process will maintain the DSL service but the host change will require the standard five day interval.

The new conversion process will impact several systems. After an analysis of the impact, Qwest has determined that more then 350 hours is required to complete systems changes, and develop and document the new process. Therefore, Qwest will schedule and complete the system changes, and develop the new process as soon as possible, and will provide updates as they become available.

Sincerely,

Anthony Washington Product Management Qwest

September 30, 2003

REVISED DRAFT RESPONSE For Review by CLEC Community and Discussion at the October 2003 CMP Meeting

Bonnie Johnson Eschelon

John Berard Covad

SUBJECT: Qwest’s Change Request Response - PC070103-3

Scenario #1 "Qwest Retail customer is converting to Eschelon (Resale or UNE-P) and has Qwest DSL with the DVDP FID. Eschelon sends conversion request and retains Qwest DSL but changes the ISP host."

During the September 17th CMP meeting Qwest denied Scenario #1 of CR PC070103-3 based on it being economically unfeasible. At that time, we were asked if it would be possible to accept the CR if Qwest Wholesale changed the process to allow one LSR and two services orders.

Currently we are re-evaluating this process change and identifying all the of the necessary process and systems changes that would be impacted. Therefore, we require more time to verify if it is possible to provide a minimal outage situation when a CLEC wishes to change the ISP host.

Sincerely,

Anthony Washington Product Manager

September 9, 2003

REVISED RESPONSE For Review by CLEC Community and Discussion at the September 17, 2003 CMP Meeting

Bonnie Johnson Eschelon

Mike Zulevic Covad

SUBJECT: Qwest’s Change Request Response - PC070103-3

This letter is in response to CLEC CR PC070103-3. This CR is a joint request from Covad and Eschelon to request that migrations (voice, data or voice/data) are obtained with a single LSR and minimal interruption of service. Clarification calls were held on July 17 and 21 to further identify the migration scenarios. Eschelon provided Qwest four scenarios. In this response, Qwest will provide responses to each of the scenarios separately.

Scenario #1 "Qwest Retail customer is converting to Eschelon (Resale or UNE-P) and has Qwest DSL with the DVDP FID. Eschelon sends conversion request and retains Qwest DSL but changes the ISP host."

Qwest response: The proposed change to the existing retail DSL product and processes would require resource allocation and expenditures associated with legacy systems and software specifications in excess of one million dollars. Information Technology redesigns would include systems changes to the electronic business to business system for each VISP provider, which would require considerable funding and a redirection of scarce technology resources. This would also include, to a significant extent, additional expense for producing and implementing changes to system performance and functionality of the Qwest VISP Graphical User Interface (GUI) and XML Interface, as well as require manual interaction to allow for communications with respect to Qwest retail customer changes and current status. Additional changes likely include significant modifications to existing ordering and processing systems and functionality, which would be a considerable burden at a great expense to Qwest.

Qwest respectfully denies Scenario #1 of this CR based on economic unfeasibility.

Scenario #2 "Qwest Retail customer is converting to Eschelon (Resale or UNE-P) and has Qwest DSL with the DVDP FID. Eschelon sends conversion requests and requests the line with Qwest DSL with volume provider stay with Qwest and Eschelon converts all or a part of the remaining account."

Qwest response: Qwest allows partial conversions of existing Qwest retail end user accounts to UNE-P or Resale services. In the instance where an existing retail end user account has more than one (1) line and one (1) or more of those lines has Qwest DSL Host Volume Discount Program arrangements (indicated by the presence of a DSL USOC followed by a ‘DVDP’ FID), CLEC may convert the entire account or specify certain lines for conversion.

If CLEC chooses to convert lines with DSL Host Volume Discount Program arrangements, as noted in the UNE-P with Qwest DSL PCAT, the (http://www.qwest.com/wholesale/pcat/unepqdsl.html) and similarly in the Resale DSL PCAT (http://www.qwest.com/wholesale/pcat/resaledsl.html), "Qwest will remove the DSL USOC and the DVDP FID from the account. This activity will remove end-user DSL functionality".

If CLEC chooses to convert only lines without DSL Host Volume Discount Program arrangements, the remaining retail lines with the DSL Host Volume Discount Program arrangements will remain in service.

Because Qwest currently offers this capability, Qwest accepts this Scenario of the CR.

Scenario #3 "Qwest Retail customer is converting to Eschelon (Facility based) and has Qwest DSL with or without a volume provider. Eschelon converts the line with DSL to a DSL (xDSL-I) Capable Loop."

Qwest response: Unbundled Loop Scenario #3 is a conversion of Qwest Retail customer’s service to the CLEC requested xDSL-I Unbundled Loop. The CLEC would submit 1 LSR to convert the Qwest Retail customer to the requested xDSL-I Unbundled Loop service with or without number portability. A disconnect will be performed on the end customer’s Qwest Retail service at the time of the migration activities.

During the PC070103-3 clarification meeting held on July 21, 2003, Covad, Eschelon and Qwest agreed that their request required that the activities of the migration not exceed 45 minutes. The migration activities would include the termination at the ICDF and any associated tests. For the Unbundled Loop services the migration work activities won’t exceed the 45-minute time frame.

Qwest accepts Scenario #3 of this CR. Qwest will update the Unbundled Loop General PCAT to reflect the migration activities will not exceed 45 minutes.

Scenario #4 Line Sharing, Line Splitting and Loop Splitting

Qwest response: In accordance with the Qwest response to PC012703-2, Data Migrations, the Migrations and Conversions Procedural PCAT (http://www.qwest.com/wholesale/clecs/migrateconvert.html) has been updated (in accordance with CMP timelines) with CLEC input on identification of the Data Migration scenarios for Line Sharing, Line Splitting and Loop Splitting. In that documentation, Qwest identifies, by scenario, whether a specific migration would require 1 LSR or multiple LSR’s. If the migration request currently requires more that 1 LSR, Qwest has provided the IMA (15.0) release that effects the change to 1 LSR.

During the PC070103-3 clarification meeting held on July 21, 2003, Covad, Eschelon and Qwest agreed that the activities of the migration will not exceed 45 minutes. The migration activities would include the ‘lift and lay’ of the cross connects and any associated tests. For the Line Sharing, Line Splitting, and Loop Splitting services the migration work activities won’t exceed the 45-minute time frame.

Qwest accepts Scenario #4 of this CR. We have responded, identified and documented the Line Sharing, Line Splitting and Loop scenarios as a result of PC012703-2, Data Migrations. Qwest will update the Data Migration scenarios for Line Sharing, Line Splitting and Loop Splitting (downloadable links) to reflect the 1 LSR vs. multiple and the IMA (15.0) release that effects the change to 1 LSR. Qwest will update the Line Sharing, Line Splitting, and Loop Splitting PCATs to reflect the migration activities will not exceed 45 minutes.

Sincerely,

Deb Smith Product Manager

Anthony Washington Product Manager

August 12, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the August 20, 2003 CMP Meeting

Bonnie Johnson Eschelon

Mike Zulevic Covad

SUBJECT: Qwest’s Change Request Response - PC070103-3

This is a preliminary response regarding the Eschelon/Covad CR PC070103-3. This CR requests a DSL Volume provider and data migration process to prevent extended DSL outage.

Qwest is currently evaluating this request. Because this request involves the creation of a complex and wide-reaching process, there are a large number of issues Qwest must analyze. Qwest proposes moving this Change Request into Evaluation Status and while we continue to investigate and provide an updated response.

Qwest will provide a status update at the September CMP meeting.

Sincerely,

Deb Smith Product Manager


Open Product/Process CR PC082703-1 Detail

 
Title: Qwest to form CEMR User group
CR Number Current Status
Date
Area Impacted Products Impacted

PC082703-1 Completed
1/21/2004
Maintenance / Repair
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Foster, Beth
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Eschelon requests that Qwest form a CEMR Users group. The group would meet every two weeks (or with some designated frequency) and discuss CEMR challenges. The group would also recommend modifications and improvements to increase CEMR usage. Qwest communicates to the CLEC Community (both in CMP and through the Qwest Service Management Team) that Qwest has an interest in increasing CEMR usage. Eschelon has communicated many CEMR challenges through the Service Management Team, however, Eschelon feels that having Qwest SMEs talk directly to the CLEC CEMR users would be more effective and efficient. The group could collectively decide what system and/or process changes could be requested to increase the usage of CEMR.

Expected Deliverable:

Qwest will form a CEMR Users group, track issues to resolution and follow through with Qwest/CLEC recommended changes that result from the CEMR Users group. The group should meet on a regular basis and include CLEC CEMR Users and Qwest CEMR SMEs.


Status History

08/27/03 - CR Submitted by Eschelon

08/29/03 - CR Acknowledged

09/11/03 - Held Clarification Meeting

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/15/04 - Qwest issued CMP Implementation Notice Level 1 PROS.01.15.04.F.01249.CEMR_UserGroup effective 1/16/04

01/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

1/21/04 January CMP Meeting Linda Sanchez-Steinke with Qwest gave an update that Qwest issued CMP Implementation Notice Level 1 effective 1/16/04 that stated the CEMR user group would hold meetings, and the next meeting will be held on 1/28/04 from 9:30 AM -10:30 AM. Linda asked if this CR could be moved to Completed status. Bonnie Johnson agreed that the CR could be closed and said that in reading the notes from the last CEMR Users Group meeting she wanted to make clear that the intent of the meetings is to bring CEMR issues and challenges forward. Bonnie said she sensed that the Qwest employees are not accepting of changes to CEMR that are suggested by the CLECs. Connie Winston said that she would bring the issues up and discuss with the employees. Liz Balvin asked if the intent of the User Group is to bring forward issues and identify changes that could take place in CEMR. Bonnie said yes and the meetings are much like the DSL Loop Qual users group. The first meeting was a kick off and the users guide was reviewed. Then the CLECs presented a wish list and explained issues, and challenges which opened up discussion on how to do things in the system. Bonnie said this has been helpful because of all the work involved when submitting a CR. Bonnie has submitted one CR and will submit additional CRs. (Begin comment from Bonnie Johnson – Eschelon) Bonnie said that the decision to open CRs would not be made on the calls and only wants Qwest tell Eschelon if the functionality already exists or if a CR is required. (end comment). Liz brought up that it would be helpful to have a systems architecture overview at the next CLEC Forum. Qwest will open an Action Item. This CR will move to Completed status.

12/17/03 December CMP Meeting Linda Sanchez-Steinke with Qwest gave an update that the CEMR group had met on 11/21 and will meet on 12/18. Bonnie Johnson with Eschelon said that this group is beneficial with the CEMR upgrade. Bonnie encouraged other CLECs to send in their “wish list” because it helps determine if changes are feasible, provide a better way to get information or if functionality is there already. Beth Foster with Qwest said that the 12/18 meeting will be held at 9:00 Mountain time. This CR will move to CLEC Test status.

11/19/03 November CMP Meeting Linda Sanchez-Steinke with Qwest said that Beth Foster has scheduled the first CEMR CLEC Technical Forum on 11/21/03. This CR will remain in Development Status.

10/15/03 October CMP Meeting Bonnie Johnson with Eschelon said that she had received the draft response from Qwest and that the user’s group would meet monthly. Beth Foster with Qwest talked with Bonnie after the CR was discussed and said that the user’s group would start after the next CEMR release. This CR will be moved to Development Status.

09/17/03 September CMP Meeting Bonnie Johnson with Eschelon presented this CR. Bonnie said we held the Clarification Meeting and she submitted the CR because Eschelon wants to increase CEMR usage and recently filled out a survey about CEMR. By Qwest forming a CEMR users group, there would be an opportunity to discuss roadblocks, challenges and discuss high level feasibility for changes. CRs would be issued through the CMP process and the user group would not bypass CMP. MEDIACC is different enough from CEMR that it would not be included in this user group. This CR will be moved to Presented Status.

CLEC Change Request Clarification Meeting

2:00 p.m. (MDT) / Thursday September 11, 2003

1-877-572-8687 3393947# PC082703-1 Qwest to form CEMR User group

Name/Company: Bonnie Johnson, Eschelon Jeanne Whisenant, Qwest Dan Busetti, Qwest Elle Dornan, Qwest Beth Foster, Qwest Cathy Garcia, Qwest Craig Suellentrop Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change Eschelon requests that Qwest form a CEMR Users group. The group would meet every two weeks (or with some designated frequency) and discuss CEMR challenges. The group would also recommend modifications and improvements to increase CEMR usage. Qwest communicates to the CLEC Community (both in CMP and through the Qwest Service Management Team) that Qwest has an interest in increasing CEMR usage. Eschelon has communicated many CEMR challenges through the Service Management Team, however, Eschelon feels that having Qwest SMEs talk directly to the CLEC CEMR users would be more effective and efficient. The group could collectively decide what system and/or process changes could be requested to increase the usage of CEMR. Bonnie said the CR was issued because increasing electronic usage and repair is one of Qwest’s desires. Eschelon is one of the top users of CEMR. When Bonnie met with the Repair Manager and one of the users of CEMR at Eschelon and filled out the recent survey and they had good ideas. Recently Covad submitted a CR for a User’s Group for Loop Qual.

Bonnie said that forming a CEMR users group and having users talk directly to Dan would be beneficial for everybody and would increase usage. Frequency probably every month. Beth said this is a good idea and asked if this group is similar to the SATE process. Bonnie said her preference is that the CEMR Users Group meeting be held at a designated time different from CMP, because the subset of people at Eschelon that would be attending are not part of the CMP meetings. The CEMR Users Group meeting could be helpful for 6 months, until they have worked through all issues. Beth mentioned that SATE was a separate meeting and then participation dropped off and asked if we could add to the CR that the frequency of the meeting be revisited in six months. Bonnie said that the CEMR users Group, when participants are identified the group could determine the frequency of their meetings.

Bonnie provided an agenda item example sent to her Service Manager; what are the short/long term plans for CEMR. Additional topics would include the physical system, what changes make sense and are feasible to submit for CRs. Bonnie said that CEMR and MEDIACC are just different enough that they should be kept separate. Dan and Cathy agreed.

Dan asked if the Users Group would focus on technical issues. Bonnie said that we would specifically talk about the system itself. When she filled out the survey, the repair person had a lot of ideas for improvement and making the system more user friendly. Other CLECs would provide their input also and the group could discuss logical changes that could be submitted. Bonnie said that she realizes she would have to submit CRS for changes. It may be helpful for Qwest to understand possible changes to make to CEMR by having the CLECs list reasons they call in a trouble ticket rather than use CEMR. Eschelon calls in tickets when it is close to conversion time and they don’t own the account.

Cathy Garcia asked if something is identified as a possible change how quickly they would expect to get the change completed. Bonnie said that there are several CEMR releases throughout the year and usually if a CR is submitted they can get it into the next release.

Confirm Areas & Products Impacted Maintenance / Repair

Confirm Right Personnel Involved Correct personnel were involved in the meeting.

Identify/Confirm CLEC’s Expectation Qwest will form a CEMR Users group, track issues to resolution and follow through with Qwest/CLEC recommended changes that result from the CEMR Users group. The group should meet on a regular basis and include CLEC CEMR Users and Qwest CEMR SMEs.

Identify any Dependent Systems Change Requests No systems change requests.

Establish Action Plan (Resolution Time Frame) Bonnie will present this CR at the September CMP Meeting. Qwest will provide a response at the October CMP meeting.


CenturyLink Response

October 1, 2003

DRAFT RESPONSE For Review by the CLEC Community and Discussion at the October 15, 2003 CMP Meeting

Bonnie Johnson Eschelon

SUBJECT: Qwest’s Change Request Response – PC082703-1 “Qwest to form CEMR User group”

This letter is in response to Eschelon's Change Request (CR) PC082703-1. This CR requests that Qwest form a CEMR Users group.

Qwest accepts this CR and will move forward with the following:

- A process and the structure of a Monthly Technical Forum focused on use of the CEMR application.

- Qwest will chair the calls and will have resources available to answer questions asked during the forum.

- Qwest proposes that the first few meetings will be dedicated to bringing the CLECs up to date with CEMR functionality. Subsequent meetings will be structured to fit the CLECs needs for understanding and using the CEMR interface.

- The forum effectiveness will be monitored to determine future meeting need and frequency.

Qwest requests this CR be placed in Development Status and will provide an update at the November CMP Meeting.

Sincerely,

Beth Foster Qwest


Open Product/Process CR PC063003-1X Detail

 
Title: Flow through report made available to each CLEC in a timely manner. This long term request is for the information in IMA on a real time basis.
CR Number Current Status
Date
Area Impacted Products Impacted

PC063003-1X Denied
1/21/2004
All
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: McArthur, Ellen
Director:
CR PM: Harlan, Cindy

Description Of Change

Qwest should make available a report for each CLEC that reports errors causing a flow through eligible order to drop from the flow through process. Qwest currently does not provide this data though it does have the data internally at Qwest. Qwest did provide the data at one time; however, in the report Qwest provided included those errors caused by Qwest’s required manual processes. Therefore, the report was of no benefit. Qwest should develop a report that will provide each CLEC information needed to prevent flow through eligible orders from dropping out of the flow through process. The report should contain only valid information. The report should not include that information that is a result of Qwest’s required manual and workaround processes.

Expected Deliverable:

Qwest will make available a flow through error report for each CLEC. Qwest will ensure the data is valid and does not include those flow through eligible errors that are a result of Qwest’s required manual processes. Long term - the data would be available in IMA on a real time basis.

(Manual Solution CR created for short-term solution: PC063003-1MNX)


Status History

06/30/03 CR Submitted

07/01/03 CR Acknowledged

07/01/03 Related Change Request: CR Created for long-term request: PC063003-1X

07/01/03 Info Requested From CLEC: Sent email to Bonnie Johnson/Eschelon asking for Clarification Meeting Availability.

07/09/03 Clarification Meeting Held: See Project Meetings Section for Meeting Minutes

07/29/03 Status Changed: CR Placed in Evaluation and Impacted Interface Changed to 'Other'

8/20/03 CR crossed over to Product Process

9/17/03 - Sep CMP meeting notes will be posted to the database

10/15/03 - Oct CMP meeting minutes will be posted to the database

11/19/03 - Nov CMP meeting minutes will be posted to the database

12/17/03 - Dec CMP Meeting minutes will be posted to the database

1/21/03 - Jan CMP meeting minutes will be posted to the database


Project Meetings

January 21, 2004 CMP Meeting Ellen MacArthur – Qwest reviewed the denial. Ellen said that Qwest has denied this request for economically not feasible reasons due to the additional resources that would be needed to manually produce the report. Bonnie Johnson – Eschelon advised she is surprised that this has taken so long to deny. Bonnie asked per this denial, is Qwest stating that everything that goes through IMA and that drops out has a reject or error. We are talking about orders that drop from flow through and that we have to manually type. Do all orders always get an up front edit or reject or non-fatal error? Ellen advised orders that are marked manual handling will drop. Bonnie advised she is not talking about those. Bonnie asked can’t Qwest separate the CLECs from the larger report? Ellen advised that is the difficult process. The report is large and requires a lot of manual investigation, and we have found that a majority of the errors are Qwest errors. The errors that are the responsibility of the CLECs are a small percentage, and those are provided to the CLECs via other means (rejects, errors, etc). Connie Winston agreed that Qwest rejects the majority of errors. We do drop some for pending order issues. Bonnie advised based on the denial letter, if something falls out of flow through it is not CLEC caused. Ellen advised the majority of the CLEC errors are identified via rejects and edits. If it is not caught by the center, it could be an error. This CR will move to Denied Status.

December 17, 2003 CMP Meeting Ellen McArthur – Qwest advised she is still working on the error analysis. This is a larger effort than originally expected. IT is still working on the LOE also. Bonnie Johnson – Eschelon asked about the short term and long term request. Bonnie advised the notes imply Qwest is working on the short term request but not the long term request. Bonnie would like to get the long term request in front of IT / IMA to determine impacts. She would like to have this worked on simultaneously. Kit advised we can talk to IT and talk about this at the systems meeting this afternoon. This CR will remain in Development Status.

November 19, 2003 CMP Meeting Ellen McArthur – Qwest advised that during this month Qwest has identified a tagging process for the 1000+ errors that can occur. Error validation, data loading, data testing and changes to screens are all underway and progress is being made. The CLECs asked how will they get access to the report? Ellen advised that is under development but it is anticipated to be sent via email. If you are interested in receiving the report you would sign up with your Service Manager and the report would come via email. Bonnie Johnson- Eschelon asked if we have a timeline for this effort yet. Ellen advised IT is developing the Level of Effort at this time. The question was asked regarding the long-term request to provide these results via IMA and how that would be handled. It was agreed the CR would probably be crossed over to systems at that time.

October 15, 2003 CMP Meeting Ellen MacArthur – Qwest advised she has taken over this project from Shon Higer. Current activities include loading, validating and testing the data. This is a very large effort but progress is being made. Bonnie Johnson – Eschelon asked when the validation of data will be completed. Ellen advised she does not have a timeline as of yet. Judy Schultz-Qwest asked for Ellen to determine a timeline and let us know next month. This CR will remain in Development Status.

September 17, 2003 CMP Meeting Shon Higer advised he is currently validating data, getting ready for an initial data load, identifying delivery method, fields to include, security and CPNI requirements. Bonnie asked will this report be delivered on a real time basis. The most critical is getting accurate and timely data and delivery. Bonnie advised she is looking for a report that tells the CLECs what they can fix. Shon advised this is a manual report, it is not directly from IMA. Connie advised IMAs understanding of manual processes is not as clear as Shon’s understanding. Shon is working on filtering the data. Bonnie asked if we discussed the frequency of the report. Shon asked Bonnie for her preference? Bonnie advised weekly or biweekly. Shon explained it takes several days for all the data to come together. Bonnie agreed biweekly is okay. Shon advised the plan is to have one report for EDI and one report for GUI. This report will be a good training tool. Discussion took place regarding analyzing the ‘error data’ to drive system changes and improvements. Jill Martain advised Qwest does open CRs as a result of data analysis. If Qwest opens CRs as a result of analysis we can reference that in the CR. Qwest advised we opened two CRs originally but due to the solution we will close PC063003-1XMN and retain PC063003-1X.

August 21, 2003 Systems CMP Meeting Discussion: Kit Thomte/Qwest stated that this CR would be crossed-over to Product/Process. There were no questions or comments.

- August 13, 2003 Email Sent to Bonnie Johnson/Eschelon: Hi Bonnie, This email is in regard to your submitted CMP CR’s SCR063003-01 Flow through report made available to each CLEC in a timely manner. This long-term request is for the information in IMA on a real time basis, and SCR063003-01MN Flow through report made available to each CLEC in a timely manner with regular frequency (short term). In reviewing these requests and based on the discussion that took place on July 9th conference call, it has been determined that there really is no coding to be done for these, they look to be generation of reports. This results in these CR’s being crossed over to Product/Process during the August Systems CMP Meeting and the Impacted Release being revised from IMA to ‘Other’ for both of these CR’s. They will be included in the August Product/Process CMP Meeting distribution package, as well as the Systems distribution package. Shon Higer will attend the Product/Process Meeting to answer any questions in regard to this. If you do have questions prior to the CMP Meeting, please send them to me and I will assist in getting the answers for you. Thank you, Peggy Esquibel-Reed Qwest CRPM -- Systems

- CLARIFICATION MEETING - July 9, 2003 ATTENDEES: Bonnie Johnson (Eschelon), Stephanie Prull (McLeod), Julie Pickar (USLink), Jackie Diebold (USLink), Peggy Esquibel Reed (Qwest, Shon Higer (Qwest), Nicole James (Qwest), Berkley Loggie (Qwest), Kimberly Powers (Qwest), Deb Roth (Qwest) REVIEW CR DESCRIPTION: Peggy Esquibel-Reed (Qwest) reviewed the CR description: Qwest should make available a report for each CLEC that reports errors causing a flow through eligible order to drop from the flow through process. Qwest currently does not provide this data though it does have the data internally at Qwest. Qwest did provide the data at one time; however, in the report Qwest provided included those errors caused by Qwest’s required manual processes. Therefore, the report was of no benefit. Qwest should develop a report that will provide each CLEC information needed to prevent flow through eligible orders from dropping out of the flow through process. The report should contain only valid information. The report should not include that information that is a result of Qwest’s required manual and workaround processes. Expected Deliverable: Qwest will make available a flow through error report for each CLEC. Qwest will ensure the data is valid and does not include those flow through eligible errors that are a result of Qwest’s required manual processes. Long term - the data would be available in IMA on a real time basis. (Manual Solution CR created for short-term solution: SCR063003-01MN) CONFIRMED IMPACTED INTERFACE: IMA Common CONFIRMED IMPACTED PRODUCT’S: All DISCUSSION: Bonnie Johnson (Eschelon) stated that she would like the report to look like the jeopardy report and stated that it goes directly to the person who made the request, via a notification. Bonnie stated that she would leave it up to Qwest how to do the report. Shon Higer (Qwest) asked if the request is for a separate notification for the flowthrough errors. Bonnie Johnson (Eschelon) stated yes and that it would contain why order did not flow through. Shon Higer (Qwest) asked if the report is to be downloadable. Bonnie Johnson (Eschelon) responded yes. Bonnie Johnson (Eschelon) asked Stephanie Prull (McLeod) if the EDI report should be a report or real-time? Bonnie stated that would need something such as the PON. Stephanie Prull (McLeod) stated that for EDI, she would like a report. Bonnie Johnson (Eschelon) stated that the report should have a contact name. Bonnie Johnson (Eschelon) stated that the report would help in identifying how to send orders. Bonnie stated that if Qwest cannot prevent something from appearing on the report would like an indicator to flag that. Deb Roth (Qwest) asked that if the report is downloadable, is it to be daily and how long should the report be available? Bonnie Johnson (Eschelon) stated that she would like the report to be available for 2-weeks if it is a daily report or if the report is a weekly report, needs available for a month. Stephanie Prull (McLeod) agreed with Bonnie. Deb Roth (Qwest) stated that there could be more than one reason for the fallout and asked if the CLECs want to see all the incorrect fields? Bonnie Johnson (Eschelon) stated yes, if three fields are wrong, report the three fields. Bonnie Johnson (Eschelon) stated that the report is more critical for the GUI. There were no additional questions or comments. ACTION PLAN: This CR to be presented at the August Systems CMP Meeting. The call was ended.


CenturyLink Response

January 2, 2004

DRAFT RESPONSE For Review by CLEC Community and Discussion at the January 21,2004 CMP Product/Process Meeting

Bonnie Johnson Eschelon

SUBJECT: Flow through report made available to each CLEC in a timely manner. The long-term request is for the information in IMA on a real time basis. CR # PC063003-1X

This CR is asking Qwest to make available a CLEC-specific report of CLEC errors which cause a flow through eligible order to drop from the flow through process.

Qwest attempted to develop a mechanized solution to deliver an individual CLEC report as requested. Due to the complexity of the error messages that are received, and the variance in failure reasons that can occur within a single error message, Qwest has been unable to define a mechanized means in which to correctly tag specific error messages as CLEC caused. Furthermore, the requested Report would include fewer than 1% of flow-through eligible LSRs that have a CLEC-caused error.

In 2002, Qwest had provided to CLECs an ad-hoc manual report. The Report was manually created and provided during a time when the flow-through results were less robust and when system and process changes were undergoing additional improvements. Over the past year and a half, Qwest has made many improvements to its system and manual processes and more than 99% of LSRs containing CLEC created errors now receive fatal reject or error notifications. Qwest continues to enhance systems and introduce process changes to ensure LSRs are being submitted correctly in order to reduce all error conditions. Additionally, the Reject and Error Notification Process was implemented to report to the CLEC that there are one or more fatal or non-fatal errors on a LSR that is prohibiting either a LSR to be submitted into IMA, or is prohibiting orders to be created correctly. These notices currently provide an error reason and explanation.

Since Qwest already provides the information on an LSR by LSR basis and has resources available to the CLEC to help ensure that they submit LSRs correctly (i.e., the PCATs and reject and error notifications) Qwest is denying this request. Qwest sees no demonstrable business benefit in utilizing manual resources to report Qwest vs. CLEC caused errors for the small percentage of LSRs that did not have fatal reject or error notifications sent to the CLEC. Additionally, it is not economically feasible for Qwest to dedicate necessary resources to this effort when almost all CLEC caused reasons are already being provided on reject and error notifications.

Ellen McArthur Wholesale Markets Process Organization

Draft Response

August 13, 2003

SCR063003-01 Flow through report made available to each CLEC in a timely manner. This long-term request is for the information in IMA on a real time basis.

Based on information received during the Clarification Call (held July 9, 2003) and additional research, this CR will be crossed-over to Product/Process at the August CMP Meetings. There is no system coding to be performed for this effort.

Sincerely, Qwest


Open Product/Process CR PC063003-1MNX Detail

 
Title: Flow through report made available to each CLEC in a timely manner with regular frequency (short term).
CR Number Current Status
Date
Area Impacted Products Impacted

PC063003-1MNX Crossover
7/27/2009
All
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Higer, Shon
Director:
CR PM: Harlan, Cindy

Description Of Change

Qwest should make available a report for each CLEC that reports errors causing a flow through eligible order to drop from the flow through process. Qwest currently does not provide this data though it does have the data internally at Qwest. Qwest did provide the data at one time; however, in the report Qwest provided included those errors caused by Qwest’s required manual processes. Therefore, the report was of no benefit. Qwest should develop a report that will provide each CLEC information needed to prevent flow through eligible orders from dropping out of the flow through process. The report should contain only valid information. The report should not include that information that is a result of Qwest’s required manual and workaround processes.

Expected Deliverable:

Qwest will make available a flow through error report for each CLEC. Qwest will ensure the data is valid and does not include those flow through eligible errors that are a result of Qwest’s required manual processes. Short term the report should be provided on Friday for data the week before.

(Mechanized Solution CR Created for long-term request: PCR063003-1X)


Status History

06/30/03 CR Submitted

07/01/03 CR Acknowledged

07/01/03 Related Change Request: CR Created for long-term request: PC063003-1X

07/01/03 Info Requested From CLEC: Sent email to Bonnie Johnson/Eschelon asking for Clarification Meeting Availability.

07/09/03 Clarification Meeting Held: See Project Meetings Section for Meeting Minutes

07/29/03 Status Changed: CR Placed in Evaluation and Impacted Interface Changed to 'Other'

8/20/03 August CMP Meeting minutes posted to the database

9/17/03 - Sep CMP meeting notes will be posted to the database. This CR was closed and PC063003-1X will be used to track this CR


Project Meetings

September 17, 2003 Product Process CMP Meeting (see PC063003-1X) Shon Higer advised he is currently validating data, getting ready for an initial data load, identifying delivery method, fields to include, security and CPNI requirements. Bonnie asked will this report be delivered on a real time basis. The most critical is getting accurate and timely data and delivery. Bonnie advised she is looking for a report that tells the CLECs what they can fix. Shon advised this is a manual report, it is not directly from IMA. Connie advised IMAs understanding of manual processes is not as clear as Shon’s understanding. Shon is working on filtering the data. Bonnie asked if we discussed the frequency of the report. Shon asked Bonnie for her preference? Bonnie advised weekly or biweekly. Shon explained it takes several days for all the data to come together. Bonnie agreed biweekly is okay. Shon advised the plan is to have one report for EDI and one report for GUI. This report will be a good training tool. Discussion took place regarding analyzing the ‘error data’ to drive system changes and improvements. Jill Martain advised Qwest does open CRs as a result of data analysis. If Qwest opens CRs as a result of analysis we can reference that in the CR. Qwest advised we opened two CRs originally but due to the solution we will close PC063003-1XMN and retain PC063003-1X.

August 21, 2003 Systems CMP Meeting Discussion: Kit Thomte/Qwest stated that this CR would be crossed-over to Product/Process. There were no questions or comments.

- August 13, 2003 Email Sent to Bonnie Johnson/Eschelon: Hi Bonnie, This email is in regard to your submitted CMP CR’s SCR063003-01 Flow through report made available to each CLEC in a timely manner. This long-term request is for the information in IMA on a real time basis, and SCR063003-01MN Flow through report made available to each CLEC in a timely manner with regular frequency (short term). In reviewing these requests and based on the discussion that took place on July 9th conference call, it has been determined that there really is no coding to be done for these, they look to be generation of reports. This results in these CR’s being crossed over to Product/Process during the August Systems CMP Meeting and the Impacted Release being revised from IMA to ‘Other’ for both of these CR’s. They will be included in the August Product/Process CMP Meeting distribution package, as well as the Systems distribution package. Shon Higer will attend the Product/Process Meeting to answer any questions in regard to this. If you do have questions prior to the CMP Meeting, please send them to me and I will assist in getting the answers for you. Thank you, Peggy Esquibel-Reed Qwest CRPM -- Systems

- CLARIFICATION MEETING - July 9, 2003 ATTENDEES: Bonnie Johnson (Eschelon), Stephanie Prull (McLeod), Julie Pickar (USLink), Jackie Diebold (USLink), Peggy Esquibel Reed (Qwest, Shon Higer (Qwest), Nicole James (Qwest), Berkley Loggie (Qwest), Kimberly Powers (Qwest), Deb Roth (Qwest) REVIEW CR DESCRIPTION: Qwest should make available a report for each CLEC that reports errors causing a flow through eligible order to drop from the flow through process. Qwest currently does not provide this data though it does have the data internally at Qwest. Qwest did provide the data at one time; however, in the report Qwest provided included those errors caused by Qwest’s required manual processes. Therefore, the report was of no benefit. Qwest should develop a report that will provide each CLEC information needed to prevent flow through eligible orders from dropping out of the flow through process. The report should contain only valid information. The report should not include that information that is a result of Qwest’s required manual and workaround processes. Expected Deliverable: Qwest will make available a flow through error report for each CLEC. Qwest will ensure the data is valid and does not include those flow through eligible errors that are a result of Qwest’s required manual processes. Short term the report should be provided on Friday for data the week before. (Mechanized Solution CR Created for long-term request: SCR063003-01) CONFIRMED IMPACTED INTERFACE: Web Interface CONFIRMED IMPACTED PRODUCT’S: All DISCUSSION: Bonnie Johnson (Eschelon) stated that she also wants orders to flow through and would like to prevent service orders from erring out. Shon Higer (Qwest) asked what type of data is being requested. Bonnie Johnson (Eschelon) stated that she has a copy of a spreadsheet of a report, for the GUI, and stated that she had received it from Kimberly Walden at Qwest. Bonnie sent copy of the spreadsheet to pesquib@qwest.com. Stephanie Prull (McLeod) stated that she had an EDI spreadsheet and sent it to Peggy (Esquibel Reed) as well. Bonnie Johnson (Eschelon) and Stephanie Prull (McLeod) stated would like on the report: PON, Request type, Reason for fallout in English description or code number, TN, LSR ID, Error code and description, contact name, and what to look at i.e. LCC. Stephanie Prull (McLeod) stated that the GUI report did contain different data than the report for EDI. Shon Higer (Qwest) asked if the EDI report needed to be separate from the GUI report. Bonnie Johnson (Eschelon) and Stephanie Prull (McLeod) stated yes. There were no additional questions or comments. ACTION PLAN: This CR to be presented at the August Systems CMP Meeting. The call was ended.


CenturyLink Response

Draft Response

August 13, 2003

SCR063003-01MN Flow through report made available to each CLEC in a timely manner with regular frequency (short term).

Based on information received during the Clarification Call (held July 9, 2003) and additional research, this CR will be crossed-over to Product/Process at the August CMP Meetings. There is no system coding to be performed for this effort.

Sincerely, Qwest


Open Product/Process CR PC112503-2 Detail

 
Title: Adjustment Recognition
CR Number Current Status
Date
Area Impacted Products Impacted

PC112503-2 Crossover
7/27/2009
Billing
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Maynard, Elaine
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Currently Qwest adjustments appear with only the date that Qwest issued the adjustment, a description such as “credit adjustment” and the amount. When Eschelon submits a dispute, Qwest requires the bill date of the disputed amount, the USOC and/or the description of the disputed amount, the TN or CKT ID of the disputed amount and the amount in dispute. Qwest should return the same information (we supply) on its adjustments. Without the bill date, TN or CKT ID and USOC it is extremely time consuming and sometimes impossible to determine what Qwest is adjusting. Many times Eschelon has to contact Qwest for the needed information. Sometimes even Qwest can not determine what the adjustment was for. Eschelon requests that Qwest return the same information Eschelon supplies on its disputes i.e. the bill date, the USOC (or description, if a USOC is not applicable) and the TN or CKT ID on all adjusted amounts that appear on any of Qwest’s bills including the BillMate Adjustment file.

Expected Deliverables - Qwest will include all the information Eschelon supplies on a dispute i.e. the bill date, TN or CKT ID and USOC (or description) on all adjusted amounts that appear on any of Qwest’s bills including the BillMate Adjustment file.


Status History

11/25/03 - CR Submitted

11/26/03 - CR Acknowledged

12/09/03 - Held Clarification Meeting

12/17/03 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

12/17/03 December CMP Meeting Kathy Stichter with Eschelon presented this CR. Kathy said that she submitted the CR because of problems figuring out adjustments on bills. Liz Balvin with MCI said MCI supports this CR and that they are unable to determine if adjustments are PAP payments or the result of a dispute. Kit Thomte with Qwest said we would like to cross over this CR to Systems because of billing system implications. Kathy Stichter agreed and this CR will be moved to Presented status and crossed over to Systems.

CLEC Change Request Clarification Meeting

2:00 p.m. (MDT) / Tuesday December 9, 2003

1-877-572-8687 3393947# PC112503-2 Adjustment Recognition

Name/Company:

Kathy Stitcher, Eschelon John Gallegos, Qwest Brenda Kerr, Qwest Elaine Maynard, Qwest Peggy Esquibel-Reed, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Qwest welcomed all attendees to the meeting.

Review Requested (Description of) Change Linda Sanchez-Steinke with Qwest read the description of change from the submitted change request; Currently Qwest adjustments appear with only the date that Qwest issued the adjustment, a description such as “credit adjustment” and the amount. When Eschelon submits a dispute, Qwest requires the bill date of the disputed amount, the USOC and/or the description of the disputed amount, the TN or CKT ID of the disputed amount and the amount in dispute. Qwest should return the same information (we supply) on its adjustments. Without the bill date, TN or CKT ID and USOC it is extremely time consuming and sometimes impossible to determine what Qwest is adjusting. Many times Eschelon has to contact Qwest for the needed information. Sometimes even Qwest can not determine what the adjustment was for. Eschelon requests that Qwest return the same information Eschelon supplies on its disputes i.e. the bill date, the USOC (or description, if a USOC is not applicable) and the TN or CKT ID on all adjusted amounts that appear on any of Qwest’s bills including the BillMate Adjustment file

Kathy Stitcher said that the reason the description of the disputed amount should be included is because toll usage types charges have no USOC associated with them. ; for instance toll usage type charges have no USOC associated with them. The last statement in the CR is mainly in connection with BillMate. The adjustment file should appear on all adjustments for bills. With maintenance and repair, TIC is a big problem and the billing reps lump a bunch of adjustments together rather than give the information item by item.

Elaine Maynard clarified that Eschelon is looking for the bill adjustments item by item rather than in a lump adjustment. Kathy Stitcher said that she usually knows what the adjustment will be ahead of time, however, when she looks at the bill it doesn’t match up. Kathy also said that she wasn’t sure if the CR should be Product & Process or Systems.

Brenda Kerr asked if the request is for all regions and states. Kathy responded yes.

Confirm Areas & Products Impacted Billing

Confirm Right Personnel Involved Correct Qwest personnel were involved in the clarification meeting

Identify/Confirm CLEC’s Expectation Qwest will include all the information Eschelon supplies on a dispute i.e. the bill date, TN or CKT ID and USOC (or description) on all adjusted amounts that appear on any of Qwest’s bills including the BillMate Adjustment file.

Identify any Dependent Systems Change Requests No dependent Systems Change Requests

Establish Action Plan (Resolution Time Frame) Eschelon will present this CR at the December meeting. Qwest will provide a response in January.


Open Product/Process CR PC102303-1 Detail

 
Title: 10,000 lines billed on Summary BANs before opening a new Summary BAN.
CR Number Current Status
Date
Area Impacted Products Impacted

PC102303-1 Completed
5/19/2004
Resale, Unbundled Loop, UNE Loop, UNE-p, EEL (UNE-C)
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Kriebel, Sue
Director:
CR PM: Andreen, Doug

Description Of Change

Currently, Qwest caps the number of lines billed on a Summary BAN at 2,500. Then it will close the existing BAN and open a new BAN. Eschelon processes each BAN separately for reconciliation, dispute and payment. For each Summary BAN Eschelon completes several tasks. Each new Summary BAN means we must duplicate these tasks, which is extremely time consuming. Eschelon asks Qwest to allow 10,000 lines per Summary BAN. Also Qwest needs to provide more than 30 days notice before opening a new Summary BAN.

Expected deliverables. Qwest will add the maximum of 10,000 lines to each of our summary BANs before opening new ones.


Status History

10/23/03 CR Recieved

10/24/03 CR Acknowledge

11/03/03 Held Clarification Call

11/10/03 Minutes sent

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - Status changed to presented

12/10/03 - Draft response issued

12/17/03 -December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - Status changed to Evaluation

1/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

1/21/04 - Status changed to Development

2/2/04 - Qwest initiated notice PROS.02.02.04.F.01294.CRIS_V24

2/18/04 -February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

3/3/03 - Qwest initiated notice PROS.03.03.04.F.01425.FNL_CRIS_V24

3/17/04 -March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

3/17/04 - Status changed to Test

4/21/04 -April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

5/19/04 -May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

5/19/04 CMP Meeting May Meeting Doug Andreen, Qwest provided status for Sue Kriebel. Doug reported that Sue had checked with both IT and the Service Delivery Centers to see if there was a way the centers could manually monitor the number of sub-accounts by CLEC and the volume of order activity for a given CLEC. Sue’s findings are if the Centers change their process to monitor by CLEC based on level of order activity it would increase the time spent monitoring this process. Qwest does not have the additional resources needed to monitor this on a CLEC by CLEC basis vs. the current 6,000 sub-account limit used for reporting/monitoring. Also, when looking at future mechanized solutions, in order to incorporate a CLEC specific threshold would require a database that would house each CLEC’s limit. This would increase the Level of Effort for mechanization if and when this work was to proceed. Therefore, at this time we cannot commit to raising the limit from 6,000 on an individual CLEC basis. Liz Balvin, MCI clarified that the 6,000 limit was 6,000 plus in flight orders. Bonnie Johnson, Eschelon said the reality is that higher volume CLECs will exhaust at around 10,000 where lower volume CLECs will exhaust at a lower number. Doug said yes. Liz asked to clarify the mechanization of this effort. Doug said that it was only meant to point out that if and when there was mechanization of this effort that tracking by individual CLEC would necessitate a higher level of effort to implement. Doug asked if the CR could be closed. Bonnie pointed out that the original CR asked for a 10,000 limit and that isn’t where Eschelon will end up. The CR will be moved to Completed status.

4/21/04 April CMP Meeting Sue Kriebel, Qwest stated all the work is complete on this CR and asked if it could be closed. Liz Blavin, MCI pointed out that the limit is actually 6,000 instead of 10,000 as stated in the title. Bonnie Johnson, Eschelon asked if there was a way to determine each CLEC volume separately and set different limits for each. She stated the object would be to set the volume based on the average number of orders a CLEC has in process (or in flight) at any one time. For instance some CLECs would never have 4,000 orders in flight and therefore could be given a higher limit than 6,000. Sue said it is now a manual monitoring process which she hopes at some point to mechanize. Bonnie asked if mechanization would be to count the order when it comes in. Sue said yes. Liz verified that the concept was to have the in flight orders counted in determining the ceiling and still not exceed 10,000. Sue said she would look into this. This CR will stay in CLEC Test.

-- 03/17/04 March CMP Meeting Doug Andreen, Qwest reported that the PCAT moving the limit from 2,000 to 6,000 lines will be effective tomorrow 3/18. This CR will be moved to CLEC Test status.

-- 2/18/04 CMP Meeting Sue Kriebel, Qwest said that an MCC notice has been issued to the centers reinforcing the minimum three day notice that Qwest must give the CLECs before opening a new BAN. Further, the PCAT covering the 6,000 limit per BAN will be published 3/18. This CR will stay in Development.

1/21/04 January CMP Meeting Sue Kriebel, Qwest answered three action items from the last meeting. First she explained that the 6,000 cap on BANs refers to sub-accounts and that there can be many lines under a sub-account. Second, there is only one active BAN at a time and that re-activating an account is a manual process. If a BAN is re-activated there will still be only one active BAN. Lastly, regarding the minimal time to notify a CLEC of a new BAN, she will send out notification to reinforce this standard. Sue also said PCAT changes would be forthcoming on the new 6,000 limit. Carla Pardee, AT&T said that she thought CLECs would be notified when they are getting close to exhausting a BAN. Sue agreed but said this is the notification of a new BAN being activated. Connie Winston, Qwest added that the BAN takes into account the RSID, product and state. The CR will move to Development status.

- 12/17/03 December CMP Meeting Sue Kriebel, Qwest reviewed the draft response increasing the lines per BAN to 6,000 from 2,000 without an increase to the current notification interval to open a new BAN. Liz Balvin, MCI clarified the existing process of when a BAN is close to the maximum that Qwest send a email to the CLEC with three days notice to open a new BAN. Carla Pardee, AT&T stated they have been getting one day notice. She further stated that 6,000 is better than 2,000 and she would accept the response but that it is really not acceptable when dealing with large volumes. Sue said she would clarify the process to ensure three day notice. Sue explained that if we use the 6,000 limit by the time the BAN is closed we could have and have had 2,000 to 3,000 additions processed. Carla noted that AT&T has accounts that have exceeded the limit but have not been noticed. Sue explained that it depends on the type of product for instance UNE-L carries less processing risk than UNE-P because usage is on the UNE-P which makes it more complex. Kathy Stichter of Eschelon said she was ok with the 6,000 limit and that the time span was not an issue at Eschelon. Kathy asked what the difference was between a line and a sub-account? Sue took this as an action item. Later in the meeting Kathy asked if BANs previously closed that had less than 6000 lines could be re-opened. Sue Kriebel said she would investigate. The CR status was moved to Evaluation.

- 11/19/03 Nov. CMP Meeting Kathy Stichter - Eschelon presented this CR to increase the lines billed on Summary BANs from 2,000 to 10,000. She stated that each time a new BAN is opened Eschelon reviews, reconciles and handles dispute resolutions separately. Carla Pardee AT&T added that AT&T supports this CR. Liz Balvin - MCI said that MCI had submitted a CR sometime ago for this and it was denied. Liz stated she would like to see no limit on BANs, but that 10,000 is better than 2,000. Also, she has just submitted a similar CR requesting multiple BANs per product per state. Doug said the same SMEs will be looking at both CRs. Kathy stated she has 20 BANs in Minnesota for Resale alone and is trying to consolidate these. Carla added that the 2,000 restriction on BANs seems to be just recently enforced by Qwest. She has several that are over 2,000 lines and it never seemed to be a problem. Kathy agreed that it was not being enforced before. This CR will move to Presented status.

--

Clarification Meeting: 3:00 p.m. (MDT) / Monday November 3, 2003

1-877-521-8688 1456160# PC102303-1 10,000 lines billed on Summary BANs before opening a new Summary BAN.

Attendees: Name/Company: Carla Pardee, AT&T Kathy Stichter, Eschelon Doug Andreen, Qwest Kerri Waldner, Qwest Brenda Kerr, Qwest Cindy Macy, Qwest Wendy Thurnau, Qwest Paul Johnson, Qwest Anne Robberson, Qwest Lynn Loftus, Qwest

Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested Description of Change: Doug read the CR description: Currently, Qwest caps the number of lines billed on a Summary BAN at 2,500. Then it will close the existing BAN and open a new BAN. Eschelon processes each BAN separately for reconciliation, dispute and payment. For each Summary BAN Eschelon completes several tasks. Each new Summary BAN means we must duplicate these tasks, which is extremely time consuming. Eschelon asks Qwest to allow 10,000 lines per Summary BAN. Also Qwest needs to provide more than 30 days notice before opening a new Summary BAN.

Kathy Stichter - Eschelon said that entire process is extremely time consuming on the Eschelon side each time a new BAN is utilized.

Carla Pardee – AT&T added that AT&T had been informed on short notice that they would have to close the existing BAN and begin using a new BAN.

Anne Robberson - Qwest said she believed that the limit on BANs was a system restriction. She also stated that the limit is 2000 lines per BAN.

Kathy and Carla both stated that they did not believe this to be true since they both have existing BANs with many more lines than 2,500.

Kathy said that the number of BANs that are opened directly multiplies the process.

Carla stated she was notified a week ago by Qwest’s billing department that they were exhausting BAN numbers.

Kathy said she has 69 BANs for CRIS alone. She said ideally she would like to see one BAN per state and that she would like to see 45 if not 60 days notice given before opening new BANs.

Kerri Waldner - Qwest asked Kathy if she had any trends on how fast BANs were being exhausted. Kathy responded that she did not.

Kathy added that a third issue (along with 1. The 2000 limit and 2. Insufficient advanced notification) is that it seems Qwest is just starting to enforce the line limit on BANs

Confirm Areas & Products Impacted Resale, Unbundled Loop, UNE Loop, UNE-P, EEL (UNE-C)

Confirm Right Personnel Involved Correct personnel were involved in the meeting.

Identify/Confirm CLEC’s Expectation Identified on initial CR: Allow 10,000 lines billed on Summary BANs before opening a new Summary BAN. Identified during call: Eschelon needs 45 to 60 days’ notice before opening a new summary BAN.

Identify any Dependent Systems Change Requests Eschelon would like the change applied to both CRIS and IABS.

Establish Action Plan (Resolution Time Frame) Kathy will present for Eschelon at the November CMP meeting.


CenturyLink Response

December 02, 2003

For Review by the CLEC Community and Discussion at the December 17, 2003 CMP Meeting

Kathy Stichter Senior Invoice Validation Analyst Eschelon Telecom

SUBJECT: Qwest Change Request Response - CR # PC102303-1 10,000 Lines billed on Summary BANs before opening a new Summary BAN

After reviewing CR # PC102303-1, Qwest has determined that it will raise the current standard of 2,000 Sub Accounts per Summary BAN to 6,000 Sub Accounts per Summary BAN. This is a business decision that was made that is sensitive to the request from the CLEC community to increase the size of the Sub Accounts per Summary BAN, but is also sensitive to the Qwest Billing SDC’s who have to manage the Summary Accounts.

As to the second issue of requesting a 30 day notification prior to closing a Summary BAN cannot be accommodated. Once the Summary BAN has reached the 6,000 Sub Account limit, it will be closed and a new Summary BAN issued as is currently done. To continue to leave the Summary Account open for an additional 30 days to notify the CLEC after it has reached the Sub Account limit would continue to increase the number of Sub Accounts posting to the Summary BAN to an unacceptable level before it could be closed. Sincerely, Carl Sear Sr. Process Analyst Qwest Communications


Open Product/Process CR PC102803-1 Detail

 
Title: Improve Search Functionality of the Qwest Wholesale Website to minimize selections
CR Number Current Status
Date
Area Impacted Products Impacted

PC102803-1 Completed
8/3/2012
Qwest Wholesale Website
Originator: Isaacs, Kim
Originator Company Name: Eschelon
Owner: Blackmun, Jarby
Director:
CR PM: Andreen, Doug

Description Of Change

Eschelon asks Qwest to improve the efficiency of the Qwest Wholesale Website search function. The CLEC community depends on the information Qwest provides on the Qwest Wholesale Website to obtain information on Qwest’s process, products, SGATs and OSS. The current search functionality of the Qwest Wholesale Website provides too many results and impedes a CLEC’s ability to quickly obtain important information. For example, on 10-14-03 Qwest sent a CMP notice regarding the grandparenting of Single Service in AZ. To fully understand the impact of this product retirement, Eschelon wanted to review the product information for Single Service on the Qwest Wholesale Website. Using the search function on the Qwest Wholesale Website, we received 12,300 results. A handful of these results did not pertain to wholesale but were Qwest retail information and Qwest corporate information. It is a burden to expect the CLECs to search through 12,300 results to find the information pertinent to a product. The above is one example of the struggles a CLEC faces when attempting to find specific information on the Qwest Wholesale Website. Improving the search functionality and CMP notice process is critical to a CLECs ability to find the information necessary for a CLEC to do business with Qwest. Qwest will also benefit if CLECs have better access to information on the Qwest Wholesale Website. Easy access to information may decrease the number of calls to the ISC, Qwest Service managers, WSHD and the Qwest CMP team.

Expected Deliverable:

1. Allow a CLEC an option to search the Qwest Wholesale Website only.

2. Allow a CLEC the option to search each subsection (Product & Process, Resources, OSS, Network, Training, Notices and Forums, Customer Service) on the Qwest Wholesale Website.

3. Qwest will start including a link to the Product on the Qwest Website on all CMP notifications that are grandparenting products.


Status History

10/28/03 - CR Submitted

10/29/03 - CR Acknowledged

11/05/03 Held Clarification Call

11/11/03 Meeting minutes sent

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - Status changed to presented

12/10/03 - Draft response issued

12/17/03 -December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - Status changed to Evaluation

1/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

1/21/04 - Status will remain in Evaluation

2/18/04 -February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

3/17/04 -March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

4/21/04 -April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

5/19/04 -May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

6/16/04 -June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

7/21/04 -July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

8/18/04 -August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

08/15/12 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed that in the July meeting, CenturyLink had asked the owner of each Deferred CR to determine if it should remain in Deferred status, is it should be Withdrawn, or whether it should be re- evaluated. Mark then reviewed the status of each CR as listed on the Attachment:

PC102803-1 Improve Search Functionality of the Qwest Wholesale Website to minimize selections - Status changed to Completed by Kim Isaacs, Integra: Request 1 and Request 3 have been completed. I continue to believe that search functionality of the website can be improved. CenturyLink can close this CR and note that Request 2 was denied and was not completed.

8/18/04 CMP Meeting Jarby Blackmun said in April or May she reported about Phase 1 updates which consisted of technical changes to how the search engine functions. There has been one additional update since then involving the ability to group by location. Since that time, Phase 2 has been placed on indefinite hold. Bonnie questioned moving the CR to Deferred Status and questioned if there was a notice for the last of the Phase 1 changes. Jarby said no, that it was a non-impacting change. Bonnie asked about instructions on the web site, saying once she gets to Wholesale she wants to stay within the Wholesale parameters. Jarby said entering wholesale as the first word of any search will keep the search inside Wholesale. The CR will move to Deferred Status.

7/21/04 CMP July Meeting Doug Andreen, Qwest reported that this is still in the requirements gathering phase and there is nothing new to report. Jarby Blackmun, Qwest hopes to have an update next month. The CR will remain in Evaluation.

-- 6/16/04 June CMP meeting minutes Doug Andreen, Qwest said there is no new information this month and that IT is currently in the gathering and evaluation stage of search requirements. The CR will remain in Evaluation.

5/19/04 CMP May Meeting Doug Andreen, Qwest said that IT is currently in the gathering and evaluation stage of search requirements. There is no clear timeline available as yet. The CR will remain in Evaluation.

-- 4/21/04 April CMP Meeting Jarby Blackmun, Qwest offered some new information on this CR. The general status is that Qwest has strengthened its infrastructure using spidering, fail-over growth (similar to redundancy), spell check capabilities, and meta data improvements. Current tasks include requirements gathering and technical improvements. Jarby said she will work with project leads to evaluate technical capabilities to achieve desired search category needs addressed in the CR. There is no timetable on the effort. Bonnie Johnson, Eschelon thought that the CR was going to be deferred. Kit Thomte, Qwest said that was considered since there didn’t seem to be much movement but now that there is movement we should leave in evaluation. The CR will remain in Evaluation.

03/17/04 Kit Thomte, Qwest noted that there may not be movement on this CR for some time. She suggested that the CR be moved to deferred status or deny status. Bonnie Johnson, Eschelon said she would rather see a deny than deferred status. The CR will be denied and an action item opened to track any movement on this issue. The CR will remain in Evaluation status while the denial is being formulated.

-- 2/18/04 CMP Meeting Doug Andreen, Qwest stated there is no new information this month. The CR will remain in Evaluation status.

- 1/21/04 CMP Meeting Doug Andreen, Qwest stated there is no new information this month. The CR will remain in Evaluation status.

-- 12/17/03 December CMP Meeting Jarby Blackmun, Qwest reviewed the draft response. Kathy Stichter of Eschelon said she had looked over the response and tried the recommendations and still often was getting over 1,000 responses. Jarby agreed that if the type is Wholesale with other key words the system will look for any of the words making our best response to put more information in the notifications. Bonnie Johnson, Eschelon asked who would head up the effort to make sure the notification has current links. Jarby advised that this would be the Product Managers' and Process Managers via the documentation process. These managers have been advised. Bonnie also questioned what status this CR would be in. It was agreed to move the status to Evaluation.

11/19/03 Nov CMP Meeting Kim Isaacs - Eschelon, presented the CR to improve the search capabilities of the Wholesale web site to be able to search only Wholesale, and to be able to search each category separately. She said Eschelon is encouraging the use of the web site and that many responses to searches is discouraging use. Bonnie Johnson - Eschelon, added that on a recent search for a grandfathered product, 12,300 results were returned. She further said that on the Clarification call Jarby Blackmun - Qwest, had indicated that changes to this site was in the works on a global level and that in the interim Jarby is investigating if more information can be added to the grandfather notices. Jarby added that the Wholesale search engine is the same engine driving the entire Qwest.com website. She also added that the capabilities described in the CR would be input to the Qwest effort to revamp Qwest.com. This CR will move to Presented status. Kim Issacs/Eschelon added that Eschelon asked Qwest to add links to notices to locate information contained in either the PCATS or Retail information. Qwest said it would work with the notice group to accomplish.

- Clarification Meeting

11:30 p.m. (MDT) / Wednesday November 5, 2003

1-877-521-8688 1456160# PC102803-1 Improve Search Functionality of the Qwest Wholesale Website to minimize selections

Attendees: Name/Company: Kim Isaacs, Eschelon Bonnie Johnson, Eschelon Jarby Blackmun, Qwest Doug Andreen, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change Doug read the description of the CR as follows: Eschelon asks Qwest to improve the efficiency of the Qwest Wholesale Website search function. The CLEC community depends on the information Qwest provides on the Qwest Wholesale Website to obtain information on Qwest’s process, products, SGATs and OSS. The current search functionality of the Qwest Wholesale Website provides too many results and impedes a CLEC’s ability to quickly obtain important information. For example, on 10-14-03 Qwest sent a CMP notice regarding the grandparenting of Single Service in AZ. To fully understand the impact of this product retirement, Eschelon wanted to review the product information for Single Service on the Qwest Wholesale Website. Using the search function on the Qwest Wholesale Website, we received 12,300 results. A handful of these results did not pertain to wholesale but were Qwest retail information and Qwest corporate information. It is a burden to expect the CLECs to search through 12,300 results to find the information pertinent to a product. The above is one example of the struggles a CLEC faces when attempting to find specific information on the Qwest Wholesale Website. Improving the search functionality and CMP notice process is critical to a CLECs ability to find the information necessary for a CLEC to do business with Qwest. Qwest will also benefit if CLECs have better access to information on the Qwest Wholesale Website. Easy access to information may decrease the number of calls to the ISC, Qwest Service managers, WSHD and the Qwest CMP team.

Bonnie and Kim had nothing to add to the description or expected deliverables.

Jarby stated that the request was clear to her.

Kim mentioned that Eschelon is trying to encourage use of the website in her company and that the current search abilities are a hindrance.

Jarby said that Qwest.com has one search engine that covers the entire website and that there is recognition with Qwest as to the need to improve the search engine.

Bonnie stated that when the redesign architecture is done the needs of Wholesale and the CLECs need to be included.

Jarby said that those concerns were and will be included and that she believes this could be on the books for next year.

Doug explained the next steps including presenting the CR at the November CMP meeting and then having the response during the December cycle.

Kim thought that in the interim if there could be a link established to the grandparented USOCS or a better description given in the notifications that this would help.

Jarby said she would check with Susan Lorence and Mark Coyne on what could be done with the grandparenting issue. Jarby said she would also explore ways to do better searches on the existing engine since they are all a bit different this could make a good degree of difference.

Kim and Bonnie agreed this could help.

Confirm Areas & Products Impacted Qwest Wholesale Website

Confirm Right Personnel Involved Correct personnel were involved in the meeting.

Identify/Confirm CLEC’s Expectation These expectations were confirmed. 1. Allow a CLEC an option to search the Qwest Wholesale Website only. 2. Allow a CLEC the option to search each subsection (Product & Process, Resources, OSS, Network, Training, Notices and Forums, Customer Service) on the Qwest Wholesale Website. 3. Qwest will start including a link to the Product on the Qwest Website on all CMP notifications that are grandparenting products.

Identify any Dependent Systems Change Requests None identified.

Establish Action Plan (Resolution Time Frame) Kim will present the CR at the November 19 CMP Meeting. Response will be made during the December cycle.


CenturyLink Response

December 3, 2003

For Review by the CLEC Community and Discussion at the December 17, 2003 CMP Meeting

Kim Isaacs ILEC Relations Process Analyst Eschelon Telecom

SUBJECT: Qwest Change Request Response - CR # PC102803-1 Improve Search Functionality of the Qwest Wholesale Website to minimize selections

This letter is in response to Eschelon Communications Change Request CR # PC102803-1. This CR requests that Qwest provide improved search capabilities on the wholesale public web site and that Qwest include a link to the product on the Qwest Website on all CMP notifications regarding grandparented products. The request also include the need to refine searches to subsections within the Wholesale site, e.g. Product & Process, Resources, OSS, Network, Training, Notices and Forums, Customer Service.

The current web search engine covers all content associated with the qwest.com site architecture. This includes all html sites and associated documents found within the qwest.com/wholesale. To narrow a search to content found only within the wholesale site architecture, a user must enter the word wholesale in the search prompt box and any other specific word or phrase description. When the search returns its results, only look at results that contain the word wholesale and the other words or phrases, e.g. wholesale, poles, ducts, right of way. As an example, if a result shows the phrase poles, but does not show wholesale, the search pulled results from outside the wholesale architecture.

To further narrow a search, click on the advanced link (next to the search button), which should aid in refining a search. Choosing words or phrases that are specific to an inquiry can narrow a search. Example: searching for poles, ducts and right away will narrow the search and provide fewer responses than poles.

Browsers (Explorer, Netscape, AOL) generally contain an option to search within an HTML web page. As an example, in Explorer, look under the Edit Menu and select the Find on this Page tool. This will allow a user to search only within that page.

Qwest will include links to the appropriate product PCAT or will include the product manager contact information.

Sincerely,

Jarby Blackmun Senior Manager Wholesale Communications Initiatives


Open Product/Process CR PC101001-1 Detail

 
Title: Process for CLEC to get end user service corrected without an additional LSR when Qwest typed the original order incorrectly.
CR Number Current Status
Date
Area Impacted Products Impacted

PC101001-1 Completed
3/20/2002
Repair Centrex, Resale, Unbundled Loop, UNE-P
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: McMahon, Cheryl
Director:
CR PM:

Description Of Change

Currently when Eschelon calls Qwest repair, if the customer service record (CSR) does not match what Eschelon ordered, Qwest repair refuses to open a ticket and instead tells Eschelon to issue an order to correct the problem. Eschelon will investigate and determine that what the LSR asked for is different than what Qwest typed. If an end user customer needs to wait for Eschelon to send through a LSR and Qwest to issue an order the end user would be without the service for several days. This is a hardship for the end user customer. Eschelon asks Qwest to develop, document, distribute and train an adhered to process for Eschelon repair to call Qwest repair and have the end user customer service fixed without Eschelon issuing another LSR. Eschelon asks that the process include Qwest repair transferring Eschelon to the appropriate person within Qwest who will issue an order with the same day DD to fix the problem that was caused by Qwest typing the original order incorrectly.


Status History

10/08/01 - CR Received from Kathy Stichter or Eschelon

10/10/01 - CR logged and status changed to Submitted

10/10/01 - Updated CR sent to Kathy Stichter and Steve Sheahan

10/19/01 - Held Clarification Meeting with Eschelon

11/14/01 - CMP Meeting - CR was clarified with the CLECs. Qwest to prepare its draft response.

12/05/01 - Draft response dated 12/04/01 posted to CMP database and issued to the originating CLEC. Status changed to Presented.

12/12/01 - CMP Meeting: Qwest response presented to CLECs, agreement obtained to change status to CLEC Test

12/28/01 - Formal response dated 12/4/01 issued to CLECs

01/16/02 - January CMP meeting. Eschelon experienced pushback from a center on this process (12/19/01). CLECs also asked where this process is documented. Qwest will open an action item (Action # 1). CR to remain in CLEC Test Status.

01/24/02 - E-mail from Eschelon citing an out-of-process example - Action # 2 opened

02/08/02 - Resolution to Action # 2 posted to CMP database

02/20/02 - February CMP meeting: Action # 2 closed. Global Action Item opened to address Qwest internal communication of processes developed in CMP. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

02/27/02 - Revised response to Action # 1 posted to CMP database

03/20/02 - CMP Meeting - It was agreed that the CR could be closed, CR status changed to Completed. Action #1 closed. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

04/17/02 - CR Open/Closed status changed to closed and inactive and checked for Archive 2002


Project Meetings

01/24/02 E-mail from Eschelon citing an out-of-process example Subject: FW: PC101001-1 Draft Response Date: Thu, 24 Jan 2002 09:27:46 -0600 From: "Stichter, Kathleen L." To: tmead@qwest.com CC: "Johnson, Bonnie J." Todd, Please pass this example onto the correct people who can make sure that the tier 0 office in Sierra Vista is covered. I am currently and have been on a call for the last 20+ minutes with one of our repair coordinators and Qwest. Our customer, 602-252-4650, has a Resale MEL line which was installed on LSR 3859136. The CFN is a local number but Qwest issued the order using a 1 before the 10 digit TN. When callers dial 602-252-4650 they get intercept stating they do not have to dial a 1 before the number. They, of course, are not dialing a 1, the central office switch is. Our repair coordinator called Interconnect 888-796-9087 and reached the tier 0, William, who stated that he could not take a ticket from a repair technician. He could only take a ticket from Eschelon sales or provisioning. William got another Qwest employee on the line, Diane, who also had the same understanding. Our repair coordinator added me on and Diane agreed to take the ticket and warm transfer us to the Tier 1 in the Minneapolis Center. Julie in Minneapolis took our information and is having an order issued to correct the original incorrect order. Julie did know that our repair coordinators can call into Interconnect. Our repair coordinators do not have the time to try and convince Qwest to take our issues. I do not have the time to sit on an escalation along with another employee, when Qwest, Sierra Vista is out of process. Please let me know when and how the office in Sierra Vista is covered on this process. Thanks Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 Email klstichter@eschelon.com

Friday, 10/19/01, 10:00am MST Alignment/Clarification Meeting Conference Call 1-877-847-0338 PC7826706 # PCCR101001-1 Stichter, Kathleen, klstichter@eschelon.com, Eschelon Telecom Frederickson, Chris, N/A , Eschelon Telecom Danielsen, Ann, aldanie@qwest.com, Qwest McMahon, Cheryl, cmmcmah@qwest.com, Qwest Belt, Michael, mbelt@qwest.com, Qwest

Introduction of Attendees Kathleen, Ann, Cheryl, Chris & Michael Review Requested (Description of) Change Process for CLEC to get end user service corrected without an additional LSR when Qwest typed the original order incorrectly. Reviewed and understood Confirm Areas & Products Impacted Area: Repair and Interconnect Service Center

Confirm Right Personnel Involved Ann Danielsen indicated right people were involved might need Mark Coyne approval for the LSR portion of the CR. ((Michael, there needs to be involvement from Wholesale support of the ISC/CSIE) Identify/Confirm CLEC’s Expectation Yes we fully understand expectations of the CR. Mike Belt to Coordinate with Mark Coyne regarding LSR Issues.

Identify any Dependent Systems Change Requests N/A

Establish Action Plan (Resolution Time Frame) Process in place via web, Ann to develop draft Qwest response for the Network Repair Portion of the CR. (again, the response needs to have ownership from the ISC/CSIE Wholesale group)M. Belt to forward draft response template with sample response for processing.


CenturyLink Response

December 4, 2001

Kathleen Stichter ILEC Relations Manager Eschelon

CC: Mark Coyne Ann Danielsen

This letter is in response to your CLEC Change Request Form, number PC 101001-1 dated 10/10/01 – Process for CLEC to get end user service corrected without an additional LSR when Qwest typed the original order incorrectly.

Request: Currently when Eschelon calls Qwest repair, if the customer service record (CSR) does not match what Eschelon ordered, Qwest repair refuses to open a ticket and instead tells Eschelon to issue an order to correct the problem. Eschelon will investigate and determine that what the LSR asked for is different than what Qwest typed. If an end user customer needs to wait for Eschelon to send through a LSR and Qwest to issue an order the end user would be without the service for several days. This is a hardship for the end user customer. Eschelon asks Qwest to develop, document, distribute and train an adhered to process for Eschelon repair to call Qwest repair and have the end user customer service fixed without Eschelon issuing another LSR. Eschelon asks that the process include Qwest repair transferring Eschelon to the appropriate person within Qwest who will issue an order with the same day DD to fix the problem that was caused by Qwest typing the original order incorrectly.

Qwest Response: Qwest Repair Process When a CLEC calls the Repair Center to report trouble on their end users service, the Repair Center will issue a repair ticket and forward the ticket to the appropriate screening group. If the screening group determines the problem needs to be resolved with a service order, the screener will refer the problem to the Interconnect Service Center (ISC). The ISC will initiate the subsequent order resulting from a Qwest error on the LSR or will contact the CLEC on errors resulting from a CLEC error on the LSR.

Interconnect Service Center Process CLEC reports of service problems or outages within 72 hours of order activity should be directed to the Interconnect Service Center (ISC) at 1-888-796-9087. The ISC agent will ascertain all pertinent information, create a database trouble ticket and attempt to warm transfer the CLEC to a Customer Service Inquiry and Education Service Delivery Consultant (CSIE SDC). If a CSIE SDC cannot be reached directly, the ISC agent will refer the trouble ticket to the CSIE SDC and advise the CLEC that they will receive a call back within 2 hours. The CSIE SDC will investigate the trouble ticket by reviewing the LSR and associated service order(s).

If a discrepancy is found on a completed service order (ordered product and/or services were not delivered), the CSIE SDC will issue a new service order to correct the problem. Every effort will be made to provide a same day Due Date for the new order. If no discrepancies are found on the completed service order, the CSIE SDC will either warm transfer the CLEC (if the CLEC is on the line) or refer the problem on behalf of the CLEC to the appropriate QWEST repair center. Resale POTS or PAL service trouble reports are handled by the Repair Call Handling Center (RCHC) at 1-800-573-1311 for residential service or 1-800-954-1211 for business service. Trouble reports for all other products are handled by the Account Maintenance Support Center (AMSC) at 1-800-223-7881.

Sincerely,

Cheryl McMahon Senior Process Analyst

Monica Manning IMA Process Specialist


Open Product/Process CR PC091901-1 Detail

 
Title: Qwest to form a Quality Team
CR Number Current Status
Date
Area Impacted Products Impacted

PC091901-1 Completed
6/19/2002
Pre-Ordering, Ordering Centrex, LNP, Resale
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Wells, Joan
Director:
CR PM:

Description Of Change

Qwest to form Quality Team to review and improve the end to end processes for:

CLEC on-net to resale reuse of facilities

CLEC on-net to resale new facilities

Resale CLEC to resale CLEC (same CLEC) move including port within

Change orders requesting a TN change reusing TNs from old location and changing them at the new location requiring port within.

The team to include Qwest SMEs from each of its’ functional areas:

Order distribution center

Service order processing

Assignments

Switch technicians (RCMAC)

Network dispatch in

Network dispatch out

LNP center

Eschelon has offered to serve as the prototype for this Quality Team which will benefit all CLECs. It is yet to be determined how these orders will be identified. Eschelon’s expectation is that the Quality Team at Qwest will watch the flow of each order and determine the process gaps that are causing CLEC customers a significant amount of service disruption and down time. In addition, the Quality Team should remain in place until process improvements are made and proven effective.


Status History

09/17/01 - CR received by Kathy Stichter of Eschelon

09/19/01 - CR status changed to Submitted

09/21/01 - Updated CR sent to Kathy

09/24/01 - Scheduled clarification meeting with Eschelon

09/28/01 - Notified CLEC of cancellation of meeting

10/05/01 - Judy Schultz to coordinate with Lynn Powers to establish Qwest position

10/17/01 - CMP Meeting: CLEC community & Qwest agreed to enter Quality Team meeting minutes into CR database. Meetings are generally conducted on a 1 to 2 week frequency. "Current Status" changed to Clarification.

11/14/01 - CMP Meeting this Process Change was reviewed as a separate part of the agends. Toni Dubuque reviewed the primary topics that are being addressed by the Quality team. Toni indicated that the Quality team will probably remain active through the end of 2001. Eschelon expressed their appreciation for what has been accomplished by this team.

12/12/01 - CMP Meeting - Toni Dubuque, Qwest provided an update for the quality team. She indicated that overall progress has been made with various CR related issues, and that the team will continue into next year. A situation was identified, "Change of local service provider and customer moves," that requires process modification in order to prevent future customer outages. The team is working the process modifications & flow sheets; and will conduct a validation exercise with Eschelon in the near future. "CR Status" remains as "Presented."

01/16/02 - CMP Meeting - Toni dubuque, Qwest indicated that Quality Team is working primary issues identified in original CR "Description of Change." Most issues have been addressed and balance should be completed within the next 30 to 60 days. CLEC community agreed to change CR Status to "Development."

02/20/02 - Qwest provided a status update. CR status remains in "Development." Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

03/20/02 - CMP Meeting - It was agreed that the CR would remain in Development. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

03/22/02 - Qaulity Team Meeting conducted with Eschelon.

04/17/02 - CMP Meeting - Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. It was agreed that the CR would remain in Development.

05/15/02 - CMP Meeting - Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. It was agreed that the CR would move into CLEC Test..

06/19/02 - CMP Meeting - Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. CR status was changed to Completed.


Project Meetings

CMP Quality Meeting Minutes 3-22-02

Specifics: Purpose of Meeting: resolve Port In/Within order issues Meeting Dates: March 22,2002 Time: 1pm CST Meeting Chair: Toni Dubuque Next Meeting:Complete

Attendees: Toni Dubuque, Qwest Cust Svc Oprns Bonnie Johnson, Eschelon Joan Wells, Qwest Process Claudia Meredith-Trump, Qwest

Agenda: - Finalize flows - Finalize test process

- Port-in flows have been re-done on Power Point with specific language on process to be used in the 3 Port in scenarios and 8 Port within scenarios. These were reviewed by the team and are in an understandable format for training. - Training will be done by Qwest in the Mpls center CSIE team and documents shared with all other appropriate centers for review. - Joan will work with the product team to get specific scenarios updated in PCAT - Eschelon will do test order week of April 1st. Claudia will monitor flow and get specifics back to Bonnie for confirmation of order process.

The committee feels that they have completed the objective of improving the documented processes for unique situations involving Port In and Port within orders. This work will benefit all customers who order LNP. Order routing changes have eliminated the problems with moving orders from center to center within Qwest.

Purpose of Meeting: Resolve Port In/Within order issues Meeting Dates: January 23,002, Time: 1130am CST Call-in Bridge: 877-572-868, ID: 811-0227 Meeting Chair: Toni Dubuque Next Meeting:February 7,2002 3-4pm CST

Name/Presentation Toni Dubuque, Qwest Cust Svc Oprns/x/ Joan Wells, Qwest Process/x/ Bonnie Johnson, Eschelon/x/ Claudia Meredith-Trump, Qwest/x/ Chris Siewert,, Qwest Ctr Mgmt/x/ Barb Vigoren, Eschelon/ / Mary Madill, Qwest Ctr Mgr/ / Frank Lopez, Qwest Ctr Mgr/ /

Agenda: - Finalize flows - Finalize test process - Address Action Items - Determine next meeting

- Port-in flows are final and have been issued within Qwest; scenarios 1-3 are attached. - Port-within flows are work-in-progress to add all products - Test accounts have been set up and by 1-25 a test order will be submitted by Eschelon for monitoring and ensuring process for Scenario 3 is working; have already used process on live orders for Scenario 2. - During root cause process, we had identified a learning about procedures between RCMAC and Complex Translations (CT) that we wanted to investigate and tighten communications. On port-in C-orders, if the NPA-NXX of the end user has never been loaded into a DMS-10 or Ericsson Switch, Complex Translations must load before RCMAC does work. Communication is done by fax. We have added step in process for order writer to call CT to ensure load is complete prior to order flowing downstream. - Port-in coordination product is in detail design and pricing for both retail and wholesale. This will take care of end users who have special needs and cannot afford downtime. Joan is our representative and will keep us updated on progress. (CR open also) - Auto routing of port-in/within orders by MPI will be implemented 3-20-02. Good news – screening will be eliminated.

Action Items: Item/Assigned to/Status/Completion Date 1. Determine an interim process for cutting over end users who handle emergency call (doctors, hospitals) to eliminate inability to receive calls on due date (FDT 8am, work done anytime between 8-5pm)/Joan Wells/Same as #2/Work in progress 2. Communicate potential date of new coordination process/product for port in orders that will eliminate downtime (in definition stage)/Joan Wells/See above/Work in progress 3. Meet with Network process to investigate gaps in handling C action orders in complex translations/Joan/Chris/Completed / see notes above/1-23-02 Set up test accounts 612-302 and 612-721/Joan/Completed/1-23-02 Test Scenario 3/Joan/Bonnie// Finalize Port within flows/Joan/Should be done by 2-1/

Next meeting will be the last formal session. We will reconvene team to do live test when actual order is received by Eschelon.

CMP Quality Meeting Minutes 01-07-02

Specifics: Purpose of Meeting: resolve Port In/Within order issues Meeting Dates: December 18, 2001 Time: 2pm CST Call-in Bridge 877-572-868 811-0227 Meeting Chair: Toni Dubuque Next Meeting: January 9, 2002 @ 2pm CST

Attendees: Name Present Name Present Toni Dubuque, Qwest Cust Svc Oprns x Joan Wells, Qwest Process x Bonnie Johnson, Eschelon x Claudia Meredith-Trump, Qwest x Al Kiehn, Qwest Ctr Mgmt x Barb Vigoren, Eschelon x Mary Madill, Qwest Ctr Mgr Frank Lopez, Qwest Ctr Mgr

Agenda: - Review flows and clarify any questions - Set up process for live customer SPOC monitoring - Determine next meeting

Flows were presented by Joan Wells indicating the different scenarios regarding special circumstances for Port in, Port within orders.

- End user is with Q retail or current CLEC NSP/end user moving to new location requesting to move existing TN’s and change to a new reseller provider, new facilities/Q port in activity flow - Existing resale account, no service provider change to 2 current locations – original location with account history to be disconnected and TN’s moved to newest account locations where new TN’s exist that will be disconnected/Port within activity flow - Existing resale account port within/T &F dual service requested, number change at T location upon completion of F order activity flow - End user is with Q retail or current CLEC NSP/end user moving to new location already served by same reseller requesting Port, will be disconnecting existing TN’s and replacing with port in in TN’s, reuse existing facilities/Q port in activity flow

There were a number of questions and clarifications done on the flows. This used the majority of the time allotted for the meeting. Another meeting was set to regroup and finalize flows.

Quality Team - Qwest/Eschelon LNP Order Issues: Revision 5 Team Members: Sponsor - Toni Dubuque Q Team - Mark Coyne, Ray Burton, Mary Madill, Joan Wells, Russ Urvig E Team - Bonnie Johnson

Meetings: Sept 10, 2001 @ 10:30am CDT Sept 17, 2001 @ 2:00pm CDT (rev 2) Sept 26, 2001 @ 930am CDT (rev 3) Oct 5,2001 @ 930MDT/1030amCDT (rev 4) Oct 12, 2001 Oct 26, 2001 @ 230pmCDT (rev 5) NEXT MTG Nov 7, 2001 @ 900am CST Call-In Number: 877-847-3567 pc600-2974

ISSUE 1: Mis routing of orders causing missed commitments - CLOSED * Port within orders should go to Cheyenne for processing * Port in orders should go to Phoenix for processing * Screeners in Dallas must make determination based on remarks field * States manual handling * Move - port within or port between CLEC to CLEC ACTION ITEMS: * NPI field on LSR (determines port in or within) not used by Q. Eschelon has put in a CR for consideration. This field also then could be used to route LSR to right center without manual handling Owner: Mark and Joan * Retrain Dallas to handle current LSRs and screen to right center Owner: Ray * Identify unique req. type for these types of orders for ease in mechanized routing Owner: Joan Wells * With Virtual Center, should Duluth also be trained to handle the port in orders? The volume has been small so expertise has been centralized. Owner: Mary Status - Rev 1: This training took place the week of 9-3-01 with clarification on how to recognize the difference in order to route properly. The current process dictates that any misrouted order to be special handled and not go into regular flow (calls are placed between centers) Status - Rev 2: * An user request to use the NPI field in conjunction with the req. type will be filed by week ending 9-21 so that IMA can automatically route the orders to the proper center for processing. The NPI field is in use at Q on the Resale LSR form. 30-day notification will need to be made to all CLECs prior to implementation. No definite date yet but will target EOY. * The req. type change will not be required since routing will be accomplished through the NPI field. Req. type changes must go through OBF so the option selected for implementation should be more timely. * There were no failures in routing last week for Eschelon. Center managers are stressing the need to review the entire LSR before processing. Daily 3pm calls between centers are identifying each routing failure and preparing direct feedback to the SDC. * Volumes will dictate the move of port-in orders CLEC to CLEC to Duluth. * E is calling on any orders that do not carry telephone # and name of a Phoenix SDC. This is an indication to them that we potentially had a failure in routing. Status - Rev 3 * Routing problems significantly improved * CR for NPI field delayed due to further investigation; all problems resolved and will be issued on 10-8-01 by Joan Wells Status = Rev 5 * UR filed and kick-off meeting held with IT; projected implementation scheduled for late 1st qrt ’02 or early 2nd qrt * Decision made to implement as a going forward change ISSUE 2: Reuse of facilities on Port within orders - CLOSED

* Circuit ID given by E, if available * If reuse is not done, FOC must be noted in the remarks that new facilities are being used so that E can dispatch tech for cross-connect work. Failure to dispatch causes end-user out-of-service condition ACTION ITEMS: * Review process to verify what needs to take place within centers Owner: Mary/Joan/Russ Urvig * Look at Loop Reclamation policy and clarify obligation to reuse facilities Owner: Toni Status - Rev 2: * Clarification needed on product definition pertaining to Q discretion on reuse. Process/Product will get together to clarify and bring back to team concise definition. * Gap still exists when reuse not chosen as option. Order writers not aware of issue at time of FOC so do inform customer. Need to revise process to determine best method of notification. Status - Rev 3: * Policy is to reuse facilities whenever possible preventing dispatch for Q or for CLEC * When reuse is not the available option, our tech should be doing cross-connect work so no dispatch required by CLEC Status - Rev 5: * Process working and full understanding established

ISSUE 3: Trouble Shooting Port in/Port within orders

* When trying to back out orders that have gone bad, Q/E needs to understand internal flow to enhance trouble shooting skills ACTION ITEMS: * Review process and document key points for both Q CSIE team and E Owner: Joan Wells Status - Rev 2: * E indicated that there are numerous areas of failure for these types of work backs often causing outages of up to 3 days. They are recommending focal points within the center to deal with these orders so that expertise will be built and that data can be collected for root cause analysis. This suggestion will be looked at for feasibility and reported out at next meeting (Owner: Toni) Status - Rev 3: * Root cause will be done on all failures with gap analysis and recommended action. (Owner: Claudia Meredith-Trump) First read out on 10-5 * Focal points process to be discussed on 10-5

Status - Rev 5 * Root cause analysis done on 5 failures on 10-5 and 1 failure on 10-26 * Findings: * SO writing orders found for both sending and receiving parties; discussed process adherence and provided feedback to all employees touching orders * CLEC owning customers did not disconnect in switch on a timely basis; early detection of this in trouble shooting process can reduce impairment issues * CSIE personnel reviewed failure points and areas to intervene before additional complications add to length of impairment * Will continue process to look at every failure for additional learning

ISSUE 4: Problem for Port in – working in both switches * Calls going both ways in switch * E would like to coordinate the time between the techs for delivering new facilities ACTION ITEMS: * Review process to id gaps and areas for improvement Owner: Joan Wells Status - Rev 2: * Problem lies with FDT and when triggering takes place at both customer locations (giver/receiver). Joan has made one change to Q to default FDT from 5pm to noon. More investigation to follow on other issues and potential process improvements. Status - Rev 5 * Eschelon filed CR to request options; Joan Wells working on research for options

ISSUE 4: Identifying ways to minimize errors ACTION ITEMS: * Look at using NPI as first characters of PON to capture and track orders for trouble shooting Owner: Ray and Bonnie Status - Rev 2: * E will use effective 9-27 so that Q can capture orders and do root cause. Screening process will stay the same so that we ensure SDC still looks at entire LSR to determine correct routing. Status - Rev 5 * Continue to use field; screening failures minimal; feedback and process review continues with employees

ISSUE 5: Telephone number swap Added 9-17-01 * E will write up issue so right Q people on team to handle * Problem definition: Eschelon has a customer with a ported number (usually resale). They are going to move within the same CO so dual service is not an option. So they establish the customer at the new location with a new telephone number and leave the old number working. When the customer is moved and at the new premise, they need to disconnect the old ported number and reestablish it at the move location - also disconnecting the temporary telephone number. How can they do this?

Status - Rev 3: * Joan to read out on 10-5 Status - Rev 5 To clarify this answer, I checked with Retail on their processes for Port Within (T&F) and also Dual and Overlapping Service, which our Wholesale processes mirror. Retail does not allow dual service if you are porting your telephone number within. This means if the end user has a telephone number currently, that was either previously ported in or a native TN to the switch, and are now moving to a new switch and want to do a port within, they would not be able to have dual service, because of the LRN routing that is taking place through the NPAC. Incoming calls cannot be routed to more than one switch at a time, so this would cause problems with the end user receiving their incoming calls.

If the end user currently has a TN that was previously ported in and now wants to do a T&F to a new location within the same switch, this would not be considered a port within and the limitation involving the dual service would then be dependent upon the switch type, the product type, the line type (bridge taps etc.) and the region. There are methods in Infobuddy that outline the restrictions and rules for dual service, as well as facility check, which helps to determine if dual service is an option in these situations.

So, if dual service is desired, but not available, what the Reseller would have to do, is request a New connect at the new location with new TN's. Then, when they want the service at the old location disconnected, they would have to submit two related requests. One to do a number change at the new location as a port within, indicating the new numbers and another request to disconnect the number at the old location, using port out fids. Qwest would then process the disconnect, using the port out fids and the number change using the port in fids. These would be manual orders, with good remark entries needed from the Reseller as to what exactly is needed on the orders. Standard port due date intervals would apply.

* Process change to be made to allow move and port on one LSR; this will not change Dual service issue but will help with other order issues that cause CLEC to do two LSRs to accomplish task. Effective date yet to be determined. Will continue to monitor progress

Quality Team - Qwest/Eschelon LNP Order Issues: Revision 3 Team Members: Sponsor - Toni Dubuque Q Team - Mark Coyne, Ray Burton, Mary Madill, Joan Wells, Russ Urvig E Team - Bonnie Johnson

Meetings: Sept 10, 2001 @ 10:30am CDT Sept 17, 2001 @ 2:00pm CDT (rev 2) Sept 26, 2001 @ 930am CDT (rev 3) Oct 5,2001 @ 930MDT/1030amCDT (rev 4) Call-In Number: 877-847-3567 pc600-2974

ISSUE 1: Misrouting of orders causing missed commitments

* Port within orders should go to Cheyenne for processing * Port in orders should go to Phoenix for processing * Screeners in Dallas must make determination based on remarks field * States manual handling * Move - port within or port between CLEC to CLEC ACTION ITEMS: * NPI field on LSR (determines port in or within) not used by Q. Eschelon has put in a CR for consideration. This field also then could be used to route LSR to right center without manual handling Owner: Mark and Joan * Retrain Dallas to handle current LSRs and screen to right center Owner: Ray * Identify unique req type for these types of orders for ease in mechanized routing Owner: Joan Wells * With Virtual Center, should Duluth also be trained to handle the port in orders? The volume has been small so expertise has been centralized. Owner: Mary Status - Rev 1: This training took place the week of 9-3-01 with clarification on how to recognize the difference in order to route properly. The current process dictates that any misrouted order to be special handled and not go into regular flow (calls are placed between centers) Status - Rev 2: * An user request to use the NPI field in conjunction with the req type will be filed by week ending 9-21 so that IMA can automatically route the orders to the proper center for processing. The NPI field is in use at Q on the Resale LSR form. 30-day notification will need to be made to all CLECs prior to implementation. No definite date yet but will target EOY. * The req type change will not be required since routing will be accomplished through the NPI field. Req type changes must go through OBF so the option selected for implementation should be more timely. * There were no failures in routing last week for Eschelon. Center managers are stressing the need to review the entire LSR before processing. Daily 3pm calls between centers are identifying each routing failure and preparing direct feedback to the SDC. * Volumes will dictate the move of port-in orders CLEC to CLEC to Duluth. * E is calling on any orders that do not carry telephone # and name of a Phoenix SDC. This is an indication to them that we potentially had a failure in routing. Status - Rev 3 * Routing problems significantly improved * CR for NPI field delayed due to further investigation; all problems resolved and will be issued on 10-8-01 by Joan Wells ISSUE 2: Reuse of facilities on Port within orders

* Circuit ID given by E, if available * If reuse is not done, FOC must be noted in the remarks that new facilities are being used so that E can dispatch tech for cross-connect work. Failure to dispatch causes end-user out-of-service condition ACTION ITEMS: * Review process to verify what needs to take place within centers Owner: Mary/Joan/Russ Urvig * Look at Loop Reclamation policy and clarify obligation to reuse facilities Owner: Toni Status - Rev 2: * Clarification needed on product definition pertaining to Q discretion on reuse. Process/Product will get together to clarify and bring back to team concise definition. * Gap still exists when reuse not chosen as option. Order writers not aware of issue at time of FOC so do inform customer. Need to revise process to determine best method of notification. Status - Rev 3: * Policy is to reuse facilities whenever possible preventing dispatch for Q or for CLEC * When reuse is not the available option, our tech should be doing cross-connect work so no dispatch required by CLEC

ISSUE 3: Trouble Shooting Port in/Port within orders

* When trying to back out orders that have gone bad, Q/E needs to understand internal flow to enhance trouble shooting skills ACTION ITEMS: * Review process and document key points for both Q CSIE team and E Owner: Joan Wells Status - Rev 2: * E indicated that there are numerous areas of failure for these types of work backs often causing outages of up to 3 days. They are recommending focal points within the center to deal with these orders so that expertise will be built and that data can be collected for root cause analysis. This suggestion will be looked at for feasibility and reported out at next meeting (Owner: Toni) Status - Rev 3: * Root cause will be done on all failures with gap analysis and recommended action. (Owner: Claudia Meredith-Trump) First read out on 10-5 * Focal points process to be discussed on 10-5

ISSUE 4: Problem for Port in - working in both switches * Calls going both ways in switch * E would like to coordinate the time between the techs for delivering new facilities ACTION ITEMS: * Review process to id gaps and areas for improvement Owner: Joan Wells Status - Rev 2: * Problem lies with FDT and when triggering takes place at both customer locations (giver/receiver). Joan has made one change to Q to default FDT from 5pm to noon. More investigation to follow on other issues and potential process improvements.

ISSUE 4: Identifying ways to minimize errors ACTION ITEMS: * Look at using NPI as first characters of PON to capture and track orders for trouble shooting Owner: Ray and Bonnie

Status - Rev 2: * E will use effective 9-27 so that Q can capture orders and do root cause. Screening process will stay the same so that we ensure SDC still looks at entire LSR to determine correct routing.

ISSUE 5: Telephone number swap Added 9-17-01 * E will write up issue so right Q people on team to handle * Problem definition: Eschelon has a customer with a ported number (usually resale). They are going to move within the same CO so dual service is not an option. So they establish the customer at the new location with a new telephone number and leave the old number working. When the customer is moved and at the new premise, they need to disconnect the old ported number and reestablish it at the move location - also disconnecting the temporary telephone number. How can they do this?

Status - Rev 3: * Joan to read out on 10-5

Quality Team - Qwest/Eschelon LNP Order Issues: Revision 2 Team Members: Sponsor - Toni Dubuque Q Team - Mark Coyne, Ray Burton, Mary Madill, Joan Wells, Russ Urvig E Team - Bonnie Johnson

Meetings: Sept 10, 2001 @ 10:30am CDT Sept 17, 2001 @ 2:00pm CDT (rev 2) Sept 26, 2001 @ 930am CDT (rev 3) Call-In Number: 877-847-3567 pc600-2974

ISSUE 1: Misrouting of orders causing missed commitments

* Port within orders should go to Cheyenne for processing * Port in orders should go to Phoenix for processing * Screeners in Dallas must make determination based on remarks field * States manual handling * Move - port within or port between CLEC to CLEC ACTION ITEMS: * NPI field on LSR (determines port in or within) not used by Q. Eschelon has put in a CR for consideration. This field also then could be used to route LSR to right center without manual handling Owner: Mark and Joan * Retrain Dallas to handle current LSRs and screen to right center Owner: Ray * Identify unique req type for these types of orders for ease in mechanized routing Owner: Joan Wells * With Virtual Center, should Duluth also be trained to handle the port in orders? The volume has been small so expertise has been centralized. Owner: Mary Status - Rev 1: This training took place the week of 9-3-01 with clarification on how to recognize the difference in order to route properly. The current process dictates that any misrouted order to be special handled and not go into regular flow (calls are placed between centers) Status - Rev 2: * An user request to use the NPI field in conjunction with the req type will be filed by week ending 9-21 so that IMA can automatically route the orders to the proper center for processing. The NPI field is in use at Q on the Resale LSR form. 30-day notification will need to be made to all CLECs prior to implementation. No definite date yet but will target EOY.

* The req type change will not be required since routing will be accomplished through the NPI field. Req type changes must go through OBF so the option selected for implementation should be more timely.

* There were no failures in routing last week for Eschelon. Center managers are stressing the need to review the entire LSR before processing. Daily 3pm calls between centers are identifying each routing failure and preparing direct feedback to the SDC.

* Volumes will dictate the move of port-in orders CLEC to CLEC to Duluth. * E is calling on any orders that do not carry telephone # and name of a Phoenix SDC. This is an indication to them that we potentially had a failure in routing. ISSUE 2: Reuse of facilities on Port within orders

* Circuit ID given by E, if available * If reuse is not done, FOC must be noted in the remarks that new facilities are being used so that E can dispatch tech for cross-connect work. Failure to dispatch causes end-user out-of-service condition ACTION ITEMS: * Review process to verify what needs to take place within centers Owner: Mary/Joan/Russ Urvig * Look at Loop Reclamation policy and clarify obligation to reuse facilities Owner: Toni Status - Rev 2: * Clarification needed on product definition pertaining to Q discretion on reuse. Process/Product will get together to clarify and bring back to team concise definition. * Gap still exists when reuse not chosen as option. Order writers not aware of issue at time of FOC so do inform customer. Need to revise process to determine best method of notification.

ISSUE 3: Trouble Shooting Port in/Port within orders

* When trying to back out orders that have gone bad, Q/E needs to understand internal flow to enhance trouble shooting skills ACTION ITEMS: * Review process and document key points for both Q CSIE team and E Owner: Joan Wells Status - Rev 2: * E indicated that there are numerous areas of failure for these types of work backs often causing outages of up to 3 days. They are recommending focal points within the center to deal with these orders so that expertise will be built and that data can be collected for root cause analysis. This suggestion will be looked at for feasibility and reported out at next meeting (Owner: Toni)

ISSUE 4: Problem for Port in - working in both switches * Calls going both ways in switch * E would like to coordinate the time between the techs for delivering new facilities ACTION ITEMS: * Review process to id gaps and areas for improvement Owner: Joan Wells Status - Rev 2: * Problem lies with FDT and when triggering takes place at both customer locations (giver/receiver). Joan has made one change to Q to default FDT from 5pm to noon. More investigation to follow on other issues and potential process improvements.

ISSUE 4: Identifying ways to minimize errors ACTION ITEMS: * Look at using NPI as first characters of PON to capture and track orders for trouble shooting Owner: Ray and Bonnie

Status - Rev 2: * E will use effective 9-27 so that Q can capture orders and do root cause. Screening process will stay the same so that we ensure SDC still looks at entire LSR to determine correct routing.

ISSUE 5: Telephone number swap Added 9-17-01 * E will write up issue so right Q people on team to

-

Quality Team - Qwest/Eschelon LNP Order Issues: Revision 1 Team Members: Sponsor - Toni Dubuque Q Team - Mark Coyne, Ray Burton, Mary Madill, Joan Wells E Team - Bonnie Johnson

Meetings: Sept 10, 2001 @ 10:30am CDT Sept 17, 2001 @ 2:00pm CDT Call-In Number: 877-847-3567 pc600-2974

ISSUE 1: Misrouting of orders causing missed commitments

* Port within orders should go to Cheyenne for processing * Port in orders should go to Phoenix for processing * Screeners in Dallas must make determination based on remarks field * States manual handling * Move - port within or port between CLEC to CLEC ACTION ITEMS: * MPI field on LSR (determines port in or within) not used by Q. Eschelon has put in a CR for consideration. This field also then could be used to route LSR to right center without manual handling Owner: Mark and Joan * Retrain Dallas to handle current LSRs and screen to right center Owner: Ray Status: This training took place the week of 9-3-01 with clarification on how to recognize the difference in order to route properly. The current process dictates that any misrouted order to be special handled and not go into regular flow (calls are placed between centers) * Identify unique req type for these types of orders for ease in mechanized routing Owner: Joan Wells * With Virtual Center, should Duluth also be trained to handle the port in orders? The volume has been small so expertise has been centralized. Owner: Mary

ISSUE 2: Reuse of facilities on Port within orders

* Circuit ID given by E, if available * If reuse is not done, FOC must be noted in the remarks that new facilities are being used so that E can dispatch tech for cross-connect work. Failure to dispatch causes end-user out-of-service condition ACTION ITEMS: * Review process to verify what needs to take place within centers Owner: Mary * Look at Loop Reclamation policy and clarify obligation to reuse facilities Owner: Toni ISSUE 3: Problem understanding timing of translations

* When trying to back out orders that have gone bad, E needs to understand internal flow to enhance trouble shooting skills ACTION ITEMS: * Review process and document key points for both Q CSIE team and E Owner: Joan Wells

ISSUE 4: Problem for Port in - working in both switches * Calls going both ways in switch * E would like to coordinate the time between the techs for delivering new facilities ACTION ITEMS: * Review process to id gaps and areas for improvement Owner: Joan Wells

ISSUE 4: Identifying ways to minimize errors

ACTION ITEMS: * Look at using MPI as first characters of PON to capture and track orders for trouble shooting Owner: Ray and Bonnie


Open Product/Process CR PC092801-1 Detail

 
Title: Process to improve cut over and ensure completion of incoming calls to CLEC customer, including step requiring Qwest technician to call from the Donor switch immediately after acceptance of the local loop by the CLEC for cut overs.
CR Number Current Status
Date
Area Impacted Products Impacted

PC092801-1 Denied
12/12/2001
Repair LNP, Unbundled Loop
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Diebel, Diane
Director:
CR PM:

Description Of Change

When a customer moves from Qwest to a CLEC, there are times when Qwest does not remove the customer’s telephone numbers from the Qwest switch at the appropriate time. This causes incoming calls to the CLEC customer to fail. This directly impacts the end-user customer, which can not receive those calls. When a customer leaves Qwest, ports its numbers to a CLEC, and the CLEC builds the numbers in its switch, some incoming calls will not complete to the customer because Qwest has not removed the numbers from the Qwest Donor Switch. Eschelon asks Qwest to change its process to ensure that the cut-over is successful and all calls are properly completed to the CLEC’s end users. Eschelon asks Qwest to add a step to its process at the time of test and turn-up of the CLEC loop acceptance. That step would require Qwest technicians to make a call from the Donor Switch to the customer’s numbers that were ported to ensure that Qwest has removed the numbers from its switch. Eschelon believes this process change would avoid the problem described. If additional steps are also needed to ensure a proper cut-over and completion of the incoming calls, Eschelon asks Qwest to identify those steps and ensure the proper result.


Status History

09/28/01 - CR Received from Kathy Stichter of Eschelon

09/28/01 - Status changed to Submitted

09/28/01 - Updated CR sent to Kathy Stichter and Steve Sheahan

10/11/01 - Held Clarification Meeting

10/17/01 - CMP Meeting: Clarification conducted with CLEC community. "Current Status" changed to evaluation.

10/26/01 - Internal meeting to be held with Ken Olson for more clarification.

11/01/01 - Forwarded draft response, dated 10/26/01, to Eschelon

11/09/01 - Issued revised draft response dated 11/09/01 to Eschelon and posted to dBase.

11/14/01 - CMP Meeting: Eschelon moved this to CLEC Test.

11/16/01 - Matt Rossi issued Final Response to CLEC Community.

12/12/01 - CMP Meeting - there were no other issues with the CR. Eschelon indicated that the CR response was a denial. Status to be revised to Denied.

03/20/02 - CR Open/Closed Status changed to Closed per agreement at 03/20/02 Monthly CMP Meeting that CRs having Denied status should also reflect Closed Status


Project Meetings

Alignment/Clarification Meeting October 11th, 2001/11:00 p.m. (MDT) / Thursday, Conference Call 1-877-542-1728 PC7712487 # PCCR092801-1

Kathleen Stichter, klstichter@eschelon.com, Eschelon Telecom Chris Frederickson, Eschelon Telecom Tina Schiller, Eschelon Telecom Deni Toye, dtoye@qwest.com, Qwest Diane Diebel, dlbail3@qwest.com, Qwest Steve Hilleary, shillea@qwest.com, Qwest Kate Spry, kspry@qwest.com, Qwest

Introduction of Attendees Kathy, Chris, Tina, Deni, Diane, Steve, and Kate Review Requested (Description of) Change Process to improve cut-over and ensure completion of incoming calls to CLEC customer, including step requiring Qwest technician to call from the Donor switch immediately after acceptance of the local loop by the CLEC for cut-overs. Confirm Areas & Products Impacted Areas: Repair Products: Unbundled Loop Confirm Right Personnel Involved Diane is the ‘owner’ of this CR and will be the point of contact for future problems of this nature until the root cause is established and draft response issued. Deb Heckart is also available for questioning. Deni and Steve are available to answer systems questions regarding Unbundled Loop. They will also compare notes with Joan Wells. Kate will coordinate all necessary clarification meetings, complete meeting minutes, and review, forward, and store necessary documentation to database. Identify/Confirm CLEC’s Expectation When a customer moves from Qwest to a CLEC, there are times when Qwest does not remove the customer’s telephone numbers from the Qwest switch at the appropriate time. This causes incoming calls to the CLEC customer to fail. This directly impacts the end-user customer, which can not receive those calls. When a customer leaves Qwest, ports its numbers to a CLEC, and the CLEC builds the numbers in its switch, some incoming calls will not complete to the customer because Qwest has not removed the numbers from the Qwest Donor Switch. Eschelon asks Qwest to change its process to ensure that the cut-over is successful and all calls are properly completed to the CLEC’s end users. Eschelon asks Qwest to add a step to its process at the time of test and turn-up of the CLEC loop acceptance. That step would require Qwest technicians to make a call from the Donor Switch to the customer’s numbers that were ported to ensure that Qwest has removed the numbers from its switch. Eschelon believes this process change would avoid the problem described. If additional steps are also needed to ensure a proper cut-over and completion of the incoming calls, Eschelon asks Qwest to identify those steps and ensure the proper result. require special handling. If the orders are not written correctly significant service affecting. Identify any Dependent Systems Change Requests No related system CR’s were identified, however Joan Wells may be working on this subject matter as well. Establish Action Plan (Resolution Time Frame) Diane will speak with Joan Wells to ensure we are not duplicating efforts. Diane will also clarify this process and give a response at the next CMP meeting on October 17th, 2001. At that time she will gather feedback and create a formal response to be reviewed at the November CMP meeting. This document will be forwarded to Kate Spry for processing. Kate will forward all examples from Kathy to team for investigation. After the formal response is created, Kate will review and forward this information to Mike Keegan to store in the CR database. This information can then be reviewed and discussed by the CLEC Community at the December CMP Meeting if needed. Deni and Steve will investigate examples and will bring feedback to meeting on Tuesday, October 16th. Kathy, Chris, and Tina can attend the October 17th, 2001 CMP meeting to review verbal response. Additional clarifications can be made at that time.


CenturyLink Response

November 9th, 2001 FINAL RESPONSE

Kathy Stichter ILEC Relations Manager Eschelon

CC: Deb Heckart Kate Spry Deni Toye Steve Hilleary Fred Aesquivel Joan Wells Russ Urevig Barry Orrel

This letter is in response to your CLEC Change Request Form, number PC092801-1 dated 9-28-01 – CR Title: Improve Cut-Over Process

The situation identified advises that when a customer moves from Qwest to a CLEC on UNE services, there are times when Qwest does not remove the customer’s telephone numbers from the Qwest switch at the appropriate time. This causes incoming calls to the CLEC customer to fail.

Eschelon has asked that Qwest add a step to its process at the time of test and turn-up of the CLEC loop acceptance. The request is to have Qwest technicians make a call from the Donor Switch to the customer’s numbers that were ported to ensure that they were removed from the Qwest switch.

Eschelon provide Qwest research indicates that this LSR request received from Eschelon was for a straight LNP order, not for UNE service.

The LSR requested disconnect of 3 numbers, the porting and disconnect of 651-735-4000 and the change of the BTN. When the Market Unit Service Deliver Coordinator (SDC) wrote the orders, the SDC failed to issue the order with the porting and disconnect of 651-735-4000. Thus the request was not sent to down stream systems to be worked. All work that was on the Qwest issued order was completed according to process by Network. SDC processes have been reviewed to ensure that these types of errors are addressed.

The requested PCCR was directed at UNE type orders. The example provided by Eschelon does not reflect this issue. UNE orders with LNP do have processes in place that ensures orders are ported prior to completing with the CLEC. Qwest processes do have steps in place to ensure that the line translations are completed in the Switch prior to advising the CLEC that the work has been completed.

Therefore, Qwest does not feel that a change to the current process is necessary at this time based on the results of the research. If the order was issued correctly, all work would have been completed accurately. Implementation of the proposed change would not have ensured this line was ported.

If Eschelon has examples of UNE services with LNP that illustrate problems related to the specific change request, please provide them and Qwest will review.

Straight (i.e., non-UNE related) LNP disconnect issues are being addressed in PCCR 5582099.

Sincerely,

Diane Diebel Director Process Management


Open Product/Process CR PC100101-1 Detail

 
Title: Use NPI (Number Port Indicator) field on LSR for requests for orders requiring Port In and Port Within information. (reference Systems CR # SCR083001 1)
CR Number Current Status
Date
Area Impacted Products Impacted

PC100101-1 Completed
11/14/2001
Pre-Ordering, Ordering Centrex, Resale, UNE-P
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Wells, Joan
Director:
CR PM:

Description Of Change

Currently the CLEC populates the NPI field with data that identifies Port In and Port Within information. The NPI field is not a recognized field for Qwest LSOG5. Qwest’s system routes the orders based on the REQTYP. Within the REQTYP requests can contain Port In and Port Within service. For requests that require Port In and Port Within, Qwest uses the remarks section of the LSR and the CLEC must also populate the Manual IND field with a Y. This process puts the onus on the CLEC and not Qwest to ensure Qwest routes the order to the correct center. These requests require special handling. If the orders are not written correctly significant service affecting problems, up to and including customers out of service for several days, arise on the due date. Eschelon asks that Qwest start using the NPI field to recognize that a request is for number porting.


Status History

09/30/01 – CR received by Kathy Stichter of Eschelon

10/01/01 – CR status changed to Submitted

10/01/01 – Updated CR sent to Kathy Stichter of Eschelon and Steve Sheahan of Qwest

10/10/01 - Held Clarification Conference Call with Eschelon

10/17/01 - CMP Meeting: Clarification conducted with CLEC community. "Current Status" changed to evaluation. A Qwest internal request is in process to utilize NPI field.

11/01/01 - Issued draft response dated 10/29/01 to Eschelon.

11/08/01 - Issued revised draft response dated 11/6/01.

11/14/01 - CMP Meeting: Eschelon completed and closed this CR and will open a Systems CR instead.

11/16/01 - Matt Rossi issued Final Response to the CLEC Community.


Project Meetings

Alignment/Clarification Meeting

11:00 p.m. (MDT) / Wednesday, October 10th, 2001 Conference Call 1-877-542-1728 PC7712487 # PCCR100101-1

Attendees: Kathleen Stichter, klstichter@eschelon.com, Eschelon Telecom Bonnie Johnson, bjohnson@eschelon.com, Eschelon Telecom Connie Overly, coverly@qwest.com, Qwest Joan Wells, jmwell2@qwest.com, Qwest Kate Spry, kspry@qwest.com, Qwest

Introduction of Attendees Kathy, Connie, Russ, Joan, and Kate Review Requested (Description of) Change Use NPI (Number Port Indicator) field on LSR for requests for orders requiring Port In and Port Within. Confirm Areas & Products Impacted Areas: Pre-Ordering and Ordering Products: Centrex, Resale, and UNE-P Confirm Right Personnel Involved Joan is the ‘owner’ of this CR and will be the point of contact for future problems of this nature until the root cause is established and draft response issued. Connie is available for back-up questions. Kate will coordinate all necessary clarification meetings, complete meeting minutes, and review, forward, and store necessary documentation to database. Identify/Confirm CLEC’s Expectation Currently the CLEC populates the NPI field with data that identifies Port In and Port Within information. The NPI field is not a recognized field for Qwest LSOG5. Qwest’s system routes the orders based on the REQTYP. Within the REQTYP requests can contain Port In and Port Within service. For requests that require Port In and Port Within, Qwest uses the remarks section of the LSR and the CLEC must also populate the Manual IND field with a Y. This process puts the onus on the CLEC and not Qwest to ensure Qwest routes the order to the correct center. These requests require special handling. If the orders are not written correctly significant service affecting problems, up to and including customers out of service for several days, arise on the due date. Eschelon asks that Qwest start using the NPI field to recognize that a request is for number porting. Joan is very comfortable with what they are asking and can give a thorough response. Identify any Dependent Systems Change Requests No related system CR’s were identified Establish Action Plan (Resolution Time Frame) Joan will clarify this process and give a response at the next CMP meeting on October 17th, 2001. At that time she will gather feedback and create a formal response to be reviewed at the November CMP meeting. This document will be forwarded to Kate Spry for processing. After the formal response is created, Kate will review and forward this information to Mike Keegan to store in the CR database. This information can then be reviewed and discussed by the CLEC Community at the December CMP Meeting if needed. Kathy and Bonnie can attend the October 17th, 2001 CMP meeting to review verbal response. Additional clarifications can be made at that time.


CenturyLink Response

Final Response Wholesale Product Marketing

November 6, 2001

Ms. Kathleen Stichter Eschelon Telecom

This letter is in response to Change Request Form, PC100101-1 – Use NPI (Number Port Indicator) field on LSR for requests for orders requiring Port In and Port Within.

Description of Change: “Currently the CLEC populates the NPI field with data that identifies Port In and Port Within information. The NPI field is not a recognized field for Qwest LSOG5. Qwest’s system routes the orders based on the REQTYP. Within the REQTYP requests can contain Port In and Port Within service. For requests that require Port In and Port Within, Qwest uses the remarks section of the LSR and the CLEC must also populate the Manual IND field with a Y. This process puts the onus on the CLEC and not Qwest to ensure Qwest routes the order to the correct center. These requests require special handling. If the orders are not written correctly significant service affecting problems, up to and including customers out of service for several days, arise on the due date. Eschelon asks that Qwest start using the NPI field to recognize that a request is for number porting.”

Definitions of Port Activity associated with this request include: ? Port In activity includes all service requests in which the end user is currently being served by another Network Service Provider and the end user does not currently reside in a Qwest switch. Qwest has received a Local Service Request to Port the end user into the Qwest switch. Current Wholesale activity includes Port In to Qwest Resell Services. ? Port Within (Location Portability) is the ability of end users to retain the same telephone number when moving from one service location, to another area that is served by different central offices within the same Rate Center and in some locations, within NPA and municipal boundaries. The end user is currently being served by Qwest as the network Service Provider and resides in a Qwest switch.

On the OBF LSOG 5 Resale form there is a field called the NPI field. (ref 11) Actually, this is a Qwest recognized field, but currently there are no edits in place involving this field. Current accepted entries for the NPI field that will be utilized are: C=Port In Working TN D=Port In Reserved TN Z=Port Within When this field is populated, then the Manual IND field should be set to “Y” and the remark should be populated with a positive entry. Qwest has issued a system change request to begin utilizing this field for proper routing of Port in and Port Within orders to the correct Interconnect Center work queues. Scheduled implementation will be in a future IMA release. It is believed that with implementation of this change, orders will be automatically routed to the correct Interconnect Center for processing. This should help to expedite the Port In/Port Within order received process and ensure that the correct Center doing the provisioning will have access to the order sooner. Qwest has also issued 2 internal communicators as a reminder of the current process for handling Port In and Port Within service requests. The first dated 09-04-01 is titled “Processing LSR requests when the manual Handling filed has an entry of “Y”, along with an entry in the Remark field”. The second, dated 10-26-01, titled “Correct processing of LSR Requests when manual handling “Y”, has been entered, along with a Remark entry requesting a Port In or Port Within”. Once verification of the completion time is known, notification will be sent via the CMP Process or CLEC notification. Qwest would like to close this CR and work issues related to future implementation through SCR083001-1, which relates directly to the system implementation of the NPI field.

Sincerely, Joan Wells LNP Process Manager


Open Product/Process CR PC100101-2 Detail

 
Title: Process for Feature Verification on CSRs not available through IMA or CEMR.
CR Number Current Status
Date
Area Impacted Products Impacted

PC100101-2 Completed
2/20/2002
Ordering, Repair Centrex, Resale, UNE-P
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: McMahon, Cheryl
Director:
CR PM:

Description Of Change

Eschelon asks Qwest to implement a process for CLECs concerning how they would get feature verification on CSRs (Customer Service Record) when IMA or CEMR does not give information. Currently Qwest has a process for Large CSRs but not all failures are for large CSRs.


Status History

09/30/01 - CR received by Kathy Stichter of Eschelon

10/01/01 - CR status changed to Submitted

10/01/01 - Updated CR sent to Kathy Stichter of Eschelon and Steve Sheahan of Qwest

10/03/01 - CR Clarification meeting scheduled to be held with Kathy Stichter of Eschelon on 10/08/01 via 09:30 AM MST conference call

10/08/01 - Clarification Meeting Held with Eschelon.

10/17/01 - CMP Meeting: CLEC community & Qwest conducted clarification discussion. Process for large CSR's is working; however, process (in place) for small CSR's may not be effective. Qwest requested information regarding number of occurrences (#/week) for both IMA and CEMR requests from CLEC community in order to modify current small CSR's process, as necessary. "Current Status" changed to Evaluation.

10/23/01 - Response from Eschelon: To:kthomte@qwest.com , Subject: Feature Verification Failures PC 100101-2 Kit, Our repair department says that they experience about 10 failures in CEMR each week when trying to retrieve feature verification information. Some folks do not use the feature verification anymore because they were always

getting a failure. For the ones that still try they experience about 10 failures in CEMR each week. Our repair department does not use IMA for feature verification. Please pass this information on to the correct people. Thanks, Kathy Stichter, ILEC Relations Manager, Eschelon Telecom Inc, Voice 612 436-6022, Email: klstichter@eschelon.com

11/09/01 - Draft response provided to Eschelon.

11/14/01 - CMP Meeting the Process Change response was reviewed by Qwest (IMA ,CEMR) three action items need to be addressed by Qwest prior to the next CMP session 1 Eschelon would like to see some data regarding how many error messages occur when performing Feature Verification and have them sorted by type 2 Revise the response to include interval associated with smaller requests 3 Find out the Qwest retail interval for Feature Verification.

12/05/01 - Issued revised draft response dated 12/5/01 to Eschelon.

12/12/01 - CMP Meeting - Qwest presented its revised response. It was agreed that the CR could be put into CLEC Test.

12/28/01 - Qwest's formal Response dated 12/5/01 to CLECs.

01/16/02 - CMP Meeting - Qwest advised that the User Guides were updated to include Qwest's response. Eschelon is to review the User Guides and Qwest is to follow-up with Eschelon to close.

01/29/02 - Telecon with Eschelon, Kathy Stichter - Eschelon didn't have any issues with the CR. We agreed that the CR would be left in CLEC Test until the February CMP Meeting for a final review with all CLECs before agreeing to close.

02/20/02 - CMP Meeting - It was agreed that the CR could be Closed. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02.

03/20/02 - CR Open/Closed status changed to closed and inactive and checked for Archive 2002


Project Meetings

October 08,2001 9:30 MDT Alignment/Clarification Meeting 1770 - C 1-866 682-6249 Pass Code 7026857 PCCR 100101-2 Process for feature verification on CSRs not available through IMA or CEMR

Introduction of Attendees Kathy Stichter Eschelon Monica Manning Qwest Cheryl McMahon Qwest Kit Thomte Qwest

Kit identified the participants on the call as shown above. Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Reviewed the information contained on the CR and shared information that Kathy Stichter provided. The CR description asks Qwest to implement a process for CLECs concerning how they would get Feature Verification on CSRs (Customer Service Record) when IMA or CEMR does not give information. Currently Qwest has a process for Large CSRs but not all failures are for large CSRs.

Confirm Areas & Products Impacted {read from change request, modify if needed} Centrex, Resale and UNE P are the impacted products.

Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Monica Manning from Wholesale will address IMA Cheryl McMahon from Repair will address CEMR Dan Busetti did not participate but the CR did not appear to have system ramifications

Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measurable terms i.e. provide a documented process, change a process to include training etc)} Eschelon would like a documented process explaining what they need to do when the information is not available. Monica indicated there are very specific messages for example 161error message BOSS CARS records were not available. In this instance the CLEC should contact the call center. In the case of connectivity issues they would call the help desk??? Kathy inquired if the process being discussed matched the process used for large CSRs Monica indicated that a communication should have been sent to the CLECs explaining the process. Monica would locate the communication associated with IMA. Cheryl McMahon will check out the CEMR process.

Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts} Monica indicated that Mark Routh is having a call 10-9 regarding feature verification. Monica will let us know if they are related.

Establish Action Plan (Resolution Time Frame) {state action required, who will be responsible and by when}


CenturyLink Response

December 5, 2001

Kathleen Stichter ILEC Relations Manager Eschelon Telecom, Inc

This letter is being sent in response to CLEC Change Request Form # PC100101-2. PC100101-2 pertains to a request for a Feature Verification process for CSRs not available through IMA or CEMR. This response addresses the IMA and CEMR processes for Feature Verification on Small CSRs, when the CSR is not available. It also addresses the interval for Feature Verification for retail customers

IMA Process:

? If a CLEC attempts Feature Verification for a Small CSR (50 pages or less) in IMA and the CSR is unavailable, they may receive one of the following error messages: “Received Error From FNSGateway ResDup Account List: E105”, “Received Error From FNSGateway ResDup Account List: E106”, “Cannot Connect to April”. When one of these error messages is received, CLECs may submit their requests for Feature Verification via a new process for Small CSR Feature Verification. Unless significant issues are raised by the CLECs which are being resolved by the parties, the new process will take effect on December 17, 2001.

? When an IMA request for Small CSR Feature Verification is unsuccessful because the CSR is unavailable, CLECs will submit their requests to a designated e-mail address or fax number in the Interconnect Service Center. The request should be submitted to the Interconnect Service Center that normally processes the CLEC’s LSRs. The telephone number and state of the CSR being verified must be included in the request.

? The appropriate e-mail addresses and fax numbers for Small CSR Feature Verification follow: Denver Center – e-mail: kwalden@qwest.com; fax number (303) 383-7197, Minneapolis Center – e-mail: lahend1@qwest.com, rdrier@qwest.com, gfinnem@qwest.com or cranta@qwest.com; fax number (612) 663-0502.

? The commitment interval for completing and responding to Feature Verification requests for Small CSRs will be determined either by the number of pages in the CSR or individual negotiation. The standard interval for a CSR with 50 pages or less is 1-3 business days. During peak periods, it may be necessary to individually negotiate the commitment interval for a Feature Verification request.

? When the Feature Verification process is complete, the center Service Delivery Consultant will send an e-mail or fax response (determined by how the request was sent) to the CLEC. The Feature Verification response will include the verification process findings and a description of any corrective action taken.

Questions regarding IMA Feature Verification should be directed to the Interconnect Service Center at 1 888 796-9087.

CEMR Process:

? Feature Verification failures not related to service orders or occurring past the 72-hour order completion timeframe should be referred to the Repair Center via e-mail. The Repair Center e-mail address for Feature Verification requests is cemrfv@qwest.com. The Feature Verification request e-mail should include the telephone number and feature to be verified and the CEMR error message received.

? Requests for 3 or less Feature Verifications received Monday through Saturday from 6:00 a.m. until 6:00 p.m. will receive a response within 4 hours.

? Requests of 4 or more Feature Verifications will receive a response within 24-72 hours of the request.

? Requests received after 6:00 p.m. and before 6:00 a.m. Monday through Friday will be processed the following day using the guidelines based on the size of the request.

? Requests received after 6:00 p.m. Saturday and all day Sunday will be processed the following Monday and will follow the guidelines based on the size of the request.

To further assist the CLECs, the CEMR User Guide will be updated during December to include Feature Verification error messages (e.g., unable to retrieve switch data) and next step instructions to follow when an error is received in CEMR for Feature Verification.

Additionally Qwest was asked to provide the Qwest retail interval for Feature Verification. Automated feature verification is not available to retail customers. A retail customer notifies the repair center to initiate a repair ticket for feature troubles.

Sincerely, Monica Manning IMA Process Specialist

Cheryl McMahon Senior Process Analyst


Open Product/Process CR PC100101-3 Detail

 
Title: Qwest to issue orders for Port In and Port Within Correctly. (reference Systems CR # SCR083001 1)
CR Number Current Status
Date
Area Impacted Products Impacted

PC100101-3 Completed
11/14/2001
Pre-Ordering, Ordering Centrex, LNP, Resale, UNE-P
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Wells, Joan
Director:
CR PM: Thomte, Kit

Description Of Change

When orders including Port In and Port Within are issued incorrectly they cause significant service affecting problems, up to and including customers out of service for several days. Eschelon asks Qwest to establish and provide a documented, trained and adhered to process to ensure orders are issued correctly for Port In and Port Within situations.


Status History

09/30/01 - CR received by Kathy Stichter of Eschelon

10/01/01 - CR status changed to Submitted

10/01/01 - Updated CR sent to Kathy Stichter of Eschelon and Steve Sheahan of Qwest

10/03/01 - CR Clarification meeting scheduled to be held with Kathy Stichter of Eschelon on 10/10/01 via 03:15 PM MST conference call

10/10/01 - Clarification meeting conducted with Eschelon.

10/17/01 - CMP Meeting: CLEC community & Qwest conducted clarification discussion. Qwest to provide response for next CMP Meeting (November 14, 2001). "Current Status" changed to Evaluation.

10/29/01 - Sent Draft Response to Kathy Stichter at Eschelon.

11/08/01 - Sent Updated Draft Response to Kathy Stichter at Eschelon.

11/14/01 - CMP Meeting the response to this Process Change was accepted and the request was closed. Systems CR 083001-1 was issued to implement the change.

11/26/01 - Final response sent based on outcome of CMP meeting


Project Meetings

October 10, 2001 3:15 MDT Alignment/Clarification Meeting 1770-C 877 847-0338 7022846 PCCR100101-3

Introduction of Attendees Kathy Stichter Eschelon Joan Wells Qwest Kit Thomte Qwest

Introduced attendees as mentioned above Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Kathy provided a history of why this CR had been submitted. Jeff Thompson recommended that this be submitted as a process CR because it is an order writing issue.

Confirm Areas & Products Impacted {read from change request, modify if needed}

Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Joan Wells is the person that deals with this subject.

Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measurable terms i.e. provide a documented process, change a process to include training etc)}

Kathy indicated that the problem really comes from the orders being routed to the wrong center. As a result they end up being worked incorrectly. Joan indicated that MCC’s have been sent out regarding the process associated with how these requests should be routed. Long term the use of NPI should resolve the routing issues. Bonnie inquired if Joan could include in her request, that if manual handling is not indicated on the order could the NPI field be used to route the order rather than the manual handling.

Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts} Another CR exists that is addressing the NPI field. Kit will get w Kate Spry to coordinate between these two CRs. Establish Action Plan (Resolution Time Frame) {state action required, who will be responsible and by when}


CenturyLink Response

Wholesale Product Marketing November 7, 2001

Ms. Kathleen Stichter Eschelon Telecom

This letter is in response to Change Request Form, PCCR100101-3 - Qwest to issue orders for Port In and Port Within Correctly, dated 09/30/2001. Description of Change: When orders including Port In and Port Within are issued, they cause significant service affecting problems, up to and including customers out of service for several days. Eschelon asks Qwest to establish and provide a documented, trained and adhered to process to ensure orders are issued correctly for Port In and Port Within situations.

Definitions of Activity: * Port In activity includes all service requests in which the end user is currently being served by another Network Service Provider and the end user does not currently reside in a Qwest switch. Qwest has received a Local Service Request to Port the end user into the Qwest switch. Current Wholesale activity includes Port In to Qwest Resell Services. * Port Within (Location Portability) is the ability of end users to retain the same telephone number when moving from one service location, to another area that is served by different central offices within the same Rate Center and in some locations, within NPA and municipal boundaries. The end user is currently being served by Qwest as the network Service Provider and resides in a Qwest switch.

Items of concern: 1) End User customers out of service for several days. * Port In service order requests are handled the same way as regular Resale New Connects. Dial tone is verified up to the Network Interface prior to completion. However, successful completion of the port often depends upon the disconnect of the switch translation’s that are currently being provided by the old Network Service Provider. Qwest currently processes the incoming request with a default frame due time of 12pm unless otherwise indicated by the Reseller. This helps to ensure that Qwest programming is completed prior to the disconnect of the old Network Service Provider, which Qwest requests to take place at 5pm. If translation’s are not removed from the old Network Service Provider’s switch, intra-office calls may be affected. Qwest has no way to determine if the old Network Service Provider as completed their piece of this process. * Port Within orders are handled the same way as regular Resale T&F orders. Dial tone is verified up to the Network interface, with a disconnect occurring at the old location in conjunction with installation at the new location. Inside wiring is generally the responsibility of the Resale Provider. * Qwest has an escalation process currently in place. The Clec/Reseller may contact the Interconnect Call Center at 800 796-9087 for support and open up an escalation ticket up to 48 hours after the port due date should a problem occur. * If requested, Qwest will do a root cause analysis on problem as they occur for continued process improvement.

2) Eschelon asks Qwest to establish and provide a documented, trained and adhered to process to ensure orders are issued correctly for Port In and Port Within situations. Qwest confirms that the Port In and Port Within processes are documented internally for those Qwest employees that process service order requests associated with this type of activity. This process is however, a manual process in which service orders requests must be screened and routed to the correct Interconnect Center. Qwest has also issued 2 internal communicators as a reminder of the current process for handling Port In and Port Within service requests. The first dated 09-04-01 is titled "Processing LSR requests when the manual Handling filed has an entry of "Y", along with an entry in the Remark field". The second, dated 10-26-01, titled "Correct processing of LSR Requests when manual handling "Y", has been entered, along with a Remark entry requesting a Port In or Port Within".

The Centers are continuing to do Root Cause analysis on problem orders (via the Quality Team), with direct feedback to the Center employees involved as needed. Qwest has also issued a request to have a system update done. Qwest will, with the correct use of the NPI field that currently appears on the Resale form, automatically route Port In and Port Within service order requests to the correct Interconnect Center for proper provisioning. This request was a result of PCCR100101-1.

After CLEC review, Qwest would like to request that this CR be closed, with further follow-up to take place in conjunction with PCCR100101-1.

Sincerely, Joan Wells LNP Process Manager


Open Product/Process CR PC100101-4 Detail

 
Title: Developed, documented, trained and adhered to process to make sure that customer’s old VM boxes are removed when a customer leaves Qwest for a CLEC.
CR Number Current Status
Date
Area Impacted Products Impacted

PC100101-4 Completed
3/20/2002
Repair Centrex, Resale, Unbundled Loop, UNE-P
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Van Dusen, Janean
Director:
CR PM:

Description Of Change

When a customer leaves Qwest to order service with a CLEC and the customer had Qwest VM, Qwest does not consistently remove the customer’s old VM box. This causes the end user to experience trouble. Incoming calls to the end user could be routed to the old VM box that the end user no longer recognizes. When incoming callers leave messages in an old VM box the end user never gets the messages because they do not know to check the old box. Then the messages that are left and not deleted cause, what the end user identifies as, a constant stutter dial tone. The end user calls Eschelon believing the problem is with the Eschelon provided VM. Qwest is often unable to find the old VM box to tear it down because the Qwest CSR no longer exists. It sometimes takes weeks to get an old Qwest VM box removed, inconveniencing the end user. Eschelon asks Qwest to establish and provide a documented, trained and adhered to effective process to make sure customers’ old VM boxes are removed when a customer leaves Qwest for a CLEC.


Status History

09/30/01 - CR received by Kathy Stichter of Eschelon

10/01/01 - CR status changed to Submitted

10/01/01 - Updated CR sent to Kathy Stichter of Eschelon and Steve Sheahan of Qwest

10/10/01 - Clarification Meeting Scheduled for October 15, 2001 with Eschelon

10/15/01 - Held Clarification Meeting with Eschelon

10/15/01 - MCC Issued titled "VOICE MESSAGING-BUS/RES (BVMS/VMS)", asking to check for associated Call Forwarding features when removing Qwest Voice Messaging on a conversion to Resale

10/16/01 - Qwest Draft response posted to database.

10/17/01 - CMP Meeting - Clarification Conducted with CLEC Community, "Current Status" changed to Evaluation.

10/31/01 - Issued draft response dated 10/31/01 to Eschelon.

11/14/01 - CMP Meeting - Qwest presented its response. Eschelon stated that when call forward numbers are changed correctly, the Qwest voice-mailbox does not come down and interferes with call forwarding. Qwest advised that the response does not address this issue. It was recommended that another clarification meeting be held with Eschelon.

11/19/01 - Eschelon representative on vacation from 11/19-11/23 unavailable for clarification call

12/03/01 - Second clarification call held (earliest available time slot)

12/12/01 - CMP Meeting: Janean Van Dusen (Qwest) gave a status update. Revised response will be presented in January. Status remains in Presented.

12/14/01 - Qwest asked Eschelon for some recent examples of when the voice mailbox had not been removed correctly

12/17/01 - Reply e-mail from Eschelon, they will obtain examples

12/19/01 - An internal systems change request was created to ensure associated features are removed when a voice mail box is removed. Target implementation is early April 2002.

01/03/02 - E-mail from Qwest asking for examples

01/08/02 - Called Eschelon and discussed the need for an example(s) with Kathy.

01/10/02 - Action Item # 1 opened in response to E-mail from Eschelon asking for process example

01/16/02 - January CMP meeting. Qwest explained the process and system fixes they are implementing to help correct this problem. However, to get to the root cause Qwest needs examples from the CLECs. CLECs agreed to provide examples when this issue occurs again. CR status changed to "Development"

02/07/02 - Action Item # 1 (response to E-mail from Eschelon asking for process example) moved to pending closure

02/20/02 - February CMP meeting: Action item # 1 presented and closed. CLECs had no new examples to examine. General agreement obtained from CLECs to move this CR to CLEC Test and reevaluate at the March CMP meeting. CR Status changed to "CLEC Test" Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

03/01/02 - Formal response dated 02/22/02 issued to CLECs. Notification number: CMPR.03.01.02.F.01233.CR_Responses

03/04/02 - Formal response dated 02/22/02 posted to the CMP database

03/04/02 - Formal response dated 02/22/02 posted to web in the Product & Process Interactive report URL: http://qwest.com/wholesale/cmp/changerequest.html

03/20/02 - CMP Meeting - It was agreed that the CR could be closed, CR status changed to Completed. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

04/17/02 - CR Open/Closed status changed to closed and inactive and checked for Archive 2002


Project Meetings

01/10/02 E-mail from Eschelon asking for process example Subject: FW: FW: PC100101-4 Examples Date: Thu, 10 Jan 2002 11:06:02 -0600 From: "Stichter, Kathleen L." To: tmead@qwest.com Todd, We do not have any current examples to supply Qwest. What did Qwest do that they think the issue is fixed? At the clarification meeting I asked to see the process Qwest uses. I have not seen that yet. Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 Email klstichter@eschelon.com

01/03/02 E-mail from Qwest asking for examples Subject: Re: FW: PC100101-4 Examples Date: Thu, 03 Jan 2002 10:28:55 -0700 From: Todd Mead Organization: Qwest Communications International, Inc. To: "Stichter, Kathleen L." Kathy, Have you had any luck tracking down any examples? Todd

12/17/01 Reply e-mail from Eschelon Subject: FW: PC100101-4 Examples Date: Mon, 17 Dec 2001 08:01:15 -0600 From: "Stichter, Kathleen L." To: tmead@qwest.com Todd, I will see what we can get. Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 Email klstichter@eschelon.com

12/14/01 E-mail from Qwest, requesting examples from Eschelon Sent: Friday, December 14, 2001 5:29 PM To: Kathleen Stichter Subject: PC100101-4 Examples Kathy, We are having some difficulty identifying the process gaps that are causing the problem identified in your CR. It would be extremely helpful to get some examples from Eschelon. Either a previous example of this problem or ideally, one that you are currently attempting to get resolved. Any help would be appreciated. Thanks Todd

3:00 p.m. (MDT) / Monday 3rd December 2001 Clarification Meeting Kathy Stichter / Eschelon Chris Frederiksen / Eschelon Mallory Paxton / Qwest Janean Van Dusen / Qwest Todd Mead / Qwest Review Requested (Description of) Change Area Impacted - Repair Products - Centrex, Resale, Unbundled Loop, UNE-P Confirm Right Personnel Involved - Potential network involvement required, Janean will coordinate Identify/Confirm CLEC’s Expectation - Eschelon would like to see the process (either new or existing), that outlines exactly how old Voice Mail boxes are removed when a customer leaves Qwest for a CLEC. The process should include the Qwest contact information in the event of a VM box not being removed. Action Plan - After internal research, Qwest will supply a status at the December CMP meeting giving a timeframe for a revised response.

1:00 p.m. (MDT) / Monday, Oct 15th, 2001 Alignment/Clarification Meeting Conference Call 1-877-847-0338 PC7826706 # PCCR100101-4 Kathleen Stichter, klstichter@eschelon.com, Eschelon Telecom Mallory Paxton, mpaxton@qwest.com, Qwest Janean Van Dusen, jvandus@qwest.com, Qwest Michael Belt, mbelt@qwest.com, Qwest Introduction of Attendees Kathy, Janean, Mallory, Michael Review Requested (Description of) Change Developed, documented, trained and adhered to process to make sure that customer’s old VM boxes are removed when a customer leaves Qwest for a CLEC. Confirm Areas & Products Impacted Area: Repair Products: Resale - Janean Van Dusen Confirm Right Personnel Involved Products: Resale - Janean Van Dusen Identify/Confirm CLEC’s Expectation The customer's CR requested a process to make sure customers VM boxes are removed on conversion of an end user from retail to resale. Identify any Dependent Systems Change Requests N/A Establish Action Plan (Resolution Time Frame) Janean VanDusen to provide response by 10/17/01


CenturyLink Response

February 22, 2002

Kathleen Stichter ILEC Relations Manager Eschelon Telecom

SUBJECT: Qwest’s Change Request Response - CR # PC100101-4 Developed, documented, trained and adhered to process to make sure that customer’s old VM boxes are removed when a customer leaves Qwest for a CLEC.

REQUEST: When a customer leaves Qwest to order service with a CLEC and the customer had Qwest VM, Qwest does not consistently remove the customer’s old VM box. This causes the end user to experience trouble. Incoming calls to the end user could be routed to the old VM box that the end user no longer recognizes. When incoming callers leave messages in an old VM box the end user never gets the messages because they do not know to check the old box. Then the messages that are left and not deleted cause, what the end user identifies as, a constant stutter dial tone. The end user calls Eschelon believing the problem is with the Eschelon provided VM. Qwest is often unable to find the old VM box to tear it down because the Qwest CSR no longer exists. It sometimes takes weeks to get an old Qwest VM box removed, inconveniencing the end user. Eschelon asks Qwest to establish and provide a documented, trained and adhered to effective process to make sure customers’ old VM boxes are removed when a customer leaves Qwest for a CLEC.

RESPONSE: Since mid-December 2001, Qwest have been asking CLECs for recent examples of Qwest not removing the customer’s old Voicemail box. However, CLECs have yet to experience any reoccurrence of this problem. Qwest communicated the process for adding, changing or disconnecting voice mailboxes to the CLEC community on January 29, 2002. Qwest believes that with the distribution of this documented process and on-going monitoring, this CR can be closed.

Sincerely,

Janean Van Dusen Product Manager Qwest

Cc: Bill Campbell, Director Product Management, Qwest Mallory Paxton, Senior Process Analyst, Qwest


Open Product/Process CR PC092801-2 Detail

 
Title: Eschelon asks Qwest to establish and provide a documented, trained and adhered to effective process for vendor meets.
CR Number Current Status
Date
Area Impacted Products Impacted

PC092801-2 Denied
1/16/2002
Repair Centrex, Resale, UNE-P, Unbundled Loop
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Aesquivel III, Frederick
Director:
CR PM:

Description Of Change

Eschelon would like Qwest to document a process for vendor meets. There are times when Eschelon calls Qwest repair to report trouble and Qwest says that no trouble was found or that the trouble was past the DMARC and Eschelon does not agree because Eschelon has determined that the trouble is with Qwest. Qwest will close the ticket. Eschelon will then try to reopen a ticket with Qwest and Qwest insists on a vendor meet since they say they found no trouble. Qwest would set up a vendor meet with Eschelon for a specific day and time. Now Qwest is saying that they will not set a specific time that they need a 4-hour window. Eschelon can not have a technician sitting around for 4 hours waiting for a Qwest technician to show up at a customer premise. Eschelon asks Qwest for its definition of a Vendor Meet. Eschelon asks Qwest to establish and provide a documented, trained and adhered to effective process for vendor meets with appropriate associated time frames. This process should state the steps that should take place, from beginning to end, on a vendor meet. It should specify under what conditions a vendor meet is required. It should state a window of 30 minutes or less for the time to meet on a specific date. It should state that a ticket is not closed until the CLEC authorizes the ticket to be closed. It should state that if the Qwest technician is going to be late that the technician is required to call the CLEC so they can advise their technician and their customer.


Status History

09/28/01 - CR received from Kathy Stichter of Eschelon

09/28/01 - CR status changed to Submitted

09/28/01 - Updated CR sent to Kathy Stichter and Steve Sheahan

10/11/01 - Held Clarification Meeting

10/17/01 - CMP Meeting: Clarification conducted with CLEC community. "Current Status" changed to evaluation. Draft response to be written.

10/30/01 - Received Draft Response from Fred Aesquivel III.

11/01/01 - Forwarded draft response, dated 10/30/01, to Kathy Stichter

11/14/01 - CMP Meeting: Eschelon moved this to CLEC Test. Qwest requested that Eschelon provide examples of any push-back they are receiving regarding vendor meets.

11/16/01 - Matt Rossi issued Final Response to CLEC Community.

12/12/01 - CMP Meeting - Eschelon requested that the CR be left in CLEC Test. Eschelon to provide any input to Fred Aesquivel and Ric Martin, qwest.

01/16/02 - CMP Meeting - Eschelon had no examples to provide. They requested that the CR be placed into Denied status because Qwest's response didn't provide what was requested by the CR for POTS.

03/20/02 - CR Open/Closed Status changed to Closed per agreement at 03/20/02 Monthly CMP Meeting that CRs having Denied status should also reflect Closed Status


Project Meetings

10:30 p.m. (MDT) / Thursday, October 11th, 2001 Alignment/Clarification Meeting Conference Call 1-877-542-1728 PC7712487 # PCCR092801-2

Attendees: Kathleen Stichter, klstichter@eschelon.com, Eschelon Telecom Deni Toye, dtoye@qwest.com, Qwest Fred Aesquivell III, faesqui@qwest.com, Qwest Don Tolman, dtolman@qwest.com, Qwest Carolyn Mills, camills@qwest.com, Qwest Kate Spry, kspry@qwest.com, Qwest

Introduction of Attendees Kathy, Deni, Fred, Don, and Kate Review Requested (Description of) Change Eschelon asks Qwest to establish and provide a documented, trained and adhered to effective process for vendor meets. Confirm Areas & Products Impacted Areas: Repair Products: Resale, Centrex, UNE-P, and Unbundled Loop Confirm Right Personnel Involved Fred is the ‘owner’ of this CR and will be the point of contact for future problems of this nature until the root cause is established and draft response issued. Deni and Don are available to answer process questions. Carolyn is filling in for questioning for Yvonne Philpot. Kate will coordinate all necessary clarification meetings, complete meeting minutes, and review, forward, and store necessary documentation to database. Identify/Confirm CLEC’s Expectation Eschelon would like Qwest to document a process for vendor meets. There are times when Eschelon calls Qwest repair to report trouble and Qwest says that no trouble was found or that the trouble was past the DMARC and Eschelon does not agree because Eschelon has determined that the trouble is with Qwest. Qwest will close the ticket. Eschelon will then try to reopen a ticket with Qwest and Qwest insists on a vendor meet since they say they found no trouble. Qwest would set up a vendor meet with Eschelon for a specific day and time. Now Qwest is saying that they will not set a specific time that they need a 4-hour window. Eschelon can not have a technician sitting around for 4 hours waiting for a Qwest technician to show up at a customer premise. Eschelon asks Qwest for its definition of a Vendor Meet. Eschelon asks Qwest to establish and provide a documented, trained and adhered to effective process for vendor meets with appropriate associated time frames. This process should state the steps that should take place, from beginning to end, on a vendor meet. It should specify under what conditions a vendor meet is required. It should state a window of 30 minutes or less for the time to meet on a specific date. It should state that a ticket is not closed until the CLEC authorizes the ticket to be closed. It should state that if the Qwest technician is going to be late that the technician is required to call the CLEC so they can advise their technician and their customer. Fred, Don, and Deni all agreed that the rep telling there was a 4 hour window was a mistake and that she just didn’t understand the process. Kathy said this was only a one time occurrence and the woman she spoke with was Linda Rogers out of the Utah Call Center regarding #(801) 546-7493. We currently have an internal process in place which explains the process for vendor meets which Fred will run by legal and verify that we can pass this on to the CLECs. This process was created on 8/31/00. Identify any Dependent Systems Change Requests No related system CR’s were identified. Establish Action Plan (Resolution Time Frame) Fred will clarify this process and will check with legal to verify that he can provide our internal documentation to the CLEC’s which explains the vendor meets process. Fred will give a response at the next CMP meeting on October 17th, 2001. At that time he will gather feedback and create a formal response to be reviewed at the November CMP meeting. This document will be forwarded to Kate Spry for processing. Fred will find out why this information is not posted to the web for the CLEC’s information and will also find out why the supervisor was not aware of this process which has been in place since 8/31/00. After the formal response is created, Kate will review and forward this information to Mike Keegan to store in the CR database. This information can then be reviewed and discussed by the CLEC Community at the December CMP Meeting if needed. Don will also make sure that this information is provided to the different centers for future reference. Kathy can attend the October 17th, 2001 CMP meeting to review verbal response. Additional clarifications can be made at that time.


CenturyLink Response

October 30, 2001 Final Response

Kathy Stichter ILEC Relations Manager Eschelon

CC: Terry Meehan Kate Spry

This letter is in response to the following CLEC Change Request Form PC092801-2 dated September 28, 2001. The Change Request is asking for clarification on definition and requesting several process changes from Qwest as outlined below:

* Eschelon is requesting Qwest’s definition of a vendor meet. Qwest’s joint meet definition includes: Qwest responds to CLECs requesting a joint meet to troubleshoot activities at an assigned location. Qwest, CLECs, and possibly third party vendors, meet to isolate hard-to-find faults, verify existing trouble and diagnosis, conduct joint studies on switch circuits and resolve chronic and repeat problems. All designated parties, including Qwest and the CLEC, will meet at a prearranged trouble location to test a particular circuit. Dispatch Out (WFA/DO) joint meets are classified as meets that take place outside the central office. Dispatch "In" (WFA/DI) joint meets take place inside the central office. These meetings are short and informal and result in a corrected fault.

Complex Service customers are requesting joint meet commitments on Service Assurance tickets (trouble reports). The customer is expecting a field technician to be on premise during a specified timeframe.

Note that the above response is from a Qwest process bulletin for Designed Services.

* Eschelon is requesting that Qwest implement a (documented, trained, and adhered to) process for vendor meet (specific date and time) for Plain Old Telephone Services (POTS). Qwest currently has this process in place for Designed Services. Based on initial analysis, given the volumes of POTS dispatched out trouble reports that Qwest processes, Qwest believes that providing all Retail and Wholesale customers the latitude to request a specific date and time would significantly increase the risk of maintaining current repair service performance levels for all customers. Qwest denies this Change Request as written.

* Eschelon is requesting that Qwest will not close any repair ticket until the CLEC authorizes the ticket to be closed. Qwest does not in all cases have direct access to all CLECs to perform “real time” transfer of trouble resolution and completion information. Waiting for a CLEC to clear voice mail and reply back to Qwest that they are authorized to close a specific ticket may result in increased trouble resolution time, missed appointments, and technician idle time. Qwest denies this Change Request as written.

* Eschelon is requesting that if a Qwest technician is going to be late (for the joint meet) that the technician be required to call the CLEC so they can advise their technician and customer. Not applicable unless the above requested process is deployed.

Again, please note that Qwest does have a process in place for joint meets on Design Services where the volumes are considerable lower, and the trouble types are generally more complex due to the nature of complex products and services.

Respectfully,

Frederick M Aesquivel III Director - Local Network Operations Support


Open Product/Process CR PC100401-1 Detail

 
Title: Process for Coordinated Hot Cuts on CLEC UBL to CLEC Resale. (Reference System CR # SCR100401 1x)
CR Number Current Status
Date
Area Impacted Products Impacted

PC100401-1 Denied
1/15/2003
Pre-Ordering, Ordering Centrex, Resale, UNE-P, UBL with LNP
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Wells, Joan
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Currently Qwest only offers Coordinated Hot Cuts (CHC) on the unbundled product. Qwest should offer the option for coordination when a customer is converting from CLEC UBL (Unbundled Loop) to CLEC resale. Whether reuse of facilities or new facilities are requested the coordination of the Lift and Lay and/or install, porting, and translations requires coordination to ensure our end user customers do not experience service impacting issues for extended periods of time. Eschelon asks Qwest to offer coordination on CLEC UBL to CLEC resale cut-overs.


Status History

10/02/01 - CR received from Eschelon

10/04/01 - CR status changed to Submitted

10/04/01 - CR Updated and sent to Eschelon.

11/05/01 - Clarification Mtg Held with Eschelon.

11/12/01 - Had additional questions for Eschelon which were emailed to Kathy Stichter at Eschelon.

11/12/01 - Need to schedule another meeting with Eschelon. New questions have come up after further investigation. Left message for Kathy S. to call me to schedule.

11/14/01 - CMP Meeting - Eschelon presented the CR. It was determined that UBL with LNP needed to be added and that there should be another clarification meeting

11/19/01 - Received answers back from Eschelon, however Kathy S. is on vacation from 11/19-11/23 and I haven't yet heard back from her to be able to schedule nessessary meeting with her.

11/29/01 - Conducted additional clarification meeting with Eschelon.

11/29/01 - Eschelon provided clarification e-mail.

12/03/01 - Clarification Meeting Minutes issued to Eschelon.

12/12/01 - CMP Meeting - Qwest advised of the coordination effort required in addition to its LNP Managed Cut product and expressed concern in coordination with 3rd party CLEC. Eschelon advised they were only interested in Qwest internal coordination. Qwest to investigate whether the Network coordinated process could be used in-lieu-of developing a new product. Qwest to develop its response.

01/08/02 - Issued Qwest's Draft Response dated January 4, 2002 to Eschelon and posted to dBase.

01/16/02 - CMP Meeting - Qwest presented its draft response. Qwest advised that it would like to present another solution based on partnering with retail. CR will remain in Presented status and Qwest will address the issues from the CMP meeting.

01/31/02 - Received questions from Eschelon to be addressed in Qwest's response.

02/12/02 - Issued Qwest's Revised Draft Response dated 2/7/02 to Eschelon.

02/20/02 - CMP Meeting - Qwest presented its revised response. It was agreed that the CR could be moved to Development. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02.

02/22/02 - Qwest's formal response dated 2/7/02 issued to CLEC Community.

03/13/02 - Issued Development status update and answers to Eschelon's questions from the 2/20/02 CMP Meeting. Posted update in the CMP dBase under Qwest Response.

03/20/02 - CMP Meeting - Qwest provided a status update on the process development and responded to Eschelon's questions from February's CMP Meeting. The CR will remain in Development status. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

04/17/02 - CMP Meeting - Qwest provided a status updated and indicated that a Systems CR would need to be created to complete the process development. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. It was agreed to issue a Systems CR.

04/24/02 - Issued Systems CR to cmpcr@qwest.com on behalf of Eschelon.

05/15/02 - CMP Meeting - Qwest advised that the Systems CR had been issued. It was agreed that the CR could be closed. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

01/07/03 - Re-opened CR, and activated, removed from archive, changed status from Completed to Evaluation on 1/7/03.

01/08/03 - Sent Qwest response to Bonnie Johnson at Eschelon

01/15/03 - January CMP Meeting - Qwest presented response. CR status changed to Denied. Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

01/15/03 January CMP Meeting Kit Thomte with Qwest explained that this CR was crossed over from Systems to Product and Process, SCR100401-1X was closed, and Kit presented the denial response to this CR, PC100401-1. Kit explained that PC100401-1XMN has been opened to address the completion call manual process. Status of this CR will be changed to Denied.

12/19/02 Systems CMP Meeting Kit Thomte/Qwest said we’ve had a couple of discussions over the last few days on the this CR. Bonnie Johnson/Eschelon thought this CR had been denied and wanted Qwest to provide a status in this meeting. What we’ve agreed to do, is to close the existing systems CR, resurrect the original Product/Process CR, deny it, then create a sub-CR under the Product/Process CR with an MN suffix so that the things that Bonnie Johnson/Eschelon wanted would be addressed in the sub CR. Judy Schultz/Qwest- noted that Section 5.7 of the CMP Document states that if there is a systems change request with a manual process available, then a parent-child relationship CR would be created. The reason we went that route is that Bonnie Johnson/Eschelon felt that the original request was a deny and did not want to start with a new date. Bonnie Johnson/Eschelon stated that when this CR was originally opened, we were optimistic that it would happen, and it was crossed over to Systems to add a USOC. The systems CR does not apply any more. She also stated that it was very important to me because I asked for a specific product. Qwest stated that they are unable to fulfill that request so the CR has to be denied. They have some solutions that will alleviate some of the pain, so part of what I asked for can be provided. Jonathan Spangler/AT&T asked Bonnie Johnson/Eschelon if they are asking Qwest to do a coordinated hot cut. Bonnie Johnson/Eschelon noted from unbundled to resale or UNE-P. Jonathan Spangler/AT&T asked how is that different from what we’re building with Joan Wells/Qwest now. Bonnie Johnson/Eschelon said that is just with port-in. Jonathan Spangler/AT&T asked if we have clarification that the loop that the CLEC is using is a Qwest loop - Qwest is not going to reuse the facility. Bonnie Johnson/Eschelon said that the problem is you have the potential of a customer working at two switches. Judy Schultz/Qwest said that when we open this MN CR, we’ll bring that it forward to the next meeting and make sure we have all the right people on the telephone from Product and Process. Jonathan Spangler/AT&T stated that the CLEC to UNE-P CLEC discussion with Joan Wells/Qwest might help to see how we handle those orders. Mike Zulivac/Covad said that is something that Covad is interested in as well. If there is an opportunity to broaden the scope to include all types of coordinated hot cuts that may be beneficial. Jonathan Spangler/AT&T asked if they would have to define the scope of the MN CR. Bonnie Johnson/Eschelon said that Qwest has actually denied this, so I’m not sure that will help you Judy Schultz/Qwest said that there are piece parts that can be completed through a manual process change. She explained that that was what the MN suffix was to be used for. Once we have the experts in the room perhaps, we can address your concerns as well. Therefore, is everyone ok with us closing the systems CR, denying the original Product/Process CR and then having the appropriate SMEs in the room to discuss the MN CR. All agreed. Kit Thomte/Qwest said that this action item will be closed.

Subject: FW: CR Issues Related to CHC for UBL to Resale Conversions Date: Thu, 31 Jan 2002 13:10:11 -0600 From: "Stichter, Kathleen L." To: rhmart2@qwest.com CC: "Johnson, Bonnie J."

Ric, Please respond to Bonnie's questions and requests below. Thanks

Kathy Stichter ILEC Relations Manager Eschelon Telecom, Inc 612-436-6022 klstichter@eschelon.com

> --Original Message-- > From: Johnson, Bonnie J. > Sent: Sunday, January 20, 2002 7:14 PM > To: Stichter, Kathleen L. > Cc: Powers, F. Lynne; Clauson, Karen L. > Subject: CR Issues Related to CHC for UBL to Resale Conversions > > Kathy, > The following are the questions I would like to communicate to Ric Martin. > * Qwest indicated there was a documented process for Network services stating if there is a lift and lay involved, the lift and lay would be > done at or as close to the FDT as possible. Please confirm and provide documentation. * What is the jeopardy process when Qwest is unable to obtain an FOC > on the TN release from another CLEC. * What is the appropriate interval for UBL to Resale port in conversions. Please provide documentation. * Is there a standard interval for responding to an LSR requesting the release of TN's. What is the industry standard. What is Qwest's obligation > to obtain the response. > > In addition, Eschelon would like to move forward with the process recommendation for orders where new facilities are required. > > Thanks for your assistance. > > Bonnie Johnson

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Subject: FW: Conference Call for CR for CHC Date: Thu, 29 Nov 2001 16:12:47 -0600 From: "Stichter, Kathleen L." To: rhmart2@qwest.com

Ric, Eschelon's intent on the CR was for both scenarios. So based on the call this morning, what Eschelon would be looking for would be 2 different processes. One for internal to Qwest only and one that would coordinate internally and externally with the CLEC (Eschelon) if the CLEC for the UBL was the same CLEC for the resale. Thanks

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 Email klstichter@eschelon.com

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CLEC Change Request Clarification Meeting

November 29, 2001, 9:30 am (MT) Conference Call

866.564.8688 PC100401-1, Process for Coordinated Hot Cuts on CLEC UBL to CLEC Resale

Attendees: Ric Martin, Qwest Joan Wells, Qwest Kathy Stichter, Eschelon

Introduction of Attendees Introduction of the participants on the Conference Call was made and the purpose of the call was to reconfirm Eschelon’s requirements under the CR and review their e-mail dated 11/19/01.

Review CR Requirement an E-Mail Qwest explained that Qwest currently has a process for ordering a loop with LNP. Also there is currently coordination with Port-out activities. There currently is no coordination on Port-in activity. Qwest explained that there could be 2 scenarios for a coordination of a cut from CLEC UBL to CLEC Resale: 1. CLEC owns the UBL and Resale – Eschelon UBL want to go to Eschelon Resale. 2. A different CLEC Owns the UBL from the resale – Another CLEC owns the UBL and want to go to Eschelon Resale. Qwest advised that they could provide the coordination process internally to Qwest when the UBL and Resale are by the same CLEC.

Qwest currently doesn’t control the 3rd party CLECs release of a translation. Qwest doesn’t have a product offering for the Port-in coordination and would need to establish agreements for this activity with other CLECs.

Confirm Right Personnel Involved Qwest’s indicated that Joan Wells would be responsible for the internal Port-in coordination process, but Qwest Product Marketing would be responsible for development of any product offerings.

Action Plan Eschelon is to confirm if they want Qwest to develop a process for the two (2) scenarios listed in 2.2 above or only scenario 1. Qwest to review requirements for a product offering with Product Manager. Based on Eschelon’s answer to 7.1, Qwest to evaluate and develop response.

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11/19/01 E-Mail from, Stichter, Kathleen L." wrote:

> Kate, > Bonnie Johnson has answered your questions below. > Thanks > > Kathy Stichter > ILEC Relations Manager > Eschelon Telecom Inc > Voice 612 436-6022 > Email klstichter@eschelon.com > > > --Original Message-- > > From: Johnson, Bonnie J. > > Sent: Friday, November 16, 2001 4:57 PM > > To: Stichter, Kathleen L. > > Subject: RE: [Fwd: PCCR100401-1, Questions] > > > > > > Kathy, > > See below! > > --Original Message-- > > From: Stichter, Kathleen L. > > Sent: Friday, November 16, 2001 1:30 PM > > To: Johnson, Bonnie J. > > Subject: FW: [Fwd: PCCR100401-1, Questions] > > > > Bonnie, > > Can you please answer the questions below and I will send the answers on > > to Kate? > > Thanks > > > > Kathy Stichter > > ILEC Relations Manager > > Eschelon Telecom Inc > > Voice 612 436-6022 > > Email klstichter@eschelon.com > > > > --Original Message-- > > From: Kate Spry [SMTP:kspry@qwest.com] > > Sent: Monday, November 12, 2001 3:28 PM > > To: klstichter@eschelon.com > > Subject: [Fwd: PCCR100401-1, Questions] > > > > Kathy, > > > > Could you please answer a few questions for us. Thanks. > > > > Kate Spry > > > > Joan Wells wrote: > > > > Thanks for your help, Kate. > > > > Questions about PCCR100401-1. > > > > 1) Would we ever have an Unbundled Loop conversion to a Resale account > > without LNP? No > > If so, in what scenario would this be? > > Would you want coordination for this as well? > > > > 2) I understand the CR to be specific to Port In to Resale from a CLEC > > that currently has the end user as an UBL. > > Qwest will make every attempt to reclaim the loop. Do you want > > coordination on the Port in even when Qwest is not reusing any facilities? > > Yes for the LNP and translations > > > > 3) If Qwest is unable to successfully negotiate managed cut arrangements > > with the outgoing CLEC, would you still want the internal Qwest Port In > > piece to be managed? Yes > > > > 4) If this is established as a product offering, charges may apply. Would > > this be satisfactory? Yes. > > > > 5) Are you wanting coordination for Port Within T&F's as well? No. > > However, we have had situations where the F comes down before the T goes > > up. I understand there will be some down time but this is for several > > hours. We would like the F side kept up until it is necessary to do > > translations on the port within and T side. > > > > << Message: PCCR100401-1, Questions >>

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Alignment/Clarification Meeting 10:30 p.m. (MDT) / Friday, November 5th, 2001 Conference Call 1-877-542-1728 Attendees: Kathleen Stichter, klstichter@eschelon.com, Eschelon Telecom Tina Schiller, tmschiller@eschelon.com, Eschelon Telecom Bonnie Johnson, bjjohnson@eschelon.com, Eschelon Telecom Russ Urevig, rurevig@qwest.com, Qwest Stacy Hartman, sscrogh@qwest.com, Qwest Mallory Paxton, mpaxton@qwest.com, Qwest Janean Van Dusen, jvandus@qwest.com, Qwest Laurel Neher, lneher@qwest.com, Qwest Debra Smith, dssmith@qwest.com, Qwest Kate Spry, kspry@qwest.com, Qwest

Eschelon asks Qwest to establish a process for Coordinated Hot Cuts on CLEC Unbundled Loop to CLEC Resale. Areas: Pre-Ordering and Ordering Products: Resale, Centrex, UNE-P Janean is the ‘owner’ of this CR and will be the point of contact for future problems of this nature until the root cause is established and draft response issued. Lorna Dubose and/or Maureen Callan should be notified and brought into the response for answers regarding Migration. Stacie, Mallory, Laurel, and Debra will be available for any questions regarding their impacted areas. Kate will coordinate all necessary clarification meetings, complete meeting minutes, and review, forward, and store necessary documentation to database. Currently Qwest only offers Coordinated Hot Cuts (CHC) on the unbundled product. Qwest should offer the option for coordination when a customer is converting from CLEC UBL (Unbundled Loop) to CLEC resale. Whether reuse of facilities or new facilities are requested the coordination of the Lift and Lay and/or install, porting, and translations requires coordination to ensure our end user customers do not experience service impacting issues for extended periods of time. Eschelon asks Qwest to offer coordination on CLEC UBL to CLEC resale cut-overs. No related system CR’s were identified. Janean will clarify this process internally and will give a verbal response at the December CMP meeting. At that time she will gather feedback and create a formal response to be reviewed at the January CMP meeting. This document will be forwarded to Kate Spry for processing. After the formal response is created, Kate will review and forward this information to Mike Keegan to store in the CR database and will forward this information to Kathy S.. This information can then be reviewed and discussed by the CLEC Community at the January CMP Meeting if needed. Kathy can attend the December 2001 CMP meeting to review verbal response. Additional clarifications can be made at that time. A written formal response will be forwarded after that meeting is held and feedback is provided.


CenturyLink Response

January 7, 2003

Kathy Stichter ILEC Relations Manager Eschelon

SUBJECT: Qwest’s Change Request Response - CR # PC100401-1.Process for Coordinated Hot Cuts on CLEC UBL to CLEC Resale. Description of Change: Currently, Qwest only offers Coordinated Hot Cuts (CHC) on the unbundled product. Qwest should offer the option for coordination when a customer is converting from CLEC UBL (Unbundled Loop) to CLEC resale. Whether reuse of facilities or new facilities are requested the coordination of the lift and lay and/or install, porting, and translations requires coordination to ensure our end user customers do not experience service impacting issues for extended periods of time. Eschelon asks Qwest to offer coordination on CLEC UBL to CLEC resale cut-overs.

This update is to document what Qwest and the CLECs have agreed to with Eschelon’s CR Request as noted above. - As we discussed in the May 2002 CMP Product Process, this CR was moved to completed status. Qwest advised this CR would close and cross over as a reissue in systems CR to pursue the Completion Call process solution. - As we also advised in the August CMP Product Process meeting regarding action item AI051502-2, Retail is not going to pursue the CHC process. Eschelon agreed that the action item could be closed. - During the December CMP meeting, Eschelon requested a formal denial of this CR as presented. As discussed the CR as presented is technically not feasible for Qwest. - Qwest and the CLECs have been working on the alternative process and a viable “completion call” option has been agreed to with Eschelon. As a result of this, a new CR will be initiated by Qwest in the January Product Process meeting.

Meanwhile, Eschelon’s original CR #PC100401-1 is denied as technically not feasible and we will be working through the alternate process utilizing the Product Process CMP requirements.

Sincerely,

Joan Wells Process Analyst, LNP

- 03-08-2002

Eschelon Telecom Ms.Kathleen Stichter

Dear Ms. Stichter:

SUBJECT: Development Status Update - Change Request CR # PC100401-1. Process for Coordinated Hot Cuts on CLEC UBL to CLEC Resale

The following is an update on the developments of the Coordinated Hot Cuts:

At this time, Qwest is unable to confirm the Coordinated Port In process because it is still in the early stages of development. Should the Coordinated Port In process be developed and implemented, Qwest Wholesale will at that time look at the offering again.

In accordance with your direction at February’s CMP meeting, Qwest is moving forward with the “Completion Call” and will now concentrate on the development and costs associated with the Completion Call” process. Qwest will continue to provide status updates during the development process

Below are response to the action items from February’s CMP meeting:

1.) Eschelon has requested that the Wholesale Escalation Centers be made aware of the Network lift and lay process. Qwest Wholesale Process will educate the Escalation group about this existing Network process through an internal communicator and on the Qwest weekly LNP team call.

2.) Eschelon asked if the intervals stated are in the Standard Interval guide. Standard Intervals for Installation on Ported In TNs are based on the Product specific guidelines. However, the Desired Due Date is a tentative due date, until the Firm Order Confirmation (FOC) is received from the Old Service Provider (OSP) prior to releasing the Port In telephone number into our systems. The OSP will participate in the port activity. The Number Portability Administration Center, (NPAC) will anticipate receiving subscription activity (service orders) with matching DDD and Frame Due Time (FDT) released by both companies within the same timer windows. Qwest will process the request as quickly as possible, to try to accommodate the desired due date.

3.) Concerns were brought up about the process Qwest has when they are unable to obtain an FOC on the TN release from the current CLEC. Changes to the proposed process were requested by the CLECs, as well as verification of parity on this process with Qwest Retail.

These responses are as follows: Qwest expects to receive a reciprocal FOC response from the CLEC community when we request a Port Out into the Qwest Network and will not complete a Port In request to our network without receiving an FOC from the Old service Provider. ? Qwest will issue the number port LSR to the OSP and follow-up for 5 business days on simple services and Complex service orders. ? If Qwest has not received the FOC from the OSP, the SDC will contact the OSP directly to find out why a response has not been sent. ? Qwest will contact the Reseller requesting the Port In and let them know that an FOC response has not been received yet. The Resale Provider may also contact the current Provider to encourage an FOC response. ? Qwest will follow-up again in 5 business days, if still no response, Qwest will contact the Qwest Service Manager of the current CLEC for help in obtaining the FOC. ? Qwest will follow-up again in 5 business days, if still no response, Qwest will cancel the LSR sent to the Old Provider and reject the order back to the Reseller.

Note: As long as Qwest Wholesale continues to receive correspondence from the current CLEC (OSP) concerning the Port request, Qwest will continue to pursue the FOC response and the Port In activity.

During the February’s CMP meeting, Qwest Retail had stated that Retail would continue to process the Winback to Qwest request as long as they have continued correspondence from the current CLEC. If they are unable to get a response or receive confirmation from the CLEC, they will refer the request back to the Retail Sales force to contact the end user.

Sincerely,

Joan Wells Process Manager Local Number Portability Qwest

Cc: Lorna Dubose, LNP Product Manager, Qwest Joan Smith, Qwest Retail

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02-07-2002

Eschelon Telecom Ms.Kathleen Stichter

SUBJECT: Qwest’s Change Request Response - CR PC100401-1 Process for Coordinated Hot Cuts on CLEC UBL to CLEC Resale

Description of Change: Currently, Qwest only offers Coordinated Hot Cuts (CHC) on the unbundled product. Qwest should offer the option for coordination when a customer is converting from CLEC UBL (Unbundled Loop) to CLEC resale. Whether reuse of facilities or new facilities are requested the coordination of the lift and lay and/or install, porting, and translations requires coordination to ensure our end user customers do not experience service impacting issues for extended periods of time. Eschelon asks Qwest to offer coordination on CLEC UBL to CLEC resale cut-overs.

The Initial response provided to Eschelon included consideration of offering increased coordination internally for Wholesale Port In activity. Qwest Wholesale proposed a more simplified process of a Completion Call. This Completion Call process would be available only when new facilities are being used. The Reseller would indicate in Remarks on the LSR, that they are requesting a Completion Call. Qwest would develop a new FID that could be placed in the Remarks sections of the order when issued, that would indicate to the outside Plant Technician (new facilities) that a completion call has been requested by the Reseller. This FID, along with the Reseller Contact Name and Number would appear on the order. Upon completion of the work, the Reseller would be notified by the outside Plant Technician, which would then allow them to complete any additional work needed.

After this proposal was made, Qwest Wholesale became involved with Qwest Retail in assisting with developing a different type of Coordinated Port In / Port Within process, which will include more than just offering a completion call.

At this time, Qwest is unable to confirm the offering, because it is still in the initial development stages.

Eschelon has requested responses to the following additional concerns:

1.) Eschelon would like to see the documented process for Network Services stating the details of the lift and lay process to help ensure that the lift and lay process takes place as close to the Frame Due time as possible.

This Qwest Internal process is documented in the Network Services, Central Office Job Aid, document CO-CL-01-0002/Rev.6. “Competitive Local Exchange Carrier (CLEC) to Qwest Migration”, dated 01/16/2002. Included in this document is the process for coordinating the movement of the customers telephone number, when number portability is involved, from CLEC to Qwest. The details include: the Central Office will be control for the coordination of the design services “IAD” disconnect and the Retail/Resale New Connect. When the correlation of the two orders has been identified by the C.O. personnel, which is created by the related order activity between the loop reclamation and the new install, the orders will be worked at the FDT (Frame Due Time) on the Retail/Resale order Due Date, or as close there after as possible. Testing of the cable pair and a test call to the number will be done to confirm porting. Qwest Wholesale has confirmed this process with Network and they have ensured us that Qwest personnel are aware of this process.

2.)What is the jeopardy process when Qwest is unable to obtain an FOC on the TN release from another CLEC.

Qwest expects to receive a reciprocal FOC response from the CLEC community when we request a Port Out into the Qwest Network and will not complete a Port In request to our network without receiving an FOC from the Old service Provider. ? Qwest will issue the number port LSR to the OSP and follow-up for 5 business days on simple services and Complex service orders.

? If Qwest has not received the FOC from the OSP, the SDC will contact the OSP directly to find out why a response has not been sent. ? Qwest will contact the Reseller requesting the Port In and let them know that an FOC response has not been received yet. ? Qwest will follow-up again in 5 business days, if still no response, Qwest will cancel the LSR sent to the Old Provider and reject the order back to the Reseller.

3.) What is the appropriate interval for UBL to Resale Port In conversions. Please provide documentation.

At this time an appropriate Due Date Interval for the Port In request with or with Loop Reclamation is 10 days. This coincides with the process of follow-up listed in issue 2.

4.) Is there a standard interval for responding to an LSR requesting the release of TN’s. What is the industry standard? What is Qwest’s obligation to obtain the response?

Industry standards are guidelines only. It is the expected that the FOC response of the CLEC should be reciprocal of that currently listed in the standard interval guide established by Qwest. Qwest is acting on behalf of the Reseller to complete this Port In request accurately and timely. After two attempts are made to contact the CLEC, the LSR will be rejected back to the Reseller, refer to response 2.

Sincerely,

Joan Wells Process Manager Local Number Portability Qwest

Cc: Lorna Dubose, LNP Product Manager, Qwest


Open Product/Process CR PC102901-1 Detail

 
Title: Qwest to include PON on Qwest Winback Orders.
CR Number Current Status
Date
Area Impacted Products Impacted

PC102901-1 Completed
4/17/2002
Ordering Centrex, Resale, UNE-P
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Pent, Anne
Director:
CR PM: Thomte, Kit

Description Of Change

Currently when Qwest Wins Back a customer from Eschelon and an order is issued on an Eschelon account Qwest does not enter a PON. When Qwest does not enter a PON on an order then the Loss and Completion Report does not include a PON. Eschelon asks Qwest to develop, document, distribute and train an adhered to process to use a PON on all orders issued on Eschelon accounts.


Status History

10/29/01 - CR Received by Kathy Stichter of Eschelon

10/29/01 - CR Status changed to Submitted

10/29/01 - Updated CR sent to Kathy Stichter and Steve Sheahan

10/30/01 - Clarification meeting scheduled for Friday 11/02/01.

11/02/01 - Clarification Meeting held with Eschelon

11/14/01 - CMP Meeting - Eschelon presented its CR.

12/05/01 - Second clarification call held

12/12/01 - CMP Meeting: Eschelon presented its CR, Qwest SME in attendance, status changed to Evaluation. Discussion centered on whether the fix will be systems or process related. Eschelon was concerned about the timing of implementation if a systems fix is required. Qwest will explore both systems and process related fixes to this request. Qwest will present their draft response at the January CMP meeting.

01/10/02 - Draft response dated 01/10/02 posted to the CMP database and issued to Eschelon. Status changed to "Presented"

01/16/02 -January CMP meeting. Qwest presented their response to the CLEC community. CLECs agreed to change the status to "Development"

01/21/02 - Formal response dated 01/10/02 issued to CLECs

02/20/02 - February CMP meeting: Action item # 1 presented and closed. CR will remain in Development status until March CMP meeting. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

02/21/02 - Notification issued to CLECs with announcement of PON field enhancements on Loss & Completion report

03/20/02 - March CMP meeting. CLECs agreed to change CR status to "CLEC Test." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be

posted on the CMP Web site

04/01/02 - Sent Eschelon an e-mail asking for status on the system fix

04/01/02 - Reply e-mail from Eschelon - they continue to send daily reports to Qwest with missing PONs

04/09/02 - E-mail from Qwest explaining the two examples where there was no PON for winback orders

04/17/02 - April CMP Meeting: CLECs agreed to close CR. Status changed to "Completed." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site


Project Meetings

04/09/02 - E-mail from Qwest explaining the two examples where there was no PON for winback orders

Subject: Qwest Winbacks - Loss Report Date: Tue, 09 Apr 2002 15:09:36 -0600 From: "Todd Mead" Organization: Qwest Communications International, Inc. To: Bonnie Johnson CC: Kathleen Stichter

Bonnie, Thanks for the update on this issue. Qwest continues to monitor and investigate the daily spreadsheet you send to Dee. Thus far, Qwest has discovered two examples from your spreadsheets where the PON field was left blank on Qwest Winbacks. However, both of these orders were processed on 3/14 (the edit was implemented 3/16). If these early orders are not touched between the issue date and completion date and were submitted prior to the 3/16 edit, then the PON field will remain blank. However, for any orders submitted after 3/16 you should not see the PON field blank for Winbacks. Please continue to monitor and forward any examples to Qwest.

Thanks

Todd

04/01/02 - Reply e-mail from Eschelon - they continue to send daily reports to Qwest with missing PONs

Subject: RE: CR Update Date: Mon, 1 Apr 2002 10:20:31 -0600 From: "Johnson, Bonnie J." To: Todd Mead , "Stichter, Kathleen L."

Todd, See below!

--Original Message-- From: Todd Mead [SMTP:tmead@qwest.com] Sent: Monday, April 01, 2002 9:46 AM To: Stichter, Kathleen Cc: Johnson, Bonnie Subject: CR Update

Kathy, I am looking for some feedback on two of your CRs that are currently in CLEC Test:

PC102901-1 "Qwest to include PON on Qwest Winback Orders" Hopefully you are now seeing the Loss reports with the PON field populated for winback orders? Check with Dee Lucket at Qwest. We continue to send "missing PON's" to her on a daily basis. Dee would be able to give you the compliance rate as she identifies which "missing PON's" are Qwest winbacks.

02/21/02 Notification issued to CLECs with announcement of PON field enhancements on Loss & Completion report

Announcement Date: February 21, 2002 Effective Date: March 16, 2002 Document Number: SYST.02.21.02.F.02589.PONFldLs-CmplRpt Notification Category: System Target Audience: CLECs, Resellers Subject: PON Field for Loss & Completion Report (Winback and Record Orders)

This notification is to advise Loss & Completion report users that, effective March 16, 2002, two enhancements to the Loss & Completion reports will be implemented:

- For Qwest ‘Winback’ orders, the Loss and Completions report will display “000015137896” as the PON. - For Qwest ‘Record’ orders, the Completions report will display “RECCOR” as the PON.

If you have any questions, please feel free to contact me at 303-896-2680.

Curt Anderson 271 IT PMO

Wednesday, 5th December, 2001 / 12:00 p.m. (MST)

Second clarification call

Attendees: Kathy Stichter / Eschelon Bonnie Johnson / Eschelon Anne Robberson / Qwest Donna Svendgaard / Qwest Todd Mead / Qwest

Identify/Confirm CLEC’s Expectation - Eschelon do not want to see any orders on the completion report without an accompanying PON - Eschelon do not require the use of the word “Win Back” on the completion report if this creates parity issues with Qwest Retail. Who the customer goes to is not important to Eschelon, confirmation that Eschelon should stop billing the customer is the issue here. - With the implementation of a suitable process, Qwest and Eschelon can stop the current process of sending and investigating daily spreadsheets of completion orders with no PONs.

Establish Action Plan Anne will set up a meeting with Resale before next CMP meeting (12/12/01) Anne will report progress at December CMP meeting A draft response will be posted to the web and presented at January’s CMP meeting

Friday, 2nd November, 2001 Clarification Meeting Conference Call 1-877-847-0338 PC7826706 # PC102901-1 Qwest to include PON on Qwest winback orders.

Meeting Minutes of Eschelon Meeting 11/2/2001

Attendees: Kathy Stichter, Eschelon Bonnie Johnson, Eschelon Mark Routh, Qwest CMP Manager Peggy Esquibel-Reed, Qwest CMP Todd Mead, Qwest CMP Mike Belt, Qwest CMP Mark Coyne, Qwest Wholesale Process Anne Robberson, Qwest Wholesale Process Nancy Walker, Qwest Wholesale Systems Barbara Campbell, Qwest Wholesale Systems Curt Anderson, Qwest Wholesale Systems

The above attendees met on Friday, 11/2/2001 to review the research findings for the data issues that Eschelon had identified on their Loss and Completions reports. The research findings and resulting Qwest actions are documented in a document titled “Eschelon Research Summary”. The details of the data researched are documented in a document titled “Eschelon Research Details”. In addition to the Qwest actions identified in the “Eschelon Research Summary”, the following action items were identified in the meeting:

Anne will complete the Issue Reference column on the Eschelon Research Details document and return the document to Nancy. Nancy will forward it on to Peggy for distribution to Eschelon. Mark Coyne will define and implement a process for identifying the Qwest winback orders on the list of orders with missing PONs that Eschelon delivers to Qwest daily. Nancy will contact Alan Zimmerman to discuss Eschelon’s use of the Loss and Completions Report. It appears that Eschelon is using the report to identify when a line was lost for the purpose of discontinuing account billing. This may not be an appropriate use of this report. Anne will research the “C” orders with TIC charges that appear on one of Eschelon’s daily missing PONs list and will determine whether or not these orders were written correctly. Anne will research the orders that were identified as missing the TRAK DCR RS on the Eschelon Research Details document and will determine what process failures caused the omission. The following URs and CRs were discussed as a result of this research. Curt will track the processing of these requests to provide status updates to his management prior to the next CMP meeting. 1. Missing or Inaccurate PON on Completion Report:

The Missing PON spreadsheet sent on 10/2 had 248 detail lines which reflected 118 orders with missing or inaccurate PONS. For these orders, the Completion Report correctly included the service order information that was present in the SOP. The SOP either did not have PONs for these orders or had the inaccurate PONs at the time the orders completed. The causes for the missing or inaccurate PONs were traced to the following seven order writing scenarios:

Of the 118 orders: A. 58 are Qwest Retail “winback” orders. These orders were initiated by Qwest Retail and do not include PONs. These orders appear on the Loss and Completions Reports for the CLEC that is losing the service to notify them of the impact to their business. Qwest Actions: - Anne will talk with the retail service center that processes “winback” orders to gather information about their process and will determine if their process can be changed to require entry of a PON. Eschelon has submitted CR #PC102901-1 requesting this process change. - Anne will talk with the process specialist for Loss and Completions Reporting to request that existing procedures and CLEC training be updated to include information about Qwest Retail “winback” orders appearing with no PON on Loss and Completions Reports.

B. 14 are orders that were initiated by Qwest Wholesale to record Trouble Isolation Charges that resulted from a repair call that was placed by Eschelon or by their end-user. It is Qwest’s policy to bill a Trouble Isolation Charge when a Qwest technician finds the problem to be on the end-user’s premise. Qwest Wholesale initiates orders to record these charges and stores the Account Number in the PON field since the SOPs require PON and no PON is available. These orders appear on the Completions Reports for the CLEC that “owns” the service to notify them of the impact to their business. Qwest Actions: - Anne will talk with the process specialist for CLEC Trouble Reporting to gather information about their process for recording Trouble Isolation Charges and will determine if their process can be changed to enter “TIC” as the PON. If this change is feasible and if all CLECs agree to it, Anne will create a UR to initiate a system change in the system that generates these orders. - Anne will talk with the process specialist for CLEC Trouble Reporting to request that existing procedures and CLEC training be updated to include information about orders initiated by Qwest to record Trouble Isolation Charges. - Anne will talk with the process specialist for Loss and Completions Reporting to request that existing procedures and CLEC training be updated to include information about Qwest orders for Trouble Isolation Charges appearing with an Account Number as the PON on Completions Reports.

C. 3 are “F” orders without PONs. “F” orders are one component of a transfer order. Transfer orders are comprised of a “T” order (identifying the transfer to information) and an “F” order (identifying the transfer from information). These transfer orders were submitted by Eschelon and processed by the Flow through processor which stores the PON on the “T” order but not on the “F” order. Qwest Actions: - Anne wrote a UR to initiate a system change in the Flow through processor to record the PON on the “F” order.

D. 17 are orders that were submitted by Eschelon and manually entered without PONs into the Western region SOP by Qwest Service Delivery Coordinators. The SOPs in the Eastern and Central regions include an edit to require PON on wholesale orders (RCID or ZCID is present) with inward activity. The Western region SOP does not include this edit. Since the SOP did not require PON, Service Delivery Coordinators incorrectly omitted the PON when entering these orders into the SOP. Qwest Actions: - Anne wrote a UR to initiate a system change to include an edit to require PON on wholesale orders with inward activity in the Western region SOP.

E. 13 are orders that were submitted by Eschelon and manually entered with inaccurate PONs into the Eastern and Central region SOPs by Qwest Service Delivery Coordinators. The SOPs in the Eastern and Central regions include an edit to require PON on wholesale orders (RCID or ZCID is present) with inward activity. Service Delivery Coordinators incorrectly entered an inaccurate value for the PON when entering these orders into the SOP. Qwest Actions: -On 9/21/01 Qwest distributed internally an MCC to re-emphasize the importance of the PON entered on the service order matching the PON on the LSR. The topic heading of the MCC was “Order Writing” and the heading stated “It is extremely important that the PON information entered on the service order matches the PON on the LSR.” This action was taken as result of research performed by Qwest in response to a separate CLEC inquiry relating to inaccurate PONs on Loss and Completions Reports. -Anne will notify the team leaders in the wholesale service centers that there are occurrences of inaccurate PONs on service orders and will request that they ensure that their teams are entering PONs correctly.

F. 12 are record orders that were initiated by Qwest Wholesale and do not include PONs. Record orders may be initiated by a CLEC or by Qwest Wholesale to correct system records. The SOPs do not require PON on record orders. Qwest Actions: -Anne will talk with the process specialist for record orders to gather information about their process for generating record orders and will determine if their process can be changed to enter “RECCOR” as the PON. If this change is feasible and if all CLECs agree to it, Anne will issue an MCC internally to implement the process change. -Anne will talk with the process specialist for Loss and Completions Reporting to request that existing procedures and CLEC training be updated to include information about record orders appearing with no PON on Completions Reports.

G. 2 are disconnect orders submitted by Eschelon and do not include PONs. The SOPs do not require PON on disconnect orders. Qwest Actions: -Anne will write a UR to initiate a system change to include an edit to require PON on wholesale disconnect orders in all regional SOPs. -Anne will talk with the process specialist for Loss and Completions Reporting to request that existing procedures and CLEC training be updated to include information about disconnect orders appearing with no PON on Completions Reports.

Attachment: The spreadsheet titled “Qwest Research on Orders with Missing PONs” cross references the 118 orders included on Eschelon’s spreadsheet of orders with missing PONs to the order writing scenario detailed above that resulted in the missing or inaccurate PON data on the Loss and Completions Reports.


CenturyLink Response

January 10, 2002

Kathy Stichter ILEC Relations Manager Eschelon Telecom, Inc.

CC: Mark Coyne Sue Burson Carolyn Brown John Gallegos Connie Winston

This letter is in response to your CLEC Change Request Form, number PC102901-1 dated 10/29/01 Qwest to include PON on Qwest Winback Orders.

REQUEST: Currently, when Qwest wins-back a customer from Eschelon and an order is issued on an Eschelon account Qwest does not enter a PON. When Qwest does not enter a PON on an order then the Loss and Completion Report does not include a PON. Eschelon asks Qwest to develop, document, distribute and train an adhered to process to use a PON on all orders issued on Eschelon accounts.

RESPONSE: Qwest understands the difficulty the CLECs currently face when no PON is entered on the Loss & Completion Report for Qwest win-backs. To resolve this situation Qwest has initiated a systems related project that will ensure the PON field on the Loss & Completion Report is populated for Qwest win-backs.

Qwest has completed a systems change request on the behalf of Eschelon and resources have been assigned. The target implementation date for this project is in the second quarter, 2002. Qwest will provide a commitment date for implementation at the February CMP meeting.

Sincerely,

Anne Robberson Senior Process Analyst

Curt Anderson Project Manager


Open Product/Process CR PC120301-2 Detail

 
Title: Develop, distribute and train an adhered to process to provide CLECs with final APOT information at least 15 days before RFS.
CR Number Current Status
Date
Area Impacted Products Impacted

PC120301-2 Denied
2/20/2002
Ordering, Maintenance/Repair, Provisioning Collocation
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Mohr, Bob
Director:
CR PM:

Description Of Change

Qwest does not provide a CLEC with final APOTs until on or after the collocation ready for service (RFS) date. On that date, CLEC is required to pay all remaining nonrecurring charges and begin paying recurring charges for the collocation space. Yet, the collocation space is not functional because the associated UNEs, transport services and CLEC to CLEC routing cannot be ordered with any certainty until after the final APOT information is made available to CLEC. While Qwest will allow CLECS to place orders based upon preliminary APOT information provided before the RFS date, this does not guarantee that CLEC can utilize its space on the RFS date. If Qwest determines that the final APOT is different from the preliminary APOT, CLEC is required to submit a supplement to its service order, thereby delaying delivery of UNEs, transport and CLEC to CLEC routing. Eschelon asks Qwest to develop, distribute and train an adhered to process to provide CLECs with final APOT information at least 15 days before RFS so that CLECs can place orders in a time frame that enables them to actually utilize their collocation space on the RFS date. Eschelon needs to obtain the Final APOT information as soon as possible, because as the example noted below indicates, receiving the Final APOT information is by no means a guarantee that the information is correct. Correcting APOT issues takes time and coordination, which, if handled in the early stages of the order, can be resolved without affecting the established RFS date generated by Qwest and expected by Eschelon/Eschelon customers. Example: On one of Eschelon's ICDF, Eschelon made Final Payment on 8/23/01 (Final APOT expected on/about 8/24/01). Eschelon received Final APOT on 9/14/01 (22 days after Wire Transfer). Before the 9/14/01 date, Qwest revised the APOT information for this specific ICDF twice before it sent the Final/Corrected APOT information.


Status History

11/30/01 - CR received from Eschelon.

12/03/01 - E-Mail Acknowledgement issued to Eschelon Telecommunications

12/04/01 - CR posted to Qwest Wholesale Markets CMP Web page

12/07/01 - Eschelon contacted to schedule clarification call.

12/12/01 - CMP Meeting - Eschelon presented CR to CLEC Community.

12/14/01 - Clarification call conducted with Eschelon. Meeting minutes transmitted to Eschelon.

01/16/02 - CMP Meeting - Qwest conducted CLEC community clarification discussion. Eschelon indicated the need for advanced final APOT information in order to provision customers in advance of the ready for service (RFS) date. Qwest indicated that provisioning can be performed with advance preliminary APOT information. CLEC community agreed to change CR Status to "Evaluation."

02/08/02 - Qwest "Draft" response (dated 02/08/02) transmitted to submitting CLEC and posted in CMP data base.

02/20/02 - CMP Meeting - Qwest presented the "Draft" response. CR status changed to "Denied." Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

02/22/02 - Qwest "Formal" response (dated 02/08/02) posted in CMP data base.

03/20/02 - CR Open/Closed Status changed to Closed per agreement at 03/20/02 Monthly CMP Meeting that CRs having Denied status should also reflect Closed Status


Project Meetings

2:00 p.m. (MDT) / Friday 14th December 2001 Conference Call TEL: 877.564.8688 CODE: 6265401 PC120301-2 "Develop, distribute and train an adhered to process to provide CLECs with final APOT information at least 15 days before RFS" Clarification Meeting

Kathleen Stichter, Eschelon Renee Lernes, Eschelon Karen Kraas, Qwest Laurel Burke, Qwest Barry Orrel, Qwest Peter Wirth, Qwest

1.0 Introduction of Attendees Attendees introduced.

2.0 Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Eschelon presented the CR. Eschelon requested that Qwest provide final Alternate Point of Termination (APOT) 15 day prior to the collocation Ready for Service (RFS) date (additional detail in CR). This was requested in order to allow the CLEC to conduct provisioning on advance of the RFS date & provide customer service on the RFS date.

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} “Collocation” confirmed as appropriate. “Physical” & “ICDF Collocation” boxes under “Collocation” identified during conference call.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} N/A Qwest & Eschelon confirmed appropriate personnel were in attendance.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measureable terms ie provide a documented process, change a process to include training etc)} Qwest to evaluate CR. During the January 2002 Monthly P&P CMP Meeting, a CLEC community clarification session will be conducted with Qwest providing potential options for addressing the CR.

6.0 Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts} N/A PC120301-3.


CenturyLink Response

February 8, 2002

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc

SUBJECT: Qwest Change Request Response - CR PC 120301-02 Develop, distribute and train and adhered to process to provide CLECs with final APOT information at least 15 days before RFS

This letter responds to your CLEC Change Request Form, number PC120301-2 dated November 30, 2001 - Develop, distribute and train an adhered to process to provide CLECs with final APOT information at least 15 days before RFS. Eschelon requested this change so that "CLECs can place orders in a timeframe that enables them to actually utilize their collocation space on the RFS date." The change request provided one example of final APOT information being made available by Qwest days after the payment.

Qwest distributes the preliminary Alternate Point of Termination (APOT) fifteen (15) days prior to the Ready for Service (RFS) date. Final APOT is provided to the CLEC customer on the RFS date, provided the final 50% payment is received in full. The CLEC may then use the preliminary APOT to place service orders. The ordering process does not differ for a preliminary or a final APOT.

[Note: The order may not be turned up prior to the collocation RFS date, and receipt of final payment for the collocation must be received. When the orders are placed within the provisioning timeframe for the service, such service may be utilized and available to the CLEC on the date of the collocation RFS.]

During on-site completion of actual install work there may be changes to the engineering design work package or actual cables and blocks. Therefore, Qwest needs to continue to provide preliminary APOT 15 days prior to RFS with final APOT delivered on RFS and receipt of full payment.

Eschelon’s example dealt with an Interconnection Distribution Frame (ICDF) collocation. They noted their final APOT was provided several weeks following the final payment. During the walk-through with the State Interconnect Manager, discrepancies were noted that required engineering changes. Those changes were implemented and a revised final APOT provided to the customer at that time. However, the final payment was received prior to this implementation. Since work on the discrepancies was progressing, the final APOT was held until that work completed.

Sample data supports the decision not provide a final APOT 15 days prior to RFS. Forty (40) jobs were completed in 2001 for Eschelon. Seven and a half percent (7.5%) of APOT data were changed between the time of issuance of the preliminary APOT and tender of the final APOT. Also, 55% of the 40 jobs completed significantly ahead of the RFS date such that only a final APOT was issued enabling Eschelon to order services and provide their customers with service on or before the scheduled RFS date.

Sincerely,

Robert Mohr Product Manager Qwest

Cc: William Campbell, Qwest


Open Product/Process CR PC120301-3 Detail

 
Title: Implement an adhered to process to provide CLECs with accurate APOT information.
CR Number Current Status
Date
Area Impacted Products Impacted

PC120301-3 Completed
4/17/2002
Ordering, Maintenance/Repair Collocation
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Burke, Laurel
Director:
CR PM:

Description Of Change

Qwest provides inaccurate APOT information that prevents CLEC from providing service to its customers until the problems are resolved. This happens on approximately ten percent of Eschelon’s orders. Eschelon asks Qwest to implement a process and procedure for accurate APOT numbering so that CLECs can be assured that they will be able to provide service without delay to their customers. The process and procedure should include a requirement that Qwest personnel validate APOTs as they are entered into TIRKS.

Example #1 (Labeling of terminations in the CO(s) does not match the APOT information). A DS1 order could not be turned up due to incorrect labeling at the CLEC DS1 Spot Frame. APOT information indicated pairs 1-56 belonging to Eschelon, however, Qwest labeling at the Central Office indicated Pairs 1-28 + 33-60 belonging to Eschelon. Eschelon submitted the pending T1 order with APOT 29 and the order was accepted, indicating a labeling error at the Central Office. Errors such as this confuse the Eschelon Operations group and ultimately cause delays until the labeling issue is resolved/confirmed.

Example #2 (Information on Final APOT sheets sent to Eschelon does not match information loaded in TIRKS/IMA). Eschelon could not process DS0 orders due to incorrect information listed on the Final APOT sheet for a collocation. Eschelon submitted orders under one DS0 Cable name (as indicated on the Final APOT sheet). Qwest database was loaded with another DS0 Cable name. Consequently, Qwest was not recognizing orders issued with the DS0 Cable name identifier as the information did not exist in Qwest's systems. Eschelon helped to resolve the matter by sending its own technicians to the Central Office to verify the labeling of the DS0 Blocks. Eschelon discovered that Qwest labeled the APOT information on the Vertical Blocks differently then indicated on the APOT sheet. Qwest subsequently issued a corrected APOT sheet, two days after the problem was first discovered.

Example #3 (Information on Final APOT sheets sent to Eschelon does not match information loaded in TIRKS/IMA). Qwest rejected orders for an Eschelon Collocation due to what was perceived as an incorrect CLLI Code. Qwest informed the Eschelon Provisioning Group that the CLLI Code Eschelon used was incorrect. Qwest records indicated a different CLLI Code and would not process orders despite the fact that Eschelon used the CLLI Code identified on the Fianl APOT sheet on its orders. A service manager at Qwest helped resolve the issue and explained that the problem was due to internal miscommunication within Order Validation.


Status History

11/30/01 - CR received from Eschelon.

12/03/01 - E-Mail Acknowledgement issued to Eschelon Telecommunications

12/04/01 - CR posted to Qwest Wholesale Markets CMP Web page

12/07/01 - Eschelon contacted to schedule clarification call.

12/12/01 - CMP Meeting - Eschelon presented CR to CLEC Community.

12/14/01 - Clarification call conducted with Eschelon. Meeting minutes transmitted to Eschelon.

01/11/02 - Qwest draft response transmitted to Eschelon.

01/16/02 - CMP Meeting - Laurel Burke (SME) presented Qwest response. SME indicated that process improvements have been implemented since example provided by Eschelon occurred. Explanation provided regarding three (3) examples provided. CLEC community agreed to move CR Status to "CLEC Test." Michael Zulevic, COVAD provided list of potential issues to Qwest regarding CR via e-mail. Qwest to review.

02/11/02 - Qwest "Formal" response (dated 01/11/02) posted in CMP data base.

02/15/02 - Qwest "Formal" response (dated 01/11/02) transmitted to CLEC community.

02/20/02 - CMP Meeting - Eschelon internally waiting on any examples to conduct test of Qwest response. CR remains in "CLEC Test" status. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

03/20/02 - CMP Meeting - Eschelon requested that the CR remain in CLEC Test for another month.

04/17/02 - CMP Meeting - Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. It was agreed that the CR could be closed.


Project Meetings

2:30 p.m. (MDT) / Friday 14th December 2001 Conference Call TEL: 877.564.8688 CODE: 6265401 PC120301-3 "Implement an adhered to process to provide CLECs with accurate APOT information" Clarification Meeting

Kathleen Stichter, Eschelon Renee Lernes, Eschelon Karen Kraas, Qwest Laurel Burke, Qwest Barry Orrel, Qwest Peter Wirth, Qwest

1.0 Introduction of Attendees Attendees introduced.

2.0 Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Eschelon presented the CR. Eschelon requested that Qwest provide accurate final Alternate Point of Termination (APOT) data to match TIRKS/IMA databases for correct provisioning of circuits (additional detail in CR). This was requested in order to allow the CLEC to conduct provisioning on advance of the RFS date & provide customer service on the RFS date.

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} “Collocation” confirmed as appropriate. “Physical” & “ICDF Collocation” boxes under “Collocation” identified during conference call.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Qwest & Eschelon confirmed appropriate personnel were in attendance.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measureable terms ie provide a documented process, change a process to include training etc)} Qwest to evaluate CR. During the January 2002 Monthly P&P CMP Meeting, a CLEC community clarification session will be conducted with Qwest providing potential options for addressing the CR.

6.0 Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts} N/A PC120301-2.


CenturyLink Response

January 11, 2002

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc

CC: Mary Retka, Qwest

This letter responds to your CLEC Change Request Form, number PC120301-3 dated November 30, 2001 – Implement an adhered to process to provde CLECs with accurate APOT information. Specifically, Eschelon asked Qwest to implement a process and procedure for accurate APOT numbering so that CLECs can be assured that they will be able to provide service without delay to their customers. The change request provided three examples of APOT information provided by Qwest and suggested that the process should include a requirement that Qwest personnel validate APOTs as they are entered into TIRKS.

Qwest previously committed and continues to commit to providing accurate Alternate Point of Termination (APOT) information. We also continue to commit to providing timely resolution of issues relating to information contained on the APOT. To this end, we revised and have implemented several internal processes to verify the accuracy of the APOT. Applicable process changes are addressed below in the context of the examples provided within the Change Request (CR).

- Example 1 describes a situation in which labeling of terminations in the Central Office did not match the APOT information. This job completed in April 2001 and the call to the APOT hotline occurred in November, seven months after the "Ready For Service" (RFS) date. Our investigation revealed that the State Interconnect Manager (SICM) and Eschelon representatives performed a walk through on this job; the APOT contained correct cable count pairs and matched the field cable count; the SICM identified where to connect their side of the terminations. The terminations were labeled correctly and TIRKS also reflects the correct cable count. However, the numbering associated with the jack locations did not match the locations identified on the APOT; for jobs other than ICDF collocations, the jack numbers do not appear on the APOT. Jack locations do not need to match the cable count numbers and in this case, the difference is apparently what caused confusion. This issue was resolved the business day after a call to the APOT hotline. In late June, early July 2001, CPMC personnel reevaluated their quality processes and implemented safeguards to ensure that correct information appears on the APOT; specifically, the state Project Manager is required to confirm that the APOT data matches TIRKS and that the DWP also matches the APOT. A process document (update issued 11/30/2001) reiterates that the Engineer must ensure that the actual installation is accurately reflected in both the APOT and the DWP. Additionally, Engineering revised its job aid on 8/28/2001 describing ICDF collocation engineering and its unique APOT in detail.

- Example 2 involved the inability of Eschelon to process DS0 orders based on incorrect TIRKS information. The APOT resulted from a job that completed in April but no call was made to the APOT hotline. There was a cable name error on the APOT; instead of an "s" the cable name contained a "d." The field and TIRKS correctly showed the "s," but there was a typographical error on the APOT. A revised final APOT was provided to Eschelon the morning of the second business day following the identification of the error to Collocation Project Management Center (CPMC) State Project Manager. Internal processes (updated 9/27/2001 and 11/30/2001) require the Engineer to verify the field installation information against the APOT, TIRKS, the design work package (DWP) as well as check any other affected engineering documents/systems for consistency. As changes are made and needs clarified (from sources such as the APOT hotline), engineering staff review and update the applicable job aids in addition to providing periodic training on issues, including APOT related ones, during monthly staff meetings. As indicated above, the CPMC State Project Manager is also required to manually check and validate that the APOT matches the parameters contained in the DWP. The CPMC audits compliance with this process on a monthly basis.

- Example 3 involved a rejection of orders because the CLLI code appeared to be incorrect on the final APOT. Upon notification of a building addition completion, Eschelon submitted an application for collocation space in the central office and was placed in the central office annex for which the addition had just been completed and for which a new CLLI had been assigned. The service center did not recognize the CLLI code associated with the collocation job (completed in April 2001) because it did not match the address or name of the central office on the order - a new name and physical address had been assigned to the building addition. However, the APOT, DWP and TIRKS were correct for the location of the collocation. The Account Service Manager was contacted and the situation explained sufficiently to allow the orders to process. Some unique situations will continue to arise and need to be addressed individually.

In summary, Qwest understands the concerns that result from order rejection, and has instituted the following measures to provide accurate APOT information:

- Internal process improvements (discussed above and) implemented by the Engineering, CPMC, and TIRKS organizations (effective July 2001);

- Qwest collocation engineering managers regularly provide training on and review of APOT job aids; and

- Continued operation of the "APOT Hotline" (refer to CR 5608156) to quickly and efficiently address any APOT discrepancies that may arise.

Qwest will continue to work with the CLEC community regarding APOT accuracy related issues.

Sincerely,

Laurel L. Burke Staff Advocate, Policy & Law Technical Regulatory Interconnection Planning


Open Product/Process CR PC120301-4 Detail

 
Title: Implement a process to insure Qwest adheres to ANSI Standard T1.102 and ANSI T1.104 for setting signal and loss level standards for DS3 cable length limitations.
CR Number Current Status
Date
Area Impacted Products Impacted

PC120301-4 Completed
4/17/2002
Ordering, Maintenance/Repair, Provisioning Collocation
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Wycoff, William
Director:
CR PM:

Description Of Change

Qwest currently states that it will meet ANSI standards without defining how it will meet the standards. Qwest should commit to engineering a complete DS3 Circuit when the request for a CLEC to CLEC cross-connect is made through the Qwest ICDF. Eschelon asks that Qwest adhere to ANSI Standard T1.102 and ANSI T1.104 with the additional lineal footage, ICDF connections, connectors and DSX interfaces taken into consideration. Without such a standard, CLECs are not assured a clear DS3 signal. If it is discovered that a signal level of no less than -4.7 dBm is present on a single unbalanced coaxial line (20 Ga/26 Ga), Qwest will notify the CLEC that amplification is required and will appropriately amplify the signal to meet ANSI Standards (as identified in ANSI Standard T1.102 and ANSI T1.104). Additionally, Eschelon requires that the two-unbalanced coaxial cable paths are within ± .5 dBm of one another. Otherwise, corrective action is necessary to meet this requirement.

Example #1 (Qwest needs to engineer the entire path (CLEC to CLEC) when the cross-connect is made through the Qwest ICDF). A CLEC to CLEC cross-connect was made with a third party in a Central Office. When the entire lineal footage of the DS3 Circuit was taken into consideration, the DS3 signal was not within ANSI loss level standards. Qwest contends that it will engineer the DS3 cable/signal from the Qwest ICDF to each separate Co-Provider but that it is not responsible for the complete circuit, although all elements involved. (i.e. BNC connectors, ICDF Cross-connect points, and DSX interfaces) contribute significantly to overall signal loss. Since Qwest provisions all three segments of the circuit, Qwest must provision the complete circuit in such a way that meets the ANSI standard.


Status History

11/30/01 - CR received from Eschelon.

12/03/01 - E-Mail Acknowledgement issued to Eschelon Telecommunications

12/04/01 - CR posted to Qwest Wholesale Markets CMP Web page

12/07/01 - Eschelon contacted to schedule clarification call.

12/12/01 - CMP Meeting - Eschelon presented CR to CLEC Community.

12/14/01 - Clarification call conducted with Eschelon. Meeting minutes transmitted to Eschelon.

01/16/02 - CMP Meeting - Qwest conducted CLEC community clarification discussion. Eschelon requested that Qwest contact Paul Hauser, Eschelon to discuss additional technical issues regarding the CR. Eschelon asked that Michael Zulevic, COVAD be invited to the conference call. CLEC community agreed to change CR Status to "Evaluation."

01/18/02 - Follow-up clarification call conducted with Eschelon and Covad in attendance; minutes transmited to Eschelon and Covad.

02/08/02 - Qwest draft response (dated 02/06/02) posted in CMP database & transmitted to Eschelon.

02/20/02 - CMP Meeting - Qwest presented the "Draft" response. CR status changed to "CLCE Test." Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

02/22/02 - Qwest "Formal" response (dated 02/06/02) posted in CMP data base.

03/20/02 - CMP Meeting - Eschelon requested that the CR remain in CLEC Test for another month until the have a chance to perform a test.

04/17/02 - CMP Meeting - Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. It was agreed that the CR could be closed.


Project Meetings

8:00 p.m. (MDT) / Friday 18th January 2002 Conference Call TEL: 877.564.8688 CODE: 6265401 PC120301-4 "Implement a process to insure Qwest adheres to ANSI Standard T1.102 and ANSI T1.104 for setting signal and loss level standards for DS3 cable length limitations." [Follow-up]

Kathleen Stichter, Eschelon Paul Hanser, Eschelon Michael Zulevic, Covad Bill Wycoff, Qwest Jeff Ferra, Qwest Laurel Burke, Qwest Peter Wirth, Qwest

1.0 Introduction of Attendees Attendees introduced.

2.0 Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Clarification was obtained from Eschelon & Covad for the subject CR. The following items were discussed: 1) Paul Hanser, Eschelon identified two (2) types of CLEC to CLEC connections in Qwest CO facilities: 1) direct connection (i.e., no routing through Qwest ICDF; and 2) connection through Qwest ICDF(s). Direct connections, in general, exhibit fewer problems and mainly concern cable lengths and re-generation concerns. Connections routed through a Qwest ICDF(s) usually involve larger Qwest CO facilities that may involve multiple floors and require more detailed assessments of circuit cable lengths, regeneration, ICDF connection losses, and other connector losses (i.e., BNC). Eschelon expressed concern that proper engineering and testing of the end to end portion of the Qwest furnished curcuit (i.e., cabling, regeneration (if required), all related connections) need to be conducted properly prior to "throwing the cables over the fence into the co-location areas." 2) Michael Zulevic, Covad concurred with Eschelon and also requested cable continuity testing and documentation for the Qwest provided portion of the circuit at the conclusion of the construction phase; along with possible collaborative testing during the test & turn-up phase. 3) William Wycoff, Qwest asked Eschelon what signal levels are being transmitted and received from their co-location areas. Paul Hanser, Eschelon indicated that maximum transmit and minimum receive are indicative of signal levels.

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} N/A. Discussed in previous clarification meeting.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} N/A. Discussed in previous clarification meeting.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measureable terms ie provide a documented process, change a process to include training etc)} Qwest to generate draft response for CMP Monthly Product & Process Meeting.

-

1:30 p.m. (MDT) / Friday 14th December 2001 Conference Call TEL: 877.564.8688 CODE: 6265401 PC120301-4 "Implement a process to insure Qwest adheres to ANSI Standard T1.102 and ANSI T1.104 for setting signal and loss level standards for DS3 cable length limitations" Clarification Meeting

Kathleen Stichter, Eschelon Renee Lernes, Eschelon Bill Kent, Eschelon Bill Wycoff, Qwest Jeff Ferra, Qwest Laurel Burke, Qwest Peter Wirth, Qwest

1.0 Introduction of Attendees Attendees introduced.

2.0 Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Eschelon presented the CR. Eschelon requested that the completed circuit provided by Qwest for CLEC to CLEC cross connect through a Qwest Interconnect Distribution Frame (ICDF) provide a signal level of no less than –4.7 dBm (additional detail in CR). Qwest is responsible for completing the cross connect circuit.

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} “Collocation” confirmed as appropriate. “Physical” & “ICDF Collocation” boxes under “Collocation” identified during conference call.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Qwest & Eschelon confirmed appropriate personnel were in attendance.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measureable terms ie provide a documented process, change a process to include training etc)} Qwest to evaluate CR. During the January 2002 Monthly P&P CMP Meeting , a CLEC community clarification session will be conducted with Qwest providing potential options for addressing the CR.

6.0 Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts} None.


CenturyLink Response

February 6, 2002

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc

SUBJECT: Qwest Change Request Response - Number PC120301-4 (December 3, 2001) – Implement a process to insure Qwest adheres to ANSI Standard T1.102 and ANSI T1.104 for setting signal and loss level standards for DS3 cable length limitations.

Qwest has responsibility to engineer network elements within its Central Offices (CO) in an efficient manner. Qwest has engineering criteria establishing DSX-N cross-connect fields that are in compliance with ANSI Standard T1.102 for setting signal and loss levels using cable length limitations, signal source level control, and signal regeneration. It is unclear how ANSI Standard T1.104 relates to the signal level question.

To minimize equipment, the ICDF is not engineered as a DSX-N level point. According to Technical Publication 77386 on Interconnection and Collocation, Chapters 5 and 15, the engineering requirement is to design through the ICDF to a DSX-N point when accessing unbundled offerings such as Unbundled Loops, Unbundled Dedicated Interoffice Transport, etc. This principle was established circa 1996 in FCC Docket 93-192.

The CLEC-to-CLEC Cross-Connection (COCC-X) offering is defined as the CLEC’s capability to order a cross-connection from its Collocation in a Qwest Premises to its non-ajacent Collocation space or to another CLEC’s Collocation within the same Qwest Premises at the Interconnection Distribution Frame (ICDF). This is accomplished by the use of the CLEC’s Connecting Facilty Assignment (CFA) terminations residing at the same ICDF and at the same service rate level.

Qwest is providing clarification for the following activities to address this request:

- CLEC ordering procedure for cross-connection; - Qwest engineering data exchange with the requesting CLEC(s) for the cross-connection; - CLEC to CLEC cross connection within the Qwest Central Office (CO); - ICDF connections, and regeneration installation; and - Verification testing.

CLEC Ordering Procedure

CLEC to CLEC cross-connections are ordered through the Qwest EXACT-PC system using the Access Service Request (ASR) form. This form is used for ordering Access and Local Network Interconnection Services. Qwest processes the ASR and determines a ready for service (RFS) date for the connection.

The requesting CLEC(s) is required to assess the need for signal regeneration prior to submittal of the completed ASR form. An engineering data exchange can be arranged through the Qwest Wholesale Collocation Project Manager (http://www.uswest.com/wholesale/clecs/escalations.html)

Qwest Engineering Data exchange with requesting CLEC(s)

The requesting CLEC(s) are required to know the cable types and lengths from their equipment to the ICDF(s) in order to assess the need for signal regeneration. The need for regeneration may arise when the distances between the CLEC’s collocation equipment exceeds twice the cable length limitation criteria (table) when connected through the ICDF. The total cable length limitation from signal source to sink, without a DSX-N point is nominally, two times the shown length.

Qwest will provide the requesting CLEC(s) the type and length of cable between their physical space and the ICDF. Each CLEC uses this information to design the span between their equipment. The design is done to determine any need for regeneration. Regeneration is typically at the ICDF.

[Table in Supplemental Information]

Given the probability of having cable lengths that total less than the maximums, it has been and is the CLEC’s responsibility to set any transmit attenuators in their equipment. Given the possibility that total cable lengths from the Collocation spaces through the ICDF are longer than the table allows, there is the opportunity for a CLEC to request regeneration by using a specific Network Channel Interface (NCI) code on their order. The NCI is chosen from Table 6-5 of Tech Pub 77386 using one that calls for regeneration. CLEC to CLEC cross connects occur between two CLECs within a Qwest CO and use jumper cables at the ICDF to complete the link. There is no assured DSX-N level point in the circuit.

Figure A below illustrates the situation where there is a single, ICDF cross-connect to complete a CLEC-to CLEC circuit that needs a regenerator. There is no DSX-N level point assured in this circuit.

[Figure A in Supplemental Information]

Figure A: Single ICDF Connection with Regeneration

ICDF connections and regeneration installation

Qwest, following receipt of the ASR will perform ICDF connections and regeneration functions. Equipment additions for regeneration (if no spares are available) will be initiated. Qwest completes these activities and conducts verification testing.

Verification testing

Verification testing of the cross-connection will be conducted to assure compliance with the ASR. Cooperative testing on circuits will be conducted with Qwest and requesting CLEC(s) technicians.

Qwest will coordinate with the requesting CLEC and schedule the testing of the completed cabling, ICDF connections and regeneration. CLEC(s) will be responsible to terminate cabling into their respective collocation equipment prior to the testing effort.

Although circuit testing is the responsibility of the CLECs, Qwest will provide technician support of CLEC to CLEC circuit testing efforts and provide trouble-shooting support, as necessary to successfully complete an ASR. Such testing shall confirm that ASR ordered circuits perform to service objectives in ANSI Standard T1.510, Network Performance Parameters for Dedicated Digital Services for Rates Up to and Including DS3. Clauses 8.2 and 8.3 describe DS1 and DS3 testing, respectively.

Sincerely,

William R. Wycoff Services Planning Qwest

CC: Bill Campbell, Qwest Barry Orrel, Qwest Gale Perko, Qwest Mary Retka, Qwest


Open Product/Process CR PC120301-5 Detail

 
Title: Process where once an escalation ticket is opened and accepted that the issue stays with the CSIE group until the escalation is completed.
CR Number Current Status
Date
Area Impacted Products Impacted

PC120301-5 Completed
3/20/2002
Provisioning LNP, Resale, Unbundled Loop, UNE
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Thacker, Michelle
Director:
CR PM:

Description Of Change

Eschelon asks Qwest to develop and implement a process that once an escalation ticket is opened and accepted that it is not closed and stays with the CSIE group until the escalation issue is completed even if the Qwest Service Order completes during the course of the escalation. Eschelon experienced a customer who was out of service at 2pm on the DD of an order. Eschelon escalated and Qwest CSIE group opened and accepted the escalation. The Qwest CSIE group worked the ticket without resolution until the Service Order was completed. Qwest then closed the ticket without resolution and called Eschelon advising us to call the LNP repair desk.


Status History

11/30/01 - CR received from Eschelon.

12/03/01 - E-Mail Acknowledgement issued to Eschelon Telecommunications

12/04/01 - CR posted to Qwest Wholesale Markets CMP Web page

12/07/01 - Eschelon contacted to schedule clarification call.

12/10/01 - Clarification call scheduled for 18-Dec-01 due to conflicts with monthly Product & Process and Systems meetings (i.e., 12- & 13-Dec-01) & availablity of supporting technical staff to attend conference call.

12/12/01 - CMP Meeting - Eschelon presented CR to CLEC Community.

12/18/01 - Clarification Meeting conducted with Eschelon.

12/19/01 - Clarification Meeting Minutes transmitted to Eschelon.

01/08/02 - Qwest draft response (dated 01/04/02) posted in CMP database & transmitted to Eschelon.

01/16/02 - CMP Meeting - Michelle Thacker (SME) presented Qwest response. SME indicated that the example Eschelon provided was a one-time occurence and that training has been conducted with the CSIE group to properly handle escalation tickets through completion. CLEC community agreed to change CR Status to "CLEC Test." CLEC community requested modification to PCAT language to be consistent with Qwest response. PCAT language modification is being persued by Qwest.

02/14/02 - Qwest "Formal" response (dated 01/04/02) posted in CMP data base.

02/15/02 - Qwest "Formal" response (dated 01/04/02) transmitted to CLEC community.

02/20/02 - CMP Meeting - Qwest provided status update. CR remains in "CLEC Test." Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

02/28/02 - PCAT updated with language that is consistent with this CR response URL: http://www.qwest.com/wholesale/clecs/maintenance.html

03/20/02 - March CMP Meeting: CLECs agreed to close CR. CR Status changed to "Completed." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

04/17/02 - CR Open/Closed status changed to closed and inactive and checked for Archive 2002


Project Meetings

02/28/02 - PCAT updated with language that is consistent with this CR response URL: http://www.qwest.com/wholesale/clecs/maintenance.html

Recent Service Request Activity If your service request was completed within the past 72 business hours contact Qwest's Interconnect Service Center (ISC) at 888-796-9087 for assistance. After researching the issue, the Customer Service Inquiry and Education Center (CSIE) will contact you regarding resolution of your issue.

3:30 p.m. (MDT) / Tuesday 18th December 2001 Conference Call TEL: 877.554.8688 CODE: 3269208 PC120301-5 “Process where once an escalation ticket is open and accepted that the issue stays with the CSIE group until the escalation is completed.” Name/Company:

Kathleen Stichter, Eschelon Bonnie Johnson, Eschelon Michelle Thacker, Qwest Peter Wirth, Qwest

1.0 Introduction of Attendees Attendees introduced.

2.0 Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Eschelon presented the CR. Eschelon requested that the process be confirmed as to handling of escalation tickets by CSIE. Eschelon expressed concern that once a trouble ticket is open, either the CSIE or repair group should handle through completion. Qwest confirmed with Eschelon that the ticket issue was a one-time occurrence.

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} Appropriate products & areas identified in CR.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Qwest & Eschelon confirmed appropriate personnel were in attendance.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measureable terms ie provide a documented process, change a process to include training etc)} Qwest to evaluate CR. During the January 2002 Monthly P&P CMP Meeting, Qwest will provide an explanation of the escalation ticket occurrence; and provide clarification to the procedure to be followed by Qwest CSIE and Repair, as required.


CenturyLink Response

January 4, 2002

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc.

CC: Peter Wirth, Chris Siewert

This letter is in response to your CLEC Change Request Form, number PC120301-5 dated 11/30/01 - Process where once an escalation ticket is opened and accepted that the issue stays with the Customer Service Inquiry and Education (CSIE) group until the escalation is completed.

Qwest currently has a repair referral process in place, which provides for CSIE responsibility of a CLEC issue until resolution. The process provides procedures for handling an out of service condition when service order activity is involved. Your experience with the Qwest CSIE team was an isolated incident

The repair referral process addresses: review of the service order; matching service order entries against the CLEC issued LSR; issuing a service order to correct inaccurate entries on the service order if found; contacting internal departments for assistance; and follow up to ensure end user customer receives service, etc. The Qwest Service Delivery Coordinator (SDC) utilizes this process in processing escalation tickets.

I have confirmed with Chris Siewert - Team Leader Minneapolis CSIE, that process retraining occurred shortly after this incident for the entire CSIE team.

Sincerely,

Michelle Thacker Process Specialist


Open Product/Process CR PC122701-1 Detail

 
Title: Qwest to offer line conditioning to qualify a loop for Qwest resale DSL service.
CR Number Current Status
Date
Area Impacted Products Impacted

PC122701-1 Denied
3/20/2002
Pre-Ordering, Provisioning Resale, Other (DSL)
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Pennington, Freddie
Director:
CR PM:

Description Of Change

To provision DSL on a line, the line needs to meet certain qualifications. These qualifications include but are not limited to loop length, insertion loss, no bridge taps and no load coils. Currently a significant number of 1FB POTS lines ordered do not qualify for Qwest resale DSL. At this time Qwest does not offer line conditioning to qualify a line for Qwest resale DSL. Eschelon asks Qwest to offer line conditioning so more loops qualify for Qwest resale DSL.


Status History

12/27/01 - CR Submitted by Eschelon

12/27/01 - CR acknowledged by P&P CMP Manager

01/02/02 - Eschelon contacted to coordinate clarification call

01/09/02 - Clarification meeting held.

01/11/02 - Draft clarification meeting minutes issued to Eschelon

01/28/02 - E-mail from Eschelon with working example

02/20/02 - February CMP meeting: General clarification with CLEC community. CR status changed to "Evaluation" Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

03/12/02 - Draft response dated 02/25/02 issued to Eschelon. CR Status changed to "Presented"

03/20/02 - March CMP Meeting: CR was denied. CR Status changed to "Denied." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be

posted on the CMP Web site

03/20/02 - CR Open/Closed Status changed to Closed per agreement at 03/20/02 Monthly CMP Meeting that CRs having Denied status should also reflect Closed Status

03/21/02 - Formal response dated 02/25/02 posted to CMP database

03/22/02 - Formal response dated 02/25/02 issued to CLECs. Notification CMPR.03.22.02.F.01240.CR_Responses


Project Meetings

01/28/02 E-mail from Eschelon with working example

Subject: CR PC122701-1 Resale DSL Conditioning Date: Mon, 28 Jan 2002 11:30:42 -0600 From: "Stichter, Kathleen L." To: tmead@qwest.com CC: "Johnson, Bonnie J." Todd, Here is an example of why Eschelon is requesting Conditioning on resale DSL. Eschelon sold a DSL to a customer. When we went to pre-qualify the results were, Loop does not qualify for Megabit Service: insertion loss is too high. The customer went to Qwest and ordered DSL through Qwest. When investigated we found that Qwest offered to provision a new line with DSL to see if the new line would qualify. The new line did qualify for DSL. Now the customer has 1 extra line that they do not need and will be removing. This could have been avoided if this CR were accepted. One of the existing lines could have been conditioned to handle the DSL. Please get this information to the Qwest SMEs assigned to this CR. Thanks

Clarification Meeting

2:00 p.m. (MST) / Wednesday 9th January 2002 PC 122701-1 Qwest to offer line conditioning to qualify a loop for Qwest resale DSL service

Attendees: Kathy Stichter / Eschelon Tina Shiller / Eschelon Todd Mead / Qwest Bob Shaheen / Qwest Nadine Jensen / Qwest

Review Requested (Description of) Change: - Kathy read out the description from the change request: "To provision DSL on a line, the line needs to meet certain qualifications. These qualifications include but are not limited to loop length, insertion loss, no bridge taps and no load coils. Currently a significant number of 1FB POTS lines ordered do not qualify for Qwest resale DSL. At this time Qwest does not offer line conditioning to qualify a line for Qwest resale DSL. Eschelon asks Qwest to offer line conditioning so more loops qualify for Qwest resale DSL." - Bob qualified that you can have bridge tap on a DSL line, it just causes a loss of signal strength - Kathy stated that if there is anything stopping DSL going on the line they want to be able to order line conditioning up front. - This request is for a product that currently does not exist. It is not just something not available for Resale.

Areas Impacted: Pre-Ordering, Provisioning

Products Impacted: Resale DSL

Confirm Right Personnel Involved: Freddi Pennington is the owner of this CR. Todd will inform Freddi.

Identify/Confirm CLEC’s Expectation: New process or product

Establish Action Plan: Eschelon may present this CR at the January CMP meeting (01/16/02). General Clarification by the entire CLEC community will take place at the February CMP meeting (02/20/02) and Qwest will provide a response at the March CMP meeting (03/20/02). Freddi 03/20/02


CenturyLink Response

February 25, 2002

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc. 720 2nd Avenue South, Suite 1200 Minneapolis, MN 55402

SUBJECT: Qwest’s Change Request Response - CR # PC122701-1 Resale DSL Conditioning

Eschelon requested that Qwest provide a DSL line conditioning service for resale.

Qwest DSL product management does not offer DSL line conditioning service and it is not available to retail end-user subscribers.

Qwest does not offer for resale a service that it does not provide its own retail end-user subscribers.

Sincerely,

Freddi Pennington Resale/PAL/UNE-P Group Manager Qwest

Cc: William Campbell, Director Structure & Loops, Qwest Jasmin Epsy, Senior Director Product Marketing, Qwest Teresa Taylor, Senior Vice President Product Management, Qwest


Open Product/Process CR PC122701-2 Detail

 
Title: Qwest to allow 1FB POTS and DSL on one LSR.
CR Number Current Status
Date
Area Impacted Products Impacted

PC122701-2 Denied
3/20/2002
Ordering, Provisioning Resale, UNE-P, Other (DSL)
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Pennington, Freddie
Director:
CR PM:

Description Of Change

Currently to order a new line with Qwest resale DSL, Eschelon needs to submit 2 LSRs. One LSR for the POTS line and a subsequent LSR for the DSL. When 2 LSRs are issued Qwest does not know that the POTS line will eventually become DSL so facilities to provide a DSL capable loop are not taken into consideration. If Qwest allowed Eschelon to issue 1 LSR for the 1FB POTS line and the DSL then Qwest could provision the loop with DSL capable facilities, if available. Eschelon asks Qwest to allow 1FB POTS and DSL on 1 LSR.


Status History

12/27/01 - CR Submitted by Eschelon

12/27/01 - CR acknowledged by P&P CMP Manager

01/02/02 - Eschelon contacted to coordinate clarification call

01/08/02 - Clarification meeting held.

01/09/02 - Draft clarification meeting minutes issued to Eschelon

02/20/02 - February CMP meeting: General clarification with CLEC community. CR status changed to "Evaluation" Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

03/12/02 - Draft response dated 02/27/02 issued to Eschelon. CR Status changed to "Presented"

03/20/02 - March CMP Meeting: CR was denied. CR Status changed to "Denied." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be

posted on the CMP Web site

03/20/02 - CR Open/Closed Status changed to Closed per agreement at 03/20/02 Monthly CMP Meeting that CRs having Denied status should also reflect Closed Status

03/21/02 - Formal response dated 02/27/02 posted to CMP database

03/22/02 - Formal response dated 02/27/02 issued to CLECs. Notification CMPR.03.22.02.F.01240.CR_Responses


Project Meetings

Clarification Meeting

2:00 p.m. (MST) / Tuesday 8th January 2002 PC 122701-2 Qwest to allow 1FB POTS & DSL on one LSR

Attendees: Kathy Stichter / Eschelon Todd Mead / Qwest Jeff Cook / Qwest Brett Fesler / Qwest Nadine Jensen / Qwest Janean Van Dusen / Qwest

Review Requested (Description of) Change: Kathy read out the description from the change request: Currently to order a new line with Qwest resale DSL, Eschelon needs to submit 2 LSRs. One LSR for the POTS line and a subsequent LSR for the DSL. When 2 LSRs are issued Qwest does not know that the POTS line will eventually become DSL so facilities to provide a DSL capable loop are not taken into consideration. If Qwest allowed Eschelon to issue 1 LSR for the 1FB POTS line and the DSL then Qwest could provision the loop with DSL capable facilities, if available. Eschelon asks Qwest to allow 1FB POTS and DSL on 1 LSR. There were no questions from Qwest.

Areas Impacted: Ordering, Provisioning

Products Impacted: Resale, UNE-P, Other (DSL)

Nadine is the owner of this CR. Nadine agreed she is the right person to provide the response to this CR, with the assistance of the other Qwest people on the call.

Identify/Confirm CLEC’s Expectation: - Qwest to allow Eschelon to submit one LSR for both the 1FB POTS and the Qwest resale DSL. - If Qwest accepts this CR, then Eschelon expects to see the resulting process documented and the appropriate level of training given to Qwest personnel.

Establish Action Plan: Eschelon may present this CR at the January CMP meeting (01/16/02). General Clarification by the entire CLEC community will take place at the February CMP meeting (02/20/02) and Qwest will provide a response at the March CMP meeting (03/20/02).


CenturyLink Response

February 27, 2002

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc. 720 2nd Avenue South, Suite 1200 Minneapolis, MN 55402

SUBJECT: Qwest’s Change Request Response - CR # PC122701-2 Qwest to allow 1FB POTS and DSL on one LSR

The original request from Echelon is that Qwest accept a single LSR for both the local service line (POTS) and DSL service at the same time.

Upon clarification, Eschelon is now requesting that Qwest: - Manually analyze the available facilities at the location - Choose a facility that supports DSL (if available) - Deploy local service (POTS) on a line that will support DSL

Qwest does not offer this type of pre-analysis of a facilities to its retail end-user subscribers. Qwest currently uses a mechanized system that qualifies a facilities based on certain metrics and the facility must already be in place in order to see if it is engineered to support DSL service.

In order for Qwest to do the requested analysis upfront, Qwest would need to remove the order from the automatic facility assignment flow and manually assign facilities to the local service line (POTS). Qwest has made extensive investments in the loop qualification tool and process. Qwest has made the business decision not to manually assign POTS facilities in order to allow the addition of DSL for retail end-user subscribers. This service is not a retail service and is not available for resale.

Sincerely,

Freddi Pennington Resale/PAL/UNE-P Group Manager Qwest

Cc: William Campbell, Director Structure & Loops, Qwest Jasmin Epsy, Senior Director Product Marketing, Qwest Teresa Taylor, Senior Vice President Product Management, Qwest


Open Product/Process CR PC122801-1 Detail

 
Title: Qwest to document, distribute and train an adhered to process to unlock numbers for 911.
CR Number Current Status
Date
Area Impacted Products Impacted

PC122801-1 Completed
4/17/2002
Ordering 911, LNP
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Dubose, Lorna
Director:
CR PM:

Description Of Change

When a number moves from Qwest to Eschelon, Eschelon sends a migration notice to Qwest's 911 data base administrator, Intrado. Intrado migrates the number from Qwest to Eschelon and then applies the new record. However, before Intrado can apply Eschelon's new record, Qwest must first unlock the number in the Intrado 911 data base. When Qwest fails to unlock the number, Intrado sends an error message 755, to Eschelon stating that Qwest has not unlocked the number and they can not apply the new record. Intrado will attempt to apply the new record each day for 14 days and will send the error message 755, to Eschelon each day unless Qwest unlocks the number. At the end of the 14 days, Intrado stops its attempts to apply the new record and sends an error message 760. This is time consumming for Eschelon to continually check the error messages. It is also time consumming if Eschelon has to resend the migration notice, which occurs if Qwest fails to unlock the number within the first 14 days from when Eschelon sent the first notice to Intrado. Another potentially dangerous problem could occur if Qwest fails to unlock the number and the new record is not applied. If the customer moves during the conversion, the 911 data base will have the incorrect information, which could cause an emergency vehicle dispatched to the incorrect location.

Eschelon asks Qwest to document, distribute and train an adhered to process to unlock numbers from the 911 data base so Intrado can apply the new records sent to them by Eschelon. If a current process exists, Eschelon asks to see the process and asks Qwest to improve the process or ensure adherence to the process.


Status History

12/28/01 - CR Submitted by Eschelon.

12/28/01 - CR acknowledged by P/P CMP Manager.

01/03/02 - Eschelon contacted to coordinate available times for clarification call.

01/09/02 - Clarification Meeting conducted with Eschelon.

01/11/02 - Issued Clarification Meeting Minutes to Eschelon.

02/20/02 - CMP Meeting - CLEC Community Clarification held. It was agreed that the CR would move to Evaluation. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02.

03/06/02 - Issued Qwest's Draft Response dated March 6, 2002 to Eschelon.

03/20/02 - CMP Meeting - Qwest presented its Draft Response dated March 6, 2002. It was agreed that the CR could move to CLEC Test.

03/29/02- Formal response dated March 6, 2002 issued to CLECs. Notification CMPR.03.29.02.F.01246.Final_CR_Response.

04/17/02 - CMP Meeting - It was agreed that the CR could be closed.


Project Meetings

CLEC Change Request Clarification Meeting

Date: January 9, 2002, 12:00 (MT) Place: Conference Call Location: 877-564-8688 Subject: PC122801-1, Qwest to document, distribute and train an adhered to process to unlock numbers for 911

Attendees: Ric Martin, Qwest Lorna Dubose, Qwest Joan Wells, Qwest Kathy Stichter, Eschelon Amanda Owens, Eschelon

Introduction of Attendees Introduction of the participants on the Conference Call were made and the purpose of the call discussed

Review Requested (Description of) Change Eschelon reviewed the requirements of their CR. Lorna asked if Eschelon had any performance measurements on the percentage of 755 Errors and 760 Cancellations they were getting. Eschelon advised that they didn’t have any measurements. Amanda indicated that they would only receive one 755 Error message and it would remain until the number was unlocked or it went to 760. They do not get continuous 755 Error messages for the same number. Amanda indicated that they started with many error messages from 2 years ago. They have reduced that number. She has been working with Qwest'’ 911 database manager and that has worked a little. She indicated that she had a recent e-mail from Intrado including a new 760 report. Amanda will send report to Lorna Dubose. The report indicated that there were other carriers on the report other than Qwest. The group was unsure who was responsible for the other carriers. Qwest will look into this. Joan indicated that Qwest had a recent clarification call on the process and indicated that it was working for the other CLECs. She explained that per commission ruling, Qwest is required to hold the order until 11:59 the next business day. Amanda indicated that they send their records to Intrado 2 days before the Due Date. This would explain why Eschelon would receive 755 Error notices, which would remain for 4 days. Eschelon stated that they understood that Intrado issued the database, but they thought Qwest owned the database. Qwest will advise if they own the 911 database and what the control is. Joan advised that there is a current 911 process on the PCAT. There is a 911 LNP link in the process. Amanda indicated that she had the process. Kathy will review the process and advise whether they understand the requirements. Qwest will look into their action items and check with their 911 database manager on the process of the 911 database management. Eschelon will review the process.

Confirm Areas & Products Impacted The products listed on the CR referenced 911. Qwest advised that this was primarily LNP. Qwest will update the CMP database. . Confirm Right Personnel Involved Qwest had the appropriate SMEs involved. It was confirmed that Lorna Dubose would be the owner with Joan’s support.

Identify/Confirm CLEC’s Expectation Qwest confirmed that there was a process. Eschelon is to review and comment Qwest and Eschelon are to collectively review why the 760 numbers are not getting unlocked.

Identify any Dependent Systems Change Requests There is no corresponding System CR

Establish Action Plan (Resolution Time Frame) Qwest and Eschelon to review their action items and get back to discuss findings.


CenturyLink Response

March 6, 2002

Eschelon Communications Kathleen Stichler ILEC Relations Manager

SUBJECT: Qwest’s Change Request Response - CR # PC122801-1 Qwest Process to Unlock E911 Records

This letter is in response to your Change Request PC122801-1 requesting that Qwest document, distribute and train an adhered to process to unlock numbers for E911.

Eschelon and Qwest conducted a clarification meeting to review Qwest’s current process for unlocking E911 records. During this meeting, Qwest shared with Eschelon that the migrate unlock record should be issued to Intrado, on the customer due date, once the migrate as been completed at NPAC. If the migrate record is issued prior to the customer due date, a 755 or 760 error will be generated.

In addition to Qwest’s existing process, effective, February 25, 2002, Qwest moved forward with implementing the new NENA recommendations. These recommendations require the old provider to unlock the E911 record once a validation has been completed with the NPAC. Therefore, when the CLEC sends the migration record to Intrado, on the customer due date, the NPAC activation should be complete also. Qwest will perform a validation to the NPAC and unlock the customer record once the CLEC migration record is received at Intrado. Intrado will distribute a report to the CLEC identifying any discrepancies.

The E911 Product Catalog has been updated to reflect this enhancement, as well as the appropriate personnel trained.

Again, thank you for partnering with Qwest.

Sincerely,

Lorna Dubose LNP Product Manager Qwest


Open Product/Process CR 5236247 Detail

 
Title: Implement a process for CLECs to upload PIC information to Qwest to compare to the PICs in Predictor
CR Number Current Status
Date
Area Impacted Products Impacted

5236247 Withdrawn
8/15/2001
Originator: Douglas, Kerrie
Originator Company Name: Eschelon
Owner: Routh, Mark
Director:
CR PM: Routh, Mark

Description Of Change

We would like a process created to compare CLEC PIC information to what is in Qwest’s Predictor system. Although we understand that there is a Feature Verification section in CSR– the information is not real time. Ideally, we would like to upload a file to Qwest and have them run a query comparing the PIC information, which resides on a particular Qwest switch and then have the query results returned to the CLEC. We want this process to have the ability to be run on a nightly basis as needed. We would like Qwest to indicate what file format would work the best for Eschelon send for this type of query. If Qwest can return the query information in Excel, Access or common delimited format that would be preferred. The information we would like to have in compared is TN and PIC Codes.


Status History

11/17/00 New – To be validated

11/21/00 New – To be industry evaluated. Sent email to Kerrie Douglas and Pat Brolsma with CR # and Status

12/04/00 Status changed to Reviewed – Under consideration

12/05/00 Sent email to Lynne Powers with updated CR.

01/12/01 Status changed to New- to be reviewed. T-Shirt size and options to be presented at the 2/21/01 CICMP meeting. New status is based on new requirements for this CR.

01/12/01 Sent email to Lynne Powers and Judy Rixe with updated CR.

02/07/01 Status changed to Reviewed – Under Consideration. T-Shirt size Medium and options provided. Eligible for industry prioritization.

02/08/01 Sent email to Lynne Powers and Judy Rixe with updated CR.

08/15/01 Canceled - CLEC


Project Meetings


Open Product/Process CR PC073101-1 Detail

 
Title: ANAC in CO for CLEC to CLEC migrations
CR Number Current Status
Date
Area Impacted Products Impacted

PC073101-1 Completed
4/15/2009
Provisioning Unbundled Loop
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Urevig, Russell
Director:
CR PM: Thomte, Kit

Description Of Change

Institute, document, and distribute a consistent process for using Automatic Number Announcement Callback (ANAC) in the Central Offices (COs) for CLEC-to-CLEC migrations when Qwest is unable to match the telephone numbers (TNs) to circuits. Qwest would then ANAC (in the CO) to determine which TN corresponds to which circuit, before Qwest processes the order. Qwest could use this process for retail as well to prevent unnecessary dispatches.


Status History

07/30/01 – CR received by Kathy Stichter

07/31/01 – Status changed to New – To be Reviewed

08/06/01 – CR discussed by the internal Qwest CR review team and owner designated

08/09/01 – CR status will be given at the August CICMP Meeting

08/14/01- Clarification Meeting held with Eschelon

09/04/01- Draft response sent to Eschelon

09/06/01 - Eschelon confirmed acceptance of Qwest response.

09/19/01 - CMP Meeting - Eschelon felt Qwest denied their request; however, they agreed to defer the CR for any future action.


Project Meetings

Stichter, Kathleen L. on 09/06/2001 02:12:02 PM

To: jlbroo2@qwest.com

Subject: FW: PCCR 073101-1 ANAC in CO for CLEC to CLEC migrations

Jerri, Bonnie and I talked today and we accept your response. We can close the CR 073101-1 ANAC in CO for CLEC to CLEC migrations. Thanks

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 E-Mail klstichter@eschelon.com

Tuesday 14th August 2001 Attendees: Kathleen Stichter, Bonnie Johnson - Eschelon Telecom/ Linda Hendricks, Deni Toye, Steve Hilleary, Todd Mead

Review Requested (Description of) Change When a customer migrates from one CLEC to another CLEC/ILEC, there is no way to match the TN with the Circuit ID if the TN did not originate from a Qwest switch. Confirm Areas & Products Impacted Provisioning Unbundled Loop Confirm Right Personnel Involved (has anyone else within Qwest been involved with this issue?) This issue falls between Steve and Russ Urevig’s areas of responsibilities. Russ is believed to have held a conference call (outside CICMP Process) discussing this issue approximately 1 month ago. Steve is the owner of this CR and will take the lead in obtaining resolution. Todd will talk to Russ to see if any minutes and/or actions were issued from this earlier call Identify/Confirm CLEC’s Expectation Develop, document and communicate a process for addressing the issue of matching TN’s and circuit ID’s for TN’s not originating in a Qwest switch for CLEC-to-CLEC/ILEC migrations. Identify any Dependent Systems Change Requests Todd will talk to Russ to see if any previous CR’s have addressed related issues (specifically, updated documentation outlining Qwest’s commitment to match TN’s and Circuit ID’s on TN’s originating in a Qwest switch). Establish Action Plan (Resolution Time Frame) Steve to meet with Russ Urevig before this Friday to develop a plan Steve will develop a plan (including timeframe) by next Monday, for achieving resolution of this issue


CenturyLink Response

Wholesale Product Marketing August 30, 2001

Kathleen Stichter ILEC Relations Manager Eschelon Telecom, Inc

CC: Russ Urevig Matthew Rossi Steve Hilleary Jerri Brooks

This letter is in response to your CLEC Change Request Form, number PCCR073101-1 dated July 30, 2001.

Request: Institute, document, and distribute a consistent process for using Automatic Number Announcement Callback (ANAC) in the Central Offices (COs) for CLEC-to-CLEC migrations when Qwest is unable to match the telephone numbers (TNs) to circuits. Qwest would then ANAC (in the CO) to determine which TN corresponds to which circuit, before Qwest processes the order. Qwest could use this process for retail as well to prevent unnecessary dispatches.

Response: After discussing this issue with Steve Hilleary (Central Office Staff) the central office can not Automatic Number Announcement Callback (ANAC) of a circuit without a firm order to work from which identifies the circuit ID and the CFA location. They also need a firm order to charge the work activity to. If the telephone number originated within the Qwest switch, Qwest will ensure that the proper TN is applied to the same circuit during the migration, as it was when it moved from the Qwest switch. As an NSP (network service provider) Qwest does not get involved with transfer of TN’s on CLEC to CLEC migration for facilities based only. Central office work relating Circuit IDs to TNs is handled the same for both Wholesale and Retail. The associating of TN’s to circuits is performed at the order processing level. As stated above the CO requires a firm order to be able to ANAC a TN to a circuit.

Sincerely,

Russell J. Urevig Wholesale Process Manager


Open Product/Process CR PC073101-2 Detail

 
Title: Written process for handling and disputing Customer Not Ready orders; written notification of completion
CR Number Current Status
Date
Area Impacted Products Impacted

PC073101-2 Completed
12/12/2001
Ordering Unbundled Loop, Other
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Whisenant, Jeanne
Director:
CR PM:

Description Of Change

Qwest had provided inconsistent information about its processes for Customer Not Ready (CNR) situations and how to dispute a determination by Qwest that customer was not ready. Eschelon asks Qwest to provide a written policy on CNR situations and a written process for resolving disputes. First, with respect to Qwest’s policy, Qwest should state its policy and specifically whether its policy is to reject an LSR and cancel an order within a specified time and, if so, the basis for that policy. Second, with respect to disputes, Qwest should state the process for disputing a determination that the customer was not ready when the customer was ready (e.g., the loop was in fact installed and accepted). In the past, when Eschelon has called 1-888-796-9087 to dispute a CNR letter (such as when the order completed and all loops were accepted), Qwest reps at that number did not know how to handle Eschelon’s request. Eschelon has also tried calling the Qwest tester to request closure of the order. Verbal closure has not been consistent or met our needs. For example, the tester may complete all but one order on a PON. When the one remaining order is not completed, the entire PON is rejected instead of only the one order. This, in effect, takes down the circuits for the customer, even though those circuits may have been working on the CLEC network as long as 6 weeks. Qwest should notify CLECs of completion of the orders when CLEC accepts the loop.


Status History

07/30/01 - CR received by Kathy Stichter

07/31/01 - Status changed to New – To be Reviewed

08/06/01 - CR discussed by the internal Qwest CR review team and owner designated

08/09/01 - CR status will be given at the August CICMP Meeting

08/10/01 - Clarification Meeting Held

08/29/01 - Sent Draft Response to Eschelon

09/12/01 - Eschelon commented on Qwest's draft response - "Qwest is not waiting five days for us clear up any issues, or supp the orders. They issue these CNR letters normally the day following the original cut which is why we receive so many. If they did allow the actual five day interval, are sup versions would clear these so CNR's are not generated. This is the process that has been explained, and in theory would work great if followed as outlined below". Qwest has schedule a walk-through for Friday 9/14.

09/19/01 - CMP Meeting - Qwest reviewed its draft response and advised that a walk through meeting was scheduled for 09/24/01. It was agreed that Qwest should proceed with the meeting.

09/24/01 - Walk Through meeting held with CLEC Community

09/27/01 - Qwest's draft response issued to CLEC Community.

10/17/01 - CMP Meeting: Qwest to issue formal response. CLEC community agreed to change "Current Status" to CLEC Test.

10/19/01 - Qwest Final Response issued to CLEC Community and posted to dBase.

11/14/01 - CMP Meeting - Eschelon provided examples to Qwest's Service Manager of receiving CNR after they had issued SUP and received a FOC. Account Team is following up.

12/12/01 - CMP Meeting - CLEC Community agreed to change "Current Status" to "Completed." Qwest service manger (Patrica Levene) followed up with Eschelon regarding CNR examples.


Project Meetings

September 24, 2001 Alignment/Clarification Meeting Ric Martin, Qwest Vivian Vigil, Qwest Kathleen Stichter, Eschelon Tina Schiller, Eschelon Donna Osborne-Miller, AT&T Peter Wirth, Qwest

Introduction Introductions of the participants on the Conference Call were made. Qwest advised that the purpose of the meeting was to review Qwest’s response, Eschelon’s e-mail comments and address any questions from the other CLEC.

Review of Eschelon’s Comments Eschelon advised that the Tester was not contacting them and they were encountering problems with person’s handling their Sup and still receiving the cancellation notice. Communications - Qwest explained that the tester doesn’t always contact the customer and that the actual dealing with the customer would come from the issuance of a notification from the Center. AT&T addressed that Qwest’s items 3 & 4 in the process should be rewritten to reflect the actual practice and that communications would occur within 5 days. Qwest will revise the language. Eschelon explained that when an order is put into a jeop status, the Tester will put the order as CNR and Eschelon would not be aware of this until they receive the cancellation notice. Qwest advised that the tester is responsible for noting our records the reason the customer has asked the order to status with a pending customer reasons. The tester should include in notes the name of the contact at Eschelon we took the jeop status form . Eschelon is to try to provide some examples. Eschelon also explained that a held order, or other delayed orders ,would be released and a new due date was established and not communicated to Eschelon. As a result of not receiving the communication, they would not be aware or prepared for the order causing the order to be status with a customer jeop. Eschelon was to track and provide examples. Qwest reviewed the CNR dispute process and everybody understood and was satisfied with this process. All parties agreed that with the revised language to items 3 & 4, the process would meet their requirements when followed.

Establish Action Plan (Resolution Time Frame) Qwest will issue revised draft response by 9/28. Eschelon will track and provide the example of any discrepancies to the process.

08/10/01 - Clarification Meeting Attendees: Ric Martin Qwest Vivian Vigil Qwest Kathy Stichter Eschelon Tina Scheller Eschelon

Description of the change was reviewed. Eschelon advised that the CR identified two issues. They were looking for a written policy describing the process for handling Customer Not Ready (CNR) and confirmation on Acceptance Test of an Order. Qwest advised that there was a previous Release Notice, RN5467145, Qwest Position Statement On Build Requirements for Unbundled Loops. Vivian e-mailed a copy to the participants. Vivian further explained the steps that occur internally within Qwest. These steps are:

1) If an order goes C01 for Customer reasons on the due date, (whether it be no test access, end user doesn't want or just CLEC not ready to accept) the order will be jeop’d C01, C02 or C03. 2) If there are orders that involve re-use of facilities, the tester will call the typist to push dates out to avoid an out of service condition. 3) The Qwest tester normally is actively working with the CLEC to resolve the customer issue within the first 5 days. Testers will work to resolve the acceptance issues. 4) On the 5th business day a Jeopardy notice will be sent to the designated contact provided by the CLEC and a CNR 30-day letter/notice. (This is 30 business days) 5) The PON detail and CNR reason are populated on the weekly spreadsheet as well as the cancel date. 6) The delayed CNR orders are reviewed weekly to determine if a sup or interaction with the tester indicate that the CNR issue has been resolved or resolution is in process. If the CNR order issue has been resolved, the order is removed from the spreadsheet. 7) Approximately 2 weeks later, a second notice is sent. The order continues to appear on the weekly spreadsheet sent to the CLEC. Two days prior to the cancellation date, a final notice will be sent to the Qwest Sr. Mgr. advising that the order in question will be canceled if immediate response/acceptance is not received. 8) The CNR order must be resolved within the 30-business day window as outlined in the CNR letter. Due date sup requests for a period greater than 30 business days, will not be accepted. 9) The CLEC can call direct to the tester and clear any outstanding pending acceptance issues or send a sup for a date they want to deliver the loop. The tester may arrange for a different date or time if the request is more involved and the tester cannot handle the acceptance issue at that time.

CNR disputes

1) If the CLEC has sent in a sup for a new due date or has accepted the loop, and the order continues to appear on the spreadsheet, the CLEC should call the call center at 1 –888-796-9087 and ask to be warm transferred to the Delayed order group to work the CNR issue. The call center will issue a ticket and transfer the CLEC to the Cheyenne Delayed Order Group. 2) The Delayed order tracking representative will work with the CLEC to determine what action needs to take place to insure the updated status of the order is identified. 3) The Team leads in the Testing groups have committed to working with the CLEC direct on acceptance issues to insure that the order is completed in all internal systems thus eliminating the CNR status and negating a cancel situation on the order. Confirm Areas & Products Impacted CR identified that Unbundled Loop and other products affected by CNR issues were impacted Confirm Right Personnel Involved Eschelon’s personnel were correct. Qwest’s person is actively involved and was representing the Process Lead for this process. Qwest’s account teams has been working with Eschelon prior to this CICMP request and have made strides in educating Eschelon and establishing the revised process we now follow. Identify/Confirm CLEC’s Expectation Eschelon advised that the response presented by Vivian provided the details they were seeking in the CR. Qwest will review with the Process Lead to determine if the Release Notice should be updated. Qwest committed that any order that they have called in as accepted and we still show open in WFAC will be referred to a coach in the testing centers. Eschelon will call the call center for assistance on CNR issues, and if the call center cannot resolve the issue, the call center will be aware to warm transfer to Cheyenne Delayed order group. The CICMP document stated that when they had called the call center, the call center did not know how to handle the call. Cheyenne will continue to note CRM the day we removed the completed order from the spreadsheet (if the order completes in between spreadsheet dates) so that the call center can advise of this type of status, call the tester to check on the status or transfer the call. Eschelon addressed an issue where 3 orders on a PON, two were complete and not on the spreadsheet, all were canceled when the 1 order wasn’t completed. This was on PON MN102918JCP. Vivian would look into this and advise Tina at 612-436-6401. Eschelon addressed another issue that Qwest will clarify: When orders are RRSO, how far out are the dates pushed when the call handler is called? Qwest advised that it was the understanding that it was 60 days. Qwest to advise where this is documented in the tester process and the typist process. Eschelon is understanding the push out is 30 days, Qwest explained the time frame is internal to Qwest, and they should still send a sup if they want a new date or call the tester as explained above and not use this date, as their next delivery date. Identify any Dependent Systems Change Requests There is no corresponding System CR Establish Action Plan (Resolution Time Frame) Qwest will respond to the CR by the end of August.


CenturyLink Response

October 19, 2001 FINAL RESPONSE

This letter is in response to the following Change Request Form No. PCCR073101-2, dated July 30,2001.

? Written Process for handling and disputing Customer Not Ready Orders

? Response: A meeting was held by the Cheyenne Center Manager, Vivian Vigil, on August 10, 2001. Vivian discuss the Customer Not Ready Process and confirmation on Acceptance Test of an order.

Vivian further explained the steps that occur internally within Qwest. These steps are:

1) If an order goes C01 for Customer reasons on the due date, (whether it be no test access, end user doesn't want or just CLEC not ready to accept) the order will be jeop’d C01, C02 or C03. 2) If there are orders that involve re-use of facilities, the tester will call the typist to push dates out to avoid an out of service condition. 3) The Qwest tester will jeop the order for customer reasons and wait for a sup for a new due date. 4) A Jeopardy notice and the CNR letter requesting a sup for a new due date within the 30 business day window is sent within 5 business days. 5) The PON detail and CNR reason are populated on the weekly spreadsheet as well as the cancel date. 6) The delayed CNR orders are reviewed weekly to determine if a sup or interaction with the tester indicate that the CNR issue has been resolved or resolution is in process. If the CNR order issue has been resolved, the order is removed from the spreadsheet. 7) Approximately 2 weeks later, a second notice is sent. The order continues to appear on the weekly spreadsheet sent to the CLEC. Two days prior to the cancellation date, a final notice will be sent to the Qwest Sr. Mgr. advising that the order in question will be canceled if immediate response/acceptance is not received. 8) The CNR order must be resolved within the 30-business day window as outlined in the CNR letter. Due date sup requests for a period greater than 30 business days, will not be accepted.

CNR disputes

1) If the CLEC has sent in a sup for a new due date or has accepted the loop, and the order continues to appear on the spreadsheet, the CLEC should call the call center at 1 –888-796-9087 and ask to be warm transferred to the Delayed order group to work the CNR issue. The call center will issue a ticket and transfer the CLEC to the Cheyenne Delayed Order Group. 2) The Delayed order tracking representative will work with the CLEC to determine what action needs to take place to insure the updated status of the order is identified.

The Team leads in the Testing groups have committed to working with the CLEC direct on acceptance issues to insure that the order is completed in all internal systems thus eliminating the CNR status and negating a cancel situation on the order.

Sincerely

Vivian Vigil Cheyenne Center-Coach CNR Orders Jeanne Whisenant Wholesale CNR Functional Support


Open Product/Process CR PC073101-3 Detail

 
Title: Interim process (until systems change) for IMA edits (7 10 digits)
CR Number Current Status
Date
Area Impacted Products Impacted

PC073101-3 Completed
10/17/2001
Ordering Centrex
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Overly, Connie
Director:
CR PM:

Description Of Change

In a separate, systems CR, Eschelon has requested a systems change to address the issue of IMA edits for 7-10 digits for Customer Forwarding Number (CFN) floats for features on Centrex lines. Qwest should develop an interim process to address this issue until a system change is made. Qwest should allow CLECs to use 10 digits on all orders, with Qwest’s Center editing the order if 7 is appropriate. Although Qwest has provided a paper guide to use for this purpose, the guide is manual and out of date. Qwest’s centers have electronic, up-to-date access to this information and can more easily make the determination.


Status History

07/30/01 - CR received from Kathy Stichter

07/31/01 - Status changed to New – To be Reviewed

08/06/01 - CR discussed by the internal Qwest CR review team and owner designated

08/09/01 - CR status will be given at the August CICMP Meeting

08/21/01 - Clarification Meeting held with Eschelon

08/23/01 - MCC issued

08/31/01 - Sent Draft Response to Eschelon

09/06/01 - Eschelon confirmed acceptance of Qwest's response

09/19/01 - CMP Meeting -Eschelon acknowledges Qwest's response and agreed to move the CR into CLEC Test.

10/17/01 - CMP Meeting: It was agreed that the CR could be "Closed."


Project Meetings

Date: Thu, 6 Sep 2001 12:27:40 -0500 Subject: FW: CR 073101-3 Draft Response From: "Stichter, Kathleen L." To: rhmart2@qwest.com

Ric, We have read the response and agree that with the formal issuance of this response we can close this CR. Thanks

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 E-Mail klstichter@eschelon.com

August 21, 2001 Conference Call CRResponse073101-3.doc 866-289-7092 PCCR073101-3, Interim Process (until system change) for IMA edits (7-10) Attendees Name/Company:

Ric Martin, Qwest Kathy Rein, Qwest Kathleen Stichter, Eschelon

Meeting Agenda: Action 1.0 Introduction of Attendees Introduction of the participants on the Conference Call were made and the purpose of the call discussed 2.0 Review Requested (Description of) Change 2.1 Description of the change was reviewed. Ric clarified that Eschelon was looking for the same capability in Centrex that currently exists in IMA for CFN floats. This is to allow Eschelon to put 10 digits and the center would edit down to 7 if required. Eschelon agreed with this clarification. 2.2 Kathy Rein advised that the system currently allow the customer to enter 10 digits. This is done in the free text field. The centers can edit the number to 7 digits if necessary and would issue an MCC to the Centers 3.0 Confirm Areas & Products Impacted 3.1 This issue impacts Ordering, repair and provisioning when using the Centrex product. 4.0 Confirm Right Personnel Involved 4.1 It was confirmed that the parties involved were the correct personnel to resolve the issue. Kathy Rein indicated that her manager would have to issue a response to the CR. 5.0 Identify/Confirm CLEC’s Expectation 5.1 The ability to input 10 digits and have the centers edit down to 7 meets Eschelon’s expectations. 6.0 Identify any Dependent Systems Change Requests 6.1 There is currently a systems Change Request, SRN073001-1 and is part of the CRs to be prioritized. 7.0 Establish Action Plan (Resolution Time Frame) 7.1 Kathy Rein will issue an MCC to the Centers clarifying the requirement to edit 10 digit inputs to 7 if required by 8/24/01. Kathy Rein 7.2 Kathy Rein will review with her Manager, Susie Wells, for issuance of a formal response to the CR. Ric will follow through with a date to respond. Ric Martin


CenturyLink Response

Wholesale Product Marketing

August 31, 2001

This letter is in response to the following CLEC Change Request Forms #PCCR073101-3, dated July 30, 2001. This Change Request pertains to Customer Forwarding Number (CFN) for the Centrex products. An interim process was agreed to on August 28,2001.

Qwest will allow CLEC’s to use 7,10 or 11 digit CFNs in the Feature Detail on Centrex CRS form of the LSR.

Qwest Service Center personnel will determine the number of digits needed 7 – 10 for local call forwarding and edit the order if necessary. Updates to Service Delivery M&Ps are not required, current process is accurate.

The following measures have been implemented:

A New Multi Channel Communicator (MCC) was issued on August 23, 2001 and distributed on August 24,2001. Issued to target Qwest internal personnel in the Wholesale Order Processing and Order Resolution, Error Group and Screeners organizations. MCC Subject Centrex 21, Centrex Plus, Centron Topic of the MCC: “Call Forward Number Format.” Emphasis placed on CFN numbers on all Centrex requests being verified for proper order formatting. States included in this communication are; AZ, CO, IA, ID-N, ID-S, MN, MT, ND, NE, NM, OR, SD, UT, WA and WY.

Sincerely

Connie Overly Service Delivery Product Process


Open Product/Process CR PC073101-4 Detail

 
Title: Review of Redacted materials and parity in search capability
CR Number Current Status
Date
Area Impacted Products Impacted

PC073101-4 Completed
7/17/2002
Ordering, Billing, Repair, Prov. Other
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Thompson, Michael
Director:
CR PM:

Description Of Change

Develop a process to initially and periodically review redaction of materials to ensure that redaction is necessary and not overbroad. Also, ensure that search capability is of equal ease for Qwest and CLECs. Not all information available to Qwest is available to CLECs. For example, Qwest refers CLECs to “InfoBuddy,” but “InfoBuddy” is not available to CLECs in the same form as it is available to Qwest. CLECs access a “redacted” version of InfoBuddy. Although Qwest may have legitimate grounds for redacting certain truly proprietary information, not all information that has been redacted necessarily falls into those categories. For example, CLECs should have access to the same example forms, order examples, and other detailed information as Qwest. Qwest should provide to CLECs full information necessary to understand and order its products. For example, Eschelon asked Qwest for information relating to IDSL. Qwest referred Eschelon to InfoBuddy. Eschelon does not have access to InfoBuddy. Qwest was able to obtain more information about IDSL from InfoBuddy than Eschelon could obtain from the redacted materials. It also appeared that Qwest is able to search InfoBuddy with more ease than a CLEC can search the redacted materials. It is difficult to provide examples when we do not see the redacted information. But, based on statements by Qwest, it is apparent that Qwest is able to access more detailed information than available to CLECs. When that information would aid CLECs in ordering and provisioning, CLECs should also be able to access the information, with the same search and access capabilities available to Qwest.


Status History

07/30/01 - CR received by Kathy Stichter

07/31/01 - Status changed to New – To be Reviewed

08/06/01 - CR discussed by the internal Qwest CR review team and owner designated

08/09/01 - Clarification Meeting held with Eschelon

08/30/01 - Draft response sent to Eschelon

09/12/01 - Walk Through on Qwest Response conducted with Eschelon. Eschelon to send websites internally for comments.

09/17/01 - Follow up review meeting held with Eschelon.

09/19/01 - CMP Meeting - Qwest reviewed draft response and explained purpose of "info-buddy". Qwest to review the redacted material, revise response and issue revised draft.

10/09/01 - Posted Final Response to database.

10/17/01 - CMP Meeting: Sue McNa, Qwest presented response. Eschelon requested presentation by Michael Thompson, Qwest regarding web aspects of response. Michael was not in attendance. Michael to present in next CMP meeting (November 14, 2001). No change to "Current Status."

11/14/01 - Michael Thompson, Qwest provided status regarding the clean up effort that is underway in the Database to ensure that the appropriate documents are available. A question was asked regarding the status of the search capability. Michael explained how the search capability works and that currently search by title is not available. Although Michael is working with Information Technologies to determine if search by title can be provided. Michael will provide update in December.

12/12/01 - CMP Meeting - Michael Thompson, Qwest provided a status update indicating the following: (1) business case for funding of RPD search engine modifications is in progress, and (2) clean-up of RPD is in progress & should be completed in January 2002. Eschelon indicated that review of the RPD shows improvement in the detail and number of documents available to the CLEC community. "CR Status" remains "Development."

01/16/02 - CMP Meeting - Michael Thompson, Qwest provided a status update indicating the following: (1) business case for funding of RPD search engine modifications is in progress with the Qwest IT group; and (2) clean-up of RPD is in progress & is scheduled for a 02/02/02 completion. CLEC notification will follow completion of clean-up. CR Status remains "Development."

02/01/02 - Web Notification trnsmitted to the CLEC community regarding Resale Product Database (RPD) update (effective 02/02/02).

02/02/02 - RPD update effective.

02/20/02 - CMP Meeting - Qwest provided CR status update. CR remains in "Development" status. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

03/08/02 - Qwest agrees to fund RPD search engine modifications.

03/20/02 - CMP Meeting - Qwest provided status update. It was announced that the enhancements to the Resale Products Data (RPD) search engine will be deployed by the end of May 2002. CR Action Item 1 closed. It was agreed that the CR status remain in Development. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

04/17/02 - CMP Meeting - CR status Development unchanged. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

05/15/02 - CMP Meeting - CR status "Development" unchanged. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

05/17/02 - Systems Notice issued that stated "RPD will provide an Enhanced Search Engine beginning June 14, 2002" issued to CLECs. Reference document number SYST.05.17.02.F.04055.RPD_Enh_SrchEngn.

06/19/02 - CMP Meeting - CR status changed to "CLEC Test". Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

07/17/02 - CMP Meeting - Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. CR status was changed to Completed.


Project Meetings

09/17/01 - Clarification/Walk-through Meeting Introduction of Attendees Kathy Stichter, Eschelon Ric Martin, Qwest Sue Mcna, Qwest Michael Thompson Qwest Lynn Stecklein Qwest

Introduction of participants on the Conference Call was made. The purpose of the call was to discuss Qwest’s draft response dated August 28, 2001 to determine if the response met Eschelon’s expectations. Review of Response On September 11th a meeting was held to walk through the Wholesale websites with K Stichter. She indicated she wanted her team to review the websites as well and we would discuss on September 17th. K Stichter advised that she did not feel that the Wholesale websites would meet their needs. She felt that the websites were missing information necessary for Eschelon to do business. K Stichter provided one example: Call Pick Up was found in the website as well as CCMS. However, it does not tell a customer how to activate Call Pick Up. S Mcna advised that the Wholesale Website is work in progress. Some information will not be available until the end of the year. (i.e. Centrex/resale). K Stichter understands that the website is work in progress and still does not believe that all information will be there. She could not provide any additional examples but would share as they came up. K Stichter said that she also understands the proprietary issues on viewing Info Buddy. She does not want to view proprietary information. She only wants information to conduct business. M Thompson and L Stecklein will review the redacted materials guidelines and policy. R Martin requested that we update our response and develop an action plan on further implementation of the website. Scheduled monthly meetings to discuss progress could be initiated. The goal would be to have our response and plan accepted by Eschelon and the CR go into an implementation phase for development of the WEB site

09/12/01 - A meeting was held on 9/12/01 to discuss the Qwest Response with Eschelon. Attendees: Kathy Stichter - Eschelon, Sue Mcna, Michael Thompson, Lynn Stecklein, Ric Martin - Qwest The team discussed and provided a walk through with Kathy of the websites that Michael Thompson documented in the Qwest Response. Kathy advised that she needed to send a message within Eschelon requesting that everyone review the websites to determine if the information provided would meet their needs. A meeting has been scheduled on 9/17/01 at 3:00 p.m. MT to discuss results.

Thursday 9th August 2001 Attendees: Kathleen Stichter - Eschelon Telecom/ Sue Mcna, Michael Thompson,Todd Mead - Qwest

Eschelon want to see the same level of documentation as Qwest sees, when ordering services and getting repairs. Specific examples Eschelon quoted, included order documents for Call Forwarding (CF) products including CF Busy Line and CF Don’t Answer. Also documentation relating to IDSL (unspecified).

Eschelon expect to see the same level of documentation as Qwest views when ordering services and getting repairs.


CenturyLink Response

October 9, 2001 Revised Response Re: CR PC073101-4 Review of Redacted materials and parity in search capability

Qwest has conducted further investigation into the redaction methods associated with RPD.

Redaction Guidelines are available to Qwest Process Analysts and compliance is ensured through each Process Director. The Qwest Process Helper internal website contains all the documentation the Process Analysts need and use in their jobs, including redaction procedures and training. Information to be redacted from Qwest methods and procedures prior to release in RPD include: Billing and Collections procedures Sales/Promotions procedures Internal systems procedures

RPD is updated once per day with appropriate, non-redacted, information from internal methods and procedures.

Qwest Wholesale Markets met with documentation representatives from its own department as well as Qwest Retail Consumer Markets. Based upon this meeting, Retail has assigned a Redaction SME to further coach and respond to redaction questions by Retail process analysts. In addition, managers are reviewing redaction procedures with their teams in their team meetings. Process Analysts are being instructed to review their methods and procedures for proper redaction application.

Links from InfoBuddy (Qwest’s internal methods and procedures documentation system) to other internal systems/databases are not provided to CLECs as part of the RPD; rather information from these databases that is required for the CLEC to interface with Qwest will be provided at the Wholesale website; http://www.qwest.com/wholesale.

Qwest Wholesale Markets has embarked on a documentation audit and clean-up effort. Documentation available through RPD and the Wholesale website is being compared and analyzed to ensure consistency and alignment throughout. Corrections to website documentation will be completed to ensure all documentation required by a CLEC to be able to do business with Qwest is correct and available at the Wholesale website. Product Catalog, Procedural, System, Network and Training documentation is being created and/or updated and published at the wholesale website.

Michael L Thompson Lead Marketing Comm Coordinator

Cc: Sue Mcna

August 30, 2001 Final Response Wholesale Product Marketing This letter is in response to the following CLEC Change Request Forms # PCCR073101-4, dated July 30, 2001. This Change Request pertains to the Resale Product Database (RPD). INFOBUDDY versus the RPD INFOBUDDY is an internal database repository of Qwest’s methods, procedures and processes, and is intended for internal Qwest personnel only. INFOBUDDY is referred to in the context of external customers (CLEC’s) as the “Resale Product Document (RPD)”. It is common practice for the CLEC to be made aware of the Web Based RPD during the initial training by the Account Manager. It was inappropriate for the ISC and or the Account Team to refer to the RPD as INFOBUDDY. All ISC and or Account Team Members should refer the CLECs to Qwest Wholesale Markets Web Page (http://www.qwest.com/wholesale/), or the RPD.

Accessing and searching the RPD In the fourth quarter of 2000, the RPD was moved from a downloadable UNIX tarball file to a web based application. The UNIX file was very large (over 1 Megabyte), and caused problems with downloading, loading, and accessing the information. The Web Based RPD provides a method to access and search for methods, procedures, and process information in a consistent fashion as is offered in Qwest Retail environment.

CLEC Access to order examples Qwest Wholesale Markets evaluating the feasibility and best approach to make order examples available to CLECs. Do to the inherent nature of the RPD it might be determined that order examples can not be made available within the RPD. In order for order examples to be made available to CLECs, the following list some of the issues that Qwest Wholesale Markets will need to address regarding CLECs accessing order examples: Will providing order examples enable CLECs to fill out LSRs more accurately? Where will order examples will be located? Retail contact / owner of order examples? Wholesale Markets contact / owner of order examples? Type of order examples to be made available? Time line to make available order examples?

Qwest Wholesale Markets will report back to the CICMP Group the feasibility of providing order examples by August 30, 2001.

Response: August 14, 2001 Qwest continues to explore the methodology for providing order examples as part of overall product implementation documentation efforts. A review is currently underway that examines current documentation in the area of “Ordering.” Once this review is complete, Qwest will determine the appropriate means to access service order examples. We expect to have a preliminary plan prepared by August 30, 2001.

Response: August 29, 2001 On August 23, 2001, Qwest published the Local Service Ordering Guidelines (LSOG) that contains comprehensive guidelines for the preparation of all service orders that CLECs would use for placing an order.

The LSOG documents provide detailed form-by-form, field-by-field instructions for completing local service request manually, or via IMA. The LSOG is the tool that CLECs and Resellers should use to complete service request.

The LSOG contains both blank forms and sample forms within each product order document. CLECs were notified of the publication of the LSOG on August 22, 2001. The LSOG is found on the Qwest Wholesale Markets web site at http://www.qwest.com/wholesale/clecs/lsog.html.

The Qwest Wholesale Markets Web Page provides web-based training on manually completing local service request forms in the Introduction to Service Requests and Billing course. Qwest also provides IMA Training regarding how to use the IMA GUI to submit local service requests. There is also product specific training for completing all the processes associated with submitting local service requests.

In addition to the training, and LSOG information that is available on the Qwest Wholesale Markets Web Page, there are specific product catalogs (PCATs) that contain detailed product descriptions, pricing, features / benefits, applications, prerequisites, pre ordering, ordering, provisioning, maintenance, billing, training, contacts, and frequently asked questions.

Any CLEC or Reseller that has specific examples of a product, or products that they are not satisfied with the information that is available to them on the Wholesale Markets Web Page is encouraged to submit a change request via the CICMP process. Qwest will investigate the issue, and work with the customer to determine the best plan of action to meet their information needs.

The following are some helpful URLs

Wholesale Markets Web Page http://www.qwest.com/wholesale/

Training Web Page http://www.qwest.com/wholesale/training/

Training & Notices Introduction to Service Requests & Billing for CLECs & Carriers http://www.qwest.com/wholesale/training/tsc.html

IMA "Hands On" http://www.qwest.com/wholesale/training/iltdescimahandson.html

Training – Qwest 101 “Doing Business with Qwest” http://www.qwest.com/wholesale/training/iltdescqwest101.html

Facility-Based Providers - Welcome to Qwest Interconnection! http://www.qwest.com/wholesale/pcat/interconnection.html This web page contains Interconnection business procedures, forms, and product catalogs (PCATs).

Resellers - Welcome to Qwest Interconnection! http://www.qwest.com/wholesale/pcat/resale.html This web page contains Resell business procedures, forms, and product catalogs (PCATs).

Interconnect Mediated Access GUI http://www.qwest.com/wholesale/ima/gui/index.html

Service Intervals http://www.qwest.com/wholesale/guides/sig/index.html

Qwest USOC/FID Finder http://usocfidfind.uswest.com/prodquery/usocSearch.html

Michael L Thompson Lead Marketing Comm Coordinator


Open Product/Process CR PC073101-5 Detail

 
Title: Improve ZAP process and turn around time and post orders promptly
CR Number Current Status
Date
Area Impacted Products Impacted

PC073101-5 Completed
10/17/2001
Ordering Resale, Unbundled Loop, UNE-P, Other
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Coyne, Mark
Director:
CR PM: Thomte, Kit

Description Of Change

Qwest has indicated that it will post orders to CLEC billing accounts by the next bill cycle after the order is completed. In addition, Qwest said that an order completing on the last day of a month may not post by the next day, and the CLEC should allow time for the order to post on the next billing cycle. Therefore, if an order completes one day after a bill cyle, Qwest has at least 30 days to post it. When an order contains errors that prevent flow through to posting, the order falls to manual handling and is sent to a process called “ZAP.” If the order had not fallen to manual handling, it would have been posted within 1-3 days. When an order goes to “ZAP,” however, the period is much longer. Qwest says that it has the rest of the bill cycle to correct the errors in the order so that the order will post. If Qwest is going to send orders to “ZAP,” it needs to improve the turnaround time so that the posting of orders is not unreasonably delayed. If the ZAP turnaround time is not improved so that orders post within 1-3 days, CLECs will encounter problems when attempting to issue supplemental orders. In addition, Qwest should provide contact information and a process for resolving issues that have been sent to “ZAP.”


Status History

07/30/01 - CR received by Kathy Stichter

07/31/01 - Status changed to New – To be Reviewed 8/10/01 - Alignment meeting held 8/14/01 MCC issued and draft response prepared for discussion at next CICMP

08/06/01 - CR discussed by the internal Qwest CR review team and owner designated

08/09/01 - CR status will be given at the August CICMP Meeting

08/10/01 - Clarification Meeting Held with Eschelon

08/13/01 - MCC issued

08/28/01 - Draft response sent to Eschelon

08/29/01 - Eschelon responded indicating the process sounded good if the people would use it. She sighted a recent example of a person saying they would not open a ticket because 30 days to work on the issue. Kathy asked if I would look into this

08/31/01- Sent email response to issue identified in 08/29/01 conference call

09/06/01 - Qwest sent confirmation on the additional distribution of the MCC.

09/07/01 - Eschelon confirmed acceptance of Qwest's response.

09/14/01 - Qwest issued response to Eschelon

09/19/01 - CMP Meeting - Eschelon advised that 09/18/01 a Qwest Center didn't follow the process. Qwest will investigate. Eschelon acknowledges Qwest's response and agreed to move the CR into CLEC Test.

10/09/01 - Mark Coyne spoke with Eschelon to see if other issues had occurred at this time. None were identified.

10/17/01 - CMP Meeting: It was agreed that the CR could be closed.


Project Meetings

09/07/2001 08:36:40 Stichter, Kathleen L. AM To: kthomte@qwest.com cc: "Johnson, Bonnie J." Subject: FW: FW: PCCR 073101-5 ZAP process turn around time

Kit, Thanks for the documentation. We are satisfied with the process. We can close this CR with the hope that everyone will follow the process. Thanks again.

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 E-Mail klstichter@eschelon.com

09/06/01 Subject: Re: FW: PCCR 073101-5 ZAP process turn around time From: "Kathleen Thomte" To: "Stichter, Kathleen L."

Kathy, I am attaching the distribution from the MCC associated with the ZAP process PCCR. Anyway as you scroll through you will see that it was sent to the coach at Aegis as well as the managers in the centers. I hope this will close this one out. Drop me an e-mail and let me know for sure. Thanks! Kit Thomte 303 896-6776

08/31/2001 04:28 PM Email To: klstichter@eschelon.com cc:

Subject: PCCR 073101-5 ZAP process turn around time Kathy,

I have been working with Christine Siewert in Minneapolis regarding PCCR 073101-5 ZAP process turn around time. Yesterday I received your e-mail indicating that the process is great but some work needed to be done to ensure that employees that deal with escalations understand the process. Bonnie Johnson outlined a specific example where a Tier 0 employee believed the time frame was thirty days. I verified which groups had actually received the Multi Channel Communicator initially and determined that the target audience needed to be expanded to include other work groups beyond those people correcting errors. The additional work groups were covered on this process on August 30th per Christine Siewert. I believe we have resolved this issue based on the coverage of additional work groups that have been advised of this process. If we need to discuss this issue further please contact me to set up a meeting early next week. Thanks,

August 10th, 2001 Attendees: Kathy Stichter & Bonnie Johnson - Eschelon, Todd Mead & Mark Coyne - Qwest CLEC Expectations Eschelon's expectations is for Qwest to commit to a standard order posting time-frame, regardless of the next billing cycle Once the time-frame is established. Eschelon needs to know the correct escalation procedure to use if this time- frame is not met.

Action Plan Mark will prepare a draft written including the process, time-frame and escalation procedure by August 17th. Mark will also prepare and send out a notification to all centers communicating the time-frame and escalation procedure in relation to the ZAP process. The draft written response will contain a copy of this notification. Kit worked with center Mgr. To get MCC covered with appropriate workgroup

MCC Sent out: August 13, 2001 Critical MCC Subject: Error Correction


CenturyLink Response

September 14, 2001 Wholesale Product Marketing Eschelon Telecom Kathy Stichter

This letter is in response to the following CLEC Change Request Forms #PCCR073101-5 dated July 30, 2001. This Change Request pertains to the ZAP process and turn around time.

The Qwest standard for ZAP resolution is 5 days. This is measured from the time the order completes in the SOP (Service order processor)to the time it post in CRIS.

In order to ensure the (5) day measure, the ISC should be working on an in-today out-today basis for CRIS errors. Every order in CRIS error should have an attempt made for correction on day (1). Should the order return to an error status on day (2), it should be worked before the orders on day (1) of CRIS error. Should an order error on day (3), the order should be referred to a SME within the center for resolution or referral to a CRIS programmer. Orders should be referred to a programmer no later than day (3) of CRIS error to ensure the (5) day measure it met.

If the CLEC determines that this is not occurring as it should they are to contact the ISC for assistance and follow the existing escalation process by calling 1-888-796-9087. The agent will assist the CLEC by opening a ticket and making sure the ticket gets forwarded to the proper group handling error correction.

An MCC ( Multi Channel Communicator) will be sent out all Center managers, team coaches and SDC’s handling error correction. This notice will go out effective 8/14/01. On August 30th the MCC distribution was expanded to include all Center managers and agents that represent Qwest.

Sincerely Mark Coyne Team Lead Process


Open Product/Process CR PC073101-6 Detail

 
Title: Process to consistently pull translations upon acceptance or order for loop with LNP
CR Number Current Status
Date
Area Impacted Products Impacted

PC073101-6 Completed
1/16/2002
Repair Unbundled Loop, LNP
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Wells, Joan
Director:
CR PM:

Description Of Change

In some cases, for orders for unbundled loop with LNP, Qwest completes CLEC orders to remove lines from Qwest switches before necessary work is done. Qwest does not pull the telephone numbers associated to the lines from its switches. Until it does so, CLEC’s customers experience trouble and cannot receive calls from Qwest customers (often within the same switch). Qwest should establish a process to ensure that Qwest consistently pulls translations upon acceptance of order.


Status History

07/30/01 - CR received by Kathy Stichter

07/31/01 - Status changed to New – To be Reviewed

08/06/01 - CR discussed by the internal Qwest CR review team and owner designated

08/09/01 - CR status will be given at the August CICMP Meeting

08/29/01 - Clarification Meeting Held with Eschelon

08/31/01 - Draft response sent to Eschelon

09/19/01 - CMP Meeting - Eschelon advised that the response didn't answer their CR. Qwest to readdress and issue revised response.

10/02/01 - Sent Updated Final response to Eschelon including requested updates.

10/17/01 - CMP Meeting: Reviewed Qwest response. Qwest to revise response to include current process and address network issues involved with switches.

11/01/01 - Sent Updated Final Response dated October 30, 2001 to Kathy Stichter at Eschelon.

11/14/01 - CMP Meeting - It was agreed that the CR could be moved into CLEC Test.

11/19/01 - Matt Rossi distributed revised Final Response dated 11/16/01 to CLEC Community.

11/19/01 - Forwarded revised Final Response dated 11/16/01 to Eschelon.

12/12/01 - CMP Meeting - Qwest reviewed the response to Action Items. Eschelon addressed its previous escalated trouble ticket. Qwest to set-up an internal meeting to review Qwest's root cause analysis and provide feedback.

01/16/02 - CMP Meeting - Qwest reviewed the response to Action Item 3. Escehlon agreed to close the CR. If they have future problems, they will open a new CR and reference back to this CR.


Project Meetings

08/29/01 - Establish a process to consistently pull translations upon acceptance of order for loop with LNP Confirm Areas & Products Impacted Areas: Repair and Provisioning Products: LNP & Unbundled Loop Confirm Right Personnel Involved Lorna is the ‘owner’ of this CR and will be the point of contact for future problems of this nature until the root cause is established and draft response issued. Joan will provide a written response to include feedback on the individual problem identified in the CR (PON MN102820DMM) Nancy will remain included in all correspondence on this issue Identify/Confirm CLEC’s Expectation Eschelon would like the see a process established to ensure Qwest consistently pulls translations upon acceptance of order Identify any Dependent Systems Change Requests No related system CR’s were identified Establish Action Plan (Resolution Time Frame) Joan has investigated PON MN102820DMM (example included in CR), with the involvement of the translation group and will forward a written response document to Lorna by


CenturyLink Response

November 16th, 2001 Final Response

Ms. Kathleen Stichter Eschelon Telecom

Dear Ms. Stichter:

A conference call was conducted with Eschelon on August 29th, 2001 at which time Qwest Product and Process reviewed and responded to the CR PCCR073101-6, Title of Change: Process to consistently pull translations upon acceptance of order for loop with LNP.

The problem was specific and noted an example of a block of 100 DID numbers that were not removed from switch translations in a timely manner, causing problems with the end user customer receiving incoming calls from other callers within the same switch.

The switch is noted as the 612 928 MPLSMNBEDS0 5E Switch. There is a current process in the 5E switch for setting the ten digit unconditional trigger automatically. Upon completion of this process and the port activity, this allows correct routing of calls, even though the translations may or may not have been disconnected. It has been confirmed that translation’s should be completed by the frame due time indicated on the Port order.

Because of the delay in time, investigating this exact situation was not possible Qwest has not received any additional examples of order activity in which the triggers or translations have caused problems for the end users. It has been determined that this was an isolated incident. Systems occasionally do have problems and in this instance, perhaps the triggers were not set properly. The process of setting triggers and releasing translations has been verified and is in order, so it is unclear as to why this situation occurred. Provided the mechanized triggers are being set properly, this concern of not pulling the translation’s in association with acceptance of the loop, should not affect the end user’s service and their ability to receive incoming calls, even if there is a delay in pulling the translation’s.

Eschelon has been advised that should they incur the situation in the future, they can contact Qwest for immediate investigation.

Should the CLEC require immediate release of translations upon activation of the Port, they may contact the ISC Call Center, 888-796-9087and open up an Escalation ticket. The Escalation representative can then contact the appropriate Qwest department to have the translations removed. The CLEC may contact the ISC Call Center 48 hours prior to and after the port due date. After that time, the CLEC must contact the Qwest AMSC repair group 1 800-223-7881 for assistance.

Through further discussion, it has been determined that additional information is needed in this response. The issues are as follows:

1.) Describe the current process of pulling translation’s associated with an Unbundled Loop with LNP.

Different types of coordinated and non-coordinated installs are offered on Unbundled Loop with LNP.

Coordinated * Clec currently indicates DFDT (Desired Frame Due Time) on Local Service Request, this time is placed on Qwest order for the install time of the UBL * CHC field populated * FDT (Frame Due Time) on Port Out C/D disconnect order is 11pm * When loop order is complete, implementor calls the switch translation’s to the complete the port C/D order, removing switch translations

Non-Coordinated * Clec currently indicates DFDT (Desired Frame Due Time) on Local Service request, this time is placed on Qwest order for the install time of the UBL * FDT (Frame Due Time) on the Port Out C/D disconnect order is 6pm. * Loop order is completed at DFDT (Desired Frame Due Time) and switch translations are disconnected automatically at 6pm.

Additional information on the Unbundled Loop Product, along with all types of installation’s available is located in the Qwest Product catalog at: http://qwest.com/wholesale/pcat/unloop.html

2.) Matrix on Network Switch types indicating when the 10 digit mechanized trigger can be set. (See Supplemental Information following this detail report for the Matrix)

Often, the number port is activated by the new Network Service Provider (NSP) prior to the designated FDT (Frame Due Time) of 6pm on non-coordinated loop with LNP. As long as, the 10 digit mechanized trigger has been set, correct call routing will take place until such time that the actual switch translation’s are disconnected. In those switch types where Qwest cannot set the 10 digit mechanized triggers, translation’s will not be removed until the 6pm time frame. This overlap of switch translations helps to ensure a smooth number port transition, until both the loop and number port are complete. Should the Clec require that the switch translations be disconnected prior to the 6pm time frame, they can contact the Interconnect Call Center and open an escalation request, otherwise this is an automated process and should be completed by 6pm to ensure correct call routing.

Action item from November CMP call: If the frame due time is 6pm to pull down the translations and the loop was installed at 12pm, Can we call to have the translations removed at 1pm? Yes, the Clec can call the ISC Call Center and open an escalation ticket requesting that the translations be pulled down earlier than the 6pm time frame. If this is done what will happen at 6pm? Nothing. The translations will have already been pulled down and the order would show as being worked in the system already. The order would simply go on to complete out and no changes to the translations would occur, because the work would show as already being done.

Sincerely, Joan Wells LNP Process Manager

-

October 30, 2001 FINAL RESPONSE

Ms. Kathleen Stichter Eschelon Telecom

Dear Ms. Stichter:

A conference call was conducted with Eschelon on August 29th, 2001 at which time Qwest Product and Process reviewed and responded to the CR PCCR073101-6, Title of Change: Process to consistently pull translations upon acceptance of order for loop with LNP.

The problem was specific and noted an example of a block of 100 DID numbers that were not removed from switch translations in a timely manner, causing problems with the end user customer receiving incoming calls from other callers within the same switch.

The switch is noted as the 612 928 MPLSMNBEDS0 5E Switch. There is a current process in the 5E switch for setting the ten digit unconditional trigger automatically. Upon completion of this process and the port activity, this allows correct routing of calls, even though the translations may or may not have been disconnected. It has been confirmed that translation’s should be completed by the frame due time indicated on the Port order.

Because of the delay in time, investigating this exact situation was not possible Qwest has not received any additional examples of order activity in which the triggers or translations have caused problems for the end users. It has been determined that this was an isolated incident. Systems occasionally do have problems and in this instance, perhaps the triggers were not set properly. The process of setting triggers and releasing translations has been verified and is in order, so it is unclear as to why this situation occurred. Provided the mechanized triggers are being set properly, this concern of not pulling the translation’s in association with acceptance of the loop, should not affect the end user’s service and their ability to receive incoming calls, even if there is a delay in pulling the translation’s.

Eschelon has been advised that should they incur the situation in the future, they can contact Qwest for immediate investigation.

Should the CLEC require immediate release of translations upon activation of the Port, they may contact the ISC Call Center, 888-796-9087and open up an Escalation ticket. The Escalation representative can then contact the appropriate Qwest department to have the translations removed. The CLEC may contact the ISC Call Center 48 hours prior to and after the port due date. After that time, the CLEC must contact the Qwest AMSC repair group 1 800-223-7881 for assistance.

Through further discussion, it has been determined that additional information is needed in this response. The issues are as follows:

1.) Describe the current process of pulling translation’s associated with an Unbundled Loop with LNP.

Different types of coordinated and non-coordinated installs are offered on Unbundled Loop with LNP.

Coordinated *Clec currently indicates DFDT (Desired Frame Due Time) on Local Service Request, this time is placed on Qwest order for the install time of the UBL *CHC field populated *FDT (Frame Due Time) on Port Out C/D disconnect order is 11pm *When loop order is complete, implementor calls the switch translation’s to the complete the port C/D order, removing switch translations

Non-Coordinated *Clec currently indicates DFDT (Desired Frame Due Time) on Local Service request, this time is placed on Qwest order for the install time of the UBL FDT (Frame Due Time) on the Port Out C/D disconnect order is 6pm. *Loop order is completed at DFDT (Desired Frame Due Time) and switch translations are disconnected automatically at 6pm.

Additional information on the Unbundled Loop Product, along with all types of installation’s available is located in the Qwest Product catalog at: http://qwest.com/wholesale/pcat/unloop.html

2.) Matrix on Network Switch types indicating when the 10 digit mechanized trigger can be set. (See document for matrix)

Often, the number port is activated by the new Network Service Provider (NSP) prior to the designated FDT (Frame Due Time) of 6pm on non-coordinated loop with LNP. As long as, the 10 digit mechanized trigger has been set, correct call routing will take place until such time that the actual switch translation’s are disconnected. In those switch types where Qwest cannot set the 10 digit mechanized triggers, translation’s will not be removed until the 6pm time frame. This overlap of switch translations helps to ensure a smooth number port transition, until both the loop and number port are complete. Should the Clec require that the switch translations be disconnected prior to the 6pm time frame, they can contact the Interconnect Call Center and open an escalation request, otherwise this is an automated process and should be completed by 6pm to ensure correct call routing.

Sincerely, Joan Wells LNP Process Manager

-

October 2, 2001 Wholesale Product Marketing Ms. Kathleen Stichter Eschelon Telecom

Re: Final Response for PCCR073101-6: Establish a process to consistently pull translations upon acceptance of order for loop with LNP Dated 07-30-01

Dear Ms. Stichter:

A conference call was conducted with Eschelon on August 29th, 2001 at which time Qwest Product and Process reviewed and responded to the CR PCCR073101-6, Title of Change: Process to consistently pull translations upon acceptance of order for loop with LNP.

The problem was specific and noted an example of a block of 100 DID numbers that were not removed from switch translations in a timely manner, causing problems with the end user customer receiving incoming calls from other callers within the same switch.

The switch is noted as the 612 928 MPLSMNBEDS0 5E Switch. There is a current process in the 5E switch for setting the ten digit unconditional trigger automatically. Upon completion of this process and the port activity, this allows correct routing of calls, even though the translations may or may not have been disconnected. It has been confirmed that translation’s should be completed by the frame due time indicated on the Port order.

Because of the delay in time, investigating this exact situation was not possible. Qwest has not received any additional examples of order activity in which the triggers or translations have caused problems for the end users. It has been determined that this was an isolated incident. Systems occasionally do have problems and in this instance, perhaps the triggers were not set properly. The process of setting triggers and releasing translations has been verified and is in order, so it is unclear as to why this situation occurred. Provided the mechanized triggers are being set properly, this concern of not pulling the translation’s in association with acceptance of the loop, should not affect the end user’s service and their ability to receive incoming calls, even if there is a delay in pulling the translation’s.

Eschelon has been advised that should they incur the situation in the future, they can contact Qwest for immediate investigation. Should the CLEC require immediate release of translations upon activation of the Port, they may contact the ISC Call Center, 888-796-9087and open up an Escalation ticket. The Escalation representative can then contact the appropriate Qwest department to have the translations removed. The CLEC may contact the ISC Call Center 48 hours prior to and after the port due date. After that time, the CLEC must contact the Qwest AMSC repair group 1 800-223-7881 for assistance.

Sincerely, Joan Wells LNP Process Manager


Open Product/Process CR 5579345 Detail

 
Title: Repair process for multiple lines on single report (Reference Systems CR # SCR112101 2)
CR Number Current Status
Date
Area Impacted Products Impacted

5579345 Completed
12/12/2001
Ordering Unbundled Loop, UNE-P, Resale
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: McMahon, Cheryl
Director:
CR PM:

Description Of Change

Develop a consistent repair process for receiving information about multiple lines for a single customer on a single report, without the use of facsimiles. In some instances, when Eschelon calls Qwest about a repair issue for a multiple-line account, Qwest will require Eschelon to call regarding the main line and then send information regarding the subsequent lines by facsimile. This is time consuming and inefficient for both parties. In other cases, the Qwest representative will take the information over the telephone for all of the lines. The latter approach is more efficient. In any case, a consistent approach is needed so that Eschelon may adequately train its employees in the proper procedure.

Modifications

08/22/01 - Added Systems Action Item 314, Get a copy of the process in the AMSC

08/22/01 - Added Systems Action Item 315, Set up an internal meeting to discuss the AMSC process throughout Qwest

08/22/01 - Added Systems Action Item 271, Determine why the CLEC's call in a trouble ticket on the first TN and then have to fax in trouble tickets for any other

08/22/01- Added Systems Action Item 323, check into how the retail business handles trouble with more than three lines.


Status History

06/06/01 - CR received by Lynne Powers of Eschelon

06/06/01 - Status changed to New to be evaluated

07/09/01 - Status changed to New - to be clarified

07/13/01 - Additional information requested of Eschelon to sight specific examples (MR-NH)

08/09/01 - CR being addressed currently by Qwest repair process personnel. (MR)

08/15/01 - CLEC CMP Meeting Product & Process, Eschelon advised that they would escalate Qwest's response of 07/31/01

09/04/01 - Draft Response issued to Eschelon

09/05/01 - Eschelon provided feedback on draft response - clarification meeting to be held

09/10/01 - Clarification Meeting Held. Eschelon would accept Qwest's response with revised language.

09/14/01 - Qwest's response issued to Eschelon

09/19/01 - CMP Meeting - Qwest presented its response. Eschelon requested that the response be discussed by the CLEC's at October's CMP Meeting.

10/17/01 - CMP Meeting: Qwest to revisit response presented in meeting; regarding issues for circuit credits, and restriction of placing only 5 circuits on a single ticket. No "Current Status" change.

11/01/01 - Revision, dated October 31, 2001, to the Qwest September 14, 2001 response was transmitted to the CLEC Community

11/09/01 - Issued revised response dated 11/7/01 to Eschelon. Response will be distributed to the CLEC Community and posted to the WEB.

11/14/01 - CMP Meeting - It was agreed that the CR could be placed into CLEC Test. It was agreed that Qwest would work with Eschelon to develop a System CR for modifying WFA to accept credits for multiple circuits on a single trouble ticket.

11/21/01 - Systems CR (SCR112101-2) drafted by CRPM and submitted for modifying WFA to accept credits for multiple circuits on a single trouble ticket.

12/12/01 - CMP Meeting - CLEC community agreed to change "Current Status" to "Completed."


Project Meetings

09/10/01 - A meeting was held on 9/10/01 to discuss CR5579345. Attendees: Kathy Stichter - Eschelon, Nancy Hoag, Chris Henderson, Lynn Stecklein - Qwest. Kathy requested clarification on the Qwest response regarding Unbundled Loop Services and how trouble is reported. Chris Henderson provided clarification on Qwest's policy. Kathy agreed to accept our response if Qwest agreed to revise/reword the verbiage associated with this issue. A supplement to the response will be provided by Nancy and Chris by 9/12/01.

Stichter, Kathleen L. on 09/05/2001 02:11:31 PM

To: lsteckl@qwest.com, mrossi@qwest.com cc: "Powers, F. Lynne" , "Clauson, Karen L." , "Walberg, Loren"

Subject: FW: CR#5579345 - Repair Process for multiple lines on single report

Lynn, The response is confusing. I need clarification. My major concern is design services which equates to unbundled loop for Eschelon. Does this response say: For Unbundled Loop Services, one trouble ticket will be issued for each separate case of trouble. Qwest inputs one case of trouble then gives that ticket number to the CLEC. The CLEC then faxes the additional cases of trouble to Qwest. The ticket number from the first case of trouble must be on the fax to be used as a cross-reference on all other cases of trouble. or For Non-Designed, Designed and Retail Services, multiple trouble reports will be accepted on a single repair ticket if all three (3) of the following criteria are met: 1. Same, exact trouble on each line, i.e. static on TN 333-333-3333, 333-333-3334 and 333-333-3335. 2. Same end user location 3. Same customer name for end user

There is a restriction on Designed Service trouble reports of five (5) cases of trouble per single repair ticket. No restrictions exist for Non-Designed Services. Please let me know. Either way the response does not meet our needs. What Eschelon is looking for is to report as many circuits (unbundled loops) for the same customer at the same address with one call. Qwest can issue as many tickets as it needs to issue but Eschelon should not have to fax additional circuits to Qwest when a customer has multiple circuits in trouble. I find it hard to believe that a Retail customer would need to fax information to Qwest on multiple circuits in trouble. Thanks

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 E-Mail klstichter@eschelon.com


CenturyLink Response

Wholesale Product Marketing

November 7, 2001

Kathy Stichter ILEC Relations Manager Eschelon Telecom, Inc

CC: Matthew Rossi

RE: CR #5579345 – Repair process for multiple lines on single report.

This letter is in response to your CLEC Change Request Form #5579345 dated June 6, 2001. It includes the updates that were agreed to in a joint meeting held with Qwest and Eschelon on September 10, 2001.

Qwest is providing procedures detailed in this letter to address multiple circuits on a single trouble ticket. Credit for circuit outages are also addressed.

? Change Request: “Repair process for multiple lines on single report Develop a consistent repair process for receiving information about multiple lines for a single customer on a single report, without the use of facsimiles. In some instances, when Eschelon calls Qwest about a repair issue for a multiple-line account, Qwest will require Eschelon to call regarding the main line and then send information regarding the subsequent lines by facsimile. This is time consuming and inefficient for both parties. In other cases, the Qwest representative will take the information over the telephone for all of the lines. The latter approach is more efficient. In any case, a consistent approach is needed so that Eschelon may adequately train its employees in the proper procedure.”

Qwest Response:

Qwest has developed a process for handling multiple ticket requests which will provide an option to the CLECs to either fax multiple requests or remain on line with the Repair Employee while the tickets are submitted.

Related “Trouble”

For Wholesale, Non-Design and Design Services, including Unbundled Loops, multiple trouble reports will be accepted on a single repair ticket if all three (3) of the following criteria are met:

- Same, exact trouble on each line, i.e. static on TN 333-333-3333, 333-333-3334 and 333-333-3335. - Same end user location - Same customer name for end user

There is a restriction on Design Services, including Unbundled Loops; trouble reports of five (5) cases of trouble per single repair ticket. No restrictions exist for Non-Design Services.

Unrelated “Trouble”

If the CLEC answers “no” to any of these three questions, then individual trouble reports must be submitted.

One trouble ticket will be issued for each separate case of trouble. Qwest will offer the option to the CLEC to input one case of trouble and fax the additional cases of trouble to Qwest. The ticket number from the first case of trouble must be on the fax to be used as a cross-reference on all other cases of trouble. If the CLEC chooses not to fax additional cases of trouble, the CLEC may remain on the line with the Repair Employee to submit all trouble tickets.

The CLEC is responsible to isolate trouble to a specific line when multiple lines exist for a customer at one location. If the CLEC requests, Qwest will perform the trouble isolation and appropriate charges will apply.

Credits for Circuit Outages

Qwest currently uses the WFA (Work Force Administrator) system for all trouble reporting. It was designed to only handle a single circuit per trouble report. Consequently, credits for circuit outages are limited to a single circuit per trouble report. The CLEC may request individual tickets to ensure credit, as appropriate, for each affected circuit.

Qwest is willing to assist Eschelon or any other CLEC in the preparation of a system Change Request that would investigate options to modify WFA to correct current deficiencies in the system for providing credits for more than one circuit.

Sincerely, Cheryl McMahon Senior Process Analyst

October 31, 2001

Kathy Stichter ILEC Relations Manager Eschelon Telecom, Inc

CC: Matthew Rossi Chris Henderson

RE: CR #5579345 - Repair process for multiple lines on single report.

This letter is in response to your CLEC Change Request Form #5579345 dated June 6, 2001. It includes the updates that were agreed to in a joint meeting held with Qwest and Eschelon on September 10, 2001.

* Change Request: "Repair process for multiple lines on single report. Develop a consistent repair process for receiving information about multiple lines for a single customer on a single report, without the use of facsimiles. In some instances, when Eschelon calls Qwest about a repair issue for a multiple-line account, Qwest will require Eschelon to call regarding the main line and then send information regarding the subsequent lines by facsimile. This is time consuming and inefficient for both parties. In other cases, the Qwest representative will take the information over the telephone for all of the lines. The latter approach is more efficient. In any case, a consistent approach is needed so that Eschelon may adequately train its employees in the proper procedure."

Qwest Response:

Qwest currently uses the WFA (Work Force Administrator) system for all trouble reporting. This system is a Telecordia software system developed during the mid-1980’s time frame. It was designed to only handle a single circuit per trouble report. Any modifications to the software system for handling multiple circuits per trouble report would require a software modification by Telecordia. The cost for modification is roughly estimated in the hundreds of thousands of dollars. Currently, Qwest has no plans to modify WFA to accept multiple circuits per trouble report.

Qwest is providing procedures detailed in this letter to address multiple circuits on a single trouble ticket. Credit for circuit outages are also addressed.

Related "Trouble"

For Wholesale and Retail, Non-Designed and Designed Services, including Unbundled Loops, multiple trouble reports will be accepted on a single repair ticket if all three (3) of the following criteria are met:

- Same, exact trouble on each line, i.e. static on TN 333-333-3333, 333-333-3334 and 333-333-3335. - Same end user location - Same customer name for end user

There is a restriction on Designed Service, including Unbundled Loops; trouble reports of five (5) cases of trouble per single repair ticket. No restrictions exist for Non-Designed Services that meet the above criteria.

Unrelated "Trouble"

If the co-provider answers "no" to any of these three questions, then individual trouble reports must be submitted. If the co-provider has additional information that Qwest has no system access to, the information must be "faxed" to the appropriate repair center.

One trouble ticket will be issued for each separate case of trouble. Qwest inputs one case of trouble then gives that ticket number to the CLEC or Retail end user. The CLEC or Retail end user then faxes the additional cases of trouble to Qwest. The ticket number from the first case of trouble must be on the fax to be used as a cross-reference on all other cases of trouble.

The co-provider is responsible to isolate trouble to a specific line when multiple lines exist for a customer at one location. If the co-provider requests, Qwest will perform the trouble isolation and appropriate charges will apply.

Credits for Circuit Outages

Currently, only the circuit listed on the trouble ticket will receive credit. If multiple loops were put on one ticket, and multiple outages occurred, the CLEC would need to contact their Account Manager for additional credits.

To ensure process compliance by the Qwest Repair Center personnel, the center management has initiated a review of these Methods and Procedures.

Sincerely,

Chris Henderson Senior Process Analyst

Ann Danielsen Manager Process Management

-

September 14, 2001 Wholesale Product Marketing Kathy Stichter ILEC Relations Manager Eschelon Telecom, Inc

CC:Matthew Rossi Chris Henderson

RE: CR #5579345 Repair process for multiple lines on single report.

This letter is in response to your CLEC Change Request Form #5579345 dated June 6, 2001. It includes the updates that were agreed to in a joint meeting held with Qwest and Eschelon on September 10, 2001.

Change Request: Repair process for multiple lines on single report Develop a consistent repair process for receiving information about multiple lines for a single customer on a single report, without the use of facsimiles. In some instances, when Eschelon calls Qwest about a repair issue for a multiple-line account, Qwest will require Eschelon to call regarding the main line and then send information regarding the subsequent lines by facsimile. This is time consuming and inefficient for both parties. In other cases, the Qwest representative will take the information over the telephone for all of the lines. The latter approach is more efficient. In any case, a consistent approach is needed so that Eschelon may adequately train its employees in the proper procedure.

Qwest Response: For Wholesale and Retail, Non-Designed and Designed Services, including Unbundled Loops, multiple trouble reports will be accepted on a single repair ticket if all three (3) of the following criteria are met:

Same, exact trouble on each line, i.e. static on TN 333-333-3333, 333-333-3334 and 333-333-3335. Same end user location Same customer name for end user

There is a restriction on Designed Service, including Unbundled Loops, trouble reports of five (5) cases of trouble per single repair ticket. No restrictions exist for Non-Designed Services.

If the co-provider answers “no” to any of these three, then individual trouble reports must be submitted. If the co-provider has additional information that Qwest has no system access to, the information must be “faxed” to the appropriate repair center.

The co-provider is responsible to isolate trouble to a specific line when multiple lines exist for a customer at one location. If the co-provider requests, Qwest will perform the trouble isolation and appropriate charges will apply.

One trouble ticket will be issued for each separate case of trouble. Qwest inputs one case of trouble then gives that ticket number to the CLEC or Retail end user. The CLEC or Retail end user then faxes the additional cases of trouble to Qwest. The ticket number from the first case of trouble must be on the fax to be used as a cross-reference on all other cases of trouble.

To ensure process compliance by the Qwest Repair Center personnel, the center management has initiated a review of these Methods and Procedures.

Sincerely,

Nancy J. Hoag Wholesale Product Manager

July 13, 2001

Lynne Powers Vice President, Customer Operations Eschelon Telecom, Inc

CC:Matthew Rossi Chris Henderson

RE: CR #5579345 Repair process for multiple lines on single report.

This letter is in response to your CLEC Change Request Form #5579345 dated June 6, 2001. Change Request: Repair process for multiple lines on single report Develop a consistent repair process for receiving information about multiple lines for a single customer on a single report, without the use of facsimiles. In some instances, when Eschelon calls Qwest about a repair issue for a multiple-line account, Qwest will require Eschelon to call regarding the main line and then send information regarding the subsequent lines by facsimile. This is time consuming and inefficient for both parties. In other cases, the Qwest representative will take the information over the telephone for all of the lines. The latter approach is more efficient. In any case, a consistent approach is needed so that Eschelon may adequately train its employees in the proper procedure.

Qwest Response: For both Non-Designed and Designed Services, except for Unbundled Loops, multiple trouble reports will be accepted on a single repair ticket if all three (3) of the following criteria are met:

1. Same, exact trouble on each line, i.e. static on TN 333-333-3333, 333-333-3334 and 333-333-3335. 2. Same end user location 3. Same customer name for end user

There is a restriction on Designed Service trouble reports of five (5) cases of trouble per single repair ticket. No restrictions exist for Non-Designed Services. If the co-provider answers (no) to any of these three, then individual trouble reports must be submitted. If the co-provider has additional information that Qwest has no system access to, the information must be (faxed) to the appropriate repair center.

The co-provider is responsible to isolate trouble to a specific line when multiple lines exist for a customer at one location. If the co-provider requests, Qwest will perform the trouble isolation and appropriate charges will apply.

For Unbundled Loop Services, one trouble ticket will be issued for each separate case of trouble. Qwest inputs one case of trouble then gives that ticket number to the CLEC. The CLEC then faxes the additional cases of trouble to Qwest. The ticket number from the first case of trouble must be on the fax to be used as a cross-reference on all other cases of trouble.

To ensure process compliance by the Qwest Repair Center personnel, the center management will conduct a review of these Methods and Procedures. Sincerely,

Nancy J. Hoag Wholesale Product Manager


Open Product/Process CR PC080301-1 Detail

 
Title: Identification of CSR cuscode process
CR Number Current Status
Date
Area Impacted Products Impacted

PC080301-1 Completed
8/15/2001
TBD Other
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Thacker, Michelle
Director:
CR PM:

Description Of Change

When a CLEC looks in IMA for a CSR (Customer Service Record) at times they find more than 1 live account with different cus codes for the same TN. There is no way for the CLEC to determine which live account to use when issuing the LSR. This causes the CLEC to issue the LSR on the incorrect account. Therefore, causing flow through issues and ultimately delays in service provisioning, which becomes customer affecting. Until the systems CR for IMA is worked Qwest should provide a documented process advising who to contact at Qwest that can identify which account established most recently. This would allow the CLEC to issue their LSR on the correct account.


Status History

8/03/01 - Updated CR sent to Kathy Stichter of Eschelon

8/03/01 - Status changed to New – To be Reviewed

8/03/01 - Updated CR sent to Kathy Stichter of Eschelon

8/06/01 - CR discussed by the internal Qwest CR review team and owner designated

8/09/01 - CR status will be given at the August CICMP Meeting

8/10/01 - Conference call held with Eschelon

8/15/01 - CLEC CMP Meeting Product & Process CR PCCR080301-1. Response was provided in the separate hand-out and issued. The response was accepted. Eschelon agreed to close. Closed


Project Meetings

August 10, 2001

Description of the change was reviewed. Eschelon was looking for a process advising who to contact at Qwest to identify the correct account when issuing a LSR. Qwest advised that Eschelon should contact the Interconnect Service Center at 1888-796-9087. Eschelon is to advise the Agent to process the LSR and make a referral to Order Resolution to correct account information. Qwest providing the contact point met with Eschelon’s expectations. Michelle will issue her formal response to the Change Request. Eschelon expressed a concerned on two accounts with RSID and ZSID issue. Details of the exact problem were not known and Eschelon was requested to research and present the issue via another CR, or at the Monthly Meeting. There is currently a systems Change Request, SCCR073001-4 Qwest will issue formal position to Matt Rossi week of 8/13/01


CenturyLink Response

August 13, 2001

Kathleen Stichter ILEC Relations Manager Eschelon Telecom, Inc

This letter is in response to the following CLEC Change Request Forms #PCCR080301-1 dated July 30, 2001. This Change Request pertains to the Duplicate CSR (one CSR for ZCID account and one CSR for RSID account).

Change Request: “When a CLEC looks in IMA for a CSR (Customer Service Record) at times they find more than 1 live account with different cus codes for the same TN. There is no way for the CLEC to determine which live account to use when issuing the LSR. This causes the CLEC to issue the LSR on the incorrect account. Therefore, causing flow through issues and ultimately delays in service provisioning, which becomes customer affecting. Until the systems CR for IMA is worked Qwest should provide a documented process advising whom to contact at Qwest that could identify which account established most recently. This would allow the CLEC to issue their LSR on the correct account.”

Response:

? If CLEC should encounter two CSRs when attempting to process an LSR, a call should be placed to the Interconnect Service Center (ISC) for assistance. The telephone number is 1-888-796-9087.

? The ISC agent will assist the CLEC by determining which CSR the CLEC needs to use to process their LSR.

? The ISC agent, if unable to assist the CLEC by determining the appropriate CSR or needs further investigation to clear the duplicate CSR problem will make a referral to the Customer Service Inquiry and Education Center for further assistance.

? A MCC (Multi Channel Communicator) will be sent to ISC personnel advising of this process upon release of this notification.

Sincerely

Michelle Thacker Process Specialist


Open Product/Process CR PC090601-1 Detail

 
Title: Written process for migration from CLEC to Qwest retail (Formerly Product & Process Action Item 32)
CR Number Current Status
Date
Area Impacted Products Impacted

PC090601-1 Completed
12/12/2001
TBD
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Wells, Joan
Director:
CR PM:

Description Of Change

Written process for Migration from CLEC to Qwest Retail

CLEC to Resale same CLEC ,e.g., customer on net with current CLEC has unbundled loop going to resale)

Resale to Resale ,e.g., same CLEC with customer moving from one central office to another central office


Status History

07/10/01 - During the CLEC to CLEC conversion interim call, it was asked that Qwest provide in writing the process that is in place to migrate from CLEC to Qwest Retail

08/31/01 - Draft response sent to Eschelon

09/06/01 - Eschelon provided comment to Qwest's response. Eschelon would like to see the back-end process.

09/19/01 - CMP Meeting - Qwest provided status update Eschelon requested that all CLEC's be involved in review. Qwest advised that a review meeting was re-scheduled for 09/25/01.

09/25/01 - Clarification Meeting took Place with CLEC's (Eschelon, Sprint, AT&T).

10/05/01 - This CR will be addressed by Toni Dubuque's quality team. Her team will provide status as it occurs

10/17/01 - CMP Meeting: CLEC community & Qwest agreed to address this CR independent of the Qwest Quality Team. Response to be incorporated in CR database. No change to "Current Status."

11/06/01 - Issued draft response dated 11/6/01.

11/14/01 - This issue was moved to CLEC Test. A response will be provided by Qwest as to when and where this will be documented in the PCAT.

12/06/01 - Formal response (dated 11/06/01) transmitted to the CLEC community.

12/12/01 - CMP Meeting - CLEC Community agreed to change "CR Status" to "Completed."


Project Meetings

9-25-01 1:30 MDT Introduction of Attendees Alignment/Clarification Meeting Kathy Stichter Eschelon Bonnie Johonson Eschelon Lynne Powers Eschelon Nancy Hoag Qwest Sandy Evans Sprint Donna Osborne - Miller AT&T Carolyn Brown Qwest Kit Thomte Qwest Russ Urevig Qwest

Kit introduced the attendees as identified above Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested}

Kit reviewed the PCCR that had been received and outlined the activities that had transpired over the last few weeks. Those activities included an initial response from Nancy Hoag at Qwest that provided the up front process. Kathy Stichter responded that Eschelon was actually looking for the back end process that includes: When the technicians go out to install new loops do they immediately port number(s), immediately get concurrence of number(s), what is the down time for the customer(s) and how do the technicians coordinate this. This has also been referred to Toni Dubuque to be addressed in the quality team she is forming. Lynn Powers clarified that everyone needs to understand how the process works today so the quality improvement team can use the existing process as a standard to allow for improvement within the process and minimize downtime for the customers. Providing the process will help Eschelon conduct their aspect of business in conjunction with Qwest. Confirm Areas & Products Impacted {read from change request, modify if needed} The request was clarified to be the following categories that need the existing process outlined *CLEC to Qwest Retail *CLEC to Resale same CLEC ,e.g., customer on net with current CLEC has unbundled loop going to resale) *Resale to Resale ,e.g., same CLEC with customer moving from one central office to another central office

Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} An inquiry was made whether Russ would be the correct person to look at the whole process. The group determined that with Carolyn and Char Cameron and Joan Smith (retail input) Russ Urevig and Mallory Paxton the group should be able to address the request.

Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measurable terms i.e. provide a documented process, change a process to include training etc)} Providing the process associated with the three * items identified above will be the catalyst for the quality improvement team.

Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts}

Establish Action Plan (Resolution Time Frame) {state action required, who will be responsible and by when} Qwest and the CLEC customers are anxious to identify the processes, the time line will be updated based on a subsequent meeting that is scheduled for 10-01-01

Stichter, Kathleen L. on 09/06/2001 03:03:09 PM To: kthomte@qwest.com Subject: FW: Action Item 32

Kit, What we were actually looking for was the back end process. When technicians go out to install new loops do they immediately port numbers(s), immediately get concurrence of number(s), what is the down time for the customer(s) and how do the technicians coordinate this? We are going to tie this issue to the Toni Dubuque quality team that Toni is forming to identify and address problems with Qwest end to end processes as they relate to port in and port within. Thanks

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 E-Mail klstichter@eschelon.com


CenturyLink Response

Wholesale Process Management

November 06, 2001

Ms. Kathleen Stichter Eschelon Telecom

Dear Ms. Stichter:

A conference call was conducted with Eschelon on September 25, 2001 at which time Qwest Product and Process reviewed and responded to the PC090601-1, Title of Change: Written Process for migration from CLEC to Qwest Retail. Description of Change: During CLEC to CLEC conversion interim call, it was asked that Qwest provide in writing the process that is in place to migrate from CLEC to Qwest Retail. During the course of the call, it was determined that the actual request goes beyond the migration from a CLEC to Qwest Retail. Issues of concern are as follows: * CLEC to Qwest Retail * CLEC to Resale same CLEC, e.g., (customer on net with current CLEC has unbundled loop going to Resale.) ( Port In to Resale, same CLEC) * Resale to Resale, e.g., same CLEC with customer moving from one central office to another central office. (Port Within T&F Resale) This response letter outlines the three processes as listed above.

CLEC to Qwest Retail 1. Sale Consultant * Negotiates New Connect Order with end user * Obtains LOA (Letter of Authorization) / TPV * Places order on hold * Submits notification to the Retail Support Center 2. Retail Support Center * Receives notification of pending competitive order, verifies LOA/TPV, determines competitive type (Resale, Centrex Resale, LNP, etc.) * Completes form(s) when appropriate (Loss Notification, LSR) and submits to CLEC. * Receives FOC from CLEC * If reclaiming Unbundled Loop and there are multiple loops with multiple Tn’s request information from Wholesale Support * Issue disconnect of Unbundled Loop(s) related to the Competitive New Connect * Retrieves order, adds appropriate FIDs/USOCs and issues Port In to Qwest Retail order * Advises end user of firm DD and negotiates premise visit if needed. * Prepares and submits bill to end user 3. Npac * Receives 2 subscriptions, 1) Old provider CLEC 2) New Provider Qwest 4. Wholesale * Support Center will provide Retail with information on multiple loops with multiple Tn’s * Issue loss report for UBL (mechanized) 5. Network * If no Unbundled Loop to reclaim, Installer Visit required * Unbundled Loop reclamation, Lift and Lay in Central Office, or Cross Connect out in the field. * Order has the following FDT (Frame Due Time): 8:00am if Installer Access Time is 8:00 – 12:00 or All Day 12:01pm if Installer Access Time is 12:00 – 5:00 * If Installer is at premise and subscription has not been completed, but has been concurred by the CLEC (or 18 NPAC hours have been met), the Installer will call to have subscription completed in order to test and complete work order. * If port needs concurrence before activation, the Support Center will contact the CLEC for concurrence and have port activated. * Verifies dial tone up to the Network Interface and completes inside wiring as needed. 6. End User * Advised may experience out of service condition due to port activity * Advised Installer visit to premise may be needed. (If unable to reclaim an unbundled loop or other changes requested.) 7. Current Clec * CLEC receives LSR * Determines DD and send FOC to Qwest * Creates disconnect service Order to Port Out * Sends subscription to NPAC * Service Order completed on the DD in the CLEC requested switch at FDT of 5pm. * Discontinues billing end user CLEC to Resale (Same CLEC) (Port In Resale) 1. End User * Signs LOA and submits request to Reseller * Reseller has advised end user of firm DD * Advised may experience out of service condition due to port activity. * Upon completion of port activity, receives bill from New Provider/Reseller 2. Reseller * Wins new end user business * Submits LSR to Qwest * Receives FOC(Firm Order Confirmation) from Qwest with Firm DD * May request reuse of existing Unbundled Loop facilities * If Qwest is unable to reclaim Unbundled Loop for reuse of facilities, premise visit by Reseller technician is needed * Advises end user of firm DD and negotiates premise visit if needed. * Prepares and submits bill to end user 3. Qwest Wholesale * Receives LSR from Reseller * Submits LSR to End user current CLEC with FDT of 5pm, allowing for overlapping of translations until port complete * Receives FOC from current CLEC and creates FOC to Reseller * Add positive Remark entry on FOC if unable to reuse existing facilities (if reseller requested reuse). * Creates New Connect service order to Port In TN with due date based on availability in Appointment Scheduler . i.e.. AM, PM, All Day 8-5p (If premise visit required) * Creates disconnect service order if reusing facilities from an Unbundled loop and relates to New Connect service order. Order completion creates mechanical Loss Report * Submits port subscription to the NPAC * Service Order completed on the DD in Qwest Switch. 4. Npac * Receives 2 subscriptions, 1) Old provider CLEC 2) New Provider Qwest 5. Network * No Unbundled Loop to reclaim, requires Installer Visit based on Appointment Scheduler * Unbundled Loop reclamation, Lift and Lay in Central Office, or Cross Connect out in the field. * Completion dependent upon access time indicated by Appointment Scheduler * Order has the following FDT (Frame Due Time): 8:00am if Installer Access Time is 8:00 – 12:00 or All Day 12:01pm if Installer Access Time is 12:00 – 5:00 (Access Time may be dependent upon Central office limitations.) * If Installer is at premise and subscription has not been completed, but has been concurred by the CLEC (or 18 NPAC hours have been met), the Installer will call to have subscription completed in order to test and complete work order. If port needs concurrence before activation, the Escalation Group will contact the CLEC for concurrence and have port activated. * Installer verifies dial tone up to Network Interface 6. Current Clec * CLEC receives LSR * Determines DD and send FOC to Qwest * Creates disconnect service Order to Port Out * Sends subscription to NPAC * Service Order completed on the DD in the CLEC requested switch at FDT of 5pm. * Discontinues billing end user Resale to Resale (Port Within T&F) 1. Reseller * Negotiates End User T&F * Submits LSR to Qwest * Can provide access time per Appointment Scheduler * Received FOC(Firm Order Confirmation) from Qwest with Firm DD * Advises end user of firm DD * Negotiates premise visit as needed for inside wiring * Prepares and submits bill to end user 2. End User * Advised may experience out of service condition due to port activity * Advised Installer visit to premise may be needed. (If unable to reclaim an unbundled loop or other changes requested.) 3. Qwest Wholesale * Receives LSR from Reseller * Creates service order to Port Within (T&F) service with due date based on availability in Appointment Scheduler. i.e.. AM, PM, All Day 8-5p , if installation and premise visit required. FDT 8am. * Disconnect at current address & connection of service at new address must be done the same day (no dual or delayed service). * Creates FOC to Reseller * Submits port subscription to the NPAC * Service Order completed on the DD in new Qwest Switch and disconnected in old Qwest Switch. 4. Npac Receives 2 subscriptions, 1) Old provider Qwest 2) New Provider Qwest 5. Network * May requires Installer Visit and access based on Appointment Scheduler (Access can be dependent upon Central office limitations.) * Order has the FDT (Frame Due Time) of 8am. * Wire to Network Interface and verify dial tone. (No inside wiring) * Completes service order request

In most switch types the 10 digit mechanized trigger is automatically set by Qwest. Correct call routing will take place until such time that the actual switch translations are disconnected from the originating switch. This overlap of switch translations helps to ensure a smooth number port transition, until both the loop and or the number port are completed. The complete service order process of port in/port within should be completed no later than the 5pm access time, based on availability in Appointment Scheduler.

Sincerely, Joan Wells LNP Process Manager


Open Product/Process CR PC083001-2 Detail

 
Title: Process to ensure Qwest service managers are provided with and participate in training for resolving customer affecting issues and outages.
CR Number Current Status
Date
Area Impacted Products Impacted

PC083001-2 Completed
12/12/2001
Ordering, Billing, Repair N/A
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Sheahan, Steven
Director:
CR PM: Thomte, Kit

Description Of Change

Currently Qwest provides training on customer-impacting issues relating to products and services. However, it does not ensure that service managers are allowed to and/or do participate in the training. Instead, in some cases, the managers either do not attend at all or are provided the documentation only. As a result, the service managers can not efficiently and effectively resolve customer-impacting issues in the shortest possible time frame. Please implement a process to ensure and document that service managers participate in all Qwest provided training as it relates to products and services that impact CLECs and their customers.


Status History

08/30/01 - CR received from Kathy Stichter of Eschelon

08/30/01 - Status changed to New – to be clarified

08/30/01 - Updated CR sent to Kathy Stichter and Steve Sheahan

09/21/01 - Clarification Meeting Scheduled for 05 Oct 01

10/05/01 - Clarification Meeting conducted with Eschelon

10/17/01 - CMP Meeting: Qwest conducted clarification with CLEC community. "Current Status" changed to Evaluation. Qwest to prepare draft response.

11/01/01 - Draft response dated October 29, 2001 issued to Eschelon, & CLEC community notified of draft response

11/14/01 - CMP Meeting - it was agreed that th CR could be moved into "CLEC Test."

11/21/01 - Qwest Final Response (dated October 29, 2001) transmitted for CLEC community distribution.

12/12/01 - CMP Meeting - CLEC Community agreed to change "CR Status" to "Completed." Toni Dubuque, Qwest to address action item regarding present assignment of Qwest service personnel on the Eschelon account (i.e, two (2) positions for sales, and two (2) positions for service), and feasibility of re-assigning service personnel to focus solely on Eschelon service issues (i.e., propose all four (4) positions address service).


Project Meetings

Alignment/Clarification Meeting

1:00 p.m. (MDT) / Friday, 05 October 2001 Teleconference call TELE: 1-866-289-7092 CODE: 7411826 # PCCR083001-2 Process to ensure Qwest service managers are provided with & participate in training for resolving customer affecting issues & outages.

Attendees Cathy Stichter Steven Sheahan Peter Wirth

Introduction of Attendees Attendees were introduced. Qwest representative Steven Sheahan was designated the “Subject Matter Expert” (SME) for the subject CR. Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Concurrence was received from both Eschelon and Qwest parties. Questions were raised by Steven Sheahan, Qwest to Eschelon regarding specific training issues of concern. Eschelon expressed concern regarding the volume of changes and associated documentation that the Qwest Service Manager needs to assimilate, in addition to performing routine daily duties.

Confirm Areas & Products Impacted {read from change request, modify if needed} No selected “Products Impacted” were indicated on the CR. However, Eschelon indicated that “All” products are potentially affected.

Confirm Right Personnel Involved {ensure the Qwest Product SMEs can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Concurrence was received from both Eschelon and Qwest parties regarding appropriate involved personnel.

Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measurable terms i.e. provide a documented process, change a process to include training etc)} Eschelon is expecting a response from Qwest identifying: (1) current procedures used to meet the needs of the CR; and (2) any modifications or changes proposed by Qwest to allow Service Managers to more efficiently and effectively resolve customer-impacting issues via training.

Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts}

Eschelon did not identify any dependent CRs associated with the subject CR.

Establish Action Plan (Resolution Time Frame) {state action required, who will be responsible and by when} Qwest will internally discuss CR with all supporting SME staff, and discuss the CR in the next monthly CMP meeting (October 17, 2001).


CenturyLink Response

October 29, 2001 Wholesale Product/Process Stephen Sheahan, Qwest

This letter is in response to CLEC change request form PC083001-2 dated August 30, 2001.

Change Request: Qwest currently provides training on customer-impacting issues relating to products and services. However, it does not ensure that Service Managers are allowed to and/or participate in the training. Instead in some cases the managers either do not attend at all or are provided the documentation only. As a result, the Service Managers cannot efficiently and effectively resolve customer-impacting issues in the shortest possible time frame. Please implement a process to ensure and document that the Service Managers participate in all Qwest provided training as it relates to products and services that impact CLECs and their customers.

Qwest Response:

Qwest has in place individualized training plans for all of its Service Managers as it relates to Products, Processes and Services that are customer and non-customer impacting. Qwest also holds mandatory training sessions for Service Managers when substantial changes in process or products are made or when a new product is introduced. In some cases testing of the Service Manager is conducted after completion of a training module to demonstrate a minimum level of competence.

When minor changes in process or product offerings are made, Qwest provides via email communicator documentation that allows the Service Manager a point of reference to be able to identify the change in product or process. Also it includes the name of SMEs necessary to facilitate prompt investigation and response to CLEC customer questions.

Qwest management reviews training plans with individual Service Managers on a quarterly basis. Training is a component of the Service Managers overall rating to determine the level of attainment achieved in the Qwest quarterly bonus plan. Management reviews Service Manager training progress and tailors additional training programs, as necessary to better meet requirements associated with the Service Manager’s assigned CLEC accounts.

Sincerely,

Stephen P. Sheahan Qwest Wholesale Customer Service Operations


Open Product/Process CR PC083001-1 Detail

 
Title: Allow customers to move and change local service providers at the same time. (reference Systems CR # SCR101901 1)
CR Number Current Status
Date
Area Impacted Products Impacted

PC083001-1 Completed
4/17/2002
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Berry, Harriett
Director:
CR PM: Thomte, Kit

Description Of Change

The current Qwest process states that when a customer moves and wants to change local service providers they must first convert to the new local service provider with a subsequent move order or move with their current local service provider and subsequently convert to the new local service provider. This causes delays in a customer’s choice to change local service providers. It also forces the customer and/or CLEC to pay processing and installation charges for both a conversion and a move. In addition if the Qwest service order does not post to the CRIS system for the move or conversion in a timely manner, this can cause customer impacting issues due to the fact that the Qwest service order may not be processed accurately. Change Qwest process to allow an end user to select the local service provider of their choice when they move to their new location.


Status History

08/30/01 - CR received from Kathy Stichter of Eschelon

08/30/01 - Status changed to New, to be clarified

08/30/01 - Updated CR sent to Kathy Stichter and Steve Sheahan

09/12/01 - Clarification Meeting Scheduled for 09/17/01

09/17/01 - Clarification Meeting Held

09/26/01 - Qwest's draft response issued to CLEC Community

10/17/01 - CMP Meeting: CLEC community concurred with Qwest long term solution. Qwest to add interim process to response & re-issue. An internal User Request will be issued to initiate permanent change. No "Current Status" change.

11/01/01 - Revised draft response, dated October 31, 2001, transmitted to Eschelon (submitting CLEC).

11/07/01 - Issued updated draft response dated November 7, 2001 to Eschelon and posted to dBase.

11/14/01 - CMP Meeting - The CLEC participants agreed that the manual process can be implemented 12/01/01. IMA Systems CR has been issued SCR 101901-1. It was agreed that the CR could be moved to "CLEC Test."

11/21/01 - Qwest Final Response (dated 10/31/01) transmitted for CLEC community distribution.

12/12/01 - CMP Meeting - Eschelon requested to leave "CR Status" as "CLEC Test." No Eschelon customers were available to test the manual interim procedure detailed within the Qwest response (dated 10/31/01).

01/10/02 - Eschelon submitted example to Qwest indicating potential difficulty with the interim manual process. Harreitt Berry (SME) investigating.

01/16/02 - CMP Meeting - Status update provided indicating that Harriett Berry (SME) is in process of investigating Eschelon example (submited 01/10/02).

02/06/02 - Harriett Berry identified root cause of Eschelon example (submitted 01/10/02) as failure of adherence to interim manual process. Qwest management and staff located in the offending ordering facility were retrained on internal Qwest procedure (MCC issued 11/28/01), Internal Qwest procedure was re-issued (01/21/02) to Qwest Wholesale and Retail personnel.

02/14/02 - Response transmitted to Eschelon example (submitted -1/10/02).

02/20/02 - CMP Meeting - Qwest SME discussed response to Eschelon example. CR status remains in "CLEC Test." Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02)

03/05/02 - E-mail from Qwest asking for recent out-of-process examples

03/10/02 - Reply e-mail from Eschelon, planning on having examples this week

03/20/02 - March CMP Meeting: CR to remain in CLEC Test awaiting example from Eschelon. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

04/01/02 - Sent e-mail to Eschelon asking if they have had an example to test this process

04/01/02 - Reply e-mail from Eschelon stating they are still waiting for their first example

04/17/02 - April CMP Meeting: CLECs agreed to close CR. Status changed to "Completed." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site


Project Meetings

04/01/02 - Reply e-mail from Eschelon stating they are still waiting for their first example

From: "Johnson, Bonnie J." To: Todd Mead , "Stichter, Kathleen L."

Todd, See below!

--Original Message-- From: Todd Mead [SMTP:tmead@qwest.com] Sent: Monday, April 01, 2002 9:46 AM To: Stichter, Kathleen Cc: Johnson, Bonnie Subject: CR Update

Kathy, I am looking for some feedback on two of your CRs that are currently in CLEC Test:

PC083001-1 "Allow customers to move and change local service providers at the same time" Have you had any examples through to test this process? We are waiting for an example. I received information from our internal Provisioning Team that they will be certain to provide me the next customer we have engaging in this activity.

--

03/10/02 Reply e-mail from Eschelon, planning on having examples this week

Subject: RE: FW: PC083001-1 Allow customers to move and change local servi ce providers at the same time. Date: Sun, 10 Mar 2002 16:01:51 -0600 From: "Johnson, Bonnie J." To: Todd Mead , "Stichter, Kathleen L." CC: "Vigoren, Barbara J." , "Schiller, Tina M."

Hi Todd, I believe I should have some examples this week. Kathy will be back on 3/19/02.

Bonnie -

--

03/05/02 E-mail from Qwest asking for recent out-of-process examples

Subject: PC083001-1 Allow customers to move and change local service providers at the same time. Date: Tue, 05 Mar 2002 08:31:08 -0700 From: Todd Mead Organization: Qwest Communications International, Inc. To: Kathleen Stichter

Kathy, I have taken over from Pete Wirth as the CRPM for this CR. My current understanding is that we are waiting for an Eschelon customer to test this manual procedure to ensure the process is working as originally designed?

Please let me know if that is your understanding of the current status and also, whether there have been any recent examples from Eschelon to test the manual procedure.

Thanks

Todd

--

Subject: Re: Example for CR PC083001-1 Date: Thu, 14 Feb 2002 14:58:39 -0700 From: Peter Wirth Organization: Qwest Communications International, Inc. To: "Stichter, Kathleen L." CC: "Berry, Harriett" References: 1

Kathleen;

Harriett Berry, Qwest identified the root cause of the Eschelon example (e-mail below) as a failure of adherence to the interim manual process by a Qwest employee. Qwest management and staff located in the ordering facility were retrained on the internal Qwest procedure (MCC issued on 11/28/01) contained within the Qwest CR response. The internal Qwest procedure was re-issued (01/21/02) to Qwest Wholesale and Retail personnel. Please let me know if any other examples occur regarding this issue. Thanks.

Peter Wirth Product & Process CMP CRPM pwirth@qwest.com 303.896.5190

--

"Stichter, Kathleen L." wrote:

Example of a recent LSR that did not work. This is confidential information not to be shared outside of Qwest CMP.

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 Email klstichter@eschelon.com

--Original Message-- From: Stichter, Kathleen L. Sent: Tuesday, January 08, 2002 7:55 AM To: Johnson, Bonnie J.; 'cmeride@qwest.com' Subject: RE: UT-122101-Tuxedo By Lee-UT138677KMJ-Ver-OC-8014921614

Bonnie, This is the email I sent to Pat Levene yesterday for investigation. I will let you know when I get the information back from Pat Levene.

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 Email klstichter@eschelon.com

--

09/17/01 - Attendees Bonnie Johnson - Eschelon Harriettt Berry - Qwest Russ Urevig - Qwest Susie Wells - Qwest Peter Wirth - Qwest

Introduction of Attendees Attendees were introduced. Qwest representatives representing -Resale-- (Mallory Paxton) and -UNE-P- (to be determined) were not available for the meeting. Harriett Berry, Qwest will identify and include missing representatives for further activities regarding the subject CR.

Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Concurrence was received from both Eschelon and Qwest parties. Questions were raised by Russ Urevig, Qwest regarding applicability to -Resale- markets. Eschelon provided clarifications. Harriett Berry (Qwest) will review CR will representatives not in attendance.

Confirm Areas & Products Impacted {read from change request, modify if needed} Harriett Berry, Qwest confirmed selected -Products Impacted,- as appropriate for the CR.

Confirm Right Personnel Involved {ensure the Qwest Product SMEs can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Harriett Berry, Qwest identified the following Qwest personnel to assist in providing a response to Eschelon: - Qwest CLEC Migration Team

Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC- what does Qwest have to do in order to close this CR? (in measurable terms i.e. provide a documented process, change a process to include training etc)} Eschelon is expecting a response from Qwest identifying: (1) current procedures used to meet the needs of the CR (and any required modifications, as feasible); (2) identification of any factors (i.e., regulatory, etc.) that may preclude procedure modifications to meet the CR -Description of Change-; and (3) approximate time table for procedural changes, as applicable.

Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts}

Eschelon did not identify any dependent CRs associated with the subject CR.

Establish Action Plan (Resolution Time Frame) {state action required, who will be responsible and by when} Qwest will internally discuss CR with all supporting SME staff to determine time frame for response to Eschelon. Discussions to occur on 24 September 2001 (afternoon).


CenturyLink Response

Qwest Wholesale Product Marketing

October 31, 2001

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc.

This letter is in response to the following CLEC Change Request Forms #PCCR083001-1 and pertains to allowing customers to move and change local service providers at the same time.

Qwest has evaluated the subject Change Request (CR) and has determined the following:

1) Eschelon is correct in their assessment of the Qwest service order procedure for customers that physically change address and desire a new local service carrier for Centrex, Resale and UNE-P products. The current process does require two service orders to accomplish an end user move and migration.

2) We propose combining the two step process so that only one order is issued to concurrently change both customer address and Local Service Provider. The Local Service Request (LSR) would be issued with Activity Type V (for conversion) with the EUMI (End User Move Indicator) populated with Y.

Since Qwest does not currently utilize the EUMI field, an Interconnect Mediated Access (IMA) System software upgrade will be required to implement that field.

3) Qwest is initiating an internal change for the IMA System software upgrade. This change will be managed under the CMP Systems Change Request SCR101901-1.

4) The following manual interim process will be in effect until SCR101901-1 is implemented:

- The co-provider will only need to submit a single LSR for service orders to “change the end user’s provider and move at the same time.”

- This process has been designed specifically for the following: 1) an end user move, change of co-provider, same telephone number, and keeping same product; and 2) end user move, change of co-provider, same telephone number, change product (within same product family only).

- The manual process will require the LSR to contain ACT of V (for conversion as specified), Manual Indicator of Y, and then remarks to provide information regarding the end user move.

- Note that this is a new process in addition to existing processes for porting in and conversion (product conversions, moves, etc.). This process is also for end user conversion and move at the same time and does not include the addition of new lines.

Should you have any questions regarding this response please contact Peter Wirth, CR Project Manager at (303) 294-1642. He can coordinate any follow-up meetings, if necessary, to discuss this response.

Sincerely,

Harriett Berry Qwest CLEC Migration Team

--

MIGRATION/END USER MOVE INTERIM MANUAL PROCESS

Issue one LSR to migrate and move the end user

ACT Type = V Manual Indicator = Y Remarks = Include end user move information including new address


Open Product/Process CR 5608156 Detail

 
Title: Process and Procedures for consistent APOT numbering
CR Number Current Status
Date
Area Impacted Products Impacted

5608156 Denied
9/19/2001
Ordering Unbundled Loop
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: Nelson, Steve
Director:
CR PM:

Description Of Change

Please provide a process and procedures for consistent APOT numbering. Qwest apparently uses different conventions in different central offices (“COs”) for numbering APOTs. This leads to problems when, for example, a typist at Qwest copies and pastes information for one CO and uses it for another. Also, there appears to be a discrepancy between physical numbering and the information reflected in TIRKs. To the extent that inconsistencies exist today, please develop and distribute a process for correcting those inconsistencies. The inconsistencies create serious problems for CLECs. For example: In one situation, the augment was labeled at the ICDF as starting with number 1. But, the collocation term sheets and IMA (TIRKS) indicated that the augmented APOT starts at a higher number. Therefore, pending orders could not be completed to the APOT on which they were ordered.


Status History

06/13/01 – CR received from Lynne Powers of Eschelon 6/18/01 – Status changed to New – to be Evaluated

07/09/01 – Status changed to Reviewed – Under Consideration

07/13/01 – Drafted response sent to CICMP team via email (MR)

08/06/01 – Conference call with Steve Nelson and Lynne Powers of Eschelon held to discuss proposed CR response. Additional action taken by Qwest to resolve and respond to this issue.

08/15/01 – CLEC CMP Meeting Product & Process. Qwest advised that additional action items were taken by Steve Nelson and response will be revised and re-released.

08/27/01 - Qwest sent draft response to Eschelon.

08/27/01 - Teleconference held with Eschelon to review response. Eschelon is to obtain their SME's comments.

08/29/01 - Received Eschelon's SME's comments.

08/30/01- Revised draft response issued to Eschelon.

09/19/01 - CMP Meeting - Qwest reviewed its response and advised that they had to deny the request. Eschelon will evaluate whether to escalate .

09/21/01 - Qwest response issued to CLEC Community

03/20/02 - CR Open/Closed Status changed to Closed per agreement at 03/20/02 Monthly CMP Meeting that CRs having Denied status should also reflect Closed Status


Project Meetings

08/27/01 E-mail Stichter, Kathleen L. wrote:

Kate, Here is Gerry's reply. Gerry is director of our switch operations. Please send this on to whoever needs to see it. Thanks Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 E-Mail klstichter@eschelon.com Kathy: When we assign a APOT/CFA we hard wire directly to the ICDF from our UE9000's. By having the APOT's in numerical sequence it allows for our LENS and the PM Terminal/Node Number(which is the APOT/CFA) to match up one to one. Example ...If I have an APOT of PST05 pair 12 for the Orchard CO it matches directly to LEN ORCH 0 00 1 12. By reusing the same numbering, i.e. ALT02 1-300 and PST05 1-300 the PM Terminal/Node Number will not match up with the LEN assignment. Thanks Gerry P.S. I can print out examples at a later date. Gerry


CenturyLink Response

August 28, 2001 Wholesale Product Marketing Ms. Lynne Powers Vice President, Eschelon Telecom

Dear Ms. Powers:

I conducted a conference call with Eschelon on August 6th, 2001 at which time Qwest reviewed and responded to the letter written by myself, dated July 13, 2001. Eschelon clarified their request as, “Can they have sequential DS0 cable counts when they submit an augment for additional 100 DS0 cables.” They do not want 2 different naming conventions that have the same numbering system. Eschelon wants each new cable name to have its own associated cable counts.

According to Gerry Boeke from Eschelon, when they assign an APOT/CFA, they hard wire directly to the ICDF from their UE9000's. By having the APOT's in numerical sequence it allows for their LENS and the PM Terminal/Node Number, which is the APOT/CFA, to match up one to one (i.e...If you have an APOT of PST05 pair 12 for the Orchard CO it matches directly to LEN ORCH 0 00 1 12). By reusing the same numbering (i.e. ALT02 1-300 and PST05 1-300), the PM Terminal/Node Number will not match up with the LEN assignment.

Qwest does not believe it is a realistic expectation that cable counts always match exactly with LENS and Cable Counts. It will not and does not need to do so. Although administration would be easier for Eschelon, this is not practical on the part of Qwest. Existing working circuits are currently operating with different cable counts.

I have worked with John Waltrip, IOF EPOC methods manager, regarding this clarification. John’s response is as follows: “This issue is a scenario where a CLEC places an augment order to supplement facilities already in a given Central Office. The original facilities may have been built based on a cable naming convention that is now superseded (e.g. an original DS0 cable may have been called/counted as ALT02, 1-300); the new convention would carry a name like PDT05, 1-400 (for an additional 400 - or a total of 700). As a result, his response was that our practice is to not attempt a continuous count of old to new cable names for the same comparable circuit, (e.g. establishing the PDT05 with a count of 301-700) for the following reasons:

Our system has been in place for over a year and changes would mess-up live circuits. All CLECs are using this same system, so they rely on it as well. Other interfaces rely on this such as TIRKS, LFACS, etc. Sequence number is not critical when they place orders. The 1-300 gap in the PDT05 cable becomes an administrative fail point, not knowing that a PDT05, 1-300 count does not exist would cause the types of data base administration, as well as engineering and Service Delivery, problems that we have been cleaning up for the past 2 years. It is also possible that different types of DS0 cables go to different types of frame locations like line sharing. Different databases are also involved like LFACS for line sharing. If a customer has DS1 service it could be a UNE or Finished Service and can be configured with or without regeneration, all of these are now uniquely identified through our new naming convention. This in turn is desired to eliminate potential wiring errors and customer effecting trouble. Future mergers and acquisitions are causing conflicting databases also. The current new naming convention addresses and eliminates this problem. When two CLECs merge, each will have different cable counts. The TIRKS data base is universal in nature and tracks and monitors all circuits.

In summary, we acknowledge the needed additional work on behalf of individual CLECs to ensure accurate CFA is submitted on provisioning orders. We also acknowledge Qwest is committed to furnishing accurate information and timely resolution of issues as they occur in the provisioning and maintenance process relating to APOT information. For all the above mentioned reasons, we respectfully deny your request.

Sincerely

Stephen C. Nelson Collocation Group Product Manager

July 13, 2001

Ms. Lynne Powers Vice President, Eschelon Telecom

Dear Ms. Powers:

This letter is in response to your CLEC Change Request form number 5608156 dated June 13, 2001.

“Please provide a process and procedures for consistent APOT numbering. Qwest apparently uses different central offices (CO’s) for numbering APOT’s. This leads to problems when, for example, a typist at Qwest copies and pastes information for one CO and uses it for another. Also, there appears to be a discrepancy between physical number and the information reflected in TIRKS. To the extent that inconsistencies exist today, please develop and distribute a process for correcting those inconsistencies. The inconsistencies create serious problems for CLEC’s. For example: In one situation, the augment was labeled at the ICDF as starting with number1. But, the collocation term sheets and IMA (TIRKS) indicated that the augmented APOT starts at a higher number. Therefore, pending orders could not be completed to the APOT on which they were ordered.” Response: Our cable naming convention has undergone evolution over the last six years. When cable names were first assigned to the CLEC cables, the same cable names, e.g. ALT01, were often assigned to multiple CLEC’s. Despite that convention, their corresponding circuits could still be built and turned up since the unique cables were built in TIRKS with the CLEC’s unique CLLI code, e.g. HG5. CLLI codes are assigned by CLONES in order as CLEC’s come into an office, e.g. if a CLEC is the first physical in office A they would typically be assigned HG1, if they were the 8th CLEC they would be assigned HG8., etc. The current naming convention does assign unique cable names to CLEC cables in a given office. The unique name is established based on factors such as the type of collocation, type of circuit, and the 11 character of the unique CLLI codes assigned to the CLEC. (Attachment A is our current Cable Naming Convention) Cable names assigned using the old convention are not incorrect. They are simply not as descriptive as the current naming convention. Qwest explored the cost of converting the millions of cable names over to the new convention in place currently. The estimated cost was in the millions of dollars. Word documents would have to be cut along with new APOT’s etc. Therefore the decision was made to do several things on a going forward basis. One, through attrition the old cable names over time as changes occurred. Two, we would formalize our methods and train all personnel on the new cable naming configuration. Three, we would establish a “Hot Line” for CLEC’s to resolve immediate discrepancies through their Account Representative. Fourth, we would do a major data base reconciliation of all major cities. Fifth, each augment of a site would require a new APOT in its entirely including existing cable names. Qwest has a process for handling discrepancies in provisioning or repair traced to APOT forms. We have established an interval Hot Line to ensure items referred by CLEC customers to their Account Service Manager are responded to within 5 hours by an engineer for resolution. The engineer will identify and work to eliminate and resolve the issue. The engineer will report back to the account representative within 24 hours on the resolution or estimated resolution of the problem. All of these action items have associated methods and procedures which Qwest employees have been trained on. Attachment C and D of the Configuration Options Policy in the PCAT identifies our cable naming convention and samples of APOT’s by type of collocation. (I have attached sample copies of APOT’s )

In summary, although it is more difficult for Qwest and CLEC’s to administer cable names based on the different naming configurations, we do not plan to “convert” all past APOT’s. All existing APOT’s have correct information for submittal or provisioning and repair requests. The Hot Line will assist where discrepancies occur. Our methods have been standardized. We will work with any specific CLEC to resolve any items of concern regarding particular CLEC site APOT’s through your Service Manager.

Sincerely Stephen C. Nelson Collocation Group Product Manager


Open Product/Process CR 5608163 Detail

 
Title: Process for resolving incorrect CSR information
CR Number Current Status
Date
Area Impacted Products Impacted

5608163 Completed
9/19/2001
Ordering Other
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: Hoag, Nancy
Director:
CR PM:

Description Of Change

Please provide a process for resolving incorrect CSR information (on either a Qwest or another co-provider’s CSR). Before converting an account, errors in the CSR are sometimes detected. For example, a customer’s CSR shows only 4 lines even though the customer confirms that it added a 5th line six months ago. For some reason, the 5th line has not posted yet. Because the CLEC is ordering “conversion as specified” (and not new), because the customer already has the 5th line in place, the order does not get through the up-front edits. This is particularly true with Release 7.0. Another example is the situation in which the customer has changed addresses but the CSR still shows the old address. The CLEC is unable to submit a conversion. If the CLEC attempts to process the order, the customer’s lines may get moved back to the old address, or the customer may get back-billed. There is no process to follow when this happens.


Status History

06/13/01 – CR received from Lynne Powers of Eschelon 6/18/01 – Status changed to New – to be Evaluated

07/09/01 – Status changed to Reviewed – Under Consideration

07/13/01 – Drafted Response sent to CICMP Team via email (MR)

07/13/01 - MCC issued by Qwest

08/06/01 – Nancy Hoag of Qwest to address and close with Kathy Stichter of Eschelon

08/15/01 – CLEC CMP Meeting Product & Process Qwest response dated 07/13/01 presented, Qwest advised that an MCC would be issued.

08/24/01 - Qwest redistributed MCC to center coaches

08/24/01 - Qwest issued draft response to Eschelon

08/29/01 - Sent draft Qwest Response and MCC for Eschelon feedback.

08/30/01 - Received confirmation from Kathy Stichter from Eschelon that the draft response answered their CR and we could consider the CR Closed.

09/19/01 - CMP Meeting it was agreed that the CR could be closed.


Project Meetings

Stichter, Kathleen L. on 08/30/2001 07:52:07 AM

To: jlbroo2@qwest.com Subject: FW: Draft response to CR 5608163

Jerri, Thanks. This does answer our CR 5608163. We can consider this CR closed.

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 E-Mail klstichter@eschelon.com

From: Jerri Brooks [SMTP:jlbroo2@qwest.com] Sent: Wednesday, August 29, 2001 10:16 AM To: klstichter@eschelon.com Cc: Richard H Martin; Lynn Stecklein; Nancy J Hoag Subject: Draft response to CR 5608163

Hello Kathy,

Please see the attached draft response from Nancy Hoag concerning CR 5608163. Please confirm via e-mail if this response meets your needs or if we need to set up a walk through meeting to discuss the issue further. I am also forwarding you a copy of an e-mail MCC sent out on 7/13/01, it contains the process to be followed for CSR's. Thanks, Jerri Brooks (303) 294-1290

(See attached file: 1Eschelon Response CSR Information-update.doc)


CenturyLink Response

August 23, 2001

Lynne Powers Vice President, Customer Operations Eschelon Telecom, Inc

CC: Mallory Paxton Matthew Rossi

This letter has been updated from the original July 13, 2001 written response to your CLEC Change Request Form #5608163 dated June 13, 2001.

Provide a process for resolving incorrect CSR information on either a Qwest or another co-provider’s CSR.

Response: Two options are available when the CSR is incorrect.

The CLEC can Check Manual Handling "Y" and explain in Remarks, for example, "Convert As Is. End User added fifth line 612-253-1234 6/29—CSR shows only four lines."

Open an escalation ticket with the Call Center. If this is the option selected, the CLEC should recognize that the ticket may still result in a manually-handled request, since Qwest may not be able to provide a current CSR in time to meet the CLEC’s needs.

These processes are in place today. They have been documented in the Internal Service Delivery M&Ps for the centers and have been communicated to all Qwest Center personnel. To ensure process compliance in all Qwest centers; a Multi-Channel Communicator (MCC) was released on July 13, 2001. The MCC reiterated the existing options as described above, to resolve incorrect CSR information. To further enforce this process, the MCC was redistributed to the Center Coaches on August 24, 2001

Sincerely,

Nancy J. Hoag Wholesale Product Manager

July 13, 2001

Lynne Powers Vice President, Customer Operations Eschelon Telecom, Inc

CC:Mallory Paxton Matthew Rossi

This letter is in response to your CLEC Change Request Form #5608163 dated June 13, 2001

Provide a process for resolving incorrect CSR information on either a Qwest or another co-provider’s CSR.

Response: Two options are available when the CSR is incorrect.

1. The CLEC can Check Manual Handling “Y” and explain in Remarks, for example, “Convert As Is. End User added fifth line 612-253-1234 6/29—CSR shows only four lines.”

2. Open an escalation ticket with the Call Center. If this is the option selected, the CLEC should recognize that the ticket may still result in a manually-handled request, since Qwest may not be able to provide a current CSR in time to meet the CLEC’s needs.

These processes are in place today, they have been documented in the Internal Service Delivery M&Ps for the centers, and have been communicated to all Qwest Center personnel.

Sincerely, Nancy J. Hoag Wholesale Product Manager


Open Product/Process CR 5608171 Detail

 
Title: Process for allowing Qwest testers and repair personnel access to IMA GUI
CR Number Current Status
Date
Area Impacted Products Impacted

5608171 Completed
10/17/2001
Ordering Other
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: Paxton, Mallory
Director:
CR PM:

Description Of Change

Please develop a process and put procedures in place to provide Qwest testers (particularly in Omaha) and Qwest repair personnel access to IMA-GUI. In addition, please train these individuals to access IMA-GUI. They need the ability to view the same information that the CLEC is looking at when they are discussing and attempting to resolve issues.

8-29-01 Scope of request changed from UnBundled Loop to Resell (non design) features.


Status History

06/13/01 - CR received from Lynne Powers

06/18/01 - Status changed to New – to be Evaluated

07/09/01 - Status changed to Reviewed – Under Consideration

08/29/01 - Clarification Meeting with Eschelon and unbundled Loop

08/30/01- Clarification Meeting with Eschelon and Resale

08/31/01- Sent Draft Qwest response to Eschelon.

09/19/01 - CMP Meeting - Eschelon advised that they required additional time to evaluate and requested that all the CLEC's review the response. Qwest will issue draft response.

09/25/01 - Qwest's response issued to CLEC Community.

10/17/01 - CMP Meeting: It was agreed the CR can be "Closed."


Project Meetings

8-30-01 Conference call with Eschelon (Kathy Stichter) Qwest Resale SME: Mallory Paxton, Change Management: Ric Martin, Lyman McKee

Mallory talked with Coach at 1-800-223-7811. Not aware of problem Where Eschelon and Qwest resources not being able to view the same information.

Eschelon views IMA-GUI, Qwest views RCE-GUI (LMOS)

Agreement reached to have Eschelon provide trouble ticket data to Mallory when Eschelon/Qwest views are not the same. Problem is infrequent.

Monitor windows established to be August 31 to October 1st. If nothing is reported CR is subject to be closed.

Mallory to prepare Qwest response position paper to Matt Rossi target 8-31-01.

8-29-01 Conference call with Eschelon (Kathy Stichter); Qwest Unbundled Loop SME’s: Linda Hendricks, Catherine Garcia, Chris Henderson, Deni Toye, Russ Urevig Change Management: Richard Martin, Lyman McKee

Kathy Stichter reviewed CR request situation. Results: Determine CR was not addressing Unbundled Loop, Eschelon is satisfied with QCCC process. Problems are with Resale (Non –design) features. Request as written indicated problem was Un-bundled Loop. Kathy provided calls placed to 1-800-223-7811 option 1 are where the problem existed.

Identified Mallory Paxton and JoAnn Garromone as Qwest SME.


CenturyLink Response

August 31, 2001

Kathy Stichter Eschelon Telecom Inc CC : Matt Rossi This memo is a response to the CLEC Change Request CR 5608171 regarding discrepancies between the information available to Qwest repair personnel and that viewed by a CLEC in IMA. The CR was opened by Eschelon. In fact-finding sessions with Eschelon, it was determined that the problem is confined to calls to the AMSC at 1-800-223-7811, Option 1. The AMSC has reviewed the data visible to their repair personnel, who are looking at an RCE GUI which interfaces with LMOS (the Classic US West repair system). The information on the RCE GUI has been compared to the IMA information viewed by a CLEC calling the center and found to be the same, although the two systems are cosmetically different. Eschelon has no current examples of problems encountered when their employees called the AMSC and the AMSC could not see the same information as Eschelon was seeing. Eschelon has agreed to refer any such problems which occur in the next month to me so that I can research them with the AMSC and at the end of September to consider closing this CR if the problems are no longer occurring or have been resolved to their satisfaction.

Mallory Paxton Resale Process Specialist Email: mpaxton@qwest.com Phone: 206-345-3384


Open Product/Process CR 5608177 Detail

 
Title: Process Improved process for CLEC to CLEC re use facilities process and ensure nondiscrimination
CR Number Current Status
Date
Area Impacted Products Impacted

5608177 Completed
8/15/2001
Ordering Other
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: Hoag, Nancy
Director:
CR PM:

Description Of Change

Please improve the CLEC-to-CLEC re-use of facilities process and ensure nondiscrimination. Attached to this CR are Eschelon’s CR# 5263137 and 5263569, which Eschelon asks Qwest to re-open. The re-use of facilities process is not working as described. While CLECs are experiencing problems, Qwest retail is able to re-use facilities without difficulty. Four examples of this have been provided to the CICMP managers. The first two examples are Local Service Requests received from Qwest. In the Remarks section, one states: “Unbundled loop returning to Qwest to provide end user local service.” The other LSR states in the Remarks section: “Loops will be returned to Qwest.” These show that Qwest is able to re-use the facilities for its retail customers (without problems or requesting circuit id information from Eschelon). The other two examples are reject notices. Both contain the following reject message: “records indicate this circuit and slot not working unable to disc.” These examples show that Eschelon is unable to disconnect because Qwest is reclaiming the loop, without prior notice to Eschelon. Eschelon previously submitted CR 5263569 relating to loop reclamation. Attached to that CR is an example of an error message that states: “ the circuit requested to be disconnected is currently in the loop reclamation process and is scheduled for disconnect.” Qwest appears to have simply changed the wording of the reject message to remove the reference to the reclamation process, while continuing its practice of reclaiming loops to re-use them for Qwest retail. A nondiscriminatory process is needed to allow CLECs to re-use facilities as well. The current process is either flawed or Qwest’s representatives have not been trained adequately.


Status History

6/13/01 - CR received from Lynne Powers of Eschelon 6/18/01 – Status changed to New – to be Evaluated

6/20/01 - Process implementation for enhanced Circuit ID Process to be verified and presented in interim meeting to be scheduled by Qwest prior to the July CICMP Meeting. (MR)

6/25/01 - Status changed to Reviewed – Under Consideration

7/10/01 - Interim conference call conducted to discuss CLEC to CLEC conversions – meeting minutes sent to the CICMP team on 7/12/01 (MR)

7/13/01 - Drafted response sent to the CICMP Team via email (MR)

8/07/01 - Eschelon and Allegiance confirmed that LSRs are being submitted and handled properly in relation to Qwest’s process on Circuit ID attainment. (MR)

8/09/01 - Revised CR response distributed to the CICMP team via email. (MR)

8/15/01 - CLEC CMP Meeting Product & Process CR 5608177. It was agreed that the CR was closed due to successful processing of LSRs with revised procedure for CKTIDs.


Project Meetings

Subject: CR-5608177 Date: Sun, 26 Aug 2001 19:40:15 -0500 From: "Stichter, Kathleen L." To: rhmart2@qwest.com

Ric, Sorry about forgetting. Yes you were correct we did close this CR.

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 E-Mail klstichter@eschelon.com


CenturyLink Response

August 7, 2001

This letter is in response to the following CLEC Change Request Forms #5263137, dated December 1, 2000 and #5608177 and #5608353, dated June 13, 2001. All of these Change Requests pertain to the CLEC to CLEC Migration process. The revised process was released via the Co-Provider Industry Change Management Process (CICMP) on May 25, 2001.

Re-use of facilities for CLEC to CLEC carrier changes, improving the CLEC to CLEC reuse of facilities process and to ensure nondiscrimination.

Response: The Qwest Release Notification Forms #5393537 (CLEC Unbundled Loop to CLEC Unbundled Loop), #5393543 (CLEC Unbundled Loop to CLEC Resale), and #5467108 (CLEC LNP with Unbundled Loop to CLEC Unbundled Loop) Revision B, released on May 25, 2001, noted changes in the Pre-Order section that the requirement to obtain the Circuit Identification Number from the OLSP” is optional. Both Eschelon and Allegiance provided Qwest with examples of orders that were rejected by Qwest due to no Circuit Identification Number provided. After gap analysis, it was determined that additional training of Qwest Service Center personnel and updates to Service Delivery M&Ps were required. The following measures have been implemented:

An updated Multi Channel Communicator (MCC) New or Changed Information Procedure was issued on July 9, 2001. Issued to target Qwest internal personnel in the Wholesale Customer Care, Customer Service, Error Group, Held Order/Escalation, Order Processing and Order Resolution organizations. Topic of the MCC: CLEC to CLEC Migration of an Unbundled Loop and Unbundled Loop to other products. CLEC to CLEC Migration is defined as; unbundled to unbundled, unbundled to resale, unbundled to Centrex resale. Emphasis placed on processing orders without circuit ids (ECCKT’s) on LSR requesting migration. States included in this communication are; AZ, CO, IA, ID-N, ID-S, MN, MT, ND, NE, NM, OR, Outside 14 State Region, SD, UT, WA and WY. All internal job aids and on-line support documentation have been updated. Qwest Service Center specific training sessions are currently in progress for both center coaches and center personnel. The training will be on going to ensure process compliance.

Sincerely

Nancy J. Hoag Qwest Wholesale Product Team


Open Product/Process CR 5263137 Detail

 
Title: Re use facilities for CLEC CLEC carrier changes
CR Number Current Status
Date
Area Impacted Products Impacted

5263137 Completed
11/14/2001
Ordering Centrex, Resale, Unbundled Loop, UNE-P
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: Urevig, Russell
Director:
CR PM: Harlan, Cindy

Description Of Change

Qwest should change its process so that Qwest will re-use facilities for CLEC-to-CLEC carrier changes. When an end-user customer changes carriers from one CLEC to another, Qwest has indicated to Eschelon that CLECs must order new facilities, because Qwest does not allow a CLEC to request re-use of the same facilities used by the other CLEC to serve the same customer. In one situation, for example, Eschelon placed an order to change an end-user customer from the on-net facilities of another CLEC to the on-net facilities of Eschelon. Qwest indicated that Eschelon must order new facilities and, when Eschelon did so, Qwest placed the order in held status. The other CLEC provided its PONs to Eschelon for that CLEC’s disconnect of its loops. Eschelon re-submitted the order, identified the PONs, and requested re-use of those facilities. Qwest responded that CLECs are not allowed to request re-use of CLEC facilities. Eschelon cancelled the order and resubmitted it later. The order again went in held status. The order is still in held status. (Eschelon has provided the specific information for this and other situations to its account manager.) Ordering new facilities, instead of re-using facilities, can result in delay, additional costs, and service disruption or downtime. Please modify Qwest’s processes so that Qwest will re-use facilities for CLEC-to-CLEC carrier changes.


Status History

12/01/00 - Submitted

12/01/00 - New to be validated

12/04/00 - New to be reviewed

12/06/00 - Status changed to Reviewed - under consideration

12/06/00 - Will Discuss during UNE-P discussion marked as agenda item in the Product/Process CICMP Meeting (12/20/00)

12/15/00 - CR still under investigation but will address in the CICMP Meeting (12/20/00)

01/10/01 - Will be addressed during the 1/11 through 1/12 CLEC to CLEC UNE-P meeting and results discussed in the January CICMP Meeting (RU)

02/14/01 - Product Announcement for a formalized process to enable CLEC to CLEC conversions of Unbundled Loop with Re-use of facilities or same loop type services communicated to CICMP team via email and posted on CICMP web site. ( RN # 5393537). (RU – MR)

02/21/01 - Closing CR is dependant on requested revision to RN #5393543 – CLEC Unbundled Loop to CLEC Resale

03/19/01 - Revision to RN #5393543 complete and undergoing internal approval. Date of Release pending approval. (BD)

03/27/01 - Revision to RN #5393537 - CLEC Unbundled Loop to CLEC Unbundled Loop Re-use of Facilities - Revision A sent to CICMP team. BD-MR)

04/18/01 - Additional revision needed to CLEC Unbundled Loop – CLEC Unbundled Loop and CLEC Unbundled Loop – Resale release notifications previously released to incorporate new policy on obtaining Circuit ID from OLSP (MR)

04/30/01 - Revision "B" to RN #5393537, RN #5393543, and RN #5467108 sent to CICMP team incorporating new procedure for obtaining Circuit ID’s. (MR)

05/16/01 - Lynne Powers request to remain open to verify newly implemented circuit attainment process to be put in place on 5/25. (MR)

06/20/01 - Process implementation for enhanced Circuit ID Process to be verified and presented in interim meeting to be scheduled by Qwest prior to the July CICMP Meeting. (MR)

07/10/01 - Interim conference call conducted to discuss CLEC to CLEC conversions – meeting minutes sent to the CICMP team on 7/12/01 (MR)

07/13/01 - Drafted response sent to the CICMP Team via email (MR)

08/07/01 - Qwest response dated 08/07/01presented.

08/28/01 - CR Closed per telecon between R. Martin, Qwest and K. Stichter, Eschelon.

09/19/01 - CMP Meeting - agreed to move CR to CLEC Test Status

10/17/01 - CMP Meeting: No "Current Status" change

11/14/01 - CMP Meeting - it was agreed that the CR could be closed.


Project Meetings

Email 08/28/01 Kathy, This confirms our conversation this morning that Change Request 5263137 can be closed based on Qwest's response dated August 7, 2001 presented at the 8/15/01 meeting. In addition, this is based on Qwest tracking System Action Item 308 as a separate request and addressing the quality issued experienced during cut-over. Thanks for your cooperation. Regards, Ric


CenturyLink Response

August 7, 2001 This letter is in response to the following CLEC Change Request Forms #5263137, dated December 1, 2000 and #5608177 and #5608353, dated June 13, 2001. All of these Change Requests pertain to the CLEC to CLEC Migration process. The revised process was released via the Co-Provider Industry Change Management Process (CICMP) on May 25, 2001.

Re-use of facilities for CLEC to CLEC carrier changes, improving the CLEC to CLEC reuse of facilities process and to ensure nondiscrimination. Response: The Qwest Release Notification Forms #5393537 (CLEC Unbundled Loop to CLEC Unbundled Loop), #5393543 (CLEC Unbundled Loop to CLEC Resale), and #5467108 (CLEC LNP with Unbundled Loop to CLEC Unbundled Loop) Revision B, released on May 25, 2001, noted changes in the Pre-Order section that the requirement to obtain the “Circuit Identification Number from the OLSP” is optional. Both Eschelon and Allegiance provided Qwest with examples of orders that were rejected by Qwest due to no Circuit Identification Number provided. After gap analysis, it was determined that additional training of Qwest Service Center personnel and updates to Service Delivery M&Ps were required. The following measures have been implemented:

An updated Multi Channel Communicator (MCC) New or Changed Information Procedure was issued on July 9, 2001. Issued to target Qwest internal personnel in the Wholesale Customer Care, Customer Service, Error Group, Held Order/Escalation, Order Processing and Order Resolution organizations. Topic of the MCC: “CLEC to CLEC Migration of an Unbundled Loop and Unbundled Loop to other products.” CLEC to CLEC Migration is defined as; unbundled to unbundled, unbundled to resale, unbundled to Centrex resale. Emphasis placed on processing orders without circuit ids (ECCKT’s) on LSR requesting migration. States included in this communication are; AZ, CO, IA, ID-N, ID-S, MN, MT, ND, NE, NM, OR, Outside 14 State Region, SD, UT, WA and WY. All internal job aids and on-line support documentation have been updated. Qwest Service Center specific training sessions are currently in progress for both center coaches and center personnel. The training will be on going to ensure process compliance.

Sincerely Nancy J. Hoag Qwest Wholesale Product Team

July 13, 2001 This letter is in response to the following CLEC Change Request Forms #5263137, dated December 1, 2000 and #5608177 and #5608353, dated June 13, 2001. All of these Change Requests pertain to the CLEC to CLEC Migration process. The revised process was released via the Co-Provider Industry Change Management Process (CICMP) on May 25, 2001.

Re-use of facilities for CLEC to CLEC carrier changes, improving the CLEC to CLEC reuse of facilities process and to ensure nondiscrimination.

Response: The Qwest Release Notification Forms #5393537 (CLEC Unbundled Loop to CLEC Unbundled Loop), #5393543 (CLEC Unbundled Loop to CLEC Resale), and #5467108 (CLEC LNP with Unbundled Loop to CLEC Unbundled Loop) Revision B, released on May 25, 2001, noted changes in the Pre-Order section that the requirement to obtain the “Circuit Identification Number from the OLSP” is optional. Both Eschelon and Allegiance provided Qwest with examples of orders that were rejected by Qwest due to no Circuit Identification Number provided. After gap analysis, it was determined that additional training of Qwest Service Center personnel and updates to Service Delivery M&Ps were required. The following measures have been implemented:

An updated Multi Channel Communicator (MCC) New or Changed Information Procedure was issued on July 9, 2001. Issued to target Qwest internal personnel in the Wholesale Customer Care, Customer Service, Error Group, Held Order/Escalation, Order Processing and Order Resolution organizations. Topic of the MCC: “CLEC to CLEC Migration of an Unbundled Loop and Unbundled Loop to other products.” CLEC to CLEC Migration is defined as; unbundled to unbundled, unbundled to resale, unbundled to Centrex resale, unbundled to retail. Emphasis placed on processing orders without circuit ids (ECCKT’s) on LSR requesting migration. States included in this communication are; AZ, CO, IA, ID-N, ID-S, MN, MT, ND, NE, NM, OR, Outside 14 State Region, SD, UT, WA and WY. All internal job aids and on-line support documentation have been updated. Qwest Service Center specific training sessions are currently in progress for both center coaches and center personnel. The training will be on going to ensure process compliance.

Sincerely Nancy J. Hoag Wholesale Product Manager


Open Product/Process CR 5263637 Detail

 
Title: Installation of adequate facilities and reduction in number of held orders
CR Number Current Status
Date
Area Impacted Products Impacted

5263637 Denied
2/20/2002
Ordering Centrex, Resale, Unbundled Loop, UNE-P
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: Buckmaster, Cindy
Director:
CR PM:

Description Of Change

Modify Qwest’s processes to ensure installation of adequate facilities and reduction in the number of held orders. Through recurring rates, Qwest is being compensated for expanding its network to account for new growth. Qwest will build facilities for its own retail customers. (In Arizona arbitration's, for example, Qwest reported that it installs 3 lines per customer to anticipate growth.) However, Qwest will not do so for CLECs in similar situations. Qwest has rejected orders from Eschelon for the stated reason that “no jobs planned in the near future for this area.” (Examples of such rejections were provided to Eschelon’s account team on August 30, 2000.) The orders are placed in held status indefinitely, with no date for completion. When asked about these rejections, Qwest indicated it believes it has no obligation to build. At the last CICMP meeting, Qwest again confirmed that it is Qwest’s policy not to build additional UNE's when Qwest is out of capacity, but Qwest will build for a retail customer’s order. As indicated, however, Qwest is being compensated for such growth and would build for its own retail customer in the same situation. Please modify Qwest’s practices to build in these situations and to provide notice to CLECs as to when held orders will be completed. In the meantime, until such processes are in place, please institute a process to provide to CLECs (perhaps through a website) a list of those areas for which Qwest has jobs planned, a list of areas for which no jobs are planned, and a description of the nature of the jobs planned. Because Qwest has access to this information for its planning purposes, parity requires that CLECs also have access to the same information for their planning purposes.

Modification

08/22/01 - Added Action Item 25, Advance Notification of future builds.

08/22/01 - Added Action Item 28, Resale Orders vs. Unbundled Loop Orders-Held Order Process

08/22/01 - Added Action Item 29, State Specific Rules for future build policy


Status History

12/01/00 - Submitted

12/01/00 - New - to be validated

12/04/00 - Status changed to New – To be reviewed

12/06/00 - Status changed to Reviewed – Under Consideration

12/06/00 – Will Discuss during UNE-P discussion marked as agenda item for 12/20 Product/Process CICMP Meeting

12/15/00 – CR still under investigation but will address at the 12/20 CICMP Meeting (SB - BC)

1/10/01 - Documentation currently being created by Qwest personnel and will be addressed during the January CICMP Meeting (CB).

1/15/00 - The question of whether or not Qwest will build to provide UBL facilities for CLECs is currently under review. Some additional work is necessary to determine if precedent has been set due to past actions or previous sideline agreements. The Product Team is resolving this issue and should have a new policy statement by 1/31/01 (CB).

1/26/01 - Due date changed due to corporate strategy involvement and moved tentatively to 2/28/01 (CB)

3/15/01 - Document complete pending approval by Legal. Expected delivery 3/16/01. (CB)

3/19/01 - Tentative approval date pushed to 3/21/01. Date of document release pending internal approval. (CB)

3/27/01 - RN #5467145 - Qwest Position Statement on Build Requirements for Unbundled Loops released to the CICMP team. Qwest accepts build responsibility for primary analog voice grade circuits. Where facilities don’t exist for these requests, Qwest will initiate an engineering work order to build. (CB)

4/18/01 - Statement regarding advanced notice on future builds required to Complete this CR. (MR)

5/14/01 - Policy statement concerning advance notification of future builds has been drafted and is currently under review by Qwest Legal and Public Policy. Tentatively marked for release on 5/30/01. (NH)

5/30/01 - Policy statement held due to language. Date of Distribution TBD

6/18/01 - Build Policy tentatively scheduled for release on 8/1/01 (DG)

8/09/01 - CR Response distributed to the CICMP Team along with a drafted Response to a supplemental email submitted by Karen Clauson. (MR)

08/15/01 - Eschelon did not accept Qwest's response dated 08/09/01

09/19/01 - CMP Meeting - Qwest advised that they are still evaluating the CR.

09/21/01 - Meeitng held with Eschelon. Matrix developed with list of action items.

10/17/01 - CMP Meeting: Qwest to transmit revised response to Eschelon & notify CLEC community within next few days. No "Current Status" change.

10/18/01 - Issued Qwest Response dated October 15, 2001 with Attachments to the CLEC Community.

10/18/01 - Received e-mail comments from Eschelon on Qwest's 10/15/01 response

10/29/01 - Conducted Clarification meeting with Eschelon to review their e-mail comments to Qwest's 10/15/01 Response.

11/14/01 - CMP Meeting - Qwest advised that PCATs should be published in November. Eschelon requested Qwest explain why rearrangement of the Qwest network requires special construction and that Qwest answer their 11 questions.

11/16/01 - Revised PCAT Language was posted to the WEB for both General Resale and Genera UBL..

12/12/01 - CMP Meeting - Qwest provided an update on the process development on Special Construction. Qwest advised that the process should be completed in January and Qwest will respond to Eschelon's questions after that time. It was agreed that the CR should be placed into Development.

01/16/02 - CMP Meeting - Qwest advised that the document on the Special Construction package was very much in draft form. Qwest reviewed the draft process which is to primarily introduce the process and secondarily answer Eschelon's questions. CLECs are to provide feedback to the document. The CR will remain in Development.

02/01/02 - Posted Updated Special Construction Process with Answers to Eschelon's questions to the database.

02/01/02 - Issued Updated Special Construction Process to Eschelon.

02/20/02 - CMP Meeting - Qwest reviewed the two additional questions raised at last month's CMP meeting that were incorporated into Qwest's Special Construction Process. Qwest advised that the Special Construction PCAT language would be issued April 5, 2002. Qwest requested that the CR be closed. Eschelon advised that they felt the CR should be denied because Qwest isn't reducing the number of held orders, but rather canceling them. It was agreed that the CR would be statused as Denied. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02.

03/20/02 - CR Open/Closed Status changed to Closed per agreement at 03/20/02 Monthly CMP Meeting that CRs having Denied status should also reflect Closed Status


Project Meetings

Clarification Meeting

October 29, 2001 Conference Call

866-289-7092 5263637, Installation of Adequate Facilities Attendees: Ric Martin, Qwest Susie Bliss, Qwest Kathleen Stichter, Eschelon

1.0 Purpose Review Qwest’s October 15, 2001 response and Eschelon’s e-mail dated October 18, 2001 2.0 Review Documents and Clarify Requirements 2.1 Ric Martin reviewed Eschelon’s e-mail and clarified that Eschelon wanted to clearly see the written policies and specific exceptions to the policies. 2.2 Susie Bliss explained that, to the maximum extent practical, policies specific to products would be contained in the product PCATs. Susie advised that Qwest agreed to clarify our policies and state any exceptions to the policy. Qwest is in the process of updating the General Unbundled Loop PCAT and the General Resale PCATs. Qwest is clarifying the exceptions under the Tariff, Regulations and Policy section of the above PCATs. Susie advised that within the next couple of weeks the two specific products would be updated in the PCAT to clearly define the policies and ensure that exceptions are clearly stated. 2.3 Kathy Stichter asked if there were any other exceptions like Minnesota. Susie Bliss explained that there were no other current exceptions. 2.4 Susie Bliss advised that as additional rulings get handed down, Qwest would update the PCATs accordingly and issue the requisite notifications. 2.5 Kathy Stichter asked about Qwest’s retail policy. Susie Bliss advised that the Qwest Resale is the Qwest Retail policy. 2.6 Susie Bliss is to provide the approximate timeframe for publishing the General Resale and General Unbundled Loop PCATs. 2.7 Ric Martin will communicate the dates to the CLEC Community via the requisite notifications. 2.8 Ric Martin advised that with the Update of the PCATs, it would be Qwest’s intent to move the CR into a CLEC Test Phase to allow the CLEC’s review the PCAT language. 2.9 Kathy Stichter stated that the above actions should meet their expectations.

--

RE: Response - CR 5263637 - Installation of Adequate Facilities - Fourth Attempt Date: Thu, 18 Oct 2001 13:36:33 -0500 From: Clauson, Karen L. ,klclauson@eschelon.com> To: Matthew Rossi , mrossi@qwest.com CC: Powers, F. Lynne,flpowers@eschelon.com, "Stichter, Kathleen L,. Thank you for the response. We will review it internally. With respect to state-specific issues, we had asked Qwest to identify any state-specific exceptions. Qwest agreed to do so. Eschelon also asked that Qwest modify its written policy to state the exceptions in the policy, instead of using a general footnote that refers to exceptions without stating what those exceptions are. As written, the policy does not reflect those exceptions. The policy has not been modified so that a CLEC reading it would know how the policy applies in each state. The reply refers to the Minnesota merger agreement as "one such exception." This suggests that there are other exceptions, but Eschelon does not know what they are. Please identify the exceptions and modify the written policy to list the exceptions so that CLECs reading the policy can identify how the policy operates in each state. Thank you.


CenturyLink Response

"The below response does not include the attachments referenced in the response field. Please see Supplemental Information following the Detail Report."

October 15, 2001

Lynn Powers Vice President, Eschelon Telecom, Inc.

CC: Matthew Rossi

This letter is issued to amend Qwest’s response letter dated August 9, 2001 and is in response to your CLEC Product & Process Change Request 5263637. Request –

? Modify Qwest’s processes to ensure installation of adequate facilities and reduction in the number of held orders. Through recurring rates, Qwest is being compensated for expanding its network to account for new growth. Qwest will build facilities for its own retail customers. (In Arizona arbitration's, for example, Qwest reported that it installs 3 lines per customer to anticipate growth.) However, Qwest will not do so for CLECs in similar situations. Qwest has rejected orders from Eschelon for the stated reason that “no jobs planned in the near future for this area.” (Examples of such rejections were provided to Eschelon’s account team on August 30, 2000.) The orders are placed in held status indefinitely, with no date for completion. When asked about these rejections, Qwest indicated it believes it has no obligation to build. At the last CICMP meeting, Qwest again confirmed that it is Qwest’s policy not to build additional UNEs when Qwest is out of capacity, but Qwest will build for a retail customer’s order. As indicated, however, Qwest is being compensated for such growth and would build for its own retail customer in the same situation. Please modify Qwest’s practices to build in these situations and to provide notice to CLECs as to when held orders will be completed. In the meantime, until such processes are in place, please institute a process to provide to CLECs (perhaps through a website) a list of those areas for which Qwest has jobs planned, a list of areas for which no jobs are planned, and a description of the nature of the jobs planned. Because Qwest has access to this information for its planning purposes, parity requires that CLECs also have access to the same information for their planning purposes.

Response –

As discussed earlier, currently Qwest has no plans to modify the existing policy or processes regarding Qwest’s obligation to build new facilities. The issues addressed in your CR have been discussed in workshops. Some of the issues have been resolved. Rulings have been received in 10 of the 12 workshops to date. In each ruling, the Commissions support the Qwest position that the ILEC is not required to build additional facilities to deliver to a CLEC.

In order to help identify the current status of the issues we put together a summary outlined in Attachment A. This status was as of October 1, 2001. Attachment B documents our replies to the questions associated with this CR. We appreciate the time you spent clarifying each of your questions. Qwest will review our current PCATs to ensure they reflect the current status of any past rulings and we will continue to do so as states rule on the issues at impasse.

Finally, between the August 7th reply, the August 9th reply, and the attached, Qwest believes we have addressed the issues associated with this CR and we need to let the regulatory process determine the next steps.

Sincerely,

Susie Bliss Qwest Wholesale Process Director

--

August 9, 2001

Lynne Powers Vice President, Customer Operations Eschelon Telecom Inc.

CC:Matthew Rossi Cindy Buckmaster Denny Graham

This letter is in response to your CLEC Change Request Form #5263637 dated December 1, 2000

Change Request: “Installation of Adequate Facilities and Reduction in Number of Held Orders” “Modify Qwest’s processes to ensure installation of adequate facilities and reduction in the number of held orders. Through recurring rates, Qwest is being compensated for expanding its network to account for new growth. Qwest will build facilities for its own retail customers. (In Arizona arbitration, for example, Qwest reported that it installs 3 lines per customer to anticipate growth.) However, Qwest will not do so for CLECs in similar situations. Qwest has rejected orders from Eschelon for the stated reason that “no jobs planned in the near future for this area.” (Examples of such rejections were provided to Eschelon’s account team on August 30, 2000.) The orders are placed in held status indefinitely, with no date for completion. When asked about these rejections, Qwest indicated it believes it has no obligation to build. At the last CICMP meeting, Qwest again confirmed that it is Qwest’s policy not to build additional UNEs when Qwest is out of capacity, but Qwest will build for a retail customer’s order. As indicated, however, Qwest is being compensated for such growth and would build for its own retail customer in the same situation. Please modify Qwest’s practices to build in these situations and to provide notice to CLECs as to when held orders will be completed. In the meantime, until such processes are in place, please institute a process to provide to CLECs (perhaps through a website) a list of those areas for which Qwest has jobs planned, a list of areas for which no jobs are planned, and a description of the nature of the jobs planned. Because Qwest has access to this information for its planning purposes, parity requires that CLECs also have access to the same information for their planning purposes.”

Qwest Response: Qwest interprets both the FCC Telecom Act and subsequent UNE Remand to state that ILECs are obligated to make the existing network available to CLECs via unbundling. Qwest believes that this means that Qwest is not obligated to construct new facilities at its expense at the request of a CLEC.

The first part of this Change Request requires that Qwest ensure installation of adequate facilities. Qwest recognized that holding CLEC requests led to the mis-interpretation that Qwest was willing to construct these UNEs at some point in the future. As this isn’t the case, Qwest issued the Qwest Network Build Position for the Unbundled Loop (UBL) Product and ensured all operational work groups adhered to this practice. In short, the Position statement states,

Qwest will construct facilities for UBL that are in alignment with its Eligible Telecommunications Carrier (ETC) obligation to provide basic local exchange service in the retail markets. This means that Qwest will construct facilities to satisfy the primary DS0 - Analog (voice grade) lines for UBL as Qwest constructs these facilities for it’s own end-users.

The Primary services identified above are specific to the set number of lines per address. Address is defined as the specific Unit (Loc).

When the CLEC submits a request for a Secondary DS0-Analog (voice grade) line, DSL, ISDN, DS1 or DS3 service, the normal assignment process will be followed in its entirety. If no facilities can be found, and there is No Planned Engineering Job, the LSR will be rejected (the CLEC will receive a Reject Notice) and the Order will be cancelled. The CLEC now has the opportunity to request construction by filing the proper request through their Account Team.’

In this Statement, Qwest agrees to ensure adequate facilities to support Primary DS0-Analog (voice grade) requests only.

The second issue in this Change Request deals with Held Orders. In various sections of the Request, Eschelon requires Qwest to reduce the number of held orders, not leave held orders in held status indefinitely, with no date for completion and to provide notice to CLECs as to when held orders will be completed.

As Qwest believes the ILECs are not obligated to provide more than the existing network for the CLECs, it follows that the ILECs are not obligated to hold and review old CLEC requests on a regular basis. Therefore, Qwest’s implementation of the Network Build Position for the Unbundled Loop (UBL) Product ensured that all operational work groups were in alignment not to hold requests where facilities are not currently available.

A third issue in this Change Request indicates that Qwest confirmed its policy not to build additional UNEs when Qwest is out of capacity. This issue is not entirely accurately represented. UNEs and retail services utilize the same physical facilities. Where facilities are exhausted, Qwest retail customers will suffer in the same fashion as CLEC customers. Where facilities are exhausted, Qwest will not have the ability to provide additional lines to any customer, retail or CLEC. In most of these circumstances, Qwest is working to reinforce the availability of facilities in these areas.

The issue here is the availability of compatible facilities. For analog (voice grade) services, many types of facilities can be used. However, for some services, copper facilities are required. If Qwest has facilities that are not compatible for the services the CLEC is intending to deliver, Qwest will not construct compatible facilities for the CLEC.

Finally, this Change Request addresses the availability of information related to plans for Network Builds. In response to this request, Qwest is announcing a Network Build Disclosure Web site.

The Network Build Disclosure will notify the CLEC community of Outside Plant (OSP) growth jobs that exceed $100,000 in expense. The disclosure will consist of number of copper pairs or fiber strands placed per distribution area in wire centers, an estimated ready for service date and the final completion dates when job is complete. NOTE: Qwest will reserve the right to cancel jobs due to business decisions and will not be held liable for cancellations. This disclosure will be made September 30,2001 and will be continued on a monthly basis thereafter. Jobs will be dropped from the list 30 days after actual completion date is announced. Customers will be able to view the latest information regarding Qwest’s growth and major expansions in Qwest local serving area. This will help them to identify areas where additional facilities will be available for growth. This disclosure will be located on the Qwest’s external website located at www.qwest.com/wholesale/iconn/

Denny Graham Qwest Staff Compliance Representative

Cindy Buckmaster Nancy Hoag Qwest Wholesale Products


Open Product/Process CR 5263569 Detail

 
Title: Loop reclamation
CR Number Current Status
Date
Area Impacted Products Impacted

5263569 Completed
12/12/2001
Ordering Centrex, Resale, Unbundled Loop, UNE-P
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: Urevig, Russell
Director:
CR PM:

Description Of Change

Perform loop reclamation for CLECs and provide prior notice of Qwest’s loop reclamation. Qwest has indicated that it will not perform loop reclamation to prevent a CLEC order from going into held status. In contrast, when Qwest “wins back” a customer from a CLEC, Qwest will perform loop reclamation and will do so without prior notice to the CLEC. For example, as shown in the example below, when Eschelon has placed a disconnect order on a UNE loop, Eschelon has received a rejection notice from Qwest indicating that Qwest has already disconnected the loop as a result of loop reclamation. Qwest disconnected the loop without prior notice to Eschelon. Because of this practice, an order will be processed (and not go into held status) for a Qwest retail customer, whereas a CLEC order would go into held status. The CLEC end-user customer would experience a delay (and possibly additional costs and service disruption), whereas the Qwest end-user would not. Please modify Qwest’s processes to perform loop reclamation for CLECs and provide prior notice of Qwest’s loop reclamation.


Status History

12/01/00 - Submitted

12/01/00 - New - to be validated

12/04/00 - Status changed to New – To be reviewed

12/06/00 - Status changed to Reviewed – Under Consideration

12/06/00 - Will Discuss during UNE-P discussion marked as agenda item for 12/20 Product/Process CICMP Meeting

12/15/00 - CR still under investigation but will address at the 12/20 CICMP Meeting (SB)

01/10/01 - Will be addressed during the 1/11 – 1/12 CLEC to CLEC UNE-P meeting and results discussed in the January CICMP Meeting (RU)

02/14/01 - Product Announcement for a formalized process to enable CLEC Unbundled loop to CLEC resale communicated to CICMP team via email and posted on CICMP web site. ( RN # 5393543). (RU – MR)

02/21/01 - Closing CR is dependant on requested revision to RN 5393543 – CLEC Unbundled Loop to CLEC Resale

03/19/01 - RN Revision complete and undergoing internal approval. Date of release pending approval. (BD)

03/27/01 - Revision to RN #5393543 - CLEC Unbundled Loop to CLEC Resale - Revision A as well as RN #5467108 - CLEC LNP with Unbundled Loop to CLEC Resale - Revision A released to the CICMP Team. (MR-BD)

04/16/01 - Additional revision needed to CLEC Unbundled Loop – CLEC Unbundled Loop and CLEC Unbundled Loop – Resale release notifications previously released to incorporate new policy on obtaining Circuit ID from OLSP (MR)

04/30/01 - Revision “B” to RN #5393537, RN #5393543, and RN #5467108 sent to CICMP team incorporating new procedure for obtaining Circuit ID’s. (MR)

05/18/01 -CICMP team requests verification of implemented process to close CR

(MR)

06/20/01 - Process implementation for enhanced Circuit ID Process to be verified and presented in interim meeting to be scheduled by Qwest prior to the July CICMP Meeting. (MR)

07/10/01 - Interim conference call conducted to discuss CLEC to CLEC conversions – meeting minutes sent to the CICMP team on 7/12/01 (MR)

08/15/01 - CLEC CMP Meeting Product & Process CR 5263569. Qwest response dated 08/13/01 presented. Eschelon requested process improvement plan.

08/29/01 - Qwest issued revised draft response dated 08/27/01.

08/29/01 - Eschelon indicated that response didn't adequately answer the CR and requested that a clarification meeting be held.

09/04/01 - E-mail sent to Kathy Stichter to verify the question being posed in the CR. Kathy Stichter confirmed via e-mail on 9/6 that Qwest does understand their request.

09/12/01 - Eschelon provided comments.

09/18/01 - Review meeting held with Eschelon

09/19/01 - CMP Meeting - Qwest advised that they were developing an implementation plan and should have a response and plan the week of 10/01/01.

10/09/01 - Russ Urevig (Qwest) reported that all Centers have been trained, to include the three regions of Seattle, Phoenix & Omaha.

10/17/01 - CMP Meeting: Qwest to transmit revised response to Eschelon & notify CLEC community within next few days. No "Current Status" change.

10/19/01 - Revised response posted to web (response dated 09 October 2001).

11/14/01 - CMP Meeting - Qwest provided status of its implementation. It was agreed that the CR could be moved to Development

12/07/01 - Letter (dated 12/04/01) regarding process the CLEC community will need to follow to assist Qwest in Loop Reclamation, and crediting to the CLEC’s received and posted into CMP data base.

12/12/01 - CMP Meeting - Russ Urevig, Qwest presented procedure for CLECs to follow to assist Qwest in Loop reclamation, and crediting to the CLECs. Allegiance and Eschelon indicated that the procedure has been implemented and was satisfied with current results. CR "Present Status" was changed to "Completed." Eschelon requested that the CMP track further progress of actual CLEC loop reclamations in the future.


Project Meetings

11:30 a.m. (MDT) / Tuesday 18th September 2001 Clarification/Walk-through Meeting

Kathy Stichter, Eschelon Jerri Brooks, Qwest Ric Martin, Qwest Russ Urevig, Qwest Nancy Hoag, Qwest Linda Miles, Qwest Carolyn Brown, Qwest

Introduction of Attendees Introduction of participants on the Conference Call was made. The purpose of the call was to discuss Qwest’s Action Plan for CR 5263569 Loop Reclamation, and to share the plan at a high level with Eschelon. Review of Response Russ Urevig reviewed the draft point paper that lays out the tentative Action Plan. R. Urevig stated that Qwest Recognizes there is an issue with Loop Reclamation and that a cross-functional team is looking at improving the process. R. Urevig stated training documentation for order writers is scheduled to be completed by mid September. R. Urevig stated there will be a trial program to test the process within the next 3-5 weeks. R. Urevig stated there is a non-competitive group within Qwest who will do the disconnect/reclamation with side by side training from Regional Support Groups. R. Urevig stated there will be a meeting on Friday 9/21/01 to discuss the Action Plan, Time Estimates and Recommended Changes. R. Urevig will provide the action plan with timeline and recommended changes to CMP group and Kathy Stichter of Eschelon.

09/12/01 - Email Jerri, Bonnie and I talked today. What Eschelon wants Qwest to modify their process to perform Loop Reclamation on all disconnect orders and if that is not possible to at least notify Eschelon when they have performed a Loop Reclamation.

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 E-Mail klstichter@eschelon.com

From: Jerri Brooks [SMTP:jlbroo2@qwest.com] Sent: Tuesday, September 04, 2001 5:29 PM To: klstichter@eschelon.com Subject: CR 5263569

Kathy, Just a note to clarify that we are still working through the issues concerning this CR and an updated Qwest Response. First of all we want to clarify your Request as - "Eschelon wants Qwest to modify its process to perform loop reclamation for CLEC's and provide prior notice to Qwest's loop reclamation."

If that statement is actually what you are requesting then we agree with you. I believe there is currently an effort underway between Qwest groups to conduct a process gap analysis. Immediately after the gap analysis is completed an Action Plan will be drafted with milestones, commitment dates, etc. I will keep you posted as we make progress on this CR. Please give me a call and we can discuss any other questions you may have. Thanks, Jerri 303-294-1290


CenturyLink Response

Wholesale Product Marketing

December 4, 2001

CC: Russ Urevig

This letter is in response to your CLEC Change Request Form #5263569 dated December 1, 2000. The letter will identify the process the CLEC community will need to follow to assist Qwest in Loop Reclamation, and crediting to the CLEC’s.

We are requesting the CLEC’s to provide to their service manager in spreadsheet form the following information:

- The Qwest circuit ID ie; 3.LXFU.00012..nw - The PON number from which the circuit was established - The port back TN - The port back Date - The state in which the circuit was provided

The service manager will be the interface into Qwest and establish a time line in which the process of clean up will start with the Interconnect service center. The Interconnect center will provide the service manager an estimated completion date for each CLEC. The individual CSR established for circuits will be credited back to the Port Out/Port In date to Qwest of that TN specified. For those circuits that can not be credited through the normal process the service manger will be involved with the billing credit process and assist the Interconnect service center to credit each CLEC.

Sincerley,

Russ Urevig Senior Process Analyst

October 9, 2001 Final Response Lynne Powers Eschelon Telecom Vice President, Customer Operations

CC: Russ Urevig Susie Bliss Jerri Brooks Joan Smith

This letter is in response to your CLEC Change Request Form # 5263569 dated December 1, 2000.

Change Request ? Perform loop reclamation for CLECs and provide prior notice of Qwest’s loop reclamation. Qwest has indicated that it will not perform loop reclamation to prevent a CLEC order from going into held status. In contrast, when Qwest “wingback” a customer from a CLEC, Qwest will perform loop reclamation and will do so without prior notice to the CLEC. For example, as shown in the example below, when Eschelon has placed a disconnect order on a UNE loop, Eschelon has received a rejection notice from Qwest indicating that Qwest has already disconnected the loop as a result of loop reclamation. Qwest disconnected the loop without prior notice to Eschelon. Because of this practice, an order will be processed (and not go into held status) for a Qwest retail customer, whereas a CLEC order would go into held status. The CLEC end-user customer would experience a delay (and possibly additional costs and service disruption), whereas the Qwest end-user would not. Please modify Qwest’s processes to perform loop reclamation for CLECs and provide prior notice of Qwest’s loop reclamation.

Qwest response ? During our investigation we found that at times, the Small Business and Consumer groups were not always doing total loop reclamation on the end-users returning to Qwest for local services. Qwest has escalated this issue and pulled together a team from the Wholesale and Retail organizations to review current process and develop a new process to do full reclamation of facilities to provision loops. Extensive training on the new procedure has started. We are phasing in the new process as training is completed. Retail has made the commitment to perform full loop reclamation of facilities by Nov. 1, 2001. Additionally, we are developing a plan to address prior loops that should have been reclaimed. That plan will be completed by 10/26/01. Finally Qwest is investigating how we would notify customers of loss alerts. The initial project plan should be complete by 11/1.

We are confident that the Retail organization understands the importance of loop reclamation and we will continue to monitor and make improvements on this process.

Sincerely,

Susan Bliss Director – Process Management


Open Product/Process CR 5371475 Detail

 
Title: Allow non design affecting due date changes for unbundled loop orders
CR Number Current Status
Date
Area Impacted Products Impacted

5371475 Denied
10/17/2001
Ordering Unbundled Loop
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: Hoag, Nancy
Director:
CR PM:

Description Of Change

At present, for unbundled loop orders, Qwest imposes a 5-day interval for a supplemental order, even if the only change is to move out the due date. For example, a CLEC's customer may have scheduled an appointment for a Friday. On Thursday, the end-user customer notifies the CLEC that Friday will no longer work, and the end-user customer asks to change the date to Monday instead. Under Qwest's current policy, the CLEC must deny the customer's request, because Qwest will impose a 5-day interval. With that interval, the earliest date available to the end-user customer will be the following Thursday. This is true even though the change does not affect design, and the date is pushed out (not moved up).

For POTs resale and on the design side for DSOs, the due date can be changed in less than 5 days, provided that the change is not design-affecting. Qwest should change its process to similarly allow due date changes in less than 5 days (when not design-affecting) for unbundled loop orders.


Status History

02/01/01 - Submitted 2/01/01 New to be validated

02/01/01 - New to be reviewed

02/05/01 - Reviewed under consideration

02/05/01 - Discussed during Qwest CR review. Will be discussed in the February CICMP Meeting (CB)

02/08/01 - Qwest is currently reviewing and formulating a solution which will be discussed in the March CICMP Meeting (CB)

02/21/01 - CR Transitioned to Systems CICMP for resolution 3/7/01 - CR transitioned to Product/Process

03/21/01 - CR Transitioned back to Product/Process (MR)

04/06/01 - Interval for non design-affecting due date changes for unbundled loop orders has been reduced to 3 days. Process will be discussed during the April CICMP Industry Team Meeting (DS – MR)

04/18/01 - Written documentation around the stated 3-day interval required from Qwest in order to complete this CR (MR)

05/15/01 - Qwest will now accept a version or a SUP of a LSR for a non- design effecting change with a 3-day interval. Release documentation illustrating this reduces standard interval is currently being drafted by Qwest and will tentatively be communicated by 6/01/01. (RU)

06/12/01 - Qwest issued release notice PDRN 061901-1, FCC ISP Order.

06/18/01 - Qwest is unable to reduce the standard interval for non-design effecting due date changes for unbundled loop orders to less than 3 days due to required 48 hour advance work scheduling restriction of Qwest central office and outside technicians and coordinator/implimentor.

07/13/01 -Qwest process personnel looking at alternative options to satisfy this request – update will be given during the July 18th monthly CICMP Meeting. (MR) Nancy Hoag to draft response by 8/9/01 to discuss at CICMP

08/09/01 - CR Response sent to the CIMCP team via email for discussion during the August CICMP Industry Team Meeting. (MR)

08/15/01 - CLEC CMP Meeting Product & Process CR 5371475. Qwest presented its response dated 08/13/01. Eschelon to review to determine whether to escalate. Qwest to provide documentation on escalation procedures.

09/04/01 - Qwest issued draft revised response

09/06/01 - Comments received by Eschelon - review meeting to be scheduled

09/07/01 - Qwest provided feedback to Eschelon's comments

09/14/01 - Qwest response issued to Eschelon

09/14/01 - Qwest conducted a Walk-through on Qwest's 09/04/01 response with Eschelon. Eschelon agreed to accept Qwest's 09/04/01 response. Qwest to issue meeting minute.

09/19/01 - CMP Meeting - Qwest reviewed its draft response. Eschelon advised that they felt Qwest denied the CR and wanted to defer the CR.

10/17/01 - CR "Denied" based on discussion during October 2001 CMP Monthly Meeting

03/20/02 - CR Open/Closed Status changed to Closed per agreement at 03/20/02 Monthly CMP Meeting that CRs having Denied status should also reflect Closed Status


Project Meetings

Friday 14th September 2001 Introduction of Attendees Kathy Stichter, Eschelon Bonnie Johnson, Eschelon Chris Siewert, Qwest Jerri Brooks, Qwest Ric Martin, Qwest Pat Levene, Qwest Nancy Hoag, Qwest

Introduction of participants on the Conference Call was made. The purpose of the call was to discuss Qwest’s draft response dated September 4, 2001 and Eschelon’s e-mail comments. Review of Response N Hoag reviewed the Change from 5 days to 3 days. B Johnson indicated that there would be a rare occasion where they might need less than 3 days. She provided the example of when a customer was moving lines and they couldn’t make Friday due to equipment, or other issues. She would like Qwest to work with them to improve the date from the improved 3 days. Bonnie indicated that a VP expedite could be difficult to obtain. N Hoag explained that the primary reason that Qwest could not commit to improve on the days was due to CO and Technician resource were typically committed between those days. C Siewert advised that, in these situations, Eschelon could look into switching out an existing order. If that can’t be done, then they would have to move to VP Escalation. Eschelon asked how DS0 orders were handled. C Siewert advised that they would call in for available time and if none were available, they would move to VP Escalation. B Johnson indicated that the VP Escalations have improved. They will play the new process by ear and attempt to get times improved as required. Eschelon asked if, on POP Orders, the customer was willing to pay for overtime, could Qwest accommodate the request. C Siewert advised that Saturday is a normal workday and didn’t believe OT could be accommodated. C Siewert asked B Johnson to provide the Order No. they were looking to have Monday and she will investigate. B Johnson advised that they will go through the escalation process and we could close this CR. K Stichter agreed. N Hoag will issue the draft response formally to M Rossi for issuance to Eschelon.

09/07/2001 08:56:12 AM Nancy Hoag on

To: klstichter@eschelon.com cc: lsteckl@qwest.com

Subject: CR 5371475

Kathy,

Please review the attached letter. Under the "Qwest Response" bullet, you will see that the processes for Retail and Complex Resale DSO's were included:

These are the same Methods & Procedures used by Qwest Service Delivery for all Designed Services, including Wholesale DSO. For due date changes on Qwest Wholesale POTS as well as Qwest Resale and Retail Non Designed Services, Appointment Scheduler is used to determine the next available appointment time.

As for the second issue, I plan on meeting with Steve Sheahan, Toni Dubuque and Bonnie Johnson to discuss how Qwest can best accommodate Eschelon's needs with respect to critical ICB escalations. I consider this issue as an action item, separate from the CR that was submitted. If you could provide me Bonnie's email address, I will forward the information once the meeting has been scheduled.

Nancy J. Hoag Wholesale Products/Unbundled Loop

-- 9/6 e-mail from K Stichter

Lynn, We understand the Response. What we are looking for are 2 items that Eschelon previously requested and we thought were agreed to by Nancy Hoag. They are: 1. Documentation stating the Retail DSO and Complex Resale DSO process for DD changes that do not affect the design. 2. Notice of communication with Toni Dubuque on how Eschelon would escalate any critical ICB issues. We look forward to seeing this documentation. Thanks.

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 E-Mail klstichter@eschelon.com

From: Lynn Stecklein [SMTP:lsteckl@qwest.com] Sent: Tuesday, September 04, 2001 3:41 PM To: Stichter, Kathleen L. Cc: rhmart2@qwest.com; Jerri Brooks; Joann Garramone Subject: CR5371475 - Allow non design affecting due date changes for unbundled loop orders

Hello Kathy, Attached you will find the Qwest Response for the above Change Request. Please confirm via E-Mail if this response meets your needs or if we need to set up a walk through to discuss the issue further. Thanks, Lynn 303 294-1664


CenturyLink Response

September 4, 2001 Wholesale Product Marketing Lynne Powers Eschelon Telecom Vice President, Customer Operations

CC: Russ Urevig Matthew Rossi

This letter is in response to your CLEC Change Request Form #5371475 dated February 1, 2001.

Change Request: Allow non design-affecting due date changes for unbundled loop orders. At present, for unbundled loop orders, Qwest imposes a 5-day interval for a supplemental order, even if the only change is to move out the due date. For example, a CLEC’s customer may have scheduled an appointment for a Friday. On Thursday, the end-user customer notifies the CLEC that Friday will no longer work, and the end-user customer asks to change the date to Monday instead. Under Qwest’s current policy, the CLEC must deny the customer’s request, because Qwest will impose a 5-day interval. With that interval, the earliest date available to the end-user customer will be the following Thursday. This is true even thought the change does not affect design, and the date is pushed out (not moved up). For POTs resale and on the design side for DSOs, the due date can be changed in less than 5 days, provided that the change is not design-affecting. Qwest should change its process to similarly allow due date changes in less than 5 days (when not design-affecting) for unbundled loop orders.

Qwest Response:

Per the Wholesale Unbundled Loop Methods & Procedures for Qwest Service Delivery, due date changes have a minimum 3-day interval. If a shorter than 3-day interval is required by a CLEC, they must follow the attached escalation guidelines as provided by your Service Manager.

This change was submitted via the Qwest Release Notification process, Log # PCRN061901-1, on June 19, 2001 by Russ Urevig

These are the same Methods & Procedures used by Qwest Service Delivery for all Designed Services, including Wholesale DSO. For due date changes on Qwest Wholesale POTS as well as Qwest Resale and Retail Non-Designed Services, Appointment Scheduler is used to determine the next available appointment time.

Qwest is unable to further reduce the due date change intervals for the Unbundled Loop Product, due to Central Office and Field Technician load and resource constraints on Designed Service orders.

Sincerely,

Nancy J. Hoag Wholesale Product Team

August 13, 2001

Wholesale Product Marketing

Lynne Powers Eschelon Telecom Vice President, Customer Operations

CC: Russ Urevig Matthew Rossi

This letter is in response to your CLEC Change Request Form #5371475 dated February 1, 2001.

Change Request: “Allow non design-affecting due date changes for unbundled loop orders. At present, for unbundled loop orders, Qwest imposes a 5-day interval for a supplemental order, even if the only change is to move out the due date. For example, a CLEC’s customer may have scheduled an appointment for a Friday. On Thursday, the end-user customer notifies the CLEC that Friday will no longer work, and the end-user customer asks to change the date to Monday instead. Under Qwest’s current policy, the CLEC must deny the customer’s request, because Qwest will impose a 5-day interval. With that interval, the earliest date available to the end-user customer will be the following Thursday. This is true even thought the change does not affect design, and the date is pushed out (not moved up). For POTs resale and on the design side for DSOs, the due date can be changed in less than 5 days, provided that the change is not design-affecting. Qwest should change its process to similarly allow due date changes in less than 5 days (when not design-affecting) for unbundled loop orders.”

Qwest Response:

Per the Wholesale Unbundled Loop Methods & Procedures for Qwest Service Delivery, due date changes have a minimum 3-day interval. If a shorter than 3 day interval is required by a CLEC, they must follow the escalation guidelines.

This change was submitted via the Qwest Release Notification process, Log # PCRN061901-1, on June 19, 2001 by Russ Urevig

These are the same Methods & Procedures used by Qwest Service Delivery for all Designed Services, including Wholesale DSO. For due date changes on Qwest Wholesale POTS as well as Qwest Resale and Retail Non-Designed Services, Appointment Scheduler is used to determine the next available appointment time.

Qwest is unable to further reduce the due date change intervals for the Unbundled Loop Product, due to Central Office and Field Technician load and resource constraints on Designed Service orders.

Sincerely,

Nancy J. Hoag Wholesale Product Team


Open Product/Process CR 5432820 Detail

 
Title: Update SAG records to match LEC records
CR Number Current Status
Date
Area Impacted Products Impacted

5432820 Completed
9/19/2001
Pre-Ordering Centrex, Unbundled Loop
Originator: Sprague, Michelle
Originator Company Name: Eschelon
Owner: Thompson, Jeff
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Not getting an appropriate match in SAG, during the address validation process. The LEC record address is being used in the attempt to validate against SAG, but the SAG records do not match the LEC records. Requesting that Qwest performs a mass update on the SAG files to correspond with the LEC records, or that the LEC records are revised to match the SAG address files.


Status History

3/05/01 – Received CR from Mark Routh – CICMP Manager – Systems

3/07/01 – Status changed to New – To be Reviewed

3/07/01 – Status changed to Reviewed – Under Consideration 3/07/01 – Discussed in March CR review meeting

3/07/01 – Qwest is not able to modify the SAG and will not change the LEC. (JT)

3/21/01 – Unable to close due to McLeod’s absence at the March CICMP meeting. (MR)

4/16/01 – Unable to cancel CR due to Michelle Sprague’s absence from the April CICMP Industry Forum. (MR)

5/18/01 - Unable to cancel CR due to Michelle Sprague’s absence from the April CICMP Industry Forum. (MR)

6/20/01 - Unable to cancel CR due to Michelle Sprague’s absence from the April CICMP Industry Forum. (MR)

7/11/01 – Email sent to Michelle Sprague to close CR – Clarification on response requested.

08/28/01 - Response emailed to Michelle Sprague at McLeod USA

08/28/01 - Walk through meeting held

08/29/01 - Michelle Sprague closed CR via email to Qwest

09/19/01 - Response Accepted at the 09/19/2001 CMP Forum

09/19/01 - CR Closed at the 09/19/2001 CMP Forum


Project Meetings

Email from Michelle Sprague, McLeod USA August 29, 2001 Concurs with the closing of CR5432820.

Tuesday, August 28, 2001, Walk through Meeting Attendees: Michelle Spraque - McLeod, Peggy Esquibel-Reed, Todd Mead, and Irene Haskins/Qwest CLEC Expectations: McLeod would like Qwest to perform a mass update on the SAG files to correspond with the LEC records, or that the LEC records are revised to match the SAG address files. Mcleod agreed to close the CR and open another to address the following questions: During the address validation process via EDI, when performs an AVQ Hit, SAG address is returned. When performs a CSRQ Hit, the address from the CSR is returned. When the ISC gets an order from a CLEC, does the ISC use the address from the SAG or from the CSR? Which is the correct data source to use? Can the CLEC use just one of these data sources instead of both? Does the ISC use the SAG or the MSAG (911 address)? Which should be used?

Wednesday, August 15, 2001, CLEC CMP Meeting Product & Process. Lynne Powers questioned how SAG records get updated. Jeff Thompson advised that he wasn't sure how Telcordia issues updates, but Qwest can't get Telcordia to utilize Qwest's database. Jeff indicated that he would do some research on finding out how to get updates to Telcordia for their database. Mcleod provided Michelle Sprague as their contact at 319-790-7402.


CenturyLink Response

August 27, 2001

Michelle Sprague OSS Manager, McLeod USA

This letter is in response to the following CLEC Product & Process Change Request Form #5432820.

Request:

Not getting an appropriate match in SAG, during the address validation process. The LEC record address is being used in the attempt to validate against SAG, but the SAG records do not match the LEC records. Requesting that Qwest performs a mass update on the SAG files to correspond with the LEC records, or that the LEC records are revised to match the SAG address files.

Qwest agreed to investigate and report on what the process was for updating the SAG.

Qwest Response: * SAG is a Telecordia product. * Qwest is not able to modify the SAG and will not change the LEC. * The CLEC SAG book is a hybrid, it’s a Telecordia product and is an extract of the PREMIS database. It is created monthly. The CLEC SAG takes the QWEST SAG and additional information is extracted from the database and concatenates the two. Items not appropriate are not extracted and an item such as an NPA wire center that isn’t in the regular SAG book is added. * Qwest process for updating the SAG: - The Address Management Center’s are responsible for the data in PREMIS. Any service order fall-out or addresses that need to be updated, they are the group that does the work. - Should the CLEC find an address range that is incorrect, the CLEC calls interconnect and give’s them that information. - Interconnect contacts the AMC. - The AMC verifies with the appropriate county to make sure is valid and if it is, they update the database. - The following months extract will contain the new information. - Data is only extracted or updated once a month.

Jeffery L. Thompson Director, Information Technologies


Open Product/Process CR PC032801-2 Detail

 
Title: Process regarding circuit identification for CLEC to CLEC carrier changes
CR Number Current Status
Date
Area Impacted Products Impacted

PC032801-2 Completed
8/15/2001
Ordering Centrex, Resale, Unbundled loop, UNE-P
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: Urevig, Russell
Director:
CR PM:

Description Of Change

Qwest recently announced a process regarding CLEC-to-CLEC carrier changes that required the CLEC acquiring the customer to obtain the circuit identification (“i.d.”) from the donor CLEC. (At the previous CICMP meeting, Qwest indicated that its retail group should be following the same process and should not be using loop reclamation for this purpose. Qwest’s use of the loop reclamation process to date, however, demonstrates that Qwest does have access through its own record to accurate circuit i.d. information.) A problem arises when Qwest changes the circuit i.d. after assigning it to a CLEC but without notification to the CLEC. The donor CLEC will provide the old circuit i.d. information to the acquiring CLEC, because the donor CLEC is unaware that Qwest has changed the circuit i.d. Then, the acquiring CLEC will encounter problems in the CLEC-to-CLEC exchange because the circuit i.d. information is inaccurate. Qwest should develop a procedure to ensure that circuit i.d. information is correct and for dealing with and escalating problems when they arise. Inaccurate circuit i.d. information should not delay CLEC orders and customers.


Status History

3/26/01 – CR Received from Karen Clauson of Eschelon

3/28/01 – CR Logged and status changed to New – To be Evaluated

4/06/01 – Status changed to Reviewed – Under Consideration 4/06/01 – Discussed in April CR Review Meeting.

4/16/01 – Qwest will address this during the April CICMP Industry Team Meeting (LW)

4/18/01 – “Patch” for obtaining circuit ID from OLSP to accept LSRs required to complete this CR (MR)

4/20/01 – “Patch was put in place to allow request on an action code of “C” with no required Circuit ID.

6/20/01 – Process implementation for enhanced Circuit ID Process to be verified and presented in interim meeting to be scheduled by Qwest prior to the July CICMP Meeting. (MR)

7/10/01 – Interim conference call conducted to discuss Advanced Notification of CKID changes – meeting minutes sent to the CICMP team on 7/12/01 (MR)

7/13/01 – Drafted response sent to the CICMP Team via email (MR)

8/07/01 – Eschelon and Allegiance confirmed that LSRs are being submitted and handled properly in relation to Qwest’s process on Circuit ID attainment. (MR)

8/09/01 – Revised CR response distributed to the CICMP team via email. (MR)

8/15/01 – CLEC CMP Meeting Product & Process CR PCCR032801-2. It was agreed that the CR was closed due to successful processing of LSRs with revised procedure for CKTIDs. Closed

3/28/02 Qwest response posted to CMP database. Response had been posted to the Web as a stand alone document within the Change Request Archive.


Project Meetings


CenturyLink Response

July 10, 2001

Lynne Powers Vice President, Customer Operations Eschelon Telecom, Inc

CC: Russ Urevig Matthew Rossi

This letter is in response to your CLEC Change Request Forms, numbers PCCR032801-2 and PCCR032801-3 dated March 26, 2001.

* "Advance notice of circuit identification changes. A problem arises when Qwest changes the circuit id after assigning it to a CLEC but without notification to the CLEC. Qwest should develop a process for notifying other carriers when circuit id information is changed. Inaccurate circuit information should not delay CLEC orders and cutovers."

* Response: The existing process used in centers today states: "Anytime a change is made to a CLEC request, including changing the circuit ID (identifier), SBN (subscriber billing number), due date or specified appointment time, and the changes are NOT requested by the CLEC, a "new" FOC must be issued and the changes identified in the remarks of the new FOC."

To ensure process compliance, a MCC (Multi Channel Communicator) was re-distributed on July 2, 2001, to all centers in AZ, CO, IA, ID-N, ID-S, MN, MT, ND, NM, OR, Outside 14 State Region, SD, UT, WA, and WY.

Sincerely,

Nancy J. Hoag Wholesale Product Manager


Open Product/Process CR PC032801-3 Detail

 
Title: Advance notice of circuit identification changes
CR Number Current Status
Date
Area Impacted Products Impacted

PC032801-3 Completed
7/18/2001
Ordering Centrex, Resale, Unbundled loop, UNE-P
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: Urevig, Russell
Director:
CR PM:

Description Of Change

A problem arises when Qwest changes the circuit i.d. after assigning it to a CLEC but without notification to the CLEC. Qwest should develop a process for notifying other carriers when circuit i.d. information is changed. Inaccurate circuit i.d. information should not delay CLEC orders and cut overs.


Status History

3/26/01 CR Rec. from K. Clauson of Eschelon 3/28/01 CR Logged and status changed to New To be Evaluated 4/06/01 Status chg. to New To be Clarified 4/06/01 – Discussed in April CR Review Meeting

4/06/01 – Clarification needed by Eschelon, request sent via email to Lynne Powers, Karen Clauson and Jessica Johnson (MR)

5/14/01 – Sited examples faxed by Jessica Johnson of Eschelon and currently being investigated by Qwest (MR) 5/14/01 Status chg. to New - To be Evaluated 5/16/01 Status changed to reviewed - under consideration

6/15/01 – Russ Urevig to speak with Jessica Johnson on sighted examples. Will be discussed at the 6/20 CIMCP meeting. (RU-MR)

6/20/01 – Process of Advanced Notification to be discussed in interim CLEC meeting prior to July CICMP meeting (MR)

7/10/01 – Interim conference call conducted to discuss Advanced Notification of CKID changes – meeting minutes sent to the CICMP team on 7/12/01 (MR)

7/13/01 – Drafted response sent to the CICMP Team via email (MR)

07/18/01 - CMP Meeting - It was agreed that the CR could be closed.


Project Meetings


CenturyLink Response

July 10, 2001

Lynne Powers Vice President, Customer Operations Eschelon Telecom, Inc CC:Russ Urevig Matthew Rossi

This letter is in response to your CLEC Change Request Forms, numbers PCCR032801-2 and PCCR032801-3 dated March 26, 2001.

“Advance notice of circuit identification changes. A problem arises when Qwest changes the circuit id after assigning it to a CLEC but without notification to the CLEC. Qwest should develop a process for notifying other carriers when circuit id information is changed. Inaccurate circuit information should not delay CLEC orders and cutovers.”

Response: The existing process used in centers today states: “Anytime a change is made to a CLEC request, including changing the circuit ID (identifier), SBN (subscriber billing number), due date or specified appointment time, and the changes are NOT requested by the CLEC, a “new” FOC must be issued and the changes identified in the remarks of the new FOC.”

To ensure process compliance, a MCC (Multi Channel Communicator) was re-distributed on July 2, 2001, to all centers in AZ, CO, IA, ID-N, ID-S, MN, MT, ND, NM, OR, Outside 14 State Region, SD, UT, WA, and WY.

Sincerely, Nancy J. Hoag Wholesale Product Manager


Open Product/Process CR PC032801-4ES Detail

 
Title: Advance notice of profile and rate changes
CR Number Current Status
Date
Area Impacted Products Impacted

PC032801-4ES Denied
12/12/2001
Ordering Other
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: Burson, Sue
Director:
CR PM: Thomte, Kit

Description Of Change

Qwest requires CLECs to complete customer questionnaires/profiles, in addition to entering into interconnection agreements with Qwest, when CLECs enter a Qwest state. Periodically, the questionnaires/profiles are updated, agreements are amended, or rates change. When these documents are completed or rates change, Qwest generally makes changes in its systems to reflect such changes. For example, if a CLEC signs an amendment to its interconnection agreement that contains new rates, Qwest may load additional USOCs with those rates into a table that is specific to that CLEC in that state. Before the USOCs and rates are loaded, Qwest’s systems reject orders for items associated with those USOCs. After they are loaded, the systems will process the orders. While some of these changes may be apparent to the CLEC because they coincide with execution of such documents, sometimes Qwest makes unanticipated changes to the system or the codes. For example, Eschelon has been ordering coordinated cutovers in Minnesota for some time. Suddenly, without notice to Eschelon, Qwest’s systems began to reject those orders. Upon inquiry, Qwest’s representatives indicated that Qwest had performed a “scrub on interconnect contracts” pursuant to which Qwest unilaterally determined that Eschelon could not order coordinated cutovers in Minnesota because Eschelon had not signed a contract amendment proposed by Qwest. Only after Eschelon demonstrated that its existing contract, without amendment, provides for coordinated cutovers did Qwest restore Eschelon’s ability to use the functionality of IMA to order coordinated cutovers. In the meantime, Eschelon’s orders were disrupted. If Qwest had notified Eschelon sufficiently in advance of its “scrub” of Qwest’s plans, Eschelon could have addressed the issue at that time and avoided the disruption to its ordering and provisioning processes. Qwest should implement a process to provide advance notice to CLECs before changes are made to the CLEC’s profile and rates in Qwest’s systems. The notice should be sufficiently detailed to allow the CLEC to understand the implications of the change and should be provided sufficiently in advance of any change to allow the CLEC to object, if necessary. A process should be put in place to handle objections to changes before the changes are made.


Status History

03/26/01 - CR Received from K. Clauson of Eschelon

03/28/01 - CR Logged and status changed to New – To be Evaluated

04/06/01 - Status changed to Reviewed – Under Consideration

04/06/01 - Discussed in April CR Review Meeting

04/16/01 - Qwest will address this during the April CICMP Industry Team Meeting (TK - SC)

04/18/01 - Qwest is currently working this issue (AZ)

05/14/01 - Qwest has identified 3 circumstances (1) Contract amendment or new contract in which the Qwest Service manager will provide notification, (2) Cost Dockets or state PUC rulings in which letters are mailed to effected CLECs, (3) Internal maintenance required in which a process is currently being developed in which the Qwest Service managers will provide notification to the CLEC. Written documentation will be prepared by Qwest and communicated externally, tentative time frame for notification TBD. (AZ)

08/09/01 - CR Response sent to the CICMP team via email and included in the August CICMP Distribution Package. (MR)

08/15/01 - CLEC CMP Meeting Product & Process Qwest's response dated 08/03/01 was presented

09/19/01 - CMP Meeting -Qwest provided status update.

09/27/01 - Qwest's draft response posted to database.

10/17/01 - CMP Meeting: Qwest presented draft response. Qwest to revisit response and address "Clarification on how CLEC gets notification on rate and USOG changes." No "Current Status" change.

11/09/01 - Revised Draft Response dated 11/09/01sent to Eschelon and posted in dBase.

11/14/01 - CMP Meeting - Qwest presented its revised response. CLECs expressed concern over changes to rate table without advance notifications. Qwest requested that this subject be reviewed off-line. It was agreed that this would be an agenda item for next month's CMP meeting.

12/12/01 - CMP Meeting - Alan Zimmerman, Qwest presented an update to the current Qwest response regarding advance notice of profile and rate table changes. A written summary of this update has been posted in the CMP database. Qwest indicated that an internal validation (scrub) of the profile and rate tables is currently in progress for all CLECs. This validation addresses USOCs and SGAT rates, and should be completed this year. The CLEC community requested a redline of the validation changes prior to incorporation into billing. Qwest indicated that no feasible mechanism is available to provide advance notification for the validation exercise. However, Qwest will provide final USOG and SGAT rates for all CLECS when the validation effort is completed. Eschelon requested that the current validation effort by Qwest be stopped until an advanced notice procedure is in place. Discussions resulted in Qwest committing to re-look ways to provide advance notice for the validation exercise. Qwest committed to instituting a new process by March 1, 2002 to provide advance notice to the CLECs for the following rate change catalysts: (1) future rate validation efforts, (2) cost dockets, (3) new/existing interconnect agreements, (4) bill errors/disputes, and (5) new product implementation and product price changes. "Current Status" of CR remains in "Presented" status.

01/03/02 - Formal escalation received from Eschelon.

01/04/02 - Qwest transmitted acknowledgement of receipt to Eschelon. Escalation posted in Qwest Wholesale WEB page [http://www.qwest.com/wholesale/cmp/escalations.html].

01/07/02 - Allegiance, Covad, Integra and Worldcom notified Qwest of participation in formal escalation submitted by Eschelon (01/03/02).

01/08/02 - AT&T notified Qwest of participation in formal escalation submitted by Eschelon (01/03/02).

01/11/02 - Qwest formal escalation response transmitted to Eschelon and associated participating CLECs; and posted in Qwest Wholesale WEB page [http://www.qwest.com/wholesale/cmp/escalations.html].

01/16/02 - CMP Meeting - Susan Burson, Qwest provided update and overview of Qwest response (01/11/02) to the formal escalation submitted by Eschelon.

01/25/02 - Qwest formal escalation revised response transmitted to Eschelon and associated participating CLECs; and posted in Qwest Wholesale WEB page [http://www.qwest.com/wholesale/cmp/escalations.html].

01/31/02 - Eschelon submitted response to Qwest formal escalation revised response [http://www.qwest.com/wholesale/cmp/escalations.html].

02/08/02 - Qwest responsed to Eschelon response (dated 01/31/02) [http://www.qwest.com/wholesale/cmp/escalations.html].

02/12/02 - Eschelon responsed to Qwest response (dated 02/08/02) [http://www.qwest.com/wholesale/cmp/escalations.html].

02/20/02 - CMP Meeting - Susan Burson, Qwest provided update on the formal escalation submitted by Eschelon. Qwest will provide a response to the most recent Eschelon escalation communication (dated 02/12/02). CR remains in "Escalated" status. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

02/21/02 - Qwest responsed to Eschelon response (dated 02/12/02).

02/22/02 - Qwest response to Eschelon posted in Wholesale WEB page [http://www.qwest.com/wholesale/cmp/escalations.html].

03/20/02 - March CMP Meeting: Status update was presented. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

04/17/02 - April CMP Meeting: Qwest provided a status update. CR status remains "Escalated." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

05/15/02 - May CMP Meeting: CR status remains "Escalated." Qwest deferred discussion to the presentation that occurred later in the meeting

07/08/02 - Per the agreement reached with the CLECs in the June Product and Process CMP meeting regarding escalated status this CR will carry the appropriate status prior to the escalation


Project Meetings


CenturyLink Response

CLEC Rate Notification Process (Submitted by Alan Zimmerman, Qwest & presented in the December 12, 2001 Product & Process Monthly CMP Meeting)

Document Overview

The purpose of this document is to describe the different factors that drive rate changes, as well as outline the process by which Qwest will notify CLECs of these changes. It is important to note that contractual obligations may supersede the guidelines outlined below.

Rate Change Catalysts and Notification Processes

Qwest has identified five main categories of items that drive rate changes – validation efforts, cost docket changes, interconnect agreements and amendments, bill errors/disputes, and new products/product pricing changes. Brief descriptions of these categories and the process by which the CLECs are notified are found below:

? Rate Validation Efforts

Qwest recently carried out a rate validation effort, to verify that bills properly reflect the rates ordered by the State Commission and/or the rates modified as a result of contract negotiations. Following the completion of the Rate Validation efforts, profiles will be available for each CLEC by state, by product which will detail the rates they are currently being charged.

Qwest will develop a process by March 1, 2002 so that if Qwest undertakes comprehensive validation efforts in the future, notification of any corrections will be provided to the CLECs at least 10 days before changes are made to the billing systems. Notification will include the product affected, the currently billed and the new rate, the effective date of the rate change, and the rate implementation date.

? Cost Dockets

Cost dockets are state-mandated rates, determined by the Public Utilities Commission (PUC) for each state. Generally, state governments do not mandate notification timeframes for cost docket rate changes, however, Qwest will be implementing a new process in which CLECs will receive two notifications.

The first notification to the CLEC occurs when an interconnect agreement is updated in Qwest’s interconnect agreement repository. At this point, the CLEC can request a copy of the updated interconnect agreement from their service manager. By March 1, 2002 Qwest will develop a process for a second notification to occur at least 10 days prior to the implementation of the new interconnection agreement rates in the billing system. The notices will contain information regarding the product that is changing, the new rate, the effective date of the change, and in the case of the second notice, the planned implementation date.

? New/Existing Interconnect Agreements

The purpose of a new interconnect agreement is to establish billing for all products included in the agreement. Each product is assigned a negotiated or a state-mandated rate. Amendments are used to either add a new product to an interconnect agreement, or change the rate of an existing product. CLEC Rate Notification Process

The CLEC is notified when an interconnect agreement is received by the contract implementation specialist. A second notification, that identifies CLEC ordering can occur, is initiated by the Service Manager when the agreement is finalized. Note: The PUC will send Qwest & the CLEC notification when they accept or reject an interconnect agreement.

? Bill Errors/Disputes

When a CLEC reports a rate discrepancy, the Billing SDC will fix the bill to reflect the correct In addition the SDC will notify a Contract Implementation Specialist to initiate a system rate change so that the rate can be fixed going forward.

If a Billing SDC notices that a CLEC is being charged the wrong rate they will fix the bill to reflect the correct rate and call the CLEC to notify them of the change to their bill. In addition the SDC will notify a Contract Implementation Specialist to initiate a system rate change so that the rate can be fixed going forward. ? New Product Implementation and Product Price Changes

CLECs will be made aware of the availability of new products through the CMP process. On an individual CLEC basis, interconnect agreements can then be amended to include the new product. Please refer to the New/Existing Interconnect Agreements section above.

Occasionally, Qwest product managers initiate product rate changes (for non-cost docketed products) as a result of a costing analysis. These new rates are loaded into the SGAT and available to new CLECs through the creation of interconnect agreements, and to existing CLECs through the interconnect agreement re-negotiation/amendment process.

? General

If at any time a CLEC has a question about a specific product or rate, Qwest Billing Representatives are available to handle such inquiries. To request a profile of all rates by state, by product, a CLEC should contact their Service Manager.

Wholesale Product Marketing

November 9, 2001

Lynn Powers Vice President, Eschelon Telecom, Inc.

CC: Matthew Rossi

This letter in response to your CLEC Product & Process Change Request Form number PCCR032801-4. ? Request - Qwest should implement a process to provide advance notice to CLECs before changes are made to the CLEC’s profile and rates in Qwest’s systems. The notice should be sufficiently detailed to allow the CLEC to understand the implications of the change and should be provided sufficiently in advance of any change to allow the CLEC to object, if necessary. A process should be put in place to handle objections to changes before the changes are made. ? Response – The profile problems Eschelon was experiencing are based on two different root causes and Qwest is committed to improving the overall process. Listed below are the root causes of the recent problems and our process improvements and recommendations: 1. Qwest performed a scrub of the database and made changes without customer notification or input based on the output of the scrub. Effective 7/18, Qwest implemented a process to notify Co-providers when USOCs available to them are deleted from the ordering systems for normal maintenance purposes. This notification will happen at least 10 days in advance of the actual deletion, and would be provided through the Service Manager or via a direct letter. In the case of a USOC being deleted for all Co-providers, a common letter will be sent to all. In the case of individual Co-provider effects, the Service Manager will provide this notification directly to the affected Co-provider. An exception to this advance notification might be made in the case of system outages or other extreme events, however these should be very rare. As a normal course of business, ten days advanced notification would be provided. 2. Recently Eschelon experienced a problem with placing orders for Coordinated Loop cuts in Colorado. This is where Eschelon turned up their switch for the first time and began attempting to place orders. The root cause of this problem was based on recent agreements between the companies and the uncertainty of which rates needed to be loaded into our systems for this work. As soon as we discovered the system needed a rate in order to process the orders, we immediately escalated internally. Based on your experience, Qwest wants to take an additional look at our internal processes to determine if cross-functional resources and additional processes are required.

? In the August CMP meeting, Eschelon asked how to obtain a current copy of a CLEC’s valid USOCs to be used for verification. This is done on a state by state basis via the Service Manager, who can have a report pulled from the CPS (formerly known as CPPD) system with all USOCs loaded for that CLEC by state. This report would contain all USOCs that the CLEC can order in that state. This would enable a CLEC to proactively identify circumstances that cause problems like those in paragraph number 2 above.

? At the October meeting, Eschelon asked for further clarification on the process of notifications for cost docket and contract/amendment implementations. As discussed in the May and August CMP meetings, there are processes already in place for these situations. In the case of rate case or cost docket implementations that affect multiple CLECs, Qwest sends a letter to each CLEC affected informing the CLECs of the implementation. This notification is generally at least 10 days before the implementation. In the case of individual contracts or amendments that are implemented for a specific CLEC, that CLEC’s service manager will notify the CLEC of the implementation date, and the particular products being implemented. This notification will be done when the implementation date is determined. ? For new product introductions, current practice is that a product announcement is sent to all CLECs advising of the availability date for that product at least 30 days prior to the availability. This is currently being discussed in the CMP Redesign meetings. ? As communicated in a November 1st notification, Qwest is currently undertaking a major validation of rates for all CLECs in all states. To the extent rate discrepancies are discovered, Qwest will make the necessary changes to the rate tables in order to put those rates in sync with the current contracts and cost docket rulings. At the conclusion of that effort, targeted for early December, Qwest will send a USOC report to each affected CLEC so that the CLEC can validate the rates loaded for their USOCs.

I believe this addresses all the issues raised by this CR. If you would like to discuss the response in detail. I can be reached at (303)896-8346 or azimmer@qwest.com. Have a good day!

Alan Zimmerman Qwest Wholesale Process Manager

-- August 3, 2001

Lynn Powers Vice President, Eschelon Telecom, Inc. CC:Matthew Rossi

This letter in response to your CLEC Product & Process Change Request Form number PCCR032801-4. Request: Qwest should implement a process to provide advance notice to CLECs before changes are made to the CLEC’s profile and rates in Qwest’s systems. The notice should be sufficiently detailed to allow the CLEC to understand the implications of the change and should be provided sufficiently in advance of any change to allow the CLEC to object, if necessary. A process should be put in place to handle objections to changes before the changes are made. Response: As discussed at the 5/14 CICMP meeting, processes already exist within Qwest for notifying Co-providers of changes when rate cases or other regulatory activity has occurred. There are also existing processes enabling service managers to advise Co-providers of changes due to contract implementations or changes. There is no process for notifying Co-providers when USOCs are changed as a course of maintenance within Qwest systems.

Effective 7/18, Qwest implemented a process to notify Co-providers when USOCs available to them are deleted from the ordering systems for normal maintenance purposes. This notification will happen at least 10 days in advance of the actual deletion, and would be provided through the Service Manager or via a direct letter. In the case of a USOC being deleted for all Co-providers, a common letter will be sent to all. In the case of individual Co-provider effects, the Service Manager will provide this notification directly to the affected Co-provider. An exception to this advance notification might be made in the case of system outages or other extreme events, however these should be very rare. As a normal course of business, ten days advanced notification would be provided.

If you have any questions or comments about this policy, feel free to contact Alan Zimmerman at (303)896-8346 or azimmer@qwest.com. Have a good day!

Alan Zimmerman Qwest Wholesale Process Manager


Open Product/Process CR PC123002-1 Detail

 
Title: Migrate and move documentation on Qwest Wholesale Web site for the process used when the customer is converting and moving to a different CO and remaining in the same rate center.
CR Number Current Status
Date
Area Impacted Products Impacted

PC123002-1 Completed
12/30/2002
Provisioning, Ordering Resale, UNE-P
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Anderson, Jill (Merry)
Director:
CR PM: White, Matt

Description Of Change

As a result of the Quality Team lead by Toni Dubuque (Closed CR PC091901-1), Joan Wells Qwest Process Specialist documented process flows on the Qwest Wholesale web site. These process flows included customers that were changing to a new Local Service Provider (LSP) and moving to a new Central Office (CO) but were within the same rate center, as well as those customers that were remaining in the same CO. When the EUM field was activated with the implementation of 11.0 (applies to only customers changing their LSP and moving within the same CO), Qwest updated the documentation for the use of the EUM field, but Qwest removed the documentation that once applied to both scenarios. Under the process that exists but now is not documented on the Wholesale Web site, customers keep their existing TNs, but the order requires a port within. Eschelon personnel referred to these process flows for submitting “migrate and move” LSRs. Removing the documented process flows for this type of LSR can cause LSR errors up to and including customer out of service conditions. In addition, CLECs that have not been involved in this issue to date may not know this process is available to them. Eschelon asks Qwest to restore to the Qwest Wholesale web site the process used when the customer is converting and moving to a different CO and remaining in the same rate center.


Status History

12/30/02 - CR Submitted

01/02/03 - CR Acknowledged

01/10/03 - Clarification Meeting

01/15/03 - CR Presented at CMP Meeting

02/12/03 - Qwest response e-mailed to originator

02/19/03 - Qwest response presented at CMP Meeting

03/19/03 - Update presented at CMP Meeting

04/16/03 - Update presented at CMP Meeting

05/21/03 - Discussed at CMP Meeting


Project Meetings

05-21-03 - CMP Meeting

This CR was implemented with the changes in PC100401-1XMN.

==================================================

04-16-03 - CMP Meeting

Wells-Qwest stated that Qwest would respond to CLEC comments to the changes on 4/28 and implement the changes on 5/13. No status change.

=====================================================

03-19-03 - CMP Meeting

Anderson-Qwest stated that the documentation in support of this change would be out for CLEC review on 4/1.

======================================================

02-19-03 - CMP Meeting

Anderson-Qwest presented the Qwest response. Johnson-Eschelon stated that all she was asking for was for Qwest to document the existing process. She appreciated Qwest’s acceptance of the CR but was curious about why it would take until April 1 to distribute the documentation for review. She asked if it was because the documentation would represent a combined process. Anderson-Qwest stated that Johnson-Eschelon was correct; the integrated process document was more functional but took longer to develop. White-Qwest stated that the CR would move into Development status.

=========================================================

01/15/03 - CMP Meeting

Johnson-Eschelon presented the CR. CR moved to Presented.

============================================================

Clarification Meeting 1:30 PM (Mountain Time) / Friday, January 10, 2003

1-877-550-8686 2213337# PC123002-1; Migrate and move documentation on Qwest Wholesale Web site for the process used when the customer is converting and moving to a different CO and remaining in the same rate center

Attendees Matt White – CRPM Bonnie Johnson – Eschelon Jill Anderson – Qwest Joan Wells - Qwest

Introduction of Attendees White-Qwest welcomed all attendees and asked Johnson to review the request.

Review Requested (Description of) Change Johnson-Eschelon reviewed the submitted description of change. She stated that she just wanted the manual process back out on the web site. Well-Qwest stated that there is a CR that will change the process for Port-In. Once that CR is approved, Qwest may create documentation for both CRs at the same time. Johnson and Wells discussed the means of documenting this change. Wells-Qwest stated that Jill Anderson will take over that piece to get this documented. Anderson-Qwest stated that she had no questions. Johnson-Eschelon described a related process that she would submit a CR for in the near future. Wells-Qwest stated that was fine and that she could take a look at it when the CR came in. Confirm Areas and Products Impacted White-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted.

Confirm Right Personnel Involved White-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation White-Qwest reviewed the request to confirm Eschelon’s expectation.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for Eschelon to present the CR at the January Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

February 12, 2003

INITIAL RESPONSE For Review by CLEC Community and Discussion at the February 19, 2003, CMP Product/Process Meeting

Bonnie Johnson Eschelon Communications

SUBJECT: Qwest’s Initial Change Request Response - CR #PC123002-1

This change request is accepted. Qwest will add documentation to the Wholesale web site to address this issue. This documentation will be included in a general document, which will also include the Port In Trial process (CR-PC081302-1). Qwest will provide a status of this documentation effort at each Monthly CMP Product/Process Meeting until this change is implemented.

Qwest recommends this CR be updated to Development status.

Sincerely,

Jill Anderson Process Analyst


Open Product/Process CR PC010603-1 Detail

 
Title: MEL (market expansion line) LSR process documented on Qwest Wholesale web site.
CR Number Current Status
Date
Area Impacted Products Impacted

PC010603-1 Completed
4/15/2009
Ordering Resale MEL
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Kilker, Terri
Director:
CR PM: Harlan, Cindy

Description Of Change

Eschelon is asking Qwest to document, on its wholesale web site, the process to submit an LSR for a MEL. Although Qwest has an existing process, Qwest has not documented that process for CLECs. Therefore, when the process breaks down, CLECs are forced to spend unnecessary time and resources debating with Qwest representatives about the process itself, when those challenges could be avoided by simply pointing to mutually accessible documentation that clearly states the process for all involved. Instead, unnecessary escalations waste CLEC and Qwest resources. For example, when Eschelon submitted LSRs for two customer requests, Qwest rejected the requests in error. The escalation process went to tier 3 before resolution was reached and Qwest instructed its personnel that the LSR(s) Eschelon submitted were valid. The requested due dates were missed as a result of the LSRs rejected in error. (Specifically, for these examples, PON CUT2238471TIH1 was submitted on 9/25/02 requesting a due date of 9/30/02. After escalating to tier 3, the service was provided to the customer with a due date of 10/3/02. Another example is PON MN232901MCH sent 10/30/02 with a requested due date of 11/6/02. After escalating to tier 3, the due date of the service was 11/15/02.) In both cases, Eschelon's reputation was damaged with the customer because of Qwest rejects in error._Throughout the escalation process, a CLEC has nothing to refer to with respect to Qwest's process on how to submit an LSR for a MEL. This significantly impacts a CLECs productivity and results in a CLEC not meeting the customer's expectations due to Qwest errors. If Qwest provided the documentation on its web site, unnecessary escalations should be avoided because CLECs could refer the initial Qwest representatives to the process without having to escalate the issue.

Deliverable: Adequate and complete documentation on the Qwest Wholesale web site, in a user-friendly location and format, of the process to submit an LSR for a MEL.

Date: Because this is an existing process, the time to create the documentation on the Wholesale Web site should be minimal.


Status History

01/06/03 - CR Submitted by Eschelon

01/06/03 - CR acknowledged by P/P CMP Manager

01/09/03 - Contacted Bonnie Eschelon to schedule clarification meeting. Offered 3 times via email. Pending confirmation back from Eschelon of Clarification Meeting date/time. Linda Sanchez-Steinke will conduct Clarification Meeting.

1/15/03 - January CMP Meeting - this CR was discussed ealier than required. The clarification call was held after the Jan CMP meeting. Changed this CR to Presented.

01/15/03 - Held clarification meeting

01/21/03 - Clarification Meeting Minutes sent to Bonnie Johnson

01/22/03 - Changed dates to reflect an initial response date of February 12

2/12/03 - Posted Response to database and sent to Eschelon

2/19/03 - February CMP Meeting - meeting minutes will be posted to Project Meeting section.

3/11/03 - Entered Response in database

3/12/03 - Emailed Response to Eschelon

3/19/03 - March CMP Meeting minutes will be posted to the Project Meeting section

3/25/03 - Notification sent out. Announcement Date: March 25, 2003, Proposed Effective Date: May 9, 2003

Document Number: PROS.03.25.03.F.01042.LSOG_Updates

4/16/03 - April CMP Meeting minutes will be posted to the database

5/21/03 - May CMP Meeting minutes will be posted to the database

6/18/03 - June CMP Meeting minutes will be posted to the database. Eschelon agreed to close this CR.


Project Meetings

06/18/03 June CMP Meeting Minutes Terri Kilker – Qwest advised the process was published and moved to CLEC Test last month. One comment was received and responded to. Terri asked if it was okay to close this item and Bonnie Johnson-Eschelon advised it was okay to close.

05/21/03 May CMP Meeting Minutes - Terri Kilker Qwest advised this process went out for review on March 31. A comment was submitted to Qwest and it has been responded to. The document was updated on May 9, 2003. We will move this CR to CLEC Test and hopefully close next month..

04/16/03 April CMP Meeting - PC010603-1 MEL: (Market Expansion Line) LSR process documented on Qwest Wholesale web site

Terri Kilker Qwest advised this process went out for review on March 31. A comment was submitted and Qwest is in the process of reviewing the comment. The Comment Response is due April 26, 2003. The implementation date is set for May 9, 2003.

03/19/03 March CMP Meeting - Terri Kilker Qwest provided the CR response. Terri advised the process has been updated and is scheduled for release by March 30, 2003 as a Level 3 Notification. The LSOG and PCAT will contain specific information regarding MEL. Internal documentation will then be made available and the SDC will be trained on the changes. No system changes are required. Bonnie Johnson – Eschelon will review the changes when they are released.

02/19/03 February CMP Meeting - Terri Kilker–Qwest provided the initial response to this CR. Qwest will update the MEL order process documentation. In addition, we are looking at test orders to determine if system changes are needed. We plan on completing the assessment by February 28. At that time we will know what activities need to occur and will determine the implementation plan / schedule. Bonnie Johnson–Eschelon requested that we update the documentation first to clarify the process and then if system changes are needed make additional documentation updates when the system change is complete. Qwest agreed and advised they are planning on updating documentation first.

01/15/03 January CMP Meeting - This CR was included in the package earlier than required. Bonnie did discuss this CR during the January meeting. The Clarification call was held on 1-51-03 after the CMP Meeting. This CR will be changed to presented status.

CLEC Change Request Clarification Meeting

2:00 p.m. (MT) / Wednesday, January 15, 2003

1-877-572-8687 PIN 3393947 # PC010603-1 MEL (market expansion line) LSR process documented on Qwest Wholesale web site. Attendeeds Name/Company: Bonnie Johnson, Eschelon Sr. Manager ILEC Relations Terri Kilker, Qwest Process Analyst Janean Van Dusen, Qwest Product Manager Linda Sanchez-Steinke, Qwest Change Request Project Manager

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change The description of the change requested in the CR was reviewed. Bonnie explained that Eschelon is having problems submitting orders for MEL, expending time and energy on rejects because there is no documentation to refer to when Eschelon puts in orders. The LSR asks for service address and Eschelon provides the central office address as the service address location and orders are rejected that have the billing address used for the service address. Eschelon is asking that the process for MEL order submission be documented on the Wholesale web site.

Confirm Areas & Products Impacted Product impacted is Resale MEL.

Confirm Right Personnel Involved Qwest confirmed that Terri Kilker and Janean Van Dusen are correct personnel to resolve the CR. Bonnie added that Jeff Tietz, Service Manager, has assisted with escalations on MEL orders.

Identify/Confirm CLEC’s Expectation Eschelon is asking that the process for MEL order submission be documented on the Wholesale Web site.

Identify any Dependent Systems Change Requests No dependent change requests were identified.

Establish Action Plan (Resolution Time Frame) Bonnie Johnson presented this CR at the January CMP Meeting.


CenturyLink Response

For Review by CLEC Community and Discussion at March’s CMP Meeting

March 11, 2003

Bonnie Johnson Eschelon

SUBJECT: Qwest’s Change Request Response – CR # PC010603-1 (MEL (market expansion line) LSR process documented on Qwest Wholesale web site.)

This is in response to Eschelon’s Change Request CR PC010603-01. This CR requests that Qwest clarify and document the LSR order process when ordering the Qwest Market Expansion Line (MEL).

Qwest will post planned updates to its Wholesale Product Catalog that include new and revised documentation for the Resale – Market Expansion Line (MEL) – V3.0 no later than March 31, 2003. These will be posted to the Qwest Wholesale Document Review Site located at http://www.qwest.com/wholesale/cmp/review.html.

Sincerely,

Terri Kilker Process Specialist Qwest

February 12, 2003

INITIAL RESPONSE For Review by CLEC Community and Discussion at the February 19, 2003 CMP Product/Process Meeting

Bonnie Johnson Eschelon

SUBJECT: Qwest’s Change Request Response CR # PC010603-01 MEL (Market Expansion Line) LSR process documented on Qwest Wholesale Web site.

This is in response to Eschelon’s Change Request CR PC010603-01. This CR requests that Qwest clarify and document the Local Service Request (LSR) ordering process for the Qwest Market Expansion Line (MEL) product.

Qwest accepts this CR and will review and clarify the following external documents pertaining to MEL:

* Local Service Ordering Guidelines http://www. qwest.com/wholesale/clecs/lsog.html * Product Catalogs http://www. qwest.com/wholesale/pcat/resalemel.html

As a result of our investigation of Eschelon’s CR, Qwest is also working with its systems operations teams to review the IMA/FTS processes as they relate to use of the Service Address and Billing Address fields used for completion of MEL orders. This is necessary for Qwest to determine whether a system change is required to allow the use of different addresses in the SA and BA fields. We anticipate this assessment will be completed by February 28, 2003, at which time we will develop an implementation schedule for any changes required beyond the provision of documentation.

Sincerely,

Terri Kilker Process Specialist Qwest


Open Product/Process CR PC100401-1XMN Detail

 
Title: LNP Port In/Port Within Completion Call (Crossover SCR100401 1X)
CR Number Current Status
Date
Area Impacted Products Impacted

PC100401-1XMN Completed
7/16/2003
Ordering, Provisioning LNP, Resale: Resale CTX, POTS, DSS, DID, UNE: UNE CTX, POTS, DSS, DID
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Wells, Joan
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

To implement the Port In/Port Within Completion Call process Qwest will utilize the Remarks field of the LSR. Port In and Port Within activity currently use manual processes for order issuance. The Resale or UNE-P Provider will use the Manual IND = Y, with an added Remark entry, " Completion Call requested, CCON Name & CBR". Upon receipt of the LSR, the Centers will then add the necessary USOC to the order and network will follow through with the Completion Call to the Provider. This process as outlined will require SOPS changes, as well as CRIS rating implementation. One-time charges for the Completion Call offering have not yet been determined. The USOC will be $0.00 rated at this time.

Expected Deliverable

Upon completion of the Qwest field work on Port In and Port Within service orders, Qwest outside field technicians will contact the Resale/UNE-P Provider by telephone and confirm that the Qwest work has been completed and that dial tone has been confirmed up to the Network interface. Qwest requests that the CCON/CBR be a staffed telephone number or have call message capability to allow for this completion information to be transferred efficiently.


Status History

01/07/03 - Opened CR PC100401-1XMN, Cross Over CR SCR100401-1X was closed

01/15/03 - January CMP Meeting - This CR was discussed, CR is in Evaluation status. Meeting minutes will be posted to this CR's Project Meetings section.

02/10/03 - Issued Qwest draft response to Bonnie Johnson at Eschelon

02/12/03 - Draft Response posted to the web site

02/19/03 - February CMP Meeting - Qwest presented draft response. Meeting minutes will be posted to this CR's Project Meetings section.

03/12/03 - Issued Qwest revised draft response to Bonnie Johnson at Eschelon

03/19/03 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

03/28/03 - Qwest issued PROS.03.28.03.F.01045.Port_In_Within Port In V1.0 and Port Within V1.0 Wholesale Product Catalog new documentation

04/16/03 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

05/21/03 - May CMP Meeting - Meeting minutes will be posted to this cR's Project Meetings section.

06/18/03 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

07/16/03 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

07/16/03 July CMP Meeting Joan Wells with Qwest said that documentation became effective on 5/13/03 and Qwest has received a couple of requests. Bonnie Johnson with Eschelon said the process is working well and would like to close this CR. This CR will move to Completed status.

06/18/03 June CMP Meeting Joan Wells with Qwest said that documentation became effective on 5/13/03 and proposed that the CR be moved to Completed status. Bonnie Johnson with Eschelon said they would like to leave the CR open for one more month to allow time to train Eschelon employees and to make sure that the process is working properly. This CR will remain in CLEC Test.

05/21/03 May CMP Meeting Joan Wells with Qwest said that on 5/13/03 PROS.03.28.03.F.01045.PortInWithin Port In V1.0 and Port Within V1.0 Wholesale Product Catalog new documentation became effective. There were no questions and this CR was moved to CLEC Test.

- 04/16/03 April CMP Meeting Joan Wells with Qwest said that documentation has been provided on the document review website and the comment cycle has been completed. Qwest will respond to comments by 4/28/03 and the effective date is 5/13/03. This CR will remain in Development status.

- 03/19/03 March CMP Meeting Joan Wells with Qwest reviewed the revised draft response. Bonnie Johnson with Eschelon asked if on 4/1/03 documentation will be available for review or is 4/1/03 the implementation date. Joan Wells answered that the 4/1/03 date is the date Qwest is targeting documentation to be available for review. This CR remained in Development status.

- 02/19/03 February CMP Meeting Joan Wells with Qwest reviewed the draft response. Bonnie Johnson with Eschelon asked if it would be possible for the tech to call when on the way to the location rather than calling when the work is completed. Joan clarified that Eschelon would like Qwest to call on the way to the location instead of calling when the work is completed and Bonnie agreed. Joan said Qwest will research the tech calling when on the way to the location and provide an updated response. The CR status will remain in Evaluation.

2/13/03 From: Linda Sanchez-Steinke To:"Johnson, Bonnie J." cc

Subject:Re: FW: Draft Response, PC100401-1XMN

Hi Bonnie -

I received your e-mail regarding the CR PC100402-1XMN, "LNP Port In / Port Within Completion Call" and will get back with you when I have more information.

Thank you

Linda Sanchez-Steinke Change Request Project Manager Qwest 303-965-0972

2/11/03 From: Bonnie Johnson To:"'ljsanch@qwest.com'" cc:"Johnson, Bonnie J." , "Isaacs, Kimberly D."

Subject: FW: Draft Response, PC100401-1XMN

Hi Linda, Thank you for the response. Would there be any possibility that the process could be changed to have the tech call when leaving for the customer site? Please let me know.

Thanks,

Bonnie Johnson Sr. Manager ILEC Relations Eschelon Telecom, Inc. Phone: 612 436-6218 Fax: 612 436-6318 Cell:612 743-6724

01/15/03 January CMP Meeting Kit Thomte and Connie Overly with Qwest explained that this CR was opened to address the manual process identified for completion calls on LNP Port In/Port Within. Qwest will provide status as the process progresses through to implementation and will follow the CMP notification process once ready for deployment. This CR will remain in Evaluation status.


CenturyLink Response

March 3, 2003

REVISED RESPONSE For Review by CLEC Community and Discussion at the March CMP Meeting

Bonnie Johnson Sr. Manager ILEC Relations Eschelon

SUBJECT: Qwest’s Change Request Response - CR # PC100401-1XMN

This is in response to the Qwest CR opened on behalf of Eschelon, Change Request PC100401-1XMN, requesting that Qwest implement a Port In/Port Within Completion Call process.

Qwest accepts this CR, noting necessary changes: - The CBR must be a local or toll free number. - Per CLEC request, Qwest will place the call notification upon dispatch to the premise, instead of upon work completion.

Qwest will utilize the Remarks field of the LSR. Port In and Port Within activity currently use a manual processes for order issuance. The Resale or UNE-P Provider will use the Manual IND = Y, with an added Remark entry, "Pre-Completion Call requested, CCON Name & CBR".

Qwest requests that the CCON/CBR be a staffed telephone number or have call message capability to allow for this information to be transferred efficiently, thus, limiting the effort to one attempt.

Qwest will update, document and train new internal practices. External CLEC documentation will occur in conjunction with CR’s PC081302-1 and PC081302-1. Updates to Qwest Internal and External Documentation are targeted to be available for review by April 1, 2003.

Sincerely,

Joan Wells Process Specialist Qwest


Open Product/Process CR PC091202-1x Detail

 
Title: Show prorated calculations and charges per USOC on BillMate SOACTVTY file (Work will be delivered via an EXCEL Macro in lieu of a BillMate change, with Eschelon's concurrence) (Cross over from SCR091202 01)
CR Number Current Status
Date
Area Impacted Products Impacted

PC091202-1x Completed
4/15/2009
Centrex, Resale, UBL, UNE-P
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: McDonald, Jud
Director:
CR PM: Harlan, Cindy

Description Of Change

Currently on the BillMate SOACTVTY file, when service order activity takes place, Qwest combines the rates for some or all of the USOCs on a given service order before calculating the prorated charge. This makes it difficult to validate each charge. Eschelon asks Qwest to show the prorated calculations and charges for each USOC separately on the BillMate SOACTVTY file. This affects the states of AZ, CO, OR, UT, and WA for Resale & UNE-P. For Unbundled Loop it affects the states of OR & WA.

Expected Deliverable:

The BillMate SOACTVTY files will show the prorated amount for each USOC separately.


Status History

09/12/02: CR submitted

09/12/02: CR acknowledged

09/12/02: Kathy Stichter/Eschelon provided Clarification Meeting availability

09/17/02: Clarification Meeting scheduled for September 30, 2003

09/30/02: Clarification Meeting held. See Project Meetings Section for Meeting Minutes.

10/07/02: Status changed to Evaluation

10/17/02: Discussed at October Systems CMP Monthly Meeting

10/31/02: Status changed to Development

01/16/03: Discussed at January Systems CMP Monthly Meeting

01/17/03: Provided the Excel Macro and assicated user guide to Eschelon per their email request.

01/20/03: Crossed over this CR from Systems to Product Process

02/10/03: Sent email to Kathy Stitcher Eschelon offering assistance/checking status on use of Macro Excel file

02/19/03: February CMP meeting minutes will be posted to the Project Meeting section of the database.

02/27/03: Training Notification TRNG.02.27.03.F.02211.BillMateJob Aid distributed

03/19/03: March CMP Meeting Minutes posted to the database

4/16/03 - April CMP Meeting minutes will be posted to the database


Project Meetings

April 16, 2003 - CMP Meeting Kathy Stitcher advised it is okay to close this item.

March 19, 2003 - CMP Meeting Cindy Macy Qwest reported this was implemented with a Training Notification on 02/27/03. Bonnie Johnson advised Kathy Stitcher is on vacation this week and she did not authorize anything to be closed. We will leave this open till next month.

Feb 19, 2003 - CMP Meeting Jud McDonald–Qwest advised the macro was originally delivered January 17. Cindy Macy–Qwest followed up with Kathy Stitcher–Eschelon to find out if the macro met their needs. Eschelon reported one item on the macro wasn’t totaling correctly. The macro was reviewed and one bug was found and has been fixed. Kathy reported the macro works well. Qwest will deliver Phase 2 (the macro to the web site) with a Training Notification by February 28, 2003.

January 16, 2003 Systems CMP Meeting Discussion: Peggy Esquibel-Reed/Qwest stated that this effort will be implemented in 2 phases. Peggy stated that the EXCEL Macro is currently in development and that the macro will be made available to all CLECs, per request. - Phase 1: EXCEL Macro is targeted for 1/17/03 implementation. It is an interim process to request the EXCEL Macro via an emailed request to zimmer@qwest.com. - Phase 2: The long term solution and has a targeted implementation date of February 28, 2003. The EXCEL Macro will then become available via the web; details are currently being defined. A job aid/user guide will also be made available. Notification process will be followed. Peggy Esquibel-Reed stated that in lieu of no systems work for this request, this CMP CR will be crossed over to Product and Process. Kathy Stichter/Eschelon asked for the email address to send her request. Peggy Esquibel-Reed/Qwest stated the email address is azimmer@qwest.com

October 31, 2002 Email sent to Kathy Stichter/Eschelon: Thanks for the prompt reply. I have forwarded your decision on to IT. The reason option #1 was determined to be a very large effort is because this systematic change would need to be made for all CLECs and even though Eschelon is only asking about 5 states, the change would be required in all 14 Qwest states; so as to keep our processing consistent across all CRIS billing regions. Peggy Esquibel-Reed Qwest CRPM -- Systems

October 30, 2002 Email from Kathy Stichter/Eschelon: Peggy, While I can understand why Western (Oregon and Washington) could be a large effort to change because it encompasses resale, unbundled loop and UNE-P I can not understand why Central (Arizona, Colorado and Utah) would be a large effort because only our resale and UNE-P bills show the fraction lumped for more than one USOC. The unbundled loop, as far as I can tell, does not lump the USOCs together to determine the fractional charge. We will try option 2. Thanks Kathy Stichter Senior Invoice Validation Analyst Eschelon Telecom, Inc 612-436-6022 klstichter@eschelon.com

October 29, 2002 Solution Options Meeting - Attendees: Kathy Stichter/Eschelon, Peggy Esquibel-Reed/Qwest, Sue Kriebel/Qwest, Jud McDonald/Qwest, Doug Warren/Qwest, Alan Zimmerman/Qwest Peggy Esquibel-Reed/Qwest recapped the 2 options in the 10/25/02 Draft Qwest Response. Option 1) Qwest to provide a new column on the BillMate SOACTVTY file to provide prorated amount for each separate USOC. This option would require an estimated Level of Effort of Extra Large. Option 2) Qwest to provide a means, most likely an EXCEL Spreadsheet, that will perform the calculation function. This spreadsheet will be provided to a CLEC upon request. Requests for this spreadsheet can be made via email to azimmer@qwest.com. The estimated Level of Effort for Option 2 is 24 hours. Alan Zimmerman/Qwest stated that option 2 would be an EXCEL Macro that could be either in EXCEL or Access. Kathy Stichter/Eschelon stated that she did send the options to Bill Markert (Eschelon) and has not heard back from him. Kathy does not want to make a final decision withought his input. Kathy stated that the initial thought could be for option 1 but needs to discuss with Bill (Markert) before a decision is made. Kathy asked if for option 2, would it need to be requested each month? Alan Zimmerman/Qwest responded that no, a CLEC would only need to request it once and would get it every month. It will take about 30-seconds to run. Alan Zimmerman/Qwest stated that option 1 would be an extra large effort due to the rounding differences issue. Qwest would need to change how OCCs are calculated and is a huge effort for a penny difference due to rounding problem. Kathy Stichter/Eschelon asked if the macro would also give these penny differences each month. Alan Zimmerman/Qwest stated that the amounts would be given with 6 or 7 decimal places and the CLEC could use their rounding process and round up or down. Peggy Esquibel-Reed/Qwest stated to please keep in mind that option 2 could be delivered a lot sooner than option 1 due to the difference in the level of efforts. Kathy Stichter/Eschelon stated that she will discuss with Bill (Markert) and will send Peggy Esquibel-Reed/Qwest an email with their decision.

October 17, 2002 Systems CMP Meeting Discussion: Kathy Stichter/Eschelon presented CR and stated that the CR is Evaluation status. Michael Buck/Qwest stated that the response indicates that Qwest is researching the request. Jeff Thompson/Qwest stated that Qwest is looking at this CR and what it would take. We have had clarification meeting and we will be scheduling a follow up meeting to discuss what we’ve discovered and what options we think we can provide to you.

-- Clarification Meeting September 30, 2002 Attendees: Kathy Stichter/Eschelon, Peggy Esquibel-Reed/Qwest, Carl Sear/Qwest, Doug Warren/Qwest, and Jean Novak/Qwest CR Description of Change was reviewed: Currently on the BillMate SOACTVTY file, when service order activity takes place, Qwest combines the rates for some or all of the USOCs on a given service order before calculating the prorated charge. This makes it difficult to validate each charge. Eschelon asks Qwest to show the prorated calculations and charges for each USOC separately on the BillMate SOACTVTY file. This affects the states of AZ, CO, OR, UT, and WA for Resale & UNE-P. For Unbundled Loop it affects the states of OR & WA. There was no additional comment or information. Products impacted: Centrex, Resale, UBL, UNE-P. CLEC Expectation/ Expected Deliverable: The BillMate SOACTVTY files will show the prorated amount for each USOC separately. Discussion: Carl Sear/Qwest stated that the paper bill shows the same as ASCII, at the line level. If there are multiple TNs, they are combined; WTN is at line level line level is prorated. Jean Novak/Qwest/ stated that this information was provided to Bill Markert (Eschelon) by Carl Sear & Alan Zimmerman at the last CLEC Forum. Carl Sear/Qwest stated that for this request, functionality may need to be changed and that could be quite a bit bigger LOE. Kathy Stichter/Eschelon asked why this works in some states and not in others. Carl Sear/Qwest stated that it could be due to regional differences. Kathy Stichter/Eschelon provided some examples and Carl Sear/Qwest looked at them and provided explanations for each, i.e. 1 circuit only so does show separate information. Carl Sear/Qwest stated that on the ASCII bill, it can be determined which USOCs are associated to each line item. Kathy Stichter/Eschelon stated that she could that but it takes more time. Kathy Stichter/Eschelon provided a MN example, USOCs are separate, not combined. Carl Sear/Qwest stated that he would need to check into how Eastern region functions for UNE accounts. Western & Central functionality differs. Carl will look at regional differences on how fractionalizing is done. Kathy Stichter/Eschelon stated that USOCs are combined in Western and not in Central & Eastern Carl Sear/Qwest stated that in Western are combined for single and multiple lines. Central are separate on single lines and multiple lines by TN. Eastern will be checked into. Kathy Stichter/Eschelon stated would like to know if the functionality can be changed, what will be changed, and if cannot change functionality, why. There were no other questions or comments.


CenturyLink Response

Revised Draft Response January 10, 2003

RE: SCR091202-01 (Show prorated calculations and charges per USOC on BillMate SOACTVTY file (Work will be delivered via an EXCEL Macro in lieu of a BillMate change, with Eschelon's concurrence)

Qwest will deliver the agreed upon EXCEL Macro in two phases; an interim phase and the long term solution phase. The EXCEL Macro is currently in development. The macro will be made available to all CLECs. - Phase 1: EXCEL Macro will be available for use by the CLECs, targeted implementation date is January 17, 2003. This interim process is to request the EXCEL Macro via an emailed request to azimmer@qwest.com. - Phase 2: The long term solution has a targeted implementation date of February 28, 2003. The EXCEL Macro will then become available via the web; details are currently being defined. A job aid/user guide will also be made available. The notification process will be followed.

Sincerely, Qwest

Revised Draft Response

October 25, 2002

RE: SCR091202-01 (Show prorated calculations and charges per USOC on BillMate SOACTVTY file)

Qwest has reviewed the information submitted as part of Change Request SCR091202-01. Based upon research that has been conducted following the Clarification Meeting (held on September 30, 2002), Qwest is providing the following options:

Option 1) Qwest to provide a new column on the BillMate SOACTVTY file to provide prorated amount for each separate USOC. This option would require an estimated Level of Effort of Extra Large.

Option 2) Qwest to provide a means, most likely an EXCEL Spreadsheet, that will perform the calculation function. This spreadsheet will be provided to a CLEC upon request. Requests for this spreadsheet can be made via email to azimmer@qwest.com. The estimated Level of Effort for Option 2 is 24 hours.

This change request is currently in 'Evaluation' status.

Sincerely, Qwest

Draft Response

October 7, 2002

RE: SCR091202-01 (Show prorated calculations and charges per USOC on BillMate SOACTVTY file)

Qwest has reviewed the information submitted as part of Change Request SCR091202-01. Based upon research that has been conducted following the Clarification Meeting (held September 30, 2002) Qwest is still examining the issue. Qwest will continue to research the problem and provide an updated response at the November Systems CMP Meeting.

At the October Monthly Systems CMP Meeting, CMP participants will be given the opportunity to comment on this Change Request and provide additional clarifications. Qwest is interested in the experiences of the CMP community as relates to this issue. Qwest will incorporate any feedback received at the next Monthly Systems CMP Meeting into further evaluation of this Change Request.

Sincerely, Qwest


Open Product/Process CR PC112502-1 Detail

 
Title: CSR process documentation to correct inaccuracies for Qwest CSR’s posted on the Qwest Wholesale web site.
CR Number Current Status
Date
Area Impacted Products Impacted

PC112502-1 Completed
2/19/2003
Pre-ordering, Provisioning, Ordering Qwest CSR related. Could apply to all products where LSR is dependant on accurate Qwest CSR.
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Manning, Monica
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Previously Eschelon requested a process be developed to correct a CSR for a customer prior to the conversion. Qwest completed the CR and issued an MCC on 7/13/01 with two options (see CR 5608163) however, the process was never documented on the Qwest Wholesale web site (or any CLEC facing document). Often Qwest CSR’s have inaccurate information and need to be corrected to minimize adverse impact to the CLEC or customer at the time of conversion. Since the implementation of this process, Eschelon has experienced a significant amount of LSR rejects in error using the process outlined in the closed CR. Because there is no documentation for that process for Eschelon to refer the Qwest CSIE to, Eschelon has the onus to point out the closed CR and details to Qwest on its own process. In addition, Eschelon is aware of this process, however, a new CLEC or a CLEC that does not participate in CMP may not even know this process exists and may still be referring the end user to Qwest Retail to have their records updated. This may leave the customer feeling like the new Local Service Provider they have selected cannot meet their needs. Qwest employees have the benefit of internal Qwest process documentation used for its Wholesale customers. Qwest has an obligation to provide documentation on the Wholesale web site that mirrors the MCC’s that are generated at Qwest so the CLECs are aware of all processes and have a documented process to refer to when escalating issues with Qwest. Consequently, as a result of this process not being documented on the Qwest Wholesale web site, Eschelon sometimes has to rely on its Service Management Team (Tier 3 and above) to resolve the issue. These reject in error issues could be easily resolved at the Tier 1 or even Tier 0 level if the CLEC and Qwest had access to the same documentation in a readily accessible format. The escalation process is time consuming and has a negative impact on CLECs productivity and wastes valuable time and resources for both the CLEC and Qwest.

Expected Deliverable

Document on the Qwest Wholesale web site the existing defined process for correcting an inaccurate CSR prior to conversion (CR 5608163). CLECs have already waited several months for the process. Per the CMP process section 2.4.4 Qwest had an obligation to modify is external as well as its internal documentation and train all appropriate Qwest personnel as to change. If Qwest had done so, Eschelon would not have to train Qwest personnel on the appropriate procedures as it has had to do. Also per section 2.4.4 the documentation and training should have taken place by the implementation date therefore implementation is already past due and should be completed without delay.


Status History

11/25/02 - CR Submitted by Eschelon

11/26/02 - CR acknowledged by P/P CMP Manager

12/03/02 - Scheduled Clarification call with Bonnie Johnson on 12/4/02

12/04/02 - Held Clarification call

12/10/02 - Clarification meeting minutes issued to Eschelon

12/18/02 - December CMP Meeting - Eschelon presented CR to CLEC Community. CR status changed to Presented. Meeting minutes will be posted to this CR's Project Meetings section.

01/08/03 - Issued Qwest draft response to Bonnie Johnson at Eschelon

01/08/03 - Draft Response posted to the web site

01/15/03 - January CMP Meeting - Qwest presented draft response. Meeting minutes will be posted to this CR's Project Meetings section.

01/30/03 - Qwest issued Process Notification PROS.01.30.03.F.00996.OrderingV24, effective immediately

02/19/03 - February CMP Meeting - CR will move to completed status. Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

02/19/03 February CMP Meeting Linda Sanchez-Steinke with Qwest stated that Qwest issued Process Notification PROS.01.30.03.F.00996.OrderingV24, effective 1/30/03. Bonnie Johnson with Eschelon said that the change request could be closed. The CR status was changed to Completed.

01/15/03 January CMP Meeting Michelle Thacker with Qwest presented the draft response to this CR and said that CLEC facing documentation changes are already in progress and they are targeted for review January 31, 2003. This CR is in Presented status.

12/18/02 December CMP Meeting Bonnie Johnson with Eschelon presented this CR and explained that CR5608163 was submitted and in response to that CR, Qwest provided two options to correct CSRs prior to customer conversion. Eschelon is asking that the process for updating the CSR be posted on the Qwest Wholesale web site for viewing as soon as possible because the process is not changing, but needs to documented for CLECs. Judy Schultz and Bonnie discussed that this should be a Level 1 change because the existing process is not changing, but is being documented. This CR will move to Presented status.

CLEC Change Request Clarification Meeting

December 4, 2002, 3:00 p.m. (MT) Conference Call 1-877-554-8688 PIN 1930099 # PC112502-1 CSR process documentation to correct inaccuracies for Qwest CSR’s posted on the Qwest Wholesale web site.

Attendees Name/Company: Bonnie Johnson, Eschelon Kim Issacs, Eschelon Monica Manning, Qwest Michelle Thacker, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Introduction of the participants on the Conference Call was made and the purpose of the call discussed.

Review Requested (Description of) Change The description of change requested in the CR was reviewed. Bonnie said the CR is asking for the 2 processes for CSR corrections, described in CR 5608163, be documented on the Wholesale Web site because Eschelon still gets rejects in error and then have to escalate to service management to resolve.

Confirm Areas & Products Impacted Bonnie & Kim indicated that all products are impacted.

Confirm Right Personnel Involved Qwest confirmed that the right personnel were involved in the conference call.

Identify/Confirm CLEC’s Expectation Eschelon would like Qwest to document, on the wholesale web site, the two options for updating a CSR, 1) indication of manual handling with remarks, and 2) opening an escalation ticket with the Call Center. Eschelon uses both processes and still receives rejects in error that are difficult to resolve. Bonnie said that Eschelon knows up front that the CSR is wrong and supp the LSR for manual handling and have received rejects from the SDC and then are told that the customer should call the business office to update the CSR. Eschelon then has to go to the service management team and provide the closed CR number, explain how the process should work, before the CSR gets updated. Kim and Bonnie said they would like to take out the need to escalate these rejects in error and feel that with the previous CR, documentation on the Qwest web site there should have been provided.

Establish Action Plan (Resolution Time Frame) This CR will be presented by Bonnie for review CLEC Community Review at the December CMP Meeting.


CenturyLink Response

January 3, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at January’s CMP Meeting

Bonnie Johnson Sr. Manager ILEC Relations Eschelon

SUBJECT: Qwest’s Change Request Response - CR # PC112502-1 (CSR process documentation to correct inaccuracies for Qwest CSR’s posted on the Qwest Wholesale web site.)

This is in response to Eschelon’s Change Request PC112502-1, requesting that Qwest provide documentation on the Wholesale Web Site that provides details explaining how a CLEC issues an LSR when the CSR has inaccuracies.

Qwest accepts this CR and will update CLEC facing documentation. Updates to Qwest External Documentation are targeted to be available for review by January 31, 2003.

Sincerely,

Michelle Thacker Process Specialist Qwest


Open Product/Process CR PC093002-06X Detail

 
Title: NPA NXX with corresponding CLLI and Rate Zone documentation somewhere on Qwest Wholesale web site (Cross over CR SCR093002 06X)
CR Number Current Status
Date
Area Impacted Products Impacted

PC093002-06X Denied
11/20/2002
Billing UNE, UNE-P, Loop
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Maynard, Elaine
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Currently neither the Qwest paper bill nor the BillMate MONSERV (monthly service) file show an associated CLLI code for each UNE-P ANI or UNE Loop ANI. Since Qwest charges deaveraged zone rates it is essential that Eshelon know what zone each ANI is in. Eschelon has to look in the LERG using the NPA and NXX to find the CLLI for each ANI. Then Eschelon needs to look up the associated Rate Zone. This is an extra step and extremely time consumming. Eschelon asks Qwest to provide documentation, in Excel spreadsheet format, on its Wholesale web site which lists each NPA-NXX with its associated CLLI and Rate Zone. This is an alternative to a denied CR, SCR061902-01, which asked for this information on the BillMate MONSERV file.


Status History

09/30/02 - CR Submitted

10/01/02 - CR Acknowledged

10/04/02 - Clarification Meeting Scheduled

10/07/02 - Clarification Meeting Held

10/07/02 - Status changed to clarification

10/07/02 - Cross-over CR (PC093002-06X) Created

10/16/02 - October CMP Meeting - Minutes on this CR to be posted to the Project Meetings section. CR status updated to Presented.

11/13/02 - Issued Qwest draft response dated 11/5/02 to Kathy Stitcher at Eschelon

11/15/02 - Draft Response posted to the web site

11/20/02 - November CMP Meeting - Qwest presented draft response CR. CR status changed to Denied. Meeting minutes will be posted to this CR's Project Meetings section.

12/16/02 - Issued Qwest final response dated 11/5/02 to Kathy Stitcher at Eschelon


Project Meetings

11/20/02 November CMP Meeting Elaine Maynard with Qwest, reviewed the Qwest draft response and gave historical information regarding the Eschelon denied Systems Change Request, SCR061902-01. Elaine said that the IT representative had suggested that it would be possible to provide a downloadable spreadsheet with NPA/NXX CLLI and rate zone information. When this Product and Process CR was investigated, Qwest then determined that providing the NPA/NXX and CLLI in downloadable format would be a breech of the Telcordia contract. Kathy Stitcher with Eschelon asked if the CR was denied. Elaine said it is being denied due to contract and copyright restriction with Telcordia.

-- 10/16/02 October CMP Meeting Michael Buck gave historical information about previous system change request that was denied and said that Qwest had an alternative approach and Eschelon submitted the CR as Product and Process. There was agreement to cross-over the system CR and we will look to close the systems CR. Eschelon presented the CR to the CMP participants and explained that they need associated information to identify correct deaveraging. Qwest had proposed that the web site could have an Excel spreadsheet with the information needed. Dennis Martinez with Qwest asked if the spreadsheet would be static and contain only updates from the LERG. Kathy Stitcher with Eschelon agreed. Qwest understands the requested deliverables and the CR will be updated to Evaluation Status.

10/7/02 Clarification from Kathy Stichter

Kathy Stichter/Eschelon called to confirm that Eschelon did not want the interactive web site. They want the spreadsheet only.

10/7/02 - Clarification Meeting

Introduction of Attendees - Kathy Stichter - Eschelon, Bonnie Johnson, Eschelon, Ric Martin - Qwest, Beth Foster - Qwest, Dennis Martinez - Qwest, Lynn Stecklein - Qwest

Review Requested Change Lynn Stecklein - Qwest reviewed the request. Eschelon is requesting that Qwest provide documentation, in an Excel spreadsheet, on its Wholesale web site which lists each NPA NXX with its associated CLLI and Rate Zone. Currently, Eschelon is using the LERG to get the CLLI information and find it very time consuming.

Confirm Areas & Products Impacted This change request applies to UNE and UNE-P.

Confirm Right Personnel Involved The Product/Process CRPM (Ric Martin) attended the call because this CR will be handled as a crossover to Product/Process.

Identify/Confirm CLECs Expectation Dennis Martinez/Qwest confirmed that Eschelon was looking for Web functionality. Eschelon agreed. Dennis Martinez/Qwest also confirmed that Eschelon wanted the spreadsheet only and did not want interactive functionality. Kathy Stichter/Eschelon said that she would verify and get back to Lynn Stecklein/Qwest. Bonnie Johnson/Eschelon asked if this web site existed. Dennis Martinez/Qwest said that it does not exist today and that he website will most likely be added to the Wholesale web site. Dennis Martinez/Qwest also said that there might be a gap with number portability. Kathy Stichter/Eschelon said that did not appear to be a problem for Eschelon.

Identify any Dependent Systems Change Requests This will be handled as a Product/Process Crossover. This CR is an alternative to a denied CR, SCR061902-01.

Establish Action Plan Lynn Stecklein/Qwest will create the Crossover CR. The Crossover CR (PC093002-06X) will be presented in the October CMP Systems Meeting.


CenturyLink Response

November 5, 2002

Kathy Stitcher ILEC Relations Manager Eschelon

SUBJECT:Qwest’s Change Request Response - CR #PC093002-06X Request for NPA/NXX with corresponding CLLI and Rate Zone documentation on the Qwest Wholesale Web Site

This CR requests that Qwest provide documentation, in Excel spreadsheet format, on its Wholesale web site which lists each NPA-NXX with its associated CLLI and Rate Zone.

Qwest has investigated the creation of downloadable Excel Spreadsheets that would provide by State, all CLLIs within the state, all NPA/NXX combinations valid for each CLLI, and, the Geographic Deaveraging Zone that is applicable.

It is noted that this information is already currently available. The NPA/NXX can be used to perform a look up on the LERG to determine the associated CLLI or the CLLI can be used to perform a look up on the LERG to determine the NPA/NXXs associated with a particular CLLI. The Qwest web site for Geographic Deaveraging (http://www.qwest.com/wholesale/guides/geozone.html) can be used to view or download a spreadsheet that displays the associated CLLI code and zone.

As a result of this investigation, Qwest must respectfully deny this change request due to legal implications. By providing the information, we would breech our contract and copyright agreement with Telcordia. These restrictions prohibit Qwest from providing the information in the format requested or in any format beyond what is currently provided.

Sincerely,

Elaine Maynard Senior Process Analyst Qwest


Open Product/Process CR PC101402-1 Detail

 
Title: BillMate access and training for Qwest billing representatives, billing managers and service managers
CR Number Current Status
Date
Area Impacted Products Impacted

PC101402-1 Completed
10/14/2002
Billing
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Kriebel, Sue
Director:
CR PM: White, Matt

Description Of Change

Currently Eschelon uses BillMate files to validate charges, determine amounts to dispute and to determine amounts to submit for payment to Qwest. Qwest employees do not have access to or training for our BillMate files. The fact that Qwest employees can not see our BillMate files causes confusion between Eschelon and Qwest when trying to reconcile disputes. When Eschelon calls Qwest to question rates in anticipation of a potential dispute, or when there is a question as to the charges on the bill, Qwest continually asks for examples from Eschelon because the representatives do not see what we see. This creates significant work for Eschelon. Also Qwest figures never reconcile to Eschelon figures. Eschelon requests that Qwest provide access and training to its employees that interact with Eschelon.


Status History

10/14/02 - CR submitted

10/15/02 - CR acknowledged

10/21/02 - Clarification Meeting scheduled for 8:30-9:30 AM MT, 10/22/02

10/22/02 - Clarification Meeting held

11/20/02 - CR Presented at CMP Meeting

12/11/02 - Qwest response e-mailed to originator

12/11/02 - Qwest response inserted in the interactive report and posted to the Web site

12/18/02 - Qwest response presented at the CMP Meeting

01/15/03 - CR discussed at CMP Meeting

02/19/03 - CR discussed and Closed at CMP Meeting


Project Meetings

02-19-03 - CMP Meeting

White-Qwest described the CR and asked Eschelon if Qwest could close the CR. Stichter-Eschelon stated that, during the January CMP Meeting, she had asked if Service Managers would have access to the Billmate information. White-Qwest stated that he had phoned Stichter-Eschelon a week following the January meeting to discuss this issue. He stated that Qwest Service Managers would have access to Billmate information and that Qwest Billing Representatives could add Qwest Service Managers onto calls when CLECs were disputing bills. Masztaler-Qwest stated that Billing Representatives were the CLECs first contact with billing disputes and they would have access to Billmate. If requested, Qwest’s Service Management teams would partner with the Billing Representatives to resolve billing issues. Kriebel-Qwest agreed with this description. Stichter-Eschelon stated that the CR could be closed.

=====================================================

01-15-03 - CMP Meeting

White-Qwest asked Eschelon if they had had an opportunity to exercise the new process. Stichter-Eschelon asked if Service Managers had access to BillMate. White-Qwest stated that he would check to see if the Service Managers had access to the system and call Stichter off-line. Stichter-Eschelon stated that it was fine with Eschelon if only the Billing Representatives have access to BillMate. CR moved to CLEC Test.

========================================================

12/18/02 - CMP Monthly Product/Process Meeting

Kriebel-Qwest described the CR and presented Qwest’s response. White-Qwest proposed that the CR be placed into development status and the Qwest distribute a Level 1 notification to announce the change. The attendees agreed. The CR was moved into Development status.

========================================================

11/20/02 - CMP Monthly Product/Process Meeting

Stichter-Eschelon presented the CR. She stated that Eschelon uses Bilmate but the Qwest billing representatives do not, and cannot understand Eschelon’s concerns because they cannot look at the same screen Eschelon looks at. Sear-Qwest asked what Stichter meant by her statement in the CR about “blank spaces.” Stichter-Eschelon stated that this referred to columns in Billmate that were not populated. She stated that the billing representatives could not see these blank fields and Eschelon thought these columns ought to be populated. Schultz-Qwest asked if Eschelon had submitted CRs to address the issue of blank columns. Stichter-Eschelon stated that they had two active CRs out on this issue. Pardee-AT&T asked that this request be expanded to include CRIS and CABS/IABS billing. Burson-Qwest stated that this expansion would require a huge effort and asked Pardee-AT&T to clarify her request. Pardee-AT&T stated that she would like to leave the Eschelon CR as it was currently submitted. Johnson-Eschelon stated that she was concerned about Sear-Qwest’s comment that the Qwest representatives would be unable to assist Eschelon if there was missing information on the bill. Sear-Qwest stated that requests for additional information to be included on the bill should be sent through CMP. Schultz-Qwest stated that if there is additional information needed on the bill it should be requested with a systems CR. Stichter-Eschelon asked if she could ask the billing representatives for additional information in another form, like a spreadsheet. Burson-Qwest stated that she could. Stichter-Eschelon stated that the language in the description of change section the referenced blank or missing columns could be removed. The CR status was updated to Presented.

=========================================================

CLEC Change Request Clarification Meeting 8:30 AM (Mountain Time) / Tuesday October 22, 2002

1-877-550-8686 2213337# PC101402-1; BillMate access and training for Qwest billing representatives, billing managers and service managers

Attendees Matt White – CRPM Kathy Stichter – Eschelon Carl Sear – Qwest Mark Gonzales – Qwest Paul Diamond – Qwest

Introduction of Attendees White-Qwest welcomed all attendees and asked Stichter to review the request.

Review Requested (Description of) Change Stichter-Eschelon stated that Eschelon uses BillMate files to validate charges, determine amounts to dispute and to determine amounts to submit for payment to Qwest. She explained that Qwest employees do not have access to or training for our BillMate files and that causes confusion between Eschelon and Qwest when trying to reconcile disputes. She continued that when Eschelon calls Qwest asking to have all columns populated in BillMate, or when Eschelon questions rates in anticipation of a potential dispute, or when there is a question as to the charges on the bill, Qwest always asks for examples from Eschelon because the billing representatives can not see what Eschelon sees. She concluded that this creates significant work for Eschelon as Qwest billing figures never match Eschelon billing figures. Eschelon requests that Qwest provide access and training to its employees that interact with Eschelon.

Confirm Areas and Products Impacted White-Qwest asked meeting attendees if the Qwest Service, Account and Billing representatives were the only Qwest representatives impacted. The attendees agreed. Sear-Qwest clarified that there was no system involved and that the bill Stichter was referring to was a file sent to Eschelon.

Confirm Right Personnel Involved White-Qwest asked meeting attendees if the appropriate Qwest personnel were involved. Diamond-Qwest stated that Qwest may need to involve someone from billing after further review of the request and its impacts. Diamond-Qwest asked whom Stichter was dealing with within Qwest. Stichter-Eschelon stated that Eschelon dealt primarily with Terry Clooke, Vicky Keller and Scott Martin in regards to these issues.

Identify/Confirm CLEC’s Expectation White-Qwest asked Stichter if Eschelon's expectation was that all Qwest billing and service representatives who dealt with Eschelon would have access to and be trained on BillMate. Stichter-Eschelon agreed.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they were aware of any other CRs related to this request. The attendees stated that there were none.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for Eschelon to present the CR at the November Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

December 6, 2002

RESPONSE For Review by CLEC Community and Discussion at the December 18, 2002, CMP Product/Process Meeting

Bonnie Johnson Eschelon Communications

SUBJECT: Qwest’s Change Request Response - CR #PC101402-1

This is a preliminary response regarding Eschelon CR PC101402-1.

Qwest will arrange for training and access to BillMate ASCII bill files by the Qwest Billing Centers upon request of individual CLEC’s, for the purpose of reconciling bills and disputes. CLEC’s can contact Carl Sear, 303-965-4465, to make the request, with an expected implementation time frame of 60-90 days.

If the volume of requests becomes such that technical restraints become an issue, Qwest will open a change request through CMP.

Qwest recommends this CR be updated to Development status.

Sincerely,

Carl Sear Process Specialist Qwest


Open Product/Process CR PC032801-5 Detail

 
Title: Legacy CR Re institute notification structure to allow CLECs to receive mail out notices by classification
CR Number Current Status
Date
Area Impacted Products Impacted

PC032801-5 Completed
4/18/2001
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner:
Director:
CR PM:

Description Of Change

On August 25, 2000, Qwest distributed a notice to CLECs in which Qwest stated: "We have had requests from you our customers asking that Qwest have the ability to separate our notifications, and send those notifications to specific persons at your company. We are pleased to announce that we are now ready to implement such a notification structure" (copy of notice attached). At that time, Eschelon did not need to take advantage of the notification structure. Since then, the number of notices have increased, and it is inefficient for both Eschelon and Qwest to continue to send the notices without separating them. Notices do not reach the correct parties and, as a result, both companies spend time dealing with inquiries about products and requests for notices that could have been avoided if the notices reached the appropriate parties. Therefore, Eschelon asked to take advantage of the notification structure, which has only been in place since August. Qwest’s Senior Service Manager indicated that there is no longer a way to separate these emails by category. Please re-institute the notification structure to allow CLECs to receive mail-out notices by classification. If the emails are more targeted, they are more likely to achieve Qwest’s objective in sending them.


Status History

3/26/01 - CR Received from Karen Clauson of Eschelon

3/28/01 - CR Logged and status changed to New - To be Industry Evaluated

3/28/01 - Updated CR sent to Karen Clauson, Lynne Powers and Jessica Johnson of Eschelon.

4/06/01 - Status changed to Reviewed - Under Consideration

4/06/01 - Updated CR sent to Lynne Powers, Jessica Johnson, Karen Clauson and Janet Houston

4/18/01 - Status changed to Complete as per April CICMP Industry Forum

4/23/01 - Updated CR sent to Lynne Powers, Jessica Johnson, Karen Clauson and Janet Houston

3/28/02 - Posted this legacy CR to CMP Database. Completed CR Form had been posted to the Web as part of the "Change Request (CR) Archive - Change Requests statused as Inactive before August 1, 2001"


Project Meetings


Open Product/Process CR PC070202-1X Detail

 
Title: Time & Material Repair Charges invoice process. (Crossover CR SCR070202 01X)
CR Number Current Status
Date
Area Impacted Products Impacted

PC070202-1X Completed
9/18/2002
Maintenance/Repair Centrex, Unbundled Loop, UNE Loop, UNE-P
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Suellentrop, Craig
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Currently Qwest leaves a "Time and Materials Invoice" with its retail customers during a repair visit when the trouble was not found in the Qwest network. Qwest does not supply anything to CLECs. This "Invoice" would assist Eschelon in reconcilling its bill. Eschelon asks Qwest to develop, document and train an adhered to process to supply CLECs with this same "Invoice" or something similar, with the same detail, that will state the charges that Qwest plans to bill at the time of the repair visit. The "Invoice" should contain the Qwest repair ticket number, the number or circuit ID which was reported in trouble, the customer's name and address, the Qwest technicians name and telephone number, the date, the USOCs that Qwest will bill, the quantity of each USOC, the cost of each USOC, the total cost and the reason for the charge.

Expected Deliverable

A process to supply CLECs with an "Invoice" of repair charges at the time of the repair visit.


Status History

07/02/02 - CR Submitted by Eschelon

07/02/02 - CR acknowledged by P/P CMP Manager

07/03/02 - CR posted to Web

07/09/02 - Eschelon contacted to set up clarification call for 07/10/02 at 2:00 PM MDT

07/10/02 - Clarification call held

07/12/02 - Clarification call meeting minutes sent to Eschelon

07/17/02 - CMP Meeting - Meeting minutes posted to this CR's Project Meetings section. CR status was changed to Clarification.

08/14/02 - Issued Qwest draft response to Kathy Stichter with Eschhelon

08/19/02 - Issued Mailout Notification to CLECs confirming the Synergy Meeting for Multiple Trouble Ticket and Billing CRs scheduled for 8/27/02, 2:00 pm MT. Notification CMPR.08.19.02.F.01317.CMP_CR_Mtg.

08/21/02 - CMP Meeting - Qwest presented its draft response dated 8/13/02. This CR will move to Evaluation status and will be discussed at the Synergy Meeting for Multiple Trouble Ticket and Billing CRs scheduled for 8/27/02, 2:00 pm MT.

8/27/02 - CR included in the Synergy Meeting for Multiple Trouble Tickets & Billing CRs. See Meeting Notes in Attach O, Sept Systems CMP Package.

08/28/02- Crossover CR issued SCR070202-1X

09/18/02 - September CMP Meeting - CR will move to Completed. Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

09/18/02 September CMP Meeting This CR has been moved to a cross over SCR070202-01X. Last Thursday a clarification call was held LOE is being investigated. CRPC070202-1 will be moved to “Completed” status.

08/21/02 - August CMP Meeting Minutes: Qwest reviewed its draft response and advised that this CR would be reviewed in conjunction with other CRs related to trouble tickets, repair charges, etc. scheduled for August 27, 2002. The CLEC participants agreed to have this CR reviewed at that meeting. Eschelon stated that the systems CR timeframe may be too long for Eschelon and would like to see the data that Qwest provides to its retail end users because the retail invoice provides quite a bit of information such as; Name of technician and date. Qwest said that we don’t want to mail an invoice and that the system report may capture data Eschelon would like to receive. Eschelon agreed we don’t want to mail the invoice. This CR was moved to evaluation status.

07/17/02 - July CMP Meeting Minutes: Eschelon presented their Change Request. CR status is clarification

Alignment/Clarification Meeting Conference Call Time/Date: 2:00 p.m. (MDT) / Wednesday, July 10, 2002 Place:TEL: 877.521.8688 Conference Call-In No.: CODE: 7901848 CR No.:CLEC Change Request PC070202-1"Time & Material Repair Charges invoice process"

Kathy Stichter, Eschelon, ILEC Relations Manager Craig Suellentrop, Qwest, 271 Network Technical Regulatory Alice Matthews, Qwest, Process Specialist Michael Keegan, Qwest, CMP Manager

Introduction of Attendees Attendees introduced.

Review Requested (Description of) Change Description: Currently Qwest leaves a "Time and Materials Invoice" with its retail customers during a repair visit when the trouble was not found in the Qwest network. Qwest does not supply anything to CLECs. This "Invoice" would assist Eschelon in reconcilling its bill. Eschelon asks Qwest to develop, document and train an adhered to process to supply CLECs with this same "Invoice" or something similar, with the same detail, that will state the charges that Qwest plans to bill at the time of the repair visit. The "Invoice" should contain the Qwest repair ticket number, the number or circuit ID which was reported in trouble, the customer's name and address, the Qwest technicians name and telephone number, the date, the USOCs that Qwest will bill, the quantity of each USOC, the cost of each USOC, the total cost and the reason for the charge.

Discussion: Eschelon is requesting that the same type of time & material invoice that is generated by Qwest technicians for Qwest retail customers be generated for the CLECs prior to billing and mailed to the CLEC for review and signature.

Qwest indicated that they understood the scope of this CR. Craig Suellentrop will coordinate the production of the Qwest response. N/A

Confirm Areas & Products Impacted Areas Impacted: Maintenance/Repair Products Impacted: Centrex, Unbundled Loop, UNE Loop, UNE-P, Resale N/A

Confirm Right Personnel Qwest confirmed the correct personnel were on the call.

Identify/Confirm CLEC’s Expectation A process to supply CLECs with an "Invoice" of repair charges at the time of the repair visit.

Identify any Dependent Systems Change Requests None

Establish Action Plan (Resolution Time Frame) Eschelon can present this Change Request to the CLEC community at the July Product/Process CMP meeting scheduled for July 17 Qwest will issue draft response to this Change Request by Aug 14 (one week prior to the Aug 21 CMP meeting). Qwest will discuss the draft response at the Aug 21 CMP meeting.


CenturyLink Response

See Crossover SCR070202-1X

August 13, 2002

DRAFT RESPONSE For Review by CLEC Community and Discussion at August’s CMP Meeting

Kathy Stichter ILEC Relations Manager Eschelon

SUBJECT: Qwest’s Change Request Response - CR PC070202-1 “Time and Material Repair invoice process.”

This CR states that “Qwest leaves a ‘Time and Materials Invoice’ with its retail customers during a repair visit when the trouble was not found in the Qwest network.” The CR requests that Qwest “supply CLECs with this same ‘invoice’ or something similar, with the same detail that will state the charges that Qwest plans to bill at the time of the repair visit.”

Qwest does leave a Time and Materials Invoice with retail customers when a repair dispatch will result in a charge. This invoice is informational in nature. The technician that is dispatched leaves it at the premises. The actual bill (for both wholesale and retail customers) is generated through automated systems and manual processes that occur when a technician closes a trouble ticket. Qwest does not have a billing relationship with CLEC end-users; therefore, Qwest’s process is to not leave invoices with CLEC end-users. CLECs may use electronic maintenance and repair systems (CEMR) to view trouble ticket history as it appears in Qwest’s systems. This information would be valuable in disputing or substantiating repair charges.

Qwest does not have an organization that is responsible for collecting and distributing these invoices. Qwest believes that a systems CR should be opened to generate an automated report that would provide CLECs with data regarding maintenance and repair billing in the timeframe requested. A meeting will be scheduled for late August to discuss CR’s involving maintenance and repair billing, including this CR. Further clarification and direction for this CR will be determined after this meeting.

Sincerely,

Craig Suellentrop Staff Advocate, Policy & Law Qwest

Cc: Mary Retka, Director-Legal Issues, Qwest Susie Bliss, Director-Process Management, Qwest Alice Matthews, Senior Process Analyst, Qwest


Open Product/Process CR PC062702-12 Detail

 
Title: Update Qwest back end systems to show DSL feature information for Repair
CR Number Current Status
Date
Area Impacted Products Impacted

PC062702-12 Withdrawn
10/17/2007
Provisioning Resale - Centrex Plus/Centron UNE-P - Centrex Plus/Centron
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Bliss, Susan
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Currently when a CLEC orders the DSL feature on a Cntrex Plus or Centron line, the order can be processed and installed, however, the critical technical information needed to manage the DSL after installation does not flow to Qwest back end systems. Though the DSL feature appears on the CSR, technical information needed for repair on the DSL feature does not appear in any of Qwest's systems. The result is an inability to get a customers DSL service repaired once installed.

Expected Deliverable:

Capture the critical information needed for DSL feature on a Centrex Plus/Centron line. Develop an interim process for the CLEC's to work with repair until that is done. Identify all existing DSL on CLEC's accounts when the fix is in place and populate the information needed in the systems. Identify any other Qwest product this may apply to.

Expected Deliverable:

Update Qwest systems to capture the critical information needed for DSL feature on a Centrex Plus/Centron line. Develop an interim process for the CLEC's to work with repair until that is done. Identify all existing DSL on CLEC's accounts when the fix is in place and populate the information needed in the systems. Identify any other Qwest product this may apply to.


Status History

06/27/02 CR submitted

07/1/02 - CR acknowledged

07/2/02 - Clarification Meeting scheduled

07/10/02 - Clarification Meeting held

07/10/02 - Status changed to clarification

07/17/02 - July CMP Meeting: CR status changed to "Presented". Meeting minutes posted to this CR's Project Meetings section.

08/14/02 - Sent Draft Response to Eschelon

08/21/02 - August CMP Meeting: CR status changed to "Development" Meeting minutes will be posted to this CR's Project Meeting section and the CMP Web site.

09/18/02 - September CMP Meeting: CR status will remain in "Development" Meeting minutes will be posted to this CR's Project Meeting section and the CMP Web site.

10/16/02 -October CMP Meeting: This CR will remain in "Development" Meeting minutes posted to this CR's Project Meetings section and the CMP Web site.

11/20/02 - November CMP Meeting: This CR will remain in "Development" Meeting minutes posted to this CR's Project Meeting section and the CMP Web site.

12/12/02- Provided updated status to Eschelon regarding this CR.

12/18/02 - Eschelon agreed that the status of the Cr could change to Deferred. P


Project Meetings

October 17, 2007 October CMP Meeting

Mark Coyne-Qwest stated that Eschelon had been contacted regarding this CR and agreed to withdraw this request. This CR will now drop off the list. Bonnie Johnson-Eschelon nodded in agreement. This CR moves to Withdrawn status.

October 3, 2007 Email Sent to Eschelon: Thanks Bonnie. I will place the CR in Pending Withdrawal status; and do the formal withdrawal at the October CMP Meeting. Looking forward to seeing you.

- October 3, 2007 Email Received From Eschelon: Hi Peggy, Eschelon agrees to withdraw this CR per your request based on the fact that Qwest has made changes that provide Eschelon with this information. Bonnie Johnson Director Carrier Relations

October 3, 2007 Email Sent to Eschelon: Good Morning Bonnie, RE: PC062702-12 Update Qwest Back End Systems to Show DSL Feature Information for Repair This email is in regard to a CMP CR that Eschelon submitted, to Qwest, in June 2002, requesting DSL feature information. Attached to this email is a copy of that Change Request. In the 5+ years since this CR was submitted, there have been some changes. The Qwest DSL product was grandparented via PC110205-2 and as of January 28, 2006, Qwest offers Qwest DSL (transport only - no ISP) as a non-common carrier service via a commercial agreement only. Because Qwest DSL is no longer a product that can utilize the CMP Process, will Eschelon agree to withdraw PC062702-12? Thank you, in advance, for your prompt reply. Peggy Esquibel-Reed Qwest Wholesale CMP

12/18/02 December CMP Meeting Qwest Susie Bliss reported that the short-term process is working. The order volume does not justify mechanizing another solution. CLEC Community and Eschelon (Johnson) agreed to move this CR to Deferred Inactive status.

11/20/02 November CMP Meeting

Qwest (S Wells) indicated that the interim process was still functioning. Qwest has a request out to determine the magnitude of change that might be required. That information should be available soon. Qwest (S Wells) indicated that they were expecting some information back from Eschelon. Eschelon indicated that they had responded. Qwest clarified that they were still waiting for concurrence on the list of existing Centrex with DSL accounts. Eschelon indicated that they were having someone look over the list, and would be sending concurrence or additions as soon as possible. This CR will remain in Development status.

10/16/02 October CMP Meeting

Qwest (Wells) provided status on the four components of the CR. Only one component remains open. A response is due in mid October outlining a proposed mechanical solution. The implementation plan will be developed for early November. This CR remains in Development status.

09/18/02 September CMP Meeting Qwest (Bliss) this CR has three components:

1. The interim process: The interim process seems to be working well from a Qwest perspective. A handful of orders came in and have been processed using the interim solution. Eschelon (Bonnie) is aware of the interim process but hasn’t received any feedback from her personnel. Bonnie will use the orders provided by Susie to take back internally for feedback. The interim process is applicable to all CLECs submitting orders that fit the criteria.

2. Long term system solution: Exploration of a mechanized solution is ongoing.

3. Embedded base: This addresses the existing customers, the repair centers need to have the information available, this is not completed but the list of customers will be available soon.

Participants agreed that this CR will remain in "Development" status

08/21/02 - Auguast CMP Meeting Minutes Qwest (Bliss) indicated that the CR was still open. Qwest and Eschelon are ready to trial a manual process that was established on August 6th. On August 6th a request came in from Eschelon but Qwest was unaware the request was to trial this manual process. Qwest is assessing the feasibility of a mechanized solution. Eschelon is working on a forecast to determine if Qwest should pursue a mechanized solution. Meanwhile, Qwest has received a worksheet that identifies all existing DSL on CLEC's accounts and are working towards ensuring the Repair Center has the needed information. This CR was moved to"Development" status.

07/17/02 - July CMP Meeting Minutes: Eschelon (Johnson) reviewed the CR and indicated that the appropriate information does not show up in the repair systems. This problem is not experienced by Qwest Retail customers because Retail does not use DPA. DPA is not a problem in Western region. Qwest (Bliss) indicated that this was an issue that was being addressed by the DSL Swat Team.

7/10/02 Clarification Meeting

Attendees: Bonnie Johnson - Eschelon, Susie Wells - Qwest, Kit Thomte - Qwest, Cindy Schwartz - Qwest, Paulette Westerfield - Qwest, Dan Busetti - Qwest, Jean Novak - Qwest

Introduction of Attendees Introductions of the participants on the Conference Call were made and the purpose of the call discussed.

Review Requested (Description of) Change

Bonnie Johnson - Eschelon reviewed the change request. Currently when a CLEC orders the DSL feature on a Centrex Plus or Centron line, the order can be processed and installed but the critical information does not flow through to repair. The result is an inability to get a customers DSL service repaired once installed.

She also said that this problem only applies to the Eastern and Central Regions only.

Confirm Areas and Products Impacted Bonnie Johnson said that the Products impacted are Resale - Centrex Plus/Centron and UNE-P Centrex Plus/Centron

Confirm Right Personnel Involved Susie Wells will be the SME at this time.

Identify/Confirm CLECs Expectation Bonnie Johnson confirmed that Eschelon would like Qwest to develop an interim process that would capture the critical information needed for the DSL feature on a Centrex Plus or Centron line and provide the information to repair.

Identify any Dependent Change Requests Lynn Stecklein advised Bonnie Johnson that Qwest has determined that this change request will be handled as a Product/Process CR. Bonnie Johnson asked why this would not be considered a system request and Lynn Stecklein said that the CLECs do not have access to the interface/system impacted. The interface impacted is internal to Qwest.

Establish Action Plan (Resolution Time Frame) Lynn Stecklein will create a Product/Process CR. This CR will comply with the CMP Product/Process CR process and is eligible for presentation at the appropriate July Monthly CMP meeting


CenturyLink Response

For Review by CLEC Community and Discussion at December CMP Meeting

December 10, 2002

Bonnie Johnson Senior Manager ILEC Relations Eschelon

SUBJECT: CR PC062702-12 Update Qwest back end systems to show DSL feature information for Repair

When we discussed this during last month’s CMP meeting, there were two outstanding issues. Those issues and their current status is as follows: 1. What was the long term implementation plan? Current status: we received the estimate for the system changes and the benefits do not outweigh the expenses at this time due to the low volume of orders. We recommend moving this to an inactive deferred status and if the volume of orders get in the range of 400 orders, we would reopen the CR at that time. The existing process that we implemented July 29, 2002 does fulfill the requests of this CR and we have not encountered any problems with the new process. 2. We needed concurrence from Eschelon on the list of existing Centrex with DSL accounts. Current status: Qwest has received confirmation from Eschelon that the embedded base of accounts is in agreement between the two companies.

Given the above, Qwest is recommending that we defer this CR pending a change in order volumes and would like to discuss this during the December CMP meeting.

Sincerely,

Susie Bliss Director Process Management Qwest

-- October 3, 2002

Bonnie Johnson Senior Manager ILEC Relations Eschelon

SUBJECT: CR PC062702-12 Update Qwest back end systems to show DSL feature information for Repair

There are four pieces to the CR. They are: Capture the critical information needed for DSL features on a Centrex Plus/Centron line. Develop an interim process for the CLEC's to work with repair until that is done. Identify all existing DSL on CLEC's accounts when the fix is in place and populate the information needed in the systems. Identify any other Qwest products this may apply to.

The CR is still open. The current status is as follows: Open - Qwest is currently investigating potential implementation of a long term mechanized solution. An automated system solution is still in discovery. Qwest has less than 20 occurrences of the service requirement, both from correction to the embedded base and new service activity. We expect to have system recommendations by October 18 and an implementation plan by November 1, 2002.

Closed - Qwest has developed a manual process by which Qwest's repair personnel will have access to the information they need to take repair reports on DSL service provided with Resold/UNE-P Centrex Plus and Resold/UNE-P Centron. After an order completes in the SOP, Qwest's personnel will manually intervene to stop the order processing before the order posts in CRIS. The repair record is automatically created based on the way the order is written following the manual process. The manual process after the fact is only to get the order to post correctly to generate an accurate CSR. We have successfully trialed the manual process on eight orders that have been submitted by Eschelon.

Closed - Qwest has identified all accounts that required updated repair records, and has issued orders to correct those records effective September 27, 2002.

Closed - This situation is unique only to Central and Eastern Region Resold and UNE-P Centrex and Centron.

Sincerely,

Susie Bliss Director Process Management Qwest

August 13, 2002

Bonnie Johnson Senior Manager ILEC Relations Eschelon

SUBJECT: CR PC062702-12 Update Qwest back end systems to show DSL feature information for Repair

There are four pieces to the CR. They are: Capture the critical information needed for DSL features on a Centrex Plus/Centron line. Develop an interim process for the CLEC's to work with repair until that is done. Identify all existing DSL on CLEC's accounts when the fix is in place and populate the information needed in the systems. Identify any other Qwest products this may apply to.

The CR is still open. The current status is as follows: Open - We are pursing a system solution to capture this information. We are looking at a few possible solutions and will report the current status at the next CMP meeting. Open - Qwest has developed a manual process by which Qwest's repair personnel will have access to the information they need to take repair reports on DSL service provided with Resold/UNE-P Centrex Plus and Resold/UNE-P Centron. After an order completes in the SOP, Qwest's personnel will manually intervene to stop the order processing before the order posts in CRIS. At that time, Qwest personnel will add the appropiate repair organization information to the order. Finally the order will be released to continue through its normal processing and posting to CRIS. We will trial the interim process with Eschelon. Open - Qwest is still looking at how we would identify these accounts and ensure the Repair Center has the needed information. Closed - This situation is unique only to Central and Eastern Region Resold and UNE-P Centrex and Centron.

Sincerely,

Susie Bliss Director Process Management Qwest


Open Product/Process CR PC071202-1 Detail

 
Title: Use Qwest design services ticket number in the PON on Service Orders for Maintenance of Service Charges, Dispatch Charges and Optional Testing Charges so that information is shown on the completion report.
CR Number Current Status
Date
Area Impacted Products Impacted

PC071202-1 Withdrawn
9/18/2002
Billing / Maintenance Repair Unbundled Loop
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Matthews, Alice
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Currently Qwest issues orders to bill Maintenance of Service Charges, Dispatch Charges and Optional Testing Charges for design services trouble tickets when the trouble was not found in the Qwest network. The completion report sent to Eschelon includes a PON TIC and then information. Sometimes that information is a billing telephone number (BTN) and sometimes the information is the Qwest ticket number. During the reconciliation process Eschelon has found that when Qwest uses the Qwest ticket number in the PON it is easier to find the original Eschelon ticket for reconciliation purposes. Therefor Eschelon requests that Qwest implement a process to use the Qwest repair ticket number in the PON so that the PON would be TIC + the Qwest repair ticket number.

Expected Deliverable

A process to ensure that the PON on service orders for Maintenance of Service Charges, Dispatch Charges and Optional Testing Charges include the Qwest repair ticket number so that information is shown on the completion report..


Status History

07/12/02 - CR Submitted by Eschelon.

07/12/02 - CR acknowledged by P/P CMP Manager.

07/16/02 - Eschelon contacted and clarification meeting scheduled for 07/16/02 at 10:30 a.m. (MDT)

07/16/02 - Clarification call held with Eschelon

07/17/02 - CMP Meeting - Meeting minutes posted to this CR's Project Meetings section. CR status was changed to Clarification.

07/18/02 - Clarification Call meeting minutes were sent to Eschelon

08/19/02 - Issued Mailout Notification to CLECs confirming the Synergy Meeting for Multiple Trouble Ticket and Billing CRs scheduled for 8/27/02, 2:00 pm MT. Notification CMPR.08.19.02.F.01317.CMP_CR_Mtg.

08/21/02 - CMP Meeting - This CR is being reviewed in Synergy Meeting for Multiple Trouble Ticket and Billing CRs scheduled ro 8/27/02, 2:00 pm MT. CR will be moved to evaluation status.

8/27/02 - CR included in the Synergy Meeting for Multiple Trouble Tickets & Billing CRs. See Meeting Notes in Attach O, Sept Systems CMP Package.

9/11/02 - Issued Qwest draft response dated 9/11/02 to Kathy Stitcher at Eschelon

09/18/02 - September CMP Meeting - Qwest presented draft response. CR will move to Withdrawn. Meeting minutes will be posted to this CR's Project Meetings section.

09/27/02 - Issued Qwest Revised Response dated 9-24-02 to Kathy Stitcher at Eschelon. CR Withdrawn.


Project Meetings

09/18/02 September CMP Meeting Qwest reviewed the draft response and Eschelon said they don’t need the PON for the completion report if the billing office will give the Qwest trouble ticket number on the spreadsheet. Qwest said the billing office can provide the trouble ticket number on the spreadsheet and will update the response to indicate the Qwest trouble ticket number will be on the spreadsheet until the related systems CRs are completed. Eschelon said they would withdraw the CR and this CR status will be changed to “Withdrawn.”

-

08/21/02 - August CMP Meeting Minutes: Eschelon reviewed their CR requesting that Qwest trouble ticket number be included with their PON because it would provide another piece of information to help Eschelon verify charges. Qwest advised that this CR would be reviewed in conjunction with other CRs related to trouble tickets, repair charges, etc. scheduled for August 27, 2002. The CLEC participants agreed to have this CR reviewed at that meeting and will be changed to evaluation status.

07/17/02 - July CMP Meeting Minutes: Eschelon presented their Change Request. CR status is clarification.

Clarification Call Time/Date: 10:30 a.m. (MDT) / Tuesday, July 16, 2002 Place: Conference Call Conference: TEL: 877.521.8688 Call-In: CODE: 7901848 CR No: PC071202-1 "Use Qwest design services ticket number in the PON on Service Orders for Maintenance of Service Charges, Dispatch Charges and Optional Testing Charges so that information is shown on the completion report."

Attendees: Kathy Stichter, Eschelon, ILEC Relations Manager Alice Matthews, Qwest, Sr Process Analyst - Billing Craig Suellentrop, Qwest, 271 Network Technical Regulatory Bob Mohr, Qwest, Product Manager Michael Keegan, Qwest, CMP Manager

Introduction of Attendees Attendees introduced. Review Requested (Description of) Change Description:

Currently Qwest issues orders to bill Maintenance of Service Charges, Dispatch Charges and Optional Testing Charges for design services trouble tickets when the trouble was not found in the Qwest network. The completion report sent to Eschelon includes a PON TIC and then information. Sometimes that information is a billing telephone number (BTN) and sometimes the information is the Qwest ticket number. During the reconciliation process Eschelon has found that when Qwest uses the Qwest ticket number in the PON it is easier to find the original Eschelon ticket for reconciliation purposes. Therefor Eschelon requests that Qwest implement a process to use the Qwest repair ticket number in the PON so that the PON would be TIC + the Qwest repair ticket number.

Discussion: Qwest asked if the scope of the change request is for the design services side only. Eschelon agreed, and confimed that non design (resale) is excluded.

Confirm Areas & Products Impacted Areas Impacted: Billing and Maintenance/Repair Products Impacted: Unbundled Loop Confirm Right Personnel Qwest confirmed the correct personnel were on the call.

Identify/Confirm CLEC’s Expectation A process to ensure that the PON on service orders for Maintenance of Service Charges, Dispatch Charges and Optional Testing Charges include the Qwest repair ticket number so that information is shown on the completion report.. Identify any Dependent Systems Change Requests None Establish Action Plan (Resolution Time Frame) Eschelon can present this Change Request to the CLEC community at the August Product/Process CMP meeting scheduled for August 21 Qwest will issue draft response to this Change Request by Sep 11 (one week prior to the Sep 18 CMP meeting). Qwest will discuss the draft response at the Sep 18 CMP meeting. Alice Matthews will coordinate the production of the Qwest response.


CenturyLink Response

September 24, 2002

Kathleen Stichter ILEC Relations Manager Eschelon

SUBJECT: Qwest’s Change Request Revised Response – PC071202-1 “Use Qwest design services ticket number in the PON on Service Orders for Maintenance of Service Charges, Dispatch Charges, and Optional Testing Charges so that information is shown on the completion report.”

This CR requests that Qwest populate the Qwest trouble ticket number as the data in the PON field of service orders issued to generate Designed Services Maintenance of Service, Dispatch and Optional Testing charges. This Change Request was discussed during the CR synergies meeting between Qwest and the CLEC Community on August 27, 2002. During that discussion Eschelon indicated that they issued this Change Request because they are concerned two other CRs: SCR042902-01 and SCR060402-04, may not be implemented or may be delayed. In addition, Eschelon indicated that their solution of choice is for Qwest to provide the CKT ID or Telephone Number, Qwest ticket number, CLEC ticket number and date work was completed on all bill formats (as requested in SCR042902-01 and SCR060402-04).

If implemented, CR PC071202-1, would provide only the Qwest ticket number, which is only one of the data elements Eschelon has specified as critical. With this CR, the Qwest trouble ticket number would appear on the Completion Report in lieu of the account information, e.g., AN, MAN or SBN, that appears today. The implementation of this CR would result in providing different information not more information.

Implementation of this Change Request would require scripting changes to populate the PON field with the Qwest ticket number and, due to PON field character limitations, Qwest would no longer be able to populate the billing account information. Because this CR would change a process changed at the CLEC’s request in February 2002, Qwest asked for feedback from the CMP Community at the September 18th Product and Process CMP Meeting.

At the CMP Meeting, Eschelon agreed to withdraw this CR, and, the Qwest Billing Center will provide the Qwest trouble ticket number on the CLEC spreadsheet until SCR042902-01 and SCR06402-04 are completed.

Sincerely,

Alice Matthews Senior Process Analyst, Qwest

Cc: Sue Burson, Director Process Management, Qwest Alan Zimmerman, Manager Process Management, Qwest Craig Suellentrop, Staff Advocate Policy and Law, Qwest

September 11, 2002

Kathleen Stichter ILEC Relations Manager Eschelon

SUBJECT: Qwest’s Change Request Response – PC071202-1 “Use Qwest design services ticket number in the PON on Service Orders for Maintenance of Service Charges, Dispatch Charges, and Optional Testing Charges so that information is shown on the completion report.”

This CR requests that Qwest populate the Qwest trouble ticket number as the data in the PON field of service orders issued to generate Designed Services Maintenance of Service, Dispatch and Optional Testing charges. This Change Request was discussed during the CR synergies meeting between Qwest and the CLEC Community on August 27, 2002. During that discussion Eschelon indicated that they issued this Change Request because they are concerned two other CRs: SCR042902-01 and SCR060402-04, may not be implemented or may be delayed. In addition, Eschelon indicated that their solution of choice is for Qwest to provide the CKT ID or Telephone Number, Qwest trouble ticket number, CLEC trouble ticket number and date work was completed on all bill formats (as requested in SCR042902-01 and SCR060402-04).

If implemented, CR PC071202-1, would provide only the Qwest trouble ticket number, which is only one of the data elements Eschelon has specified as critical. With this CR, the Qwest trouble ticket number would appear on the Completion Report in lieu of the account information, e.g., AN, MAN or SBN, that appears today. The implementation of this CR would result in providing different information not more information.

Implementation of this Change Request would require scripting changes to populate the PON field with the Qwest trouble ticket number and, due to PON field character limitations, Qwest would no longer be able to populate the billing account information. Because this CR seeks to change a process changed at the CLECs’ request in February, 2002, Qwest would like to solicit feedback from the CMP Community at the September 18th Product & Process Monthly CMP Meeting before proceeding with this request.

Sincerely,

Alice Matthews Senior Process Analyst, Qwest

Cc: Sue Burson, Director Process Management, Qwest Alan Zimmerman, Manager Process Management, Qwest Craig Suellentrop, Staff Advocate Policy and Law, Qwest


Open Product/Process CR PC100102-1CM Detail

 
Title: Change format on the Web change notification form to a Red Line format
CR Number Current Status
Date
Area Impacted Products Impacted

PC100102-1CM Completed
4/15/2009
Notification Process Notification Process
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Blackmun, Jarby
Director:
CR PM: Harlan, Cindy

Description Of Change

Currently the web change notification form is sent in a format where the changes are highlighted with 'add' and 'delete' to identify changes being made to the document. It is very difficult to identify what is changing in the document using the current format. I have had repeated feedback from several Eschelon employees who are required to review these documents that they are not certain they have fully captured the changes taking place. Since most people are familiar with the Red Line format for understanding changes, Qwest should change to a Red Line format. The CLEC runs the risk of interpreting a change incorrectly that may impact the ability to do business or negatively impact a customer.

Expected Deliverable:

Qwest will change to a Red Line format for Web Change Notification Forms.


Status History

09/30/02 - CR Submitted by Eschelon

10/01/02 - CR Acknowledged by CRPM P/P Manager

10/03/02 - CR Posted to Web

10/03/02 - Customer contacted and scheduled clarification call for 10/09/02 9:30 am mdt

10/09/02 - Clarification call completed with Eschelon

10/15/02 - Provided Clarification Meeting notes to Eschelon and posted to database

10/16/02 - October CMP Meeting - Collective CLEC clarification occurred at the October CMP Meeting. Minutes will be posted to the Project Meetings section.

10/22/02 - Proposed 3 meeting options via the Notification mailout process.

10/24/02 - Posted October 31 as meeting choice via Notification mailout process. Completed mailout notification with agenda, and attachments (documents to review)

10/31/02 - Held October 31 meeting to further discuss CR. Agreement was reached to vote on CR at November 20 P/P CMP Meeting. Notification to vote will be sent out November 1, 2002. Qwest will determine if other options are available. If so, Qwest and notify CMP Community that discussion of options will take place at the November CMP Meeting.

11/01/02 - Vote Notification CMPR..11.01.02.F.01352.CMP_Mtg_Vote distributed via mailout process. In addition, if Qwest is able to develop an alternate option in regard to this topic, this will be identified via a notification by November 12, 2002. This notification will briefly discuss the option and call for discussion at the November 20, 2002 Product Process meeting.

11/12/02 - Notification distributed advising of Qwest's effort (trial Nov.11-27) to determine the feasibility of providing redline documents as a means to assess changes to documentation, and delivery of redlined documents will require a change in the Level 1 notification delivery process. Qwest suggests to delay the vote until the results of the trail are available (early December).

11/20/02 - November CMP Meeting - discussed the trial that Qwest is conducting to determine feasibility of providing redlined documents and explained the potential impact to the Web Notification form for Level 1 changes. Proposed and reached agreement to delay the vote until after the trial.

11/26/02 - Notification sent out offering 3 meeting options to review resutls of Red Lined Trial

12/03/02 - Notification sent out advising meeting scheduled for December 10, 2002 from 9:00 - 10:30 am mdt

12/04/02 - Notification sent out providing attachments to use during meeting; results of trial and changes to the CMP document.

12/10/02 - Held CLEC Meeting and shared Qwest's proposal for changes to the CMP process and described the new method to access Level 1 changes. Qwest agreed they can change to Red Line updates for Level 1-4 CRs. CLECs and Qwest agreed we would vote on the proposal at the December CMP Meeting. Qwest agreed to distribute a Vote Notification by 12/11/02.

12/11/02 - Vote Notification distributed via mailout process. VOTE will take place during 12-18 Product Process CMP Meeting.

12/18/02 - December P/P CMP Meeting notes will be posted to the Project Meeting Section. Vote took place and passed with a 'yes' vote. Changed status to Development.

01/02/03 - Level 1 Notification sent out advising this process is effective January 6, 2003. Will propose to change this CR to CLEC Test status at the January meeting.


Project Meetings

12/18/02 - December CMP Monthly Meeting Minutes Qwest-Blackmun explained we are able to update PCATs using Red Lined instead of Green Highlight for Level 1-4 changes. In addition, for Level 1 changes the Web Notification form would not be used any longer. Instead, the PCAT would be updated and posted to the Archive Document review site. World Com-Balvin asked if the History Log would still be referenced and the changed identified on that. Qwest advised yes. The vote process was then explained and conducted. The change passed by unanimous vote 7 ‘Yes’ and 0 ‘No’. White-Qwest proposed the change to the CMP Document be made in combination with the change from CR PC102502-1CM in a January 6, 2003, Level 1 notification. The attendees agreed.

12/10/02 - CLEC / Qwest Meeting to review trial results Held CLEC Meeting and shared Qwest's proposal for changes to the CMP process and described the new method to access Level 1 changes. Qwest agreed we can change to Red Line updates for Level 1-4 CRs. CLECs and Qwest agreed we would vote on the proposal at the December CMP Meeting. Qwest agreed to distribute a Vote Notification by 12/11/02.

11/20/02 - November CMP Monthly Meeting Minutes Qwest advised a trial is underway until November 27 to determine the impact to changing to Red Line format. Due to the trial Qwest is requesting the vote be delayed until after the trial is completed. Qwest explained if we are able to change to Red Lind format a change to the Web Notification process would also need to occur as the Microsoft Word program does not accommodate 'cut and paste' of Red Lined changes from one document to another. If the result of the trial allows Qwest to change to Red Lined format we will also present the suggested change to the Web Notification process. It is anticipated the change for Level 1 Web Notifications would be to post the description of the change and the PCAT document to the web site minus a comment cycle, instead of cutting and pasting the updated sections to the Web Notification form. Eschelon and other CLECs in attendance agreed to postpone the vote until after the trial. Qwest agreed they would offer 3 options for meetings to review the results of the trial. After the results are reviewed a meeting will be held to vote on this CR.

10/31/02 - CLEC Input Meeting held to discuss this CR. Scope was confirmed that this CR affects Web Notification forms and all Levels of PCATs. Green highlighted and Red lined documents were reviewed and compared. Discussion of concerns from CLECs and Qwest occurred. No feasible options were agreed upon during the meeting. Agreement was reached that Qwest would determine if we have any options to present. In addition, Qwest would issue the Vote Notification so a vote could take place at the November Monthly Product Process CMP meeting, if Qwest is not able to determine other acceptable options.

10/16/02 - October CMP Monthly Meeting Minutes Eschelon clarified the CR and reasons for submitting the CR. Qwest confirmed this CR will follow section 2.1 of the CMP process. Agreement was reached on the input approach. Qwest will propose multiple meeting dates. The agreed upon meeting will be held to gather additional data, understand the scope of the CR to make sure the CLEC community is aware of what will be voted on, and potentially identify new options for document updates. The CMP process identifies a vote would not occur earlier than the November meeting. Eschelon requested an example of both update methods (Green highlight and Red Lined) be shared in the meeting. Notification of meeting time options will be sent out via the Notification process.

CLEC Change Request Clarification Meeting Time/Date: 9:30 p.m. (MDT) / Wednesday 9th October 2002 Conference Call-In No.: 1-877-561-8688 7385723# CR No.: PC100102-1CM Change format of the Web change notification form to a Red Line Format

Attendees: Bonnie Johnson – Eschelon Jarby Blackmun – Qwest Mark Coyne – Qwest Cindy Macy – Qwest

Meeting Agenda: 1.0 Introduction of Attendees

1.1 Introduction of the participants on the Conference Call was made and the purpose of the call discussed.

2.0 Review Requested (Description of) Change

2.1 Reviewed the details of the change request and confirmed that Bonnie requested updates to the PCAT be made using Red Line format instead of Green Highlight format. This applies to Level 1- 4 changes. Bonnie sent in a redlined version of the CMP process identifying changes should be made to Level 1, but we clarified she is requesting the change be made to Level 1- 4.

3.0Confirm Areas & Products Impacted It was confirmed that Bonnie is requesting changes to the ‘Notification Process’.

4.0Confirm Right Personnel Involved Jarby Blackmun will be the SME on this CR. Mark Coyne will participate.

5.0Identify/Confirm CLEC’s Expectation Eschelon requests Qwest to change to a Red Line format for Web Change Notification forms (update PCATs using Red Line format, just as Tech Pubs are done)

6.0 Identify any Dependent Systems Change Requests None

7.0Establish Action Plan (Resolution Time Frame) Bonnie will present this CR to the CLEC community at the October 16 CMP P/P Monthly Meeting.


Open Product/Process CR PC021502-1 Detail

 
Title: Collocation: Construction Process (in, near or affecting CLEC collocation space)
CR Number Current Status
Date
Area Impacted Products Impacted

PC021502-1 Completed
5/15/2002
Other: Collocation/construction Colocation
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Burke, Laurel
Director:
CR PM:

Description Of Change

Eschelon requests a written, trained, and adhered to nondiscriminatory process that addresses proper procedures when Qwest and/or its vendors perform construction activities in buildings that house CLEC collocations. Eschelon provides two examples demonstrating that Qwest’s current procedures are inadequate and discriminatory and in need of revision:

January 2002/Qwest’s Minneapolis Orchard Central Office: Qwest's Orchard Central Office is currently under construction for a new addition. That addition includes modification to the existing mechanical system, as well as additional floor space. Eschelon leases space, from Qwest, for a collocation in the Orchard Central Office. During a dispatch, in January 2002, Eschelon's technician discovered dirt, dust and metal shavings on its collocation equipment. Photographs showing the extent of the problem are attached. Qwest would not expose its own equipment to these conditions. Qwest had not notified Eschelon of this construction or the potential impact on Eschelon’s collocation space. When Eschelon discovered the problem, Eschelon immediately contacted Qwest to report the problem, request resolution, and obtain assurances that this serious problem would not be repeated. During later visits to this collocation site, Eschelon discovered excessive temperature levels that could also damage its equipment. Cleaning the equipment required 'powering down' the equipment, resulting in customer outages. Qwest removed all essential cooling to the area and replaced it with a fan, an inadequate solution. Qwest would not find that a fan would be adequate to cool its own equipment. The problem also required one of Eschelon's technicians to be available for the time period while a vendor was completing the clean up. This tied up a technician who should have been doing other work. This incident caused down time for our customers and forced Eschelon to incur unnecessary time and expense and could have caused major damage to our equipment. Eschelon believes that at least two other CLEC collocation spaces were adversely affected by the same construction. Qwest has an obligation to protect the CLEC collocation equipment with at least as much care, as it would use to protect its own equipment. Eschelon asks Qwest for an improved process to ensure that our collocations are protected during construction in any Qwest building that houses one of our collocations.

March 2001/Denver Main Central Office: On March 15, 2001, Eschelon conducted a site survey of its physical collocation located at the Denver Main Central Office. The conditions discovered at the site indicated a deliberate breach in security and potential damage to our equipment. Qwest had not notified Eschelon of this construction or the potential impact on Eschelon’s collocation space. When Eschelon discovered the problem, Eschelon contacted Qwest immediately asking for resolution of the following issues:

1. Eschelon's cage was accessed without Eschelon authorization or knowledge. A Qwest approved contractor removed the pins securing Eschelon's collocation cage to gain access and Qwest security failed to notify Eschelon of the intrusion. Eschelon pays security charges on a monthly basis and expects Qwest to provide and maintain a secure environment. Eschelon told Qwest that this matter is of utmost importance as the integrity of Eschelon's collocation equipment was jeopardized.

2. A 1 inch copper pipe running across the span of Eschelon's cage was installed. The location and height of the pipe severely restricted Eschelon's ability to expand the existing cable ladder racking for future growth. Additionally, the pipe was believed to be a water pipe, which if ruptured, had significant potential for causing damage to personnel and property.

3. There was a significant amount of dust within the cage and on the collocation equipment. This presented an operational issue with Eschelon's hardware and its ability to operate properly. Eschelon asked Qwest to thoroughly clean Eschelon's collocation cage and the surrounding area.

4. There were two additional 1/2 inch copper pipes running across the cage at ceiling height. These pipes also posed a significant problem, as they appeared to be water pipes serving the cooling unit adjacent to Eschelon's cage. The same potential for damage to personnel and property existed.

Both of these examples involved serious problems concerning the integrity of Eschelon's collocation cage. Eschelon had to escalate the issues within Qwest in an attempt to resolve them. An after-the-fact clean up, however, is not a satisfactory remedy. The breaches to security and integrity to the collocation cannot be undone. Eschelon also had to incur unnecessary time and expenses, in addition to its customers experiencing unjustified downtime.

Qwest would not expose its own equipment to such conditions or allow CLECs to treat Qwest’s space and equipment in this same manner. One can only imagine how Qwest would react if a CLEC removed the pins to a Qwest door to get around a lock securing access to the Qwest area of a building. On a much smaller scale, recently, a Vice President of Qwest in charge of Qwest’s network directly contacted Eschelon’s Executive Vice President of Operations and Engineering to allege that Eschelon’s equipment was causing a Qwest fire alarm near Eschelon’s cage to go off. Eschelon was able to show that was not the case. Nothing in Eschelon’s cage had caused the alarm to sound. Eschelon believes that the Qwest fire protection system in that building has had false alarms before, for reasons unrelated to collocation. The mere proximity of a CLEC collocation to a fire protection device that sounded a false alarm was sufficient to draw an immediate call from Qwest’s top management.

In contrast, Eschelon has had difficulty in getting appropriate attention to the very serious issues that have occurred with respect to violations of its collocation space. Eschelon had to expend substantial resources escalating these issues to obtain after-the-fact resolutions. Even after the first situation was resolved, and assurances were received that the problem would not occur again, serious problems occurred again, this time in the Orchard Central Office. In response to its escalation of the most recent situation (Orchard Central Office), Qwest provided Eschelon with a written response that said: “Throughout the life of this construction project, Qwest has insured that all methods of procedures (MOP’s) were followed and that dust protection was appropriate and in place.” Please review the enclosed photographs in light of this statement. Obviously, if following the current procedures at Qwest produces this result, the current procedures are inadequate.

Qwest needs to promptly establish an improved process. Eschelon requests that a solution be developed and implemented quickly to avoid further serious breaches.

The law and interconnection agreements provide support for Eschelon’s request. Examples include:

47 U.S.C. § 551(c)(6): Incumbent local exchange carrier has -- “The duty to provide, on rates, terms, and conditions that are just, reasonable, and nondiscriminatory, for physical collocation of equipment necessary for interconnection or access to unbundled network elements at the premises of the local exchange carrier, except that the carrier may provide for virtual collocation if the local exchange carrier demonstrates to the State commission that physical collocation is not practical for technical reasons or because of space limitations” (emphasis added).

Minnesota Qwest-Eschelon interconnection agreement, Second Amendment: “USW shall provide Collocation in a nondiscriminatory manner on rates, terms and conditions that are just, reasonable and nondiscriminatory.” § 2.1; see also Part A, § 4.


Status History

02/14/02 - CR Submitted by Eschelon.

02/15/02 - CR acknowledged by P/P CMP Manager.

02/19/02 - Contacted Kathy Stichter, Eschelon, to coordinate Clarification Meeting - Tentative date is Tuesday 2/26/02.

02/20/02 - CMP Meeting - Eschelon introduced its CR and routed documentation for review. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02.

02/22/02 - Received e-mail from Eschelon with additional evaluation of Orchard site on 2/18/02.

02/26/02 - Conducted Clarification Meeting with Eschelon.

02/28/02 - Issued Clarification Meeting Minutes to Eschelon.

03/20/02 - CMP Meeting - Eschelon presented its CR. Qwest advised they are looking at gaps in their existing processes. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. It was agreed that the CR would move to Evaluation.

04/10/02 - Issued Qwest's Draft Response dated April 9, 2002 to Eschelon.

04/17/02 - CMP Meeting - Qwest presented its response. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. It was agreed that the CR would be status as CLEC Test.

04/19/02 - Formal response dated April 9, 2002 issued to CLECs. Notification CMPR.04.19.02.F.01258.Final_CR_Responses.

05/15/02 - CMP Meeting - Eschelon advised that the CR could be closed.


Project Meetings

CLEC Change Request Clarification Meeting

February 26, 2002, 12:00 (MT) Conference Call

877-564-8688 PC021502-1, Collocation: Construction Process (in, near or affecting CLEC collocation space)

Attendees: Ric Martin, Qwest Clyde Just, Qwest Laurel Burke, Qwest Chuck Frauenfeld, Qwest Paul Williams, Qwest Deb Heckart, Qwest Steve Sheahan, Qwest Kay Daugaard, Qwest Kathy Stichter, Eschelon Paul Hanser, Eschelon Bonnie Johnson, Eschelon

Introduction of Attendees Introduction of the participants on the Conference Call were made and the purpose of the call discussed Ric advised that there were two issues surrounding the Change Request. The first deals with the issues at the Orchard Central Office and the second deals with the process change requested in the Change Request. Ric advised that it would be best to discuss the first issue in a separate meeting and focus on the process in this meeting. Steve Sheahan would facilitate the meeting with Eschelon personnel with Kathy Stichter. Eschelon agreed with this path forward.

Review Requested (Description of) Change Kathy reviewed the requirements of their CR and their expected deliverable. Bonnie advised that Eschelon was aware that there is a documented process, but the concern is that it is not being followed 100%. Paul Hanser indicated that Eschelon would like to be involved in the planning process and be made aware of the construction activity. They want to know how the equipment is going to be protected and that it is kept cool and clean. Paul indicated that Eschelon would like to be involved in the project planning phase. Paul Williams asked if Eschelon would like to be notified on all construction activity. Paul Hanser indicated that they were more interested in the building construction activity rather than equipment installations. It was confirmed that Eschelon would prefer to be notified when there is facility construction as opposed to equipment installations. Paul clarified that some equipment installations could create a fair amount of dust (i.e. drilling through thick concrete) and they would want to be made aware of this type of installation. Ric confirmed that the process followed for construction activity is Technical Publication 77350. Clyde asked what name would Eschelon want Qwest to contact. Paul Hanser indicated that they would like the name on the emergency list provided to each Central Office, or the 800 number on their Collo cages contacted. This allows the call to go to operations that coordinate Eschelon’s activities. Clyde expressed concern that not all CLECs operate in the same manner. The only consistency is the name on the application. Paul Hanser advised that the person on the application and the associated number may change, but the posted 800 number remains the same. Qwest advised that this could be difficult to get a consistent approach from all CLECs. Ric asked Eschelon if discriminatory meant the same process for all parties involved. Kathy added that all equipment is treated the same for Qwest and CLECs.

Confirm Areas & Products Impacted It was confirmed that the CR addressed Collocation equipment. . Confirm Right Personnel Involved Ric advised that there are several SMEs that will be working on the CR. Laurel Burke will be the Owner identified on Qwest’s reports, but the other SMEs are Howard Cooper, Real Estate, Jerry Jenson, C.O. Staff, and Jeff Bostow, Technical Publications.

Identify/Confirm CLEC’s Expectation Eschelon confirmed that their expectation is their written statement under Expected Deliverable in the Change Request.

Identify any Dependent Systems Change Requests There is no corresponding System CR

Establish Action Plan (Resolution Time Frame) Qwest will facilitate a separate meeting to review the Orchard Construction activity. Ric advised that the CR will have the Community CLEC clarification and Qwest will present potential options at the March 20th CMP meeting.


CenturyLink Response

April 09, 2002

Kathy Stichter ILEC Relations Manager Eschelon Telecom, Inc.

SUBJECT: Qwest Change Request Response - CR PC021502-1 Collocation: Construction Process (in, near or affecting CLEC collocation space)

This letter responds to Change Request PC021502-1 requesting that Qwest develop a written, trained and adhered to nondiscriminatory process that addresses proper procedures when Qwest and/or its vendors perform construction activities in buildings that house CLEC collocations. Additionally, the two (2) examples described in your Change Request will be addressed in Attachment 1 to this letter.

Eschelon suggested that the process include the following:

1. Improved Qwest process for building construction activity in Central Offices that house CLEC collocations.

Qwest’s process for building construction utilizes a project management approach. Due to the nature of individual building construction activity, project design drawings and specifications documents embody the performance expectations associated with each construction project. The very specific nature of such projects and the quantity of detailed information associated with these projects prohibit Qwest from providing a detailed building construction process in this response. However, Qwest provides below a description of activities common across building construction projects.

Qwest Building Construction Project Management

When a project is initiated, Local Design Construction teams, coordinated by Real Estate Project Managers, develop project plans and specifications in conjunction with Registered Professional Consulting Architects/Engineers and selected Qwest General Contractors. Prior to entering into a contract with Qwest (Real Estate), these consultants and contractors must have a demonstrated track record of proficiency while working with electronic equipment environments. Methods used to demonstrate this include checking work references from other clients and reviewing the contractors project portfolio. Local teams may then choose projects small in scope to evaluate the contractor for larger projects such as Central Office building additions.

The Local Design Construction team assembles the project work scope and customizes it according to the specific project at hand. The documentation and scope of the project work utilizes engineering and operational elements from Qwest policy documents, engineering and operational standards, as well as engineering guideline documentation specifically applicable to Central Office projects. Building environment specifications, or operational standards, commonly contain aspects of several Qwest and industry standards. Examples of these standards include:

? Class 100,000 clean room requirements for airborne particulate control (reference Qwest Regional Policy REGN 000-010-019RG); ? Temperature control requirements meeting industry standards (reference Bellcore (Telcordia) Network Equipment Building Systems (NEBS) document NEBS GR-63-CORE, and REGN 000-010-019RG); ? Technical Publication 77350 for equipment isolation and protection; ? National Electrical Code (NEC) specifications; and ? Project specific Methods of Procedure ("MOP").

Real Estate Consultants and Contractors use Qwest policies and standards in project documents and are held accountable for performing and utilizing these policies and standards. Local Design Construction teams are reminded on each project about the consequences of not following and/or failing to perform to these policies and standards, including the potential for contract termination or probation. In fact, during 2001, Qwest terminated contracts with three (3) real estate contractors and placed two (2) others on probation for failing to adhere to documented policies and standards.

Additionally, before construction begins, an approved MOP document must be posted. The construction contractor must describe all tasks associated with a project that may represent a direct threat to service such as AC Power work affecting DC power and work generating airborne debris open to working equipment, in order to describe the method for protecting the equipment from the threat. The Local Network Central Office Manager and/or Supervisor reviews the MOP and approves the equipment protection strategies - validating that those strategies are present and to be utilized during the construction activity.

Finally, Qwest provides contractors with explicit expectations regarding adherence to standards and an audit mechanism for ensuring compliance. The Introduction to Qwest Technical Publication 77350 provides "the material and workmanship requirements for personnel working in Qwest Central Offices and provide the basis for audit and evaluation of a job." Contractors are individually responsible for adhering to Qwest standards as well as applicable law and industry standards. When work operations jeopardize the network or fail to comply with safety standards, Qwest employees may expel contractors from the facility. Qwest employees are encouraged to stop construction work in progress to question a threat to personnel safety or risk to working equipment. Also, when problems are identified with a specific Real Estate contractor, a thorough root cause analysis is completed and appropriate action taken up to and including termination of a contractor.

2. Provide Advance Notification to and coordination with affected CLECs of construction occurring in Qwest Central Offices containing CLEC collocations. The General Mailout notification process would not be adequate.

Qwest agrees to provide CLECs with an Advance Notification process providing notice of building construction in Qwest Central Offices containing CLEC collocations. Advance Notification will provide targeted email to CLECs collocated in the affected Central Office at the time the project is funded by Qwest. The email, provided by the Collocation Project Management Center ("CPMC") will include the Central Office affected, description of the construction activity, date construction is planned to begin, date construction is planned to complete, and a Qwest contact name and number for the project. The Qwest contact can be used by CLECs to identify environmental issues or concerns during the project. Qwest will also provide status updates in the event the project changes significantly, i.e. the start date is moved forward or the scope of the activity increases. This process will be implemented effective May 2002 or as soon thereafter as possible in compliance with the agreed upon notification schedule. The following real estate work will be the subject of CLEC notifications: ? Building Additions ? HVAC Infrastructure Modifications ? Electrical Infrastructure Modifications ? Building Work for Space Rearrangements or Compartmentation ? Roof Replacement ? Other Building work that could affect the equipment environment

3. Ensure measures are in place to protect the collocation equipment environment including but not limited to protection from:

? Dust ? Dirt ? Metal Shavings ? Adverse Temperature conditions

Qwest contractors performing building construction work within Qwest Central Offices are required to apply appropriate industry standards in an effort to limit and control dust, dirt, metal shavings and temperature variations. As stated earlier, prior to starting any work activity the work steps for protecting working equipment must be documented in a MOP, Method of Procedure. After construction starts and during Real Estate building construction activities, the real estate contractors apply specific environmental requirements as described in the project design and specifications documents.

Qwest requires its contractors to adhere to specific aspects of American Society of Heating, Refrigerating and Airconditioning Engineers (ASHRAE) industry standards as it relates to Class 100,000 clean room requirements (described in Qwest Regional Policy REGN 000-010-019RG). These requirements provide specific airborne particulate standards that in turn are used for isolating working equipment from construction zones. Typically project specifications state that all construction work shall comply with Class 100,000 clean room requirements and must maintain a Class 100,000 environment in the Central Office environment regardless of any activity construction or otherwise. This means that airborne particulates of 0.5 micron and larger cannot exceed a count of 100,000 in one cubic foot of air.

Qwest requires its contractors to meet ASHRAE Class 100,000 requirement by specifying two methods in its project specifications:

? Isolation/Vacuum: Isolate working equipment form the construction zone, pressurize and seal for migration of airborne construction debris; o If isolation is not possible, then directly extract dust dirt and debris by using a HEPA vacuum with the operation of cutting and drilling tools. ? Filtration: If filtration of airborne particulates is questionable then particulate monitoring with instrumentation is used. Particulate counting monitors the environment only at one point in the room environment and is not necessary if the construction zone is isolated.

In addition to ASHRAE requirements, Qwest contractors must adhere to Section 2 of Tech Pub 77350 that specifically addresses Qwest’s expectations of personnel including employees, contractors and suppliers, while performing construction activities within Central Office buildings:

2.3.6 The cutting, filing, drilling, and milling or painting of the Qwest approved auxilliary framing, cable rack, etc., shall be done outside of the equipment area. When drilling of equipment or structures, that can not be removed from the facility, proper protection, and the use of HEPA vacuum shall be required. 2.3.7 General cleaning of the equipment facility or storage area in which work is being done shall be performed by the Service Supplier during the entire installation or removal process. Care shall be taken to generate a minimal amount of airborne dust. 2.3.8 The Service Supplier shall use only a High Efficiency Particulate Arrestor (HEPA) vacuum, capable of filtering particles larger than .3 microns in size, and equipped with a static dissipative hose in QWEST facilities to capture dust and chips from the drilling of floors, walls, ceiling, ironwork, and equipment during the uncrating process, and while cleaning cable racks and equipment. 2.3.9 The Service Supplier shall be aware of conditions that may result in equipment thermal shock (failure or degraded service brought on by a rapid change in temperature) and take steps to prevent its occurrence.

4. Prohibit unauthorized entry into CLEC space and ensure that CLEC security is not breached.

Qwest has documented procedures regarding physical security associated with CLEC collocations. Refer to Qwest’s PCAT under heading Central Office Security.

Additionally, in order to provide more direction to Qwest suppliers performing duties in Central Offices with CLEC collocations, pursuant to the agreed upon notification process, Qwest proposes replacement of Section 16.1.6 of Tech Pub 77350 to read as:

Qwest requires emergency access to all cages for safety purposes. Combination locks (or combination lock-boxes, with a key inside to unlock a keyed padlock) must be provided by the CLEC and attached to each cage. This will provide the Qwest representative with emergency access into the cage when needed. Qwest also requires that the CLEC forward the combination code to its cage lock to the appropriate personnel, e.g., State Interconnect Collocation Manager (SICM). The CLEC’s representative (emergency contact phone number located on the CLEC cage placard) must also retain the combination.

Qwest reserves the right to access CLEC enclosure when work is required in the Qwest-owned space above the cage (this includes access to the overhead ironwork, cable racking, electrical conduit, etc.). CLEC enclosure space will not be entered by anyone, for any reason, without first contacting the CLEC representative and the Qwest State Interconnect Collocation Manager and obtaining the required approval(s).

Qwest is committed to protecting CLEC equipment collocated in Qwest premises when performing activities within a Qwest Central Office that may reasonably be foreseen or predicted to harm such equipment. While Qwest strives to provide an environment for equipment to operate throughout its expected life cycle, it is reasonable to expect that some failures from environmental support equipment or personnel cannot always be avoided. Qwest does require its suppliers (including Qwest personnel) to comply with all published Qwest standards, applicable laws as well as industry standards and disciplines noncompliance. However, since Qwest can not provide a 100% event free environment for its network facilities and equipment, it in turn cannot provide this to CLECs. Nonetheless, Qwest remains committed to protecting and responding to the needs of the CLEC equipment environment with timely responses to correct adverse environmental events.

In response to the two (2) incidents identified by Eschelon in the Change Request, Attachment 1 provides Qwest’s evaluation of the incidents and the corrective action initiated by Qwest.

Sincerely,

Laurel L. Burke Staff Advocate, Policy & Law Technical Regulatory Interconnection Planning Local Networks, Qwest Corporation

cc: Mary Retka, Director, Legal Issues Barry Orrel, Director, 271 Technical Regulatory Paul Williams, Jr, Manager, Real Estate Wolfgang Wiewel, Director, Real Estate

Attachment 1

Eschelon described two locations, Minneapolis Orchard and Denver Main, where they believe Qwest’s current procedures failed to protect Eschelon's equipment effectively resulting in discrimination. Qwest’s evaluation and response to the issues are set forth below.

January-February 2002/Qwest’s Minneapolis Orchard Central Office

? Eschelon’s technician discovered dirt, dust and metal shaving on its collocation equipment ? Qwest had not notified Eschelon of this construction or its potential impact on Eschelon’s collocation space. ? During later visits to the site, Eschelon discovered excessive temperature levels that could also damage its equipment ? Cleaning the equipment required “powering down” the equipment which in turn resulted in customer outages ? Qwest removed all essential cooling to the area and replaced it with a fan ? Eschelon provided a technician to be available for the time period while a vendor was completing the clean-up ? Eschelon believes that at least two other CLEC collocations spaces were adversely affected by the same construction ? Qwest has an obligation to protect the CLEC collocation equipment with at least as much care as it would use to protect its own equipment ? Dust problem continued after the professional cleaning of the equipment. ? The lack of environmental control at this Qwest C.O. disturbs Eschelon. Eschelon does not believe Qwest equipment is subjected to similar environmental conditions. ? Eschelon requires that Qwest take immediate action to have their equipment cleaned again by a professional service. ? Eschelon will be submit their internal cost to Qwest for our clean-up effort ? Dust was also observed on other CLEC’s equipment.

Qwest Response:

Qwest Real Estate completed a root cause investigation of the Orchard environmental event and discovered the following:

? Project documentation for the construction related activity conveyed the proper information about Class 100,000 clean room requirements and the proper environmental temperature control requirements to the supplier. ? An approved MOP was in place identifying the required protection for working equipment ? Contractor provided protection in the form of dust partition walls separating the construction zone from working equipment. ? Contractor provided supplemental cooling equipment with the proper high efficiency filtration for temperature and airborne particulate control. ? Contractor failed to achieve proper room pressurization to prevent particulate migration from the construction zone to working equipment. ? Contractor failed to recognize the lack of room pressurization after the first event and a repeat of the migration occurred within days after the first event. ? The lack of proper pressurization was caused by incorrect placement of temporary floor fans and created improper air-flow and pressurization in the working equipment area. Incorrect fan placement provided a recirculating air-flow which allowed transport of airborne and non-airborne construction debris to the working equipment area.

Qwest Real Estate completed a root cause investigation of the Orchard environmental event and concluded the following:

? Qwest Real Estate concluded the root cause was contractor error, meaning the contractor was provided with appropriate environment specifications to protect equipment but did not perform to those specifications. ? Qwest confirmed that air filtration and temperature control was adequately provided in all areas of the Central Office and that the same high efficiency filtration was provided to the CLEC area during construction activity. ? It was observed that Qwest equipment was also soiled due to particulate migration from construction activities. ? The contractor did provide proper pressurization and sealing procedures in the MOP but failed in the attempt to properly pressurize and seal the working equipment area from the construction zone. ? While it was observed that measures were in place and seemed to be properly applied, the contractor failed to identify the recirculating air flow/ negative pressurization that resulted in subsequent environmental problems a few days later.

Qwest action taken:

? Contractor has been placed on probation. ? Lack of information to the contractor was not an issue, but Qwest will verify going forward that all construction documents contain the Class 100,000 clean room requirement with improved awareness. ? Temporary air flow, pressurization and sealing of construction zones will be added as specific MOP check list items to address and will be standard for all projects requiring construction zone isolation. ? Placement of floor fans and other temporary cooling equipment will be secured to prevent tampering. ? Contractors will be reminded that they are responsible for placement and operation of all temporary air movement as well as pressurization equipment to achieve and maintain environmental conditions. ? The MOP will require contractors to observe particulate accumulation and soiling of equipment surfaces before and periodically during construction activity and will address reporting this information to the Central Office Manager and the Real Estate Project Manager. ? Advance Notification process will identify people to contact for concerns about construction debris, temperature control and other environmental issues. ? To prevent the potential for pressurization and/or construction zone seal failure, only Real Estate contractors/agents will be permitted to provide fans and/or other means of cooling during construction periods.

March 2001/Denver Main Central Office

? Eschelon’s collocation cage was accessed without Eschelon's authorization or knowledge. A Qwest approved contractor removed the pins securing Eschelon’s collocation cage to gain access and Qwest security failed to notify Eschelon of the intrusion. ? A 1-inch copper pipe running across the span of Eschelon’s cage was installed. The location and height of the pipe restricted Eschelon’s ability to expand the existing cable ladder racking for future growth. Additionally, the pipe was believed to be a water pipe, which, if ruptured, had significant potential for causing damage to personnel and property. ? There were two (2) additional ½-inch copper pipes running across the cage at ceiling height. These pipes appeared to be water pipes serving the cooling unit adjacent to Eschelon’s cage. ? There was a significant amount of dust within the cage and on the collocation equipment. Eschelon asked Qwest to thoroughly clean Eschelon’s collocation cage and the surrounding area.

Qwest response:

The Qwest State Interconnect Manager ("SICM") for Colorado arranged a meeting between himself, Eschelon representatives shortly after Eschelon notified Qwest of the problems in March 2001, the Qwest Real Estate Manager and the contractor performing work in the Qwest Central Office at the time Eschelon voiced their concern. The contractor was remodeling space in the west half of the 7th floor of Denver Main to support future equipment placement in that area.

? The meeting was held at Denver Main and the investigation resulted in the contractor being directed to perform several additional tasks: ? Remove copper pipes placed at the 8' level above the Eschelon cage; ? Place piping pans under the existing water pipes to ensure that no dripping water would fall into Eschelon's cage; ? Have Eschelon's space and equipment cleaned; ? Make arrangements with Eschelon PRIOR to entering their space to correct the pipe related issues; ? Take steps to ensure no further unauthorized entry would occur by adhering to the access guidelines and permissions required. ? The Central Office Supervisor indicated that he had not been contacted by the contractor for permission to enter the collocation cage; he also indicated that he had no way to access the cage as he did not have a combination or the key. Qwest action taken:

? The SICM and the Real Estate Manager reiterated to the contractor that they must have specific permission to enter CLEC space using first the number located on the cage. Product Catalog ("PCAT") language has been provided since this occurrence that clarifies Qwest personnel and vendor roles while working in CLEC physical collocations. Additionally, Qwest proposes to add additional clarity in its Technical Publication 77350 regarding contractor requirements relating to CLEC security while working in Qwest buildings. ? The SICM reviewed collocation access requirements with the Central Office supervisor. ? Qwest employees are now encouraged and expected to question any activity that does not comply with security guidelines. ? Eschelon provided the appropriate access information to the Central Office supervisor. ? Following the submittal of this change request, a Design Construction Director and Project Manager physically confirmed that leak protection had been installed and conforms to that for other equipment in Denver Main. ? The temporary applications of filters for all new ductwork grilles, registers and diffusers will be a MOP checklist item. o Qwest will reconfirm the application of temporary filtration on all new ductwork outlets is contained in construction documents.

Finally, upon acceptance of this response by the CLEC community, Qwest Real Estate will issue a document to alert Qwest Real Estate Design Construction Field Directors of all actions contained in this Change Request response. This alert will require confirmation that all construction documents contain the items specified herein.


Open Product/Process CR PC022802-1 Detail

 
Title: Qwest DSL services live until CLEC services installed
CR Number Current Status
Date
Area Impacted Products Impacted

PC022802-1 Completed
1/15/2003
Maintenance/Repair, Provisioning Resale, Unbundled Loop, UNE
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Bliss, Susan
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

When a customer has ancillary products, such as DSL, on one of their lines, it is Eschelon’s understanding that Qwest handles the provisioning of the DSL in a different department, within Qwest, than the normal line provisioning. It has been Eschelon’s experience that the department that handles the DSL does not recognize the FDT on an order and that it does not receive updates to orders as quickly. This will cause the DSL to go down before a scheduled time on a conversion and will also cause the DSL to go down when a supplement to the LSR is issued to change a DD.

Eschelon sent a request on 1/30/02 to convert service for a customer. The conversion to Eschelon Unbundled Loop service was due on 2/9/02. Although the line was equipped with DSL, Eschelon was not aware of the DSL because it was not reflected on the CSR. Eschelon did not find out that the line was equipped with DSL until the conversion had started. It became necessary to push-out the Due Date (DD) for the conversion of this service to a later date, because of the DSL. Eschelon followed a Qwest process by sending a supplement for a DD change and escalating with Qwest. Qwest took down the DSL service. Eschelon opened a repair ticket. Qwest gave a 24-hour commitment. This customer was without their DSL for 24 hours because Qwest had already removed it, not waiting for the conversion to complete. If Qwest had completed the order in the Service Order Processor, the customer could have been without DSL for up to 10 days because the customer would have had to place a new order.

On another LSR to convert both the customer’s voice lines and DSL, with an original DD of 2/20/02, Eschelon issued a supplement for a DD change. Following the Qwest process, Eschelon issued the supplement 2/19/02 at 3:31 PM and escalated with Qwest. The customer’s voice lines remained in service however Qwest took down the DSL service on 2/20/02.

Eschelon asks Qwest to develop, document and train an adhered to process to keep all ancillary services working, as is, until the conversion to the CLEC is complete, accepted and Qwest translations are completed. Eschelon also asks Qwest to include in the process a more ‘real time’ flow of order changes to the departments that provision the DSL services.

Expected Deliverable

A developed, documented, trained and adhered to process to ensure ancillary products, such as DSL, remain working with Qwest until the conversion to a CLEC is complete, the services are working with the CLEC and the conversion is accepted by the CLEC.


Status History

02/28/02 - CR Submitted by Eschelon.

02/28/02 - CR acknowledged by P/P CMP Manager.

03/06/02 - Eschelon contacted via phone and email to establish date and time for clarification call (call to be made 03/07/02 @ 10:00 a.m. MST)

03/07/02 - Clarification call held with Eschelon

03/08/02 - Clarification meeting minutes sent to all participants for review

03/12/02 - Clarification meeting minutes posted to database

03/20/02 - CMP Meeting - Eschelon introduced CR as Walk-on. CR status changed to Clarification. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

04/17/02 - CMP Meeting - Eschelon introduced CR. CR status changed to Evaluation. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

05/08/02 - Issued Qwest draft response dated May 8, 2002 to Eschelon and changed status to presented.

05/15/02 - CMP Meeting - CR status "Presented" unchanged. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

06/18/02 - Issued Revised Qwest response dated June 18 , 2002 to Eschelon

06/19/02 - CMP Meeting -- CR status changed to "Evaluation". Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

07/11/02 - Issued Revised Qwest response dated July 10, 2002 to Eschelon

07/17/02 - CMP Meeting - Meeting minutes posted to this CR's Project Meetings section. CR status "Evaluation" was not changed.

08/16/02 - Issued Revised Qwest response dated August 15, 2002 to Eschelon

08/21/02 - August CMP Meeting: CR was changed to CLEC Test. Minutes on this CR to be posted to the Project Meetings section.

09/09/02 - Posted e-mail from Bonnie Johnson dated 9/3/02

09/19/02 - September CMP Meeting: CR was changed to Development. Minutes on this CR to be posted to the Project Meetings section.

10/10/02 - Issued Revised Qwest response dated October 2 , 2002 to Eschelon

10/16/02 - October CMP Meeting - Minutes on this CR to be posted to the Project Meetings section.

11/13/02 - Issued Revised Qwest response dated November 7, 2002 to Eschelon

11/20/02 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/10/02 - Issued Revised Qwest draft response dated 12/6/02 to Kathy Stitcher at Eschelon

12/11/02 - Revised Draft Response posted to the web site

12/16/02 - Issued Product Notification PROD.12.16.02F.00886.CR_Update_DSL Service

12/18/02 - December CMP Meeting - Qwest presented revised draft response to this CR. CR status changed to CLEC Test. Meeting minutes will be posted to this CR's Project Meetings section.

01/15/03 - January CMP Meeting - CR status changed to Completed. Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

01/15/03 January CMP Meeting Bonnie Johnson with Eschelon suggested that this CR be moved to Completed status. This CR will move to Completed status.

12/18/02 December CMP Meeting Cindy Schwartze presented the Qwest updated response and said that Qwest had adjusted an internal DSL system to recognize normal processing when Frame Due Time is entered on an order. Frame Due Time (FDT) on orders accepted after 12/17/02 will be recognized in the Qwest internal DSL system. The level 1 notification of this Qwest internal system change was sent on Monday, December 16th and the change was implemented on December 17th. Eschelon suggested that this CR be moved to CLEC Test and the CLEC Community agreed.

11/20/02 November CMP Meeting Cindy Schwartze reviewed the Qwest updated response dated 11/7/02 and said Qwest expects to implement changes 12/15/02. The change will adjust an internal Qwest system to recognize and adjust normal processing when the Frame Due Time is populated and will keep Ancillary services, such as DSL up and working until the CLEC services are installed. This CR will remain in Development status.

- 10/16/02 October CMP Meeting Susie Bliss reviewed the revised response dated October 2, 2002 and said that she had not been made aware of any recent outages since the August 30th outage. Bonnie Johnson with Eschelon said that they are working around the problem. Susie said the technical team recommendations will be made by 10/18/02 and the implementation plan will be developed by 10/30/02. The CR will remain in Development status.

- 09/18/02 September CMP Meeting Qwest provided an update on this CR, which was put into CLEC test at the August CMP Meeting. There was one case where DSL went down in error. Qwest is having a technical meeting later this week to discuss work that needs to be done to resolve the problem and will provide a read-out at the October CMP meeting. Because there is further work required on this CR, Qwest and Eschelon agreed to move this CR to Development status.

-- From: Bonnie Johnson@eschelon.com on 9/3/02 4:48p To: "'ljsanch@qwest.com'" , jlnovak@qwest.com cc: "Clauson, Karen L." , "Knudson, Ronda K." , "Johnson, Bonnie J."

Hi Jean and Linda, I would like to provide you an example of DSL being taken down prior to cut. In this case, the customer was so upset Eschelon had to push the cut. If this customer cancels the conversion I will let you know. I am uncertain who will provide this example to Susie Bliss.

Please read below.

The Perfect Blend DD 8/30/02 @11:30 cst. At ~10:30am TNT was notified by Sales Rep the customer's DSL service was down. Because the customer was so upset about the DSL being disconnected the conversion was put on hold with the Qwest tester and the order was sup'd in IMA for new dd. Qwest DSL repair was contacted, An Eschelon tester stayed on line with repair for ~1 hr until service was re-established. The tester verified with the customer their service was up and running. Roughly 2 hours of downtime for the end user.

Thanks,

Bonnie

08/21/02 - August CMP Meeting Minutes: Qwest provided an update on the DSL SWAT team findings and the process improvements that have been put in place. Qwest requests feedback from the CLEC community on DSL orders disconnected in error. Eschelon said that migration orders were going well and that they have people watching conversion orders. This CR will be moved to CLEC test and Eschelon will let Qwest know of problems.

07/17/02 - July CMP Meeting Minutes: Eschelon stated there are multiple issues associated with DSL. There are weekly calls between Eschelon and their Qwest Service Managers to discuss DSL issues. Eschelon requested to keep this CR in Evaluation status. Qwest asked what it would take in Eschelon’s view to take this CR to completed status. Eschelon replied zero orders going down . Qwest stated that trials on DSL orders have been successfully performed. It was agreed to keep the Eschelon and Qwest teams working closely together on DSL issues. CR status remains evaluation.

Alignment/Clarification Meeting Time/Date:10:00 a.m. (MDT) / Thursday 7 March 2002 Place: Conference Call Conference Call-In No.: TEL: 877.564.8688 CODE: 6265401 PC022802-1 "Qwest services live until CLEC services installed"

Attendees: Kathleen Stichter, Eschelon Tina Schiller, Eschelon Jeffery B. Cook, Qwest Michael Keegan, Qwest Deni Toye, Qwest Russ Urevig, Qwest Brett Fesler, Qwest Michael Whitt, Qwest Cindy Buckmaster, Qwest

Introduction of Attendees Attendees introduced.

Review Requested (Description of) Change Description: When a customer has ancillary products, such as DSL, on one of their lines, it is Eschelon’s understanding that Qwest handles the provisioning of the DSL in a different department, within Qwest, than the normal line provisioning. It has been Eschelon’s experience that the department that handles the DSL does not recognize the FDT on an order and that it does not receive updates to orders as quickly. This will cause the DSL to go down before a scheduled time on a conversion and will also cause the DSL to go down when a supplement to the LSR is issued to change a DD. Eschelon sent a request on 1/30/02 to convert service for a customer. The conversion to Eschelon Unbundled Loop service was due on 2/9/02. Although the line was equipped with DSL, Eschelon was not aware of the DSL because it was not reflected on the CSR. Eschelon did not find out that the line was equipped with DSL until the conversion had started. It became necessary to push-out the Due Date (DD) for the conversion of this service to a later date, because of the DSL. Eschelon followed a Qwest process by sending a supplement for a DD change and escalating with Qwest. Qwest took down the DSL service. Eschelon opened a repair ticket. Qwest gave a 24-hour commitment. This customer was without their DSL for 24 hours because Qwest had already removed it, not waiting for the conversion to complete. If Qwest had completed the order in the Service Order Processor, the customer could have been without DSL for up to 10 days because the customer would have had to place a new order. On another LSR to convert both the customer’s voice lines and DSL, with an original DD of 2/20/02, Eschelon issued a supplement for a DD change. Following the Qwest process, Eschelon issued the supplement 2/19/02 at 3:31 PM and escalated with Qwest. The customer’s voice lines remained in service however Qwest took down the DSL service on 2/20/02. Eschelon asks Qwest to develop, document and train an adhered to process to keep all ancillary services working, as is, until the conversion to the CLEC is complete, accepted and Qwest translations are completed. Eschelon also asks Qwest to include in the process a more ‘real time’ flow of order changes to the departments that provision the DSL services.

Confirm Areas & Products Impacted Unbundled Loop UNE (Unbundled Network Elements) Resale

Confirm Right Personnel Cindy Buckmaster indicated her group will take responsibility for coordinating the response to this CR.

Identify/Confirm CLEC’s Expectation A developed, documented, trained and adhered to process to ensure ancillary products, such as DSL, remain working with Qwest until the conversion to a CLEC is complete, the services are working with the CLEC and the conversion is accepted by the CLEC.

Identify any Dependent Systems Change Requests None.

Establish Action Plan (Resolution Time Frame) Initial Qwest Response to Eschelon will be coordinated/delegated by Cindy Buckmaster. She will attempt to have the draft response issued by April 10.


CenturyLink Response

December 6, 2002

DRAFT REVISED RESPONSE For Review by CLEC Community and Discussion at December’s CMP Meeting

Kathy Stichter ILEC Relations Manager Eschelon

SUBJECT:Qwest’s Change Request Revised Response - CR PC022802-1 Qwest DSL services live until CLEC services installed.

On December 16, 2002 Qwest will send out a Level 1 notification to all CLECs regarding the implementation of this CR. The notification will remind CLECs that the internal DSL system change will be implemented on December 17, 2002. This change will adjust the internal system to recognize and adjust normal processing when Frame Due Time is present on the CLEC order. CLEC orders received after December 17, 2002 with a Frame Due Time will then be recognized by this system.

Sincerely,

Susie Bliss Director Process Management Qwest

- November 7, 2002

DRAFT REVISED RESPONSE For Review by CLEC Community and Discussion at November’s CMP Meeting

Kathy Stichter ILEC Relations Manager Eschelon

SUBJECT:Qwest’s Change Request Revised Response - CR PC022802-1 Qwest DSL services live until CLEC services installed.

As Qwest communicated during the October 16, 2002 CMP meeting, we were working with the DSL technical team to develop some options on how we could meet the requests of this CR. We also committed to having an implementation plan developed by 10/30/02.

We have researched our options, developed our implementation plan and are driving towards a solution. Our solution is targeted for implementation no later than December 15, 2002. This solution will adjust an internal DSL system to recognize and adjust normal processing when Frame Due Time is entered on an order. This internal system change will enable the process to keep ancillary services, like DSL, working as is, until the conversion to the CLEC is complete and accepted. This adjustment will also keep ancillary services, like DSL, working as is when supplementing or canceling a disconnect order.

Again, we are committed to identifying and implementing solutions so DSL is kept live during a conversion. We will continue to work with the technical team on this system enhancement through CLEC evaluation to ensure success.

Sincerely,

Susie Bliss Director Process Management Qwest

- October 2, 2002

DRAFT REVISED RESPONSE For Review by CLEC Community and Discussion at October’s CMP Meeting

Kathy Stichter ILEC Relations Manager Eschelon

SUBJECT:Qwest’s Change Request Revised Response - CR PC022802-1 Qwest DSL services live until CLEC services installed.

Qwest agreed at the September 18, 2002 CMP Meeting to provide an updated response to Eschelon’s Change Request PC022802-1, which requested the following:

-Qwest develop a process which keeps ancillary services like DSL working as is, until the conversion to the CLEC is complete and accepted. -Qwest develop a process which keeps ancillary services like DSL working as is, when supplementing or canceling a disconnect order.

First, Qwest understands the importance of keeping the DSL live during conversions and is committed to working with customers when outages occur. For the Retail/Resale to UNE-P orders, our July 11th process improvements are still working and 201 orders were processed successfully from July 26 - September 23.

Secondly, Qwest recently had an outage on August 30th. The SWAT team investigated the outage and it was an unbundled loop order with DSL. A Technical SWAT team was then pulled together. This team is identifying short and long term mechanical solutions and will have options and recommendations by October 18th, 2002. From there Qwest expects to have an implementation plan developed by October 30th.

Finally, we are committed to identifying and implementing solutions so that DSL is kept live during a conversion. We will continue to monitor and implement solutions when/if problems arise.

Sincerely,

Susie Bliss Director Process Management Qwest


Open Product/Process CR PC012902-2 Detail

 
Title: System Outage Notification
CR Number Current Status
Date
Area Impacted Products Impacted

PC012902-2 Completed
4/17/2002
Other: Qwest backend systems
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Ames, Tamara
Director:
CR PM: Thomte, Kit

Description Of Change

Currently when Qwest's backend systems experience problems or outages that affect CLECs, the CLECs are not notified. This can cause considerable time and energy. For example, sometime around 1/14/02, CARS was experiencing a problem so Service Orders would not post. Eschelon can not complete all of its tasks in its systems to bill a customer until the Qwest Service Order posts. Eschelon starts checking following the fifth business day after the DD and continues to check until the Qwest Service Order posts. This is very time consumming.


Status History

01/28/02 - CR Submitted by Eschelon.

01/29/02 - CR acknowledged by P/P CMP Manager.

02/01/02 - CLEC contacted to schedule clarification meeting; telephone message left to schedule meeting.

02/05/02 - Clarification Meeting conducted with submitting CLEC.

02/08/02 - Clarification Meeting minutes transmitted to submitting CLEC & posted in CMP data base.

02/20/02 - CMP Meeting - CLEC community clarification conducted. CR status changed to "Evaluation." Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

03/12/02 - Draft response dated 03/01/02 issued to Eschelon. CR Status changed to "Presented"

03/20/02 - March CMP Meeting: Qwest presented their response, CLECs agreed to change CR Status to "CLEC Test." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

03/21/02 - Formal response dated 03/01/02 posted to CMP database

03/22/02 - Formal response dated 03/01/02 issued to CLECs. Notification CMPR.03.22.02.F.01240.CR_Responses

04/09/02 - Update e-mail from Eschelon on System Outage Notification Process

04/09/02 - Reply e-mail from Qwest with modification proposal

04/09/02 - Return e-mail from Eschelon acknowledging modification

04/17/02 - April CMP Meeting: CLECs agreed to close CR. Status changed to "Completed." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site


Project Meetings

04/09/02 - Return e-mail from Eschelon acknowledging modification

Subject: FW: PC012902-2 System Outage Notification Date: Tue, 9 Apr 2002 14:18:53 -0500 From: "Stichter, Kathleen L." To: tmead@qwest.com CC: "Johnson, Bonnie J."

Todd, If Qwest does not send an Initial Event Notification when it resolves the issue within an hour then I do believe that the Closure Notification should indicate that it is initial and closure. It would decrease confusion. Thanks for the proposal.

Kathy Stichter ILEC Relations Manager Eschelon Telecom, Inc 612-436-6022 klstichter@eschelon.com

--

04/09/02 - Reply e-mail from Qwest with modification proposal

Subject: Re: PC012902-2 System Outage Notification Date: Tue, 09 Apr 2002 11:42:43 -0600 From: Todd Mead Organization: Qwest Communications International, Inc. To: "Stichter, Kathleen L." Kathy, I have talked to the people here about this example and they told me the following:

"If an event occurs that is settled rather quickly (within 1 hour), we only send out a Closure Notification since the event has passed. No Initial Notification is required. To decrease confusion, I believe we could accommodate this request by simply checking both the Initial and Closure boxes, and putting the date and time in the Closure Box. But the name of the document and subject line will read Closure only."

Could you let me know if what they propose above will help you. If it does, they can implement immediately.

Thanks

Todd

--

04/09/02 - Update e-mail from Eschelon on System Outage Notification Process

Subject: RE: PC012902-2 System Outage Notification Date: Tue, 9 Apr 2002 10:08:56 -0500 From: "Stichter, Kathleen L." To: tmead@qwest.com

Todd, I am monitoring the process. Qwest sent one Event Notification, which dealt with SOPAD, it was a closure. We never did get the initial. I do not know why.

Kathy Stichter ILEC Relations Manager Eschelon Telecom, Inc 612-436-6022 klstichter@eschelon.com

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02/05/02 - Clarification Meeting conducted with submitting CLEC.

11:30 a.m. (MDT) / Tuesday 05th February 2002 Conference Call TEL: 877.554.8688 CODE: 3269208 PC012902-2 "System Outage Notification"

Attendees: Kathleen Stichter, Eschelon Ken R. Olson, Qwest Stephen Sheahan, Qwest Monica Manning, Qwest Peter Wirth, Qwest

Introduction of Attendees: Attendees introduced.

Review Requested (Description of) Change: Currently when Qwest's backend systems experience problems or outages that affect CLECs, the CLECs are not notified. This can cause considerable time and energy. For example, sometime around 1/14/02, CARS was experiencing a problem so Service Orders would not post. Eschelon can not complete all of its tasks in its systems to bill a customer until the Qwest Service Order posts. Eschelon starts checking following the fifth business day after the DD and continues to check until the Qwest Service Order posts. This is very time consumming. Requested Deliverables: A process to notify CLECs when a Qwest backend system experiences problems or outages that directly or indirectly affect CLECs.

Kathy Stichter, Eschelon reviewed the CR description. Backend systems identified relating to the CR include CARS and BOSS, with potential others. Ken Olson addressed the Eschelon CARS example. He did provide notification to Eschelon, via e-mail of the outage (01/14/02). Qwest issues notifications to the CLECs for front-end systems when outages occur.

Confirm Areas & Products Impacted: Appropriate products & areas identified in CR.

Confirm Right Personnel Involved: Qwest & Eschelon confirmed appropriate personnel were in attendance; however the Qwest Systems representative did not attend.

Identify/Confirm CLEC’s Expectation: Qwest to evaluate CR. During the February 2002 Monthly P&P CMP Meeting, Qwest will either solicit input from CLEC community & provide potential solutions to the CR; or provide an expedited response to the CR.


CenturyLink Response

March 1, 2002

Ms. Kathy Stichter ILEC Relations Manager Eschelon Telecom, Inc.

SUBJECT: Qwest’s Change Request Response - CR #PC 012902-2 System Outage Notification

REQUEST: Currently when Qwest's backend systems experience problems or outages that affect CLECs, the CLECs are not notified. This can cause considerable time and energy. For example, sometime around 1/14/02, CARS was experiencing a problem so Service Orders would not post. Eschelon can not complete all of its tasks in its systems to bill a customer until the Qwest Service Order posts. Eschelon starts checking following the fifth business day after the DD and continues to check until the Qwest Service Order posts. This is very time consuming.

RESPONSE: Qwest has developed a new Unplanned Event Notification process that is based upon the newly approved Change Management Process (CMP) guidelines (See Production Support, Section 11.0). This process was launched on February 1, 2002.

Qwest is also completing the Unplanned Event Notification process document that will be available on the Wholesale Web site.

Qwest will continue to send Notifications that specifically correlate to the CMP approved systems.

Sincerely,

Tamara Ames IT 271 CLEC NOTIFICATION TEAM Qwest

cc: Barbara Spence, Director Information Technology, Qwest


Open Product/Process CR PC012902-1 Detail

 
Title: Deaveraged Rate Zones by Address
CR Number Current Status
Date
Area Impacted Products Impacted

PC012902-1 Completed
5/15/2002
Pre-Ordering, Ordering, Billing, Provisioning Unbundled Loop, Une
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Buckmaster, Cindy
Director:
CR PM: Thomte, Kit

Description Of Change

Loop rates are based upon geographically deaveraged rates, so the rates vary by zone. Eschelon needs to know what rate Qwest will bill for each Unbundled Loop we order. Qwest must have a means of determining the rate zone per address in order to bill the CLEC correctly. Eschelon asks Qwest for the documentation that allows Eschelon to determine where our existing lines and our future lines fall within the zones that have been established for geographically deaveraged loop rates. Such information should be posted on Qwest's Wholesale web page.


Status History

01/28/02 - CR Submitted by Eschelon.

01/29/02 - CR acknowledged by P/P CMP Manager.

02/01/02 - CLEC contacted to schedule clarification meeting; telephone message left to schedule meeting.

02/05/02 - Clarification Meeting conducted with submitting CLEC.

02/08/02 - Clarification Meeting minutes transmitted to submitting CLEC & posted in CMP data base.

02/20/02 - CMP Meeting - CLEC community clarification conducted. CR status changed to "Evaluation." Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

03/12/02 - Draft response dated 03/01/02 issued to Eschelon. CR Status changed to "Presented"

03/12/02 - CLEC Notification PROD.03.12.02.F.00733.UNE_C_&_P_Deaverage with PCAT updates concerning Geographic Deaveraging

03/20/02 - March CMP Meeting: Qwest presented their response, CLECs agreed to change CR Status to "CLEC Test." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

03/21/02 - Formal response dated 03/01/02 posted to CMP database

03/22/02 - Formal response dated 03/01/02 issued to CLECs. Notification CMPR.03.22.02.F.01240.CR_Responses

04/17/02 - April CMP Meeting: CLECs requested to keep CR open and provide a status update at May CMP meeting. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

05/15/02 - May CMP Meeting: Eschelon agreed that the CR could be closed.


Project Meetings

03/12/02 - CLEC Notification PROD.03.12.02.F.00733.UNEC&PDeaverage with PCAT updates concerning Geographic Deaveraging

Announcement Date: March 12, 2002 Effective Date: April 11, 2002 Document Number: PROD.03.12.02.F.00733.UNEC&PDeaverage Notification Category: Product Notification Target Audience: CLECs, Resellers Subject: Updates for UNE-C, UNE-P ISDN BRI and Geographic Deaveraging Beginning April 11, 2002, Qwest will issue updates to its Wholesale Product Catalog that includes new/revised documentation for UNE-C, UNE-P ISDN BRI and Geographic Deaveraging.

The UNE-C PCAT will be modified to include links to the new Geographic Deaveraging PCAT and the CLEC Requested UNE Construction (CRUNEC) process. The UNE-P ISDN BRI PCAT will be updated to include USOCS UGUST, UGUFM on the downloadable USOCs table. The Geographic Deaveraging PCAT will provide general information on Geographic Deaveraging pricing for Unbundled Local Loop, Unbundled Network Elements-Platform (UNE-P) and Unbundled Network Element Combination (UNE-C) with state specific effective dates. Geographic Deaveraging zones may be applied based on distance from the Central Office (CO) or by the wire center.

You will find a summary of these updates on the attached Web Change Notification Form. Actual updates are found on the Qwest Wholesale Web site at these URLs:

UNE-C: http://www.qwest.com/wholesale/pcat/unec.html UNE-P ISDN BRI: http://www.qwest.com/wholesale/pcat/unepisdnbri.html Geographic Deaveraging: http://www.qwest.com/wholesale/clecs/geodeavg.html

You are encouraged to provide feedback to this notice through our web site. We provide an easy to use feedback form at http://www.qwest.com/wholesale/feedback.html. A Qwest representative will contact you shortly to discuss your suggestion.

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02/05/02 - Clarification Meeting conducted with submitting CLEC.

11:00 a.m. (MDT) / Tuesday 05th February 2002 Conference Call TEL: 877.554.8688 CODE: 3269208 PC012902-1 "Deaveraged Rate Zones by Address"

Kathleen Stichter, Eschelon Bernadette Derlein, Qwest Stephen Sheahan, Qwest Craig Saunders, Qwest Peter Wirth, Qwest

1.0 Introduction of Attendees Attendees introduced.

2.0 Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Description: Loop rates are based upon geographically deaveraged rates, so the rates vary by zone. Eschelon needs to know what rate Qwest will bill for each Unbundled Loop we order. Qwest must have a means of determining the rate zone per address in ordeer to bill the CLEC correctly. Eschelon asks Qwest for the documentation that allows Eschelon to determine where our existing lines and our future lines fall within the zones that have been established for geographically deaveraged loop rates. Such information should be posted on Qwest's Wholesale web page. Requested Deliverables: Easily accessable, user friendly, current and accurate documentation used for billing deaveraged loop rates. This could be by address, wire center, CLLI, so long as it is clear which lines fall within which zones.

Kathy Stichter, Eschelon reviewed the CR description. Bernadette Derlein, qwest indicated that the requested information for AZ, CO, WY & MT may be extracted from IMA when using the "Address Validation" capability, and referencing the RTD fields for the appropriate zone. A cross-reference can then be made to the applicable SGAT, Exhibit A for rates. Spread sheets should have been distributed to the CLECs for the states in the Qwest region containing similar information (Qwest to verify). CLECs will need to otain zone maps from the commission to determine rates using the spreadsheets.

Issues identified in the meeting include: (1) spreadsheet availability [Qwest item] ; (2) zone map availability from commission [Qwest item]; and (3) availability of a web based system for Loop rates [Qwest item].

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} Appropriate products & areas identified in CR.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Qwest & Eshelon confirmed appropriate personnel were in attendance.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measureable terms ie provide a documented process, change a process to include training etc)} Qwest to evaluate CR. During the February 2002 Monthly P&P CMP Meeting, Qwest will either solicit input from CLEC community & provide potential solutions to the CR; or provide an expedited response to the CR.


CenturyLink Response

March 1, 2002

Kathy Stichter ILEC Relations Manager Eschelon Telecom, Inc

SUBJECT: Qwest’s Change Request Response - CR # PC 012902-1: Deaveraged Rate Zones by Address

This letter is in response to your Change Request PC012902-1, requesting documentation to allow CLECs to determine where their existing and future lines fall within the zones that have been established for geographically deaveraged loop rates.

For the states of AZ, CO, WY and MT the zones are distance sensitive from the Central Office to end user premis. CLECs currently can input an end user address through IMA using “address validation”. The RTZ field will populate with the appropriate zone in relation to the address. The CLEC would then cross-reference the zone with the applicable rate either in their contract or SGAT Exhibit A.

For the remaining states (MN, IA, SD, ND, NE, OR, WA, NM and UT) the zones are based on wire center. As Cost Dockets were completed by state the CLEC community received CLEC Notifications in regards to the De-Averaging. In the CLEC Notification, a spreadsheet provided wire center in relation to the zone. The CLEC would then be able to cross-reference the zone with the applicable rate in their contract or SGAT. CLEC Notifications are provided with this response.

In response to this CR, Qwest will provide the CLECs with a spreadsheet that will reflect the zones based on wire center for MN, IA, SD, ND, NE, OR, WA, NM and UT. This information will be located on the Qwest Wholesale Website in April. The URL and the date to be published will be provided to the CLEC Community by March 25, 2002

Zone maps for distance sensitive states AZ, CO, MT, WY are available at the state commissions office. As these maps are not electronic, Qwest will not publish them on the Wholesale website at this time.

Sincerely,

Bernadette Derlein Unbundled Loop Product Manger Qwest

Cc: Cindy Buckmaster, Manager Product Management, Qwest Debra S Smith, Product Manager, Qwest Bill Campbell, Director Product Management, Qwest Todd Mead, Change Management, Qwest


Open Product/Process CR 5527214 Detail

 
Title: Legacy CR Utilization of Stranded DS0 Terminations
CR Number Current Status
Date
Area Impacted Products Impacted

5527214 Withdrawn
5/11/2001
Ordering, Provisioning
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner:
Director:
CR PM:

Description Of Change

Qwest should develop a process to allow CLECs to reclaim stranded DS0 terminations. Qwest previously permitted CLECs to purchase DSO terminations in less than 100 block increments. Under this policy, Qwest would nonetheless deliver an entire 100 pair cable block to the CLEC and terminate all 100 pair at the ICDF. However, only the pairs ordered by CLECs were activated in TIRKS. Qwest then changed its policy and began requiring CLECs to purchase terminations only in 100 block increments. Once this policy was in effect, Qwest did not continue numbering terminations in sequence. For instance, at one site, Eshelon had ordered 549 terminations under the initial policy. Qwest provided Eschelon with 600 terminations but only activated 549 of the terminations. When Eschelon ordered additional terminations to that site after the policy change, Qwest provided Eschelon with a separate 100 termination block beginning at 600, thereby stranding the terminations between 550 and 600 that had already been wired.

Eschelon asked that Qwest provide a process by which CLECs can order, pay for and use the stranded DS0 terminations that were delivered and terminated by Qwest but not ordered by the CLEC. Qwest (through Keith Rice) informed Eschelon that Qwest has no product offering to manage the process of filling in the DS0 termination holes and will not be developing one in the foreseeable future.

Qwest should provide CLECs with a process to use the unused but connected DS0 terminations to ensure efficient use of the network. The connections are wired and ready to go. Qwest should accept payment for each unutilized pair and activate each pair in TIRKS. This would provide Qwest with additional revenue and enable the efficient use of both Qwest and CLEC networks. Please modify Qwest’s processes to enable CLECs to purchase and use the unused DS0 terminations that resulted from Qwest’s decision to fill orders out of sequence when it changed its policy to require CLECs to purchase DS0 terminations in 100 block increments. Please identify any rate Qwest would propose to charge


Status History

5/01/01 - CR received from Jessica Johnson of Eschelon

5/01/01 - Status changed to New - To be Validated

5/01/01 - Status changed to New - To be Evaluated

5/01/01 - Updated CR sent to Jessica Johnson, Lynne Powers, Karen Clauson and Janet Houston

5/11/01 - Status changed to Canceled - Co-Provider

3/28/02 - Posted this legacy CR to CMP Database. Completed CR Form had been posted to the Web as part of the "Change Request (CR) Archive - Change Requests statused as Inactive before August 1, 2001"


Project Meetings


Open Product/Process CR 5527234 Detail

 
Title: Legacy CR Change the due date on the service order, instead of using a "hard hold"
CR Number Current Status
Date
Area Impacted Products Impacted

5527234 Completed
6/20/2001
Ordering Unbundled Loop, related items such as voice mail and DSL
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner:
Director:
CR PM:

Description Of Change

When Qwest stops a cutover on the day of cut due to a Qwest issue, Qwest should change the actual due date in the Service Order Processor (SOP) on both the disconnect and the "n" order for loop installations, using the appropriate jeopardy code (indicating the reason the original due date is not met). If a cutover is stopped on the day of cut due to a CLEC issue, the CLEC submits a supplemental order, which causes the due date to be changed on the service orders. When a cutover is stopped on the day of cut due to a Qwest issue, however, Qwest testers currently use what they refer to as a "hard hold" on the service order that is disconnecting the customer’s existing service. This holds the line translations from completing through RCMAC. Nonetheless, many times, the service order in the SOP completes, and downstream departments complete their work. Because Qwest uses a "hard hold," the actual due date the cutover is performed is changed but the related service orders do not reflect the new date. It is unclear whether there is a jeopardy notice on the new connect installing the loop has a due date change in the SOP and reflects the appropriate jeopardy code or if the order appears to be completing on the original due date with no jeopardy code assigned to it.

This process creates customer-affecting problems. In many cases, the "hard hold" fails to work as intended, and the customer loses service completely. Because the service order has completed, it may be difficult to obtain the same facilities and OE to rebuild the customer in a timely manner. Even if the "hard hold" works as intended, the customer’s service can still be affected. For example, when a "hard hold" is used for an order for a customer with voice mail, the forwarding features are still functioning (because the "hard hold" holds the line translations from completing through RCMAC) but the mailbox portion of the customer’s voice mail is taken down (because the due date on the service order was not changed to reflect the hold). Qwest takes down the mailbox because, without a due date change, one group at Qwest does not know that the other has changed the date for completion of the order. The calls are forwarded, but there is no mailbox to receive them. This problem is not limited to voice mail and affects other areas, such as DSL. Qwest should stop using the "hard hold" and instead change the due date on the service order itself.


Status History

4/27/01 - CR received from Karen Clauson of Eschelon

5/01/01 - Status changed to New - To be Validated

5/01/01 - Status changed to New - To be Evaluated

5/01/01 - Updated CR sent to Jessica Johnson, Lynne Powers, Karen Clauson and Janet Houston

5/16/01 - Status changed to Reviewed - Under consideration

6/20/01 - CR status changed to Complete - Process Deployed as per Lynne Powers or Eschelon

3/28/02 - Posted this legacy CR to CMP Database. Completed CR Form had been posted to the Web as part of the "Change Request (CR) Archive - Change Requests statused as Inactive before August 1, 2001"


Project Meetings


Open Product/Process CR 5579338 Detail

 
Title: Legacy CR Access to DSL pre qualification information
CR Number Current Status
Date
Area Impacted Products Impacted

5579338 Withdrawn
7/12/2001
Ordering Resale, Unbundled Loop, UNE-P
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner:
Director:
CR PM:

Description Of Change

Please improve CLEC access to the DSL pre-qualification information to reduce the number of error messages and give CLEC at least the same access to the same information as Qwest receives. Often, when Eschelon uses Qwest’s IMA-GUI loop pre-qualification tool, the result is indeterminate. Instead of a yes or no response, Eschelon receives an error message. For example, the error message may indicate that the address and telephone number did not match. When Eschelon then calls Qwest, Qwest is able to run the request and receive a yes or no answer, even though Qwest is using the same address and telephone information used by Eschelon. In some cases, the customer already has DSL (and wants to upgrade speed, etc.). Even though the customer already has DSL, Eschelon cannot get pre-qualification information using IMA-GUI. But, when Eschelon calls Qwest, Qwest is able to retrieve the information using its internal systems. Eschelon has been working with Qwest to try to resolve this issue. Recently, Qwest has indicated that the issue may be addressed in Release 9.0, which will not occur until the end of the year. That is too long to wait. Also, no documentation has been provided as to what changes will be made during Release 9.0 and whether any changes will fully address the issue. Qwest should improve the process for notifying CLECs of such changes and providing documentation to them, as well as shorten the time needed to make necessary changes.


Status History

6/06/01 - CR received from Lynne Powers of Eschelon

6/06/01 - Status changed to New - to be evaluated

6/06/01 - Updated CR sent to Lynne Powers of Eschelon and Janet Houston

7/12/01 - Status changed to Cancelled - Co-Provider

3/28/02 - Posted this legacy CR to CMP Database. Completed CR Form had been posted to the Web as part of the "Change Request (CR) Archive - Change Requests statused as Inactive before August 1, 2001"


Project Meetings


Open Product/Process CR 5263671 Detail

 
Title: Legacy CR Facilities and Processes when Qwest uses IDLC
CR Number Current Status
Date
Area Impacted Products Impacted

5263671 Completed
4/18/2001
Ordering
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner:
Director:
CR PM:

Description Of Change

Modify Qwest’s processes to provide facilities, despite Qwest’s use of integrated pair gain (IDLC). Currently, Qwest’s IRRG states:

Unbundled Loops can only be established on copper or Universal Digital Loop Carrier (UDLC). Integrated Digital Loop Carrier (IDLC) cannot be used for an Unbundled Loop service at this time. Qwest has chosen not to unbundle IDLC because of the expense of providing equipment to "groom" the DS0 lines. During the Unbundled Loop facility assignment, an attempt will be made to Line and Station Transfer (LST) the IDLC loop to UDLC or copper. If there are no facilities available to complete the LST, the Co-Provider will be notified that the order has been placed into a held status. (Emphasis added.)

The FCC has said that "[t]he BOC must provide competitors with access to unbundled loops regardless of whether the BOC uses [IDLC] technology . . ." (BellSouth Second Louisiana 271 Order, 187 and SBC Texas 271 Order, 248.) The processes outlined in Qwest’s IRRG are not consistent with this requirement. In some cases, Qwest does not identify that IDLC is being used until the day of cut. When the discovery is made, Qwest may not dispatch a technician. Instead, Qwest delays the order or places it in held status. Qwest does so for all lines, even though facilities may be available for some of the lines. Please modify Qwest’s processes to be consistent with the FCC’s order. Also, please modify Qwest’s processes to identify earlier (before the day of cut) that IDLC is being used. If use of IDLC is not identified until the day of cut, ensure that a technician is available to resolve the issue that day (rather than delaying the order). If Qwest indicates that it does not have facilities for all lines, change Qwest’s processes so that the lines for which facilities are available may be installed (when the line configuration supports


Status History

12/01/00 New - To be validated. Date Submitted field changed from 11/29/00 to 12/01/00 to match email receipt date.

12/04/00 Status changed to New - To be reviewed. Sent Updated CR to Lynne Powers

12/06/00 Status changed to Reviewed - Under Consideration

4/18/01 - Status changed to Complete

4/23/01 - Updated CR sent to Lynne Powers, Jessica Johnson, Karen Clauson of Eschelon.

3/28/02 - Posted this legacy CR to CMP Database. Completed CR Form had been posted to the Web as part of the "Change Request (CR) Archive - Change Requests statused as Inactive before August 1, 2001"


Project Meetings


Open Product/Process CR 5322587 Detail

 
Title: Legacy CR Process for Ordering and Use of Universal Digital Channels (UDC).
CR Number Current Status
Date
Area Impacted Products Impacted

5322587 Completed
4/18/2001
Ordering Centrex, Resale, Unbundled Loop, UNE-P
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner:
Director:
CR PM:

Description Of Change

Develop and distribute methods and procedures for ordering and use of Universal Digital Channels (UDC). Identify when loops meet the qualifications for use of UDCs and under what circumstances UDCs can be used. For example, identify when UDC is a suitable alternative for serving a customer whose order would otherwise go into held status because facilities are unavailable or the customer is currently being served using Integrated Digital Loop Carrier (IDLC). Develop and distribute methods and procedures for ensuring that the quality of service will not be adversely affected due to use of UDC and, if quality is adversely affected, restoring the customer's quality of service. If costs are associated with UDC, identify those costs and circumstances when they apply.


Status History

1/02/01 - New-To be validated

1/04/01 - Status changed to New-To be Reviewed and send to Lynne Powers and Judy Rixe

1/10/01 - Status changed to Reviewed - Under Consideration and updated CR sent to Lynne Powers and Judy Rixe

4/18/01 - Status changed to Complete as per the April CICMP Industry Forum

4/23/01 - Updated CR sent to Lynne Powers, Karen Clauson , Jessica Johnson of Eschelon

3/28/02 - Posted this legacy CR to CMP Database. Completed CR Form had been posted to the Web as part of the "Change Request (CR) Archive - Change Requests statused as Inactive before August 1, 2001"


Project Meetings


Open Product/Process CR PC050902-1 Detail

 
Title: Offer expedites on Qwest resale DSL feature order
CR Number Current Status
Date
Area Impacted Products Impacted

PC050902-1 Completed
8/21/2002
Pre-Ordering, Ordering, Provisioning
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Schwartze, Cindy
Director:
CR PM: Thomte, Kit

Description Of Change

Currently Qwest policy does not allow a CLEC to expedite any request to add the DSL feature whether the DSL was disconnected in error by Qwest or the CLEC has a need to expedite the request due to customer needs. DSL is a specific service and not related to the dial tone itself. As a result, in some cases Eschelon customers are negativly impacted without the use of DSL even if they have dial tone. Eschelon requests that Qwest develop, train and adhere to a process to expedite the DSL feature order for Qwest resale DSL.


Status History

05/08/02 - CR Submitted by Eschelon

05/09/02 - CR acknowledged by P/P CMP Manager

05/10/02 - CR posted to Web

05/14/02 - Established Clarification meeting with Eschelon

05/15/02 - CMP Meeting: Eschelon introduced their CR.

05/20/02 - Held Clarification meeting with Eschelon.

05/24/02 - Distributed minutes from Clarification call to Eschelon

06/19/02 - June CMP Meeting: CR status changed to "Presented" Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

07/10/02 - Sent Qwest Initial Response to Eschelon

07-17-02 - July CMP Meeting: CR status changed to "CLEC Test". Meeting minutes posted to this CR's Project Meetings section

08/15/02 - Sent Qwest Revised Response to Eschelon

08-21-02 - August CMP Meeting: CR status changed to "Completed" Meeting minutes posted to this CR's Project Meetings section and the CMP Web site.


Project Meetings

August CMP Monthly Meeting Minutes

Qwest (Dinwiddie) indicated that the revised response discussed in the July Product and Process CMP meeting had been provided to the CLEC community. Eschelon (Johnson) indicated that the CR could move to “Completed” status

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07/17/02 - July CMP Meeting Minutes: Qwest (Dinwiddie) provided an overview of the CR and the initial response that had been provided to Eschelon. Qwest indicated that it does not have a process available to install Retail DSL in a shorter than standard interval. Thus, no expedited process exists for the installation new Resale DSL. However, Qwest recently reduced the interval for both Retail and Resale DSL from 10 days to 5 days. Eschelon (Johnson) indicated that shortening the interval does help and is beneficial. Also inquired if Service Managers could assist with future expedites? Qwest indicated that the Service team had provided assistance in the past and would continue to do so. Qwest (Bliss) iterated that an MCC has been produced to assist SDCs in expediting the restoration of Resale DSL service that was disconnected in error by Qwest. She also indicated that a Swat Team has been established and meets daily to review DSL issues. Eschelon (Johnson) indicated its agreement with Qwest’s approach and requested that Qwest’s initial written response be modified to reflect (a) the process improvements for the expedited reconnection of Resale DSL disconnected in error by Qwest, and (b) the intent of the Service team to remain responsive to expedited installation requests for Resale DSL. Qwest (Dinwiddie) agreed to modify the initial written response. The CR will move to "CLEC Test" and Qwest will provide the revised written response in advance of the August CMP meeting.

Time/Date: 3:00 p.m. (MDT) May 20, 2002 Place: Conference Call-In No.: 1-877 550-868 1885858 CR No.:CLEC CR 050902-1 Change Request Clarification Meeting

Attendees Attended Conference Call Name/Company: Bonnie Johnson Eschelon Senior Manager ILEC Relations Neil Houston Qwest Network Regulatory Cindy Schwartze Qwest Wholesale Process Bob Shaheen Qwest Retail DSL Product Manager Kit Thomte Qwest Wholesale CRPM Linda Miles Qwest Wholesale Process

Meeting Agenda: Offer expedites on Qwest resale DSL feature order Action 1. Introduction of Attendees CRPM introduced all attendees and reviewed the agenda 2.0 Review Requested (Description of) Change The attendees reviewed the Change Request that was submitted by Eschelon.

3.0 Confirm Areas & Products Impacted The attendees agreed that the impacted products would be DSL resale as indicated on the CR.

4.0 Confirm Right Personnel Involved The attendees also agreed that the appropriate subject matter experts were on the call.

5.0 Identify/Confirm CLEC’s Expectation On occasion a DSL Resale is disconnected in error. This could occur for various reasons, such as the DSL being associated with the wrong line on the Customer Service Record. Or the customer makes a change and for some reason Qwest can change the voice order but the system associated with the DSL order aren’t updated in time. Also when requests are submitted to Qwest if the end customer or Eschelon is wanting the service earlier than the ten day interval, no process exists within Qwest to achieve an earlier due date.

The end result for Eschelon is they receive the same answer when they attempt to expedite a due date or disconnect in error.

Eschelons objective is to have a process that will allow CLECs to have an option to expedite when either a disconnect in error occurs or when the customer requires a shorter interval.

Bob Shaheen asked for a clarification regarding moves, is this a Qwest to Eschelon move? It would be the Eschelon customer moving to a new location.

Cindy Schwartze inquired about the types of requests that might be made.. Conversion Qwest to CLEC Disconnect in error New connect

6.0 Identify any Dependent Systems Change Requests Neil indicated that the closure of the other DSL CR 022802-1 might resolve at least one aspect of this CR. Bonnie indicated that a process still would need to be available for those times when a expedite is required.

7.0 Establish Action Plan (Resolution Time Frame) Qwest is prepared to review this CR in a collaborative clarification at the June Product and Process monthly meeting.


CenturyLink Response

August 14th, 2002

Bonnie Johnson Sr. Manager, ILEC Relations Eschelon Telecom 730 Second Avenue South, Suite 1200 Minneapolis, MN 55402

SUBJECT:Qwest’s Change Request Response - CR #PC050902-1 Offer Expedites on Qwest Resale DSL Feature Order

Eschelon’s Change Request petitioned for the following: *Currently Qwest policy does not allow a CLEC to expedite any request to add the DSL feature whether the DSL was disconnected in error by Qwest or the CLEC has a need to expedite the request due to customer needs. DSL is a specific service and not related to the dial tone itself. As a result, in some cases Eschelon customers are negativly impacted without the use of DSL even if they have dial tone. Eschelon requests that Qwest develop, train and adhere to a process to expedite the DSL feature order for Qwest resale DSL. *Qwest will develop and implement an expedite process for the feature order of Qwest resale DSL.

Qwest has documented and communicated several internal process improvements around the restoral of Resold DSL service when disconnected by Qwest in error. This was communicated to impacted Qwest organizations via a Multi-Channel Communicator (MCC) dated 07/16/02, Call Handling Procedures Supporting Resale/UNE P DSL Orders, issued by Michelle Thacker. CLECs should continue to utilize the Expedites & Escalations Overview business procedures document. This document can be accessed at the following link: http://www.qwest.com/wholesale/clecs/exescover.html

Additionally, effective June 21st, 2002, Qwest significantly reduced both the Retail and Resale Qwest DSL standard provisioning interval from 10 business days to 5 business days. This improvement is outlined in announcement PROS.06.26.02.F.00487.SIGUpdateDSL dated May 31st, 2002. The archived announcement can be accessed at the following link: http://www.qwest.com/wholesale/notices/cnla/bysubcat/1,1834,16,00.html

Qwest does not have a process available to install new Retail or Resale Qwest DSL within a shorter than standard interval; however, Qwest’s Wholesale Sales and Service Organization remains available to receive escalation requests on an individual case basis.

The following references are provided for your review:

Qwest Resale General Product Catalog, Located at the following link: http://www.qwest.com/wholesale/pcat/resalegeneral.html *Qwest's retail telecommunications products and services are available for resale by Competitive Local Exchange Carriers (CLECs) to their end-users. The term 'Resale' generally refers to the 'resale' of fully finished Residential, Business, Private Line and Integrated Services Digital Network (ISDN) services. This means that Qwest provides the end-to-end service all the way to the end-user, with your brand instead of Qwest

Template SGAT/Contract Language at 6.2.3: Qwest shall provide to CLEC Telecommunications Services for resale that are at least equal in quality and in substantially the same time and manner that Qwest provides these services to itself, its subsidiaries, its affiliates, other Resellers, and Qwest's retail end users. Qwest shall also provide resold services to CLEC in accordance with the Commission's retail service quality requirements, if any.

Qwest Business Procesures Product Catalog (PCAT) Expedites & Escalations Overview, Located at the following link: http://www.qwest.com/wholesale/clecs/exescover.html * If your service request was completed within the past 72 business hours, contact Qwest's Interconnect Service Center (ISC) at 888-796-9087 for assistance; otherwise utilize your normal trouble-reporting channel into the appropriate Center for repair call handling, trouble report creation, status updates, and escalation management. *Expedites: Requests for an improved standard interval, Individual Case Basis (ICB) or committed to ICB (Ready for Service (RFS) + Interval) date Escalations: Requests for status or intervention around a missed date. *Expedites - While Qwest standard intervals, defined in our Service Interval Guide (SIG) identify reasonable intervals, at times a valid expedite situation can occur such as: * Fire * Flood * National emergency * Conditions where your end-user is completely out of service (primary line) * Disconnect in error by Qwest * Requested service necessary for your end-user's grand opening event delayed for facilities or equipment reasons with a future RFS date * Delayed orders with a future RFS date that meet any of the above described conditions. * If an expedite situation occurs, call the assigned Qwest Wholesale Center Representative responsible for processing your service requests. All expedite requests require approval to ensure resource availability. The Qwest Wholesale Center Representative will coordinate with you and Qwest internal organizations to resolve. Expedite charges may apply. If your expedite request is denied, denial reason(s) will be provided. * The PCAT indicates that expedite/escalation requests can be directed to the Wholesale LSR Service Center at 888-796-9087.

Sincerely,

Cliff Dinwiddie Sr. Manager, Product Strategy & Regulatory Support Qwest

July 10th, 2002

Bonnie Johnson Sr. Manager, ILEC Relations Eschelon Telecom 730 Second Avenue South, Suite 1200 Minneapolis, MN 55402

SUBJECT:Qwest’s Change Request Response - CR #PC050902-1 Offer Expedites on Qwest Resale DSL Feature Order

Eschelon’s Change Request petitioned for the following: *Currently Qwest policy does not allow a CLEC to expedite any request to add the DSL feature whether the DSL was disconnected in error by Qwest or the CLEC has a need to expedite the request due to customer needs. DSL is a specific service and not related to the dial tone itself. As a result, in some cases Eschelon customers are negativly impacted without the use of DSL even if they have dial tone. Eschelon requests that Qwest develop, train and adhere to a process to expedite the DSL feature order for Qwest resale DSL. *Qwest will develop and implement an expedite process for the feature order of Qwest resale DSL.

Qwest has formed a DSL Swat team that is meeting daily to investigate root causes of DSL issues raised by customers. Currently, Qwest is reviewing and trialing some improved internal escalation processes around the restoral of Resold DSL service when disconnected by Qwest in error. As we learn more, Qwest will be advising the CLECs of any changes utilizing the existing CMP processes.

Effective June 21st, 2002, Qwest significantly reduced both the Retail and Resale Qwest DSL standard provisioning interval from 10 business days to 5 business days. This improvement is outlined in announcement PROS.06.26.02.F.00487.SIGUpdateDSL dated May 31st, 2002. The archived announcement can be accessed at the following link: http://www.qwest.com/wholesale/notices/cnla/bysubcat/1,1834,16,00.html Qwest does not have a process available to install new Retail or Resale Qwest DSL within a shorter than standard interval.

The following references are provided for your review:

Qwest Resale General Product Catalog, Located at the following link: http://www.qwest.com/wholesale/pcat/resalegeneral.html

Qwest's retail telecommunications products and services are available for resale by Competitive Local Exchange Carriers (CLECs) to their end-users. The term 'Resale' generally refers to the 'resale' of fully finished Residential, Business, Private Line and Integrated Services Digital Network (ISDN) services. This means that Qwest provides the end-to-end service all the way to the end-user, with your brand instead of Qwest.

Template SGAT/Contract Language at 6.2.3: “Qwest shall provide to CLEC Telecommunications Services for resale that are at least equal in quality and in substantially the same time and manner that Qwest provides these services to itself, its subsidiaries, its affiliates, other Resellers, and Qwest's retail end users. Qwest shall also provide resold services to CLEC in accordance with the Commission's retail service quality requirements, if any.

Sincerely,

Cliff Dinwiddie Sr. Manager, Product Strategy & Regulatory Support Qwest


Open Product/Process CR PC053002-1 Detail

 
Title: Real Time Dispute of TIC, Maintenance of Service Charges and Dispatch Charges.
CR Number Current Status
Date
Area Impacted Products Impacted

PC053002-1 Denied
9/18/2002
Billing, Maintenance / Repair Centrex, Resale, UNE Loop, UNE-P
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Suellentrop, Craig
Director:
CR PM:

Description Of Change

Currently a CLEC disputes a TIC, Maintenance of Service Charge or Dispatch Charge after the charge appears on the bill. Most of the time the CLEC knows before Qwest bills the charge, whether the charge is legitemate or not. Eschelon asks Qwest to develop, document, communicate and train a process to allow CLECs to dispute miscellaneous repair charges before Qwest bills them. This process would save Qwest the time and resources needed to issue an order to bill the charges and issue the paper work to adjust the charges billed in error. This process would also save research time needed to determine whether the charge is in error or not.


Status History

05/30/02 - CR Submitted by Eschelon

05/30/02 - CR acknowledged by P/P CMP Manager

05/31/02 - CR posted to Web

06/04/02 - Contacted Eschelon and scheduled Clarification Meeting for 06/05/02.

06/05/02 - Conducted Clarification Meeting conference call with Eschelon.

06/07/02 - Issued Clarification Meeting minutes to Eschelon.

06/19/02 - CMP Meeting - Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. CR status was changed to Presented.

07/10/02 - Initial response sent to Eschelon and posted to the Web

07/17/02 - CMP Meeting - Meeting minutes posted to this CR's Project Meetings section. CR status was changed to Evaluation.

08/08/02 - Issued Mailout Notification to CLECs advising that the CR will be reviewed with other similar CRs. Notification CMPR.08.08.02.F.01312.Mtg_Proposal.

08/14/02 - Issued Qwest's Supplemental Response dated August 13, 2002 to Eschelon.

08/19/02 - Issued Mailout Notification to CLECs confirming the Synergy Meeting for Multiple Trouble Ticket and Billing CRs scheduled for 8/27/02, 2:00 pm MT. Notification CMPR.08.19.02.F.01317.CMP_CR_Mtg.

08/21/02 - CMP Meeting - Qwest presented its Supplemental Response dated August 13, 2002. This CR to be included for discussion in the CLEC conference call scheduled for 8/27. Minutes on this CR to be posted to the Project Meetings section. Status was changed to Evaluation.

8/27/02 - CR included in the Synergy Meeting for Multiple Trouble Tickets & Billing CRs. See Meeting Notes in Attach O, Sept Systems CMP Package.

09/11/02 - Issued Qwest's revised response dated September 6, 2002 to Eschelon.

09/18/02 - CMP Meeting - Qwest presented its Revised Response dated September 6, 2002. Minutes on this CR to be posted to the Project Meetings section. Eschelon indicated that since a part of the respnse was denied the CR should be status as denied. Meeting participants agreed.


Project Meetings

09/18/02 September CMP Monthly Meeting Minutes

Qwest reviewed the draft response. Qwest advised that Designed Services currently accommodate Eschelon’s request. However, the only way to accommodate Non-Designed Services is to create an MCO, and, to do that is not economically feasible due to the volume of calls received. Qwest said that the system CRs assist the dispute process for Maintenance of Service charges and TIC charges. Eschelon said that for Designed Services the Qwest technician very seldom advises if there will be a charge for the trouble ticket, unless Eschelon specifically asks if there will be a charge. Qwest will open a Global Action Item and will evaluate the situation. Eschelon indicated that since a part of the CR was denied, the CR should be status as Denied. It was agreed that the status of this CR would be Denied.

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08/21/02 August CMP Monthly Meeting Minutes

Qwest advised that the response remained the same as last month for Designed Services. The Non Designed Services will be reviewed in conjunction with other CRs related to trouble tickets, repair charges, etc. scheduled for August 27, 2002. The CLEC participants agreed to have this CR reviewed at that meeting. It was agreed that the CR status would be changed to Evaluation.

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07/17/02 - July CMP Meeting Minutes: Qwest presented the initial response as follows: The current repair process for Designed Services Trouble Tickets supports this request by allowing CLECs to dispute charges before they are billed. For Designed Services Qwest uses a Maintenance Control Organization (MCO) to manage trouble tickets. Qwest’s process is to hold a Designed Services Trouble Ticket for two weeks after closure before sending the charges to billing. When Qwest is discussing the resolution of Designed Services Trouble Tickets with the CLEC, the MCO technician will advise the CLEC that charges will be applied. If the CLEC disputes the resolution of the ticket, the ticket will not be closed. If a CLEC was advised during a previous Trouble Ticket that charges would be applied and that ticket has not been sent to billing, the CLEC can dispute that with the MCO technician during a subsequent Trouble Ticket. After the charges have been sent to billing, the CLEC must contact their Billing Representative to dispute any charges.

Because Qwest does not use an MCO for Non-Designed Trouble Tickets, the above process cannot be applied to these tickets. Qwest will continue to investigate alternatives that meet the needs of both Qwest and the CLECs. Qwest intends to respond to this CR regarding Non-Designed Trouble Tickets at the August CMP meeting.

Eschelon asked how Qwest will confirm the CLEC was not charged for the initial trouble ticket when a second trouble ticket for the same problem has been issued. Qwest agreed to investigate. Eschelon stated that the Qwest stated policy of having a closed trouble ticket sit at the center for two weeks prior to it being sent to billing has not been their experience. Eschelon stated they are not allowed enough time to confirm with their customer the problem has been fixed prior to trouble ticket being closed. AT&T stated they are having the same problem. Eschelon would like the opportunity to test prior to trouble ticket being closed. Eschelon asked why can’t Non-Designed Trouble Tickets remain open for 24 hours. Qwest responded there is no place to hold them. Qwest stated the response will be revised in August to address the Non-Design Trouble Ticket portion of this CR. CR status was changed to evaluation.

CLEC Change Request Clarification Meeting

June 5, 2002, 9:00 a.m. (MT) Conference Call 877-564-8688 PC053002-1, Real Time Dispute of TIC, Maintenance of Service Charges and Dispatch Charges

Attendees: Ric Martin, Qwest Alice Matthews, Qwest Craig Suellentrop, Qwest Bob Mohr, Qwest Kathy Stichter, Eschelon

Introduction of Attendees Introductions of the participants on the Conference Call were made and the purpose of the call discussed

Review Requested (Description of) Change Kathy indicated that Eschelon was looking to be able to dispute TIC and MOS charges on a real time basis. They want a process to dispute charges they do not believe are legitimate before they get billed. She explained that she realized that repair personnel close the tickets which get forwarded to the center which in turn gets a service order issued that goes to billing. She also explained that she understood that TIC was for resale (non-design) and MOS was for Design services. She indicated that she realized that there would be two (2) processes involved and that it would be handled differently for each situation. Craig questioned how would they know if there was going to be a charge. Kathy indicated that per Eschelon’s ICA they are to be notified before the ticket is closed. She explained that CEMR provides them with an e-mail notification after a ticket is closed. Ric asked if this was the same for Design and Non-design. Kathy wasn’t sure, but Craig thought it was the same. Kathy was going to investigate. Kathy advised that Eschelon wants a dispute process before the charges are billed and believed it would be best if the process occurred before the ticket was closed. Craig indicated that for loops on the design side, they should be getting a coordinated closure and Eschelon’s Tech shouldn’t agree to close if they felt the charge wasn’t correct. Kathy advised that, for the most part, they are getting a call on design, but cannot get with the customer in a reasonable time that is within the required timeframe. Ric asked if Kathy had received the Question and Answers from the CLEC forums on Maintenance and Repair. In the May Mailout there was a dispute resolution matrix. It was agreed that the CR request was asking for more than what was on the matrix.

Confirm Areas & Products impacted It was confirmed that the products are those covered by Non-Design Services (Resale and Centrex) and Designed Services (UNEs)

Confirm Right Personnel Involved Qwest confirmed that Craig was the Lead SME for this CR. Qwest will need to bring some repair personnel into the evaluation.

Identify/Confirm CLEC’s Expectation It was confirmed that Eschelon was looking for a process to allow them to dispute charges before they get billed.

Identify any Dependent Systems Change Requests Eschelon submitted a Systems CR, SCR060402-04, which has to do with information being added to the bills. Kathy advised that per Alice’s comments at the CLEC forum, the information is not on the bills. Kathy to submit examples to Ric.

Establish Action Plan (Resolution Time Frame) Ric advised that the CR would have the CLEC Clarification at the CMP Meeting on June 19th. After the meeting Qwest will evaluate and present its response by the next CMP meeting.


CenturyLink Response

September 6, 2002

Kathleen Stichter Eschelon

SUBJECT: Qwest’s Revised Change Request Response - CR PC053002-1 “Real Time Dispute of TIC, Maintenance of Service and Dispatch Charges.”

This CR requests that Qwest develop “a process to allow CLECs to dispute miscellaneous repair charges before Qwest bills them.” During the clarification call with Eschelon and at the General Clarification at the June CMP meeting, the two repair processes (designed and non-designed) and the fact that the solution may be different for the different processes were discussed.

At the July CMP meeting Qwest responded that the current Designed Services process meets this request. Qwest uses a Maintenance Control Organization (MCO) to manage Designed Services trouble tickets. The process for Designed Services is to hold trouble tickets for two weeks after closure before sending charges to billing. When Qwest is discussing the resolution of Designed Services trouble tickets with the CLEC, the MCO technician will advise the CLEC that charges will be applied. If the CLEC disputes the resolution of the ticket, the ticket will not be closed. If a CLEC was advised during a previous trouble ticket that charges would be applied and that ticket has not been sent to billing, the CLEC can dispute that with the MCO technician during a subsequent trouble ticket. After the charges have been sent to billing, the CLEC must contact their Billing Representative to dispute any charges.

Because of the large number of Change Requests related to Maintenance and Repair a meeting was held on August 27, 2002 to discuss possible synergies between the various CRs. It was agreed at the August CMP meeting to defer the response regarding Non-Designed Services trouble tickets until after the August 27 meeting. At that meeting Eschelon agreed that the Designed Services process met their needs. It was also determined that this CR should have its own response to address the Non-Designed process. Qwest agreed to supply a revised response at the September CMP meeting. However, Qwest believes that the Systems CRs CRs SCR030702-1 – CLEC Trouble Ticket Cross Reference and SCR042902-01 – Use CLEC Internal Repair Ticket number on CLEC bill to identify maintenance and repair charges will aide CLECs in auditing their bills and address some of the CLECs underlying concerns.

Because Non-Designed trouble tickets are generally less complex and have much larger volumes, Qwest doesn’t use an MCO technician to manage their closure. For non-designed trouble tickets the technician that resolves the trouble closes the ticket. Any applicable charges are then automatically sent to billing for inclusion on the next bill. Waiting for a customer to clear voice mail and reply back to Qwest before closing a Non-Designed trouble ticket may result in increased resolution time, missed appointments, and technician idle time. It is not economically feasible for Qwest to create a new organization to manage non-designed trouble tickets, and at this time Qwest’s systems are not technically capable of holding non-designed trouble tickets before charges are sent to billing. Therefore, Qwest respectfully denies this request as it relates to the Non-Designed trouble ticket process.

Sincerely,

Craig Suellentrop Staff Advocate, Policy & Law Qwest

Cc: Mary Retka, Director-Legal Issues, Qwest Alice Matthews, Senior Process Analyst, Qwest Catherine R. Garcia, Lead Process Analyst, Qwest Don Tolman, Manager-Process Management, Qwest

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August 13, 2002

Kathleen Stichter ILEC Relations Manager Eschelon

SUBJECT: Qwest’s Supplemental Change Request Response - CR PC053002-1 “Real Time Dispute of TIC, Maintenance of Service and Dispatch Charges.”

This CR requests that Qwest develop “a process to allow CLECs to dispute miscellaneous repair charges before Qwest bills them.” During the clarification call with Eschelon and at the General Clarification at the June CMP meeting, the two repair processes (designed and non-designed) and the fact that the solution may be different for the different processes was discussed.

At the July CMP meeting Qwest responded that the current Designed Services process meets this request. Qwest also said that investigation of alternatives for the Non-Designed Process would continue and further information would be available at the August CMP meeting. However, because of the large number of Charge Requests related to Maintenance and Repair billing, a meeting will be scheduled for late August to discuss all of these, including this CR. Further clarification and direction for this CR will be determined after this meeting.

Sincerely,

Craig Suellentrop Staff Advocate, Policy & Law Qwest

Cc: Mary Retka, Director-Legal Issues, Qwest

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July 10, 2002

Kathleen Stichter ILEC Relations Manager Eschelon

SUBJECT: Qwest’s Change Request Response - CR PC053002-1 "Real Time Dispute of TIC, Maintenance of Service and Dispatch Charges."

This CR requests that Qwest develop "a process to allow CLECs to dispute miscellaneous repair charges before Qwest bills them." During the clarification call with Eschelon and at the General Clarification at the June CMP meeting, the two repair processes (designed and non-designed) and the fact that the solution may be different for the different processes was discussed.

The current repair process for Designed Services Trouble Tickets supports this request by allowing CLECs to dispute charges before they are billed. For Designed Services Qwest uses a Maintenance Control Organization (MCO) to manage trouble tickets. Qwest’s process is to hold a Designed Services Trouble Ticket for two weeks after closure before sending the charges to billing. When Qwest is discussing the resolution of Designed Services Trouble Tickets with the CLEC, the MCO technician will advise the CLEC that charges will be applied. If the CLEC disputes the resolution of the ticket, the ticket will not be closed. If a CLEC was advised during a previous Trouble Ticket that charges would be applied and that ticket has not been sent to billing, the CLEC can dispute that with the MCO technician during a subsequent Trouble Ticket. After the charges have been sent to billing, the CLEC must contact their Billing Representative to dispute any charges.

Because Qwest does not use an MCO for Non-Designed Trouble Tickets, the above process cannot be applied to these tickets. Qwest will continue to investigate alternatives that meet the needs of both Qwest and the CLECs. Qwest intends to respond to this CR regarding Non-Designed Trouble Tickets at the August CMP meeting.

Sincerely,

Craig Suellentrop Staff Advocate, Policy & Law Qwest

Cc: Mary Retka, Director-Legal Issues, Qwest Don Tolman, Manager-Process Management, Qwest Alice Matthews, Senior Process Analyst, Qwest


Open Product/Process CR PC053002-1X Detail

 
Title: Indicate which USOCs a CLEC is currently ordering to advise of rate changes (Crossover CR SCR053002 01)
CR Number Current Status
Date
Area Impacted Products Impacted

PC053002-1X Denied
7/18/2002
All
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Burson, Sue
Director:
CR PM: Thomte, Kit

Description Of Change

Currently when Qwest discovers an error in what it has billed a CLEC or when a rate is changing it sends a high level notification and then follows with a spreadsheet of the changes. Currently Qwest is populating the spreadsheet with all of the USOCs that a CLEC is allowed to order via its Interconnection Agreement. Eschelon wants to see somewhere on the spreadsheet which USOCs it is actually ordering. Qwest sent Eschelon a spreadsheet in February and Eschelon was currently only using 1 USOC out of over 3000 represented. The process took hours to look up each USOC to determine what Qwest was incorrectly billing and what would actually impact Eschelon's current invoices.

Expected Deliverables: Spreadsheets with rate changes should indicate which USOCs the CLEC is currently ordering. An alternative is that only USOCs that are currently or have been billed by Qwest to CLEC in the past is reflected on the rate notification rate sheet.


Status History

5/30/02 - CR Submitted by Eschelon

5/30/02 - CR acknowledged

5/31/02 - Requested Eschelon's availability for Clarification call

6/04/02 - Clarification Meeting scheduled

6/06/02 - Clarification Meeting held

6/06/02 - Status changed to clarification

6/06/02 - Cross-over CR created (Cross-over CR SCR053002-01)

6/19/02 - June CMP Meeting: CR status changed to "Presented". Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

7/10/02 - Sent initial response to Eschelon

7/18/02 - July CMP Meeting: CR status changed to "Denied". Meeting minutes posted to this CR's Project Meetings section.


Project Meetings

07/17/02 - July CMP Meeting Minutes: Qwest (Kriebel) reviewed the CR initial response. Qwest has determined that providing only the specific CLEC USOC that was ordered rather than what is available to them from the contract is cost prohibitive. The CR will carry a "Denied" status.

SCR053002-01 Clarification Meeting

2:00 p.m. (MDT) /Thursday June 6,2002

877 570-8688 Conference ID 7807739 SCR053002-01 Attendees Name/Company:

Kathy Stichter - Eschelon Michael Buck - Qwest Kit Thomte - Qwest Kristen Hathway - Qwest Lynn Stecklein - Qwest

Meeting Agenda: Introduction of Attendees Introductions of the participants on the conference call were made and the purpose of the call was discussed.

Review Requested (Description of) Change Kathy reviewed the change that Eschelon is requesting as follows: Qwest sends a high level notification and then follows with a spreadsheet of the rate change. Qwest is populating the spreadsheet with all of the USOCs that a CLEC is allowed to order via interconnection. Eschelon would like to see somewhere on the spreadsheet which USOCs they are actually ordering.

Confirm Areas & Products Impacted Eschelon verfied that all Products would be impacted with this change request

Confirm Right Personnel Involved All appropriate Personnel were involved

Identify/Confirm CLEC’s Expectation Eschelon would like to see somewhere on the spreadsheet which USOCs they are actually ordering.

Identify any Dependent Systems Change Requests

Michael Buck asked why Eschelon submitted this request as a system change. He explained that a change to a spreadsheet would be considered a process change. Kathy Stichter said that she was not aware that this would be considered a process change or else Eschelon would have submitted a Process CR. Michael Buck said that this change request would be handled as a Cross-over CR and Kathy Stichter said that was not a problem.

Establish Action Plan (Resolution Time Frame) A Cross-over CR will be created on behalf of Eschelon. The CR# will be PC053002-1X.


CenturyLink Response

July 8, 2002

Kathy Stichter ILEC Relations Manager Eschelon

SUBJECT: Qwest’s Change Request Response - CR #PC053002-1X Indicate which USOCs a CLEC is currently using somewhere on the spreadsheet sent to a CLEC to advise of rate changes

Qwest provides 10-day advance CLEC notification for any corrections to rates in a CLEC's contract. The notification is provided via an excel spreadsheet that enables the manipulation of the data by the CLEC to sort against their billing records. In order to provide the most comprehensive information regarding rate corrections, Qwest notifies CLECs of changes to any rates in their contract. This is due the fact that all contracted rates are loaded in the billing system and can be ordered at any time.

Providing only the specific CLEC USOCs that have been ordered would be cost prohibitive and could prevent Qwest from correcting rates in the billing system in a timely manner. Providing this additional information on the rate correction CLEC notification would require approximately 60 additional Qwest resources for the CLEC notification process to be completed in a timely manner.

Future rate validation efforts will result in a lesser number and size of notifications than CLEC’s may have received to this point, and thus will be smaller in size of impact to CLEC’s regarding comparing the data to their billing records.

Denied – Economically not feasible – low demand, cost prohibitive to implement the request, or both.

Sincerely,

Susan Burson Director Process Management Qwest

Cc: Christie Doherty, Judy Taylor, Toni Dubuque, Joan Masztaler


Open Product/Process CR PC053002-2X Detail

 
Title: Supply current rate, new rate and effective date when issuing rate changes (Cross over CR SCR053002 02)
CR Number Current Status
Date
Area Impacted Products Impacted

PC053002-2X Denied
7/18/2002
All
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Burson, Sue
Director:
CR PM: Thomte, Kit

Description Of Change

Currently when Qwest discovers an error in what it has billed a CLEC or changes a rate it sends a high level notification and then follows with a spreadsheet of the changes. Currently Qwest is populating the spreadsheet with 1minus discount, ending with a percentage or Qwest will provide a tariffed rate rather than the rate less the discount percent that shows up on the invoice. Eschelon asks Qwest to supply the actual incorrect rate (money amount) and the actual correct rate (money amount). Example, if Eschelon is billed $10.00 for a line and the $10.00 is the rate that shows on the bill, and that rate changes to $9.00, then on the notification, Eschelon should see $10.00 as existing rate and $9.00 as new rate. Also, the effective date of the corrected rate should be when the rate was first billed incorrectly. It should not be an effective date made up by Qwest.

Expected Deliverables: Spreadsheets with rate changes should show the actual rate (money amount) being billed incorrectly and not the percentage or tariffed rate. Spreadsheet should show the correct rate that will be billed going forward (money amount). Effective dates should be date when rate was first billed incorrectly.


Status History

5/30/02 - CR Submitted

5/30/02 - CR Acknowledged

5/31/02 - Requested Eschelon's availability for clarification call

6/04/02 - Clarification Meeting Scheduled

6/06/02 - Clarification Meeting Held

6/06/02 - Status changed to clarification

6/06/02 - Cross-over CR created (SCR053002-02)

6/19/02 - June CMP Meeting: CR status changed to "Presented". Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

07/10/02 - Sent Eschelon initial response

07/17/02 - July CMP Meeting: CR status changed to "Denied". Meeting minutes posted to this CR's Project Meetings section.


Project Meetings

07/17/02 - July CMP Meeting Minutes: Qwest (Kriebel) reviewed the response. Qwest has determined that providing the specific rate as opposed to the percentage as it appears in the contract is economically not feasible. Eschelon (Stichter) questioned why so many of the notifications carried the date of November 1. She also asked if the notification carried the date that the change will occur. This CR will carry a "Denied" status.

SCR053002-02 Clarification Meeting

2:00 p.m. (MDT) /Thursday June 6,2002

877 570-8688 Conference ID 7807739

Attendees Name/Company:

Kathy Stichter - Eschelon Michael Buck - Qwest Kit Thomte - Qwest Kristen Hathway Qwest Lynn Stecklein - Qwest

Meeting Agenda: Introduction of Attendees Introductions of the participants on the conference call were made and the purpose of the call was discussed.

Review Requested (Description of) Change Kathy Stichter reviewed the change that Eschelon is requesting as follows: When Qwest discovers an error in what they have billed, they populate the spreadsheet with a discount instead of the actual incorrect rate and correct rate. She also said that the effective date is a random date.

Confirm Areas & Products Impacted This request applies to all products.

Confirm Right Personnel Involved All appropriate personnel are involved in this change request.

Identify/Confirm CLEC’s Expectation Eschelon would like the spreadsheets to reflect the actual rate being billed incorrectly and not the percentage or tariffed rate. Kathy Stichter also said the Eschelon would like the date to reflect the actual effective date, not just any date.

Identify any Dependent Systems Change Requests Michael Buck asked why Eschelon submitted this request as a system change. He explained that a change to a spreadsheet would be considered a process change. Kathy Stichter said that she was not aware that this would be considered a process change or else Eschelon would have submitted a Process CR. Michael Buck said that this change request would be handled as a Cross-over CR and Kathy Stichter said that was not a problem.

Establish Action Plan (Resolution Time Frame) A Cross-over CR will be created (PC053002-2X)


CenturyLink Response

July 8, 2002

Kathy Stichter ILEC Relations Manager Eschelon

SUBJECT: Qwest’s Change Request Response - CR #PC053002-2X Supply current rate and new rate when issuing changes sent to CLECs via spreadsheet. Effective date of correction should go back to when the rate was first billed incorrectly, not an arbitrary date chosen by Qwest as to when the rate is effective.

When Qwest provides CLEC notification for any corrections to a CLEC's billing rates, Qwest provides the current and corrected rate in the manner that it appears in the contract. For UNE rates, facility based OS/DA usage rates and unbundled switching rates, the dollar amount is what is provided in the CLEC contract. So Qwest provides the dollar amount for the current rate and the corrected rate. For Resale (USOC and usage rates) and toll usage rates, the percent discount is the rate provided in the CLEC contract. So for Resale (USOC and usage) and toll usage rate corrections, Qwest provides the percent of Resale (1 minus the Resale percent discount). The CLEC can refer to the Retail Tariff (http://tariffs.uswest.com:8000/) to obtain the actual dollar amount against which the percent discount is applied.

Providing the actual resale (USOC and usage) and toll usage money amounts would be cost prohibitive and could prevent Qwest from correcting rates in the billing system in a timely manner. Providing this additional information on the rate correction CLEC notification would require approximately 50 additional Qwest resources for the CLEC notification process to be completed in a timely manner.

Future rate validation efforts will result in a lesser number and size of notifications than CLEC’s may have received to this point, and thus will be smaller in size of impact to CLEC’s regarding comparing the data to their billing records.

The effective date is provided on all CLEC rate correction notifications. The effective date is generally when the rate was first billed incorrectly (e.g. the contract or cost docket effective date).

If the CLEC has any specific questions regarding a CLEC notification for a rate correction (including the effective date for the rate correction), the CLEC can contact their Qwest Billing Representative.

Partially Denied - Economically not feasible – low demand, cost prohibitive to implement the request, or both.

Sincerely,

Susan Burson Director Process Management Qwest

Cc: Christie Doherty, Judy Taylor, Toni Dubuque, Joan Masztaler


Open Product/Process CR PC063005-2 Detail

 
Title: Expand the option of requesting that the service at the old address not be disconnected until the service at the new address is working to include Centrex Plus and Centron Products.
CR Number Current Status
Date
Area Impacted Products Impacted

PC063005-2 Completed
1/18/2006
Ordering & Provisioning Resale, UNE-P, Centrex Plus, Centron
Originator: Isaacs, Kim
Originator Company Name: Eschelon
Owner: Wells, Susie
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Currently, when an end user customer, on a Centrex common block, requests a move there is no process that ensures the end user customer’s service at their old address remains working until the service at the new address is installed. This can lead to unnecessary service interruptions for the end user customer. Qwest has a current process for POTS and Centrex 21 outlined in the Ordering Overview, which allows the CLEC the option of requesting that the service at the old address not be disconnected until the service at the new address is working. Eschelon has had recent discussions with our Service Management team regarding expanding the current process to include Centrex Plus and Centron products. Eschelon’s Service Manager communicated that the addition of Centrex Plus and Centron to the current POTS and Centrex 21 optional move process is feasible. Eschelon is requesting that Qwest add Centrex Plus and Centron products to the current move process which allows the CLEC the option of requesting the old address not be disconnected until the service at the new address is working.

Expected Deliverable:

Make the current POTS and Centrex 21 option to request the old address not be disconnected until the service at the new address is working applicable to Centrex Plus and Centron products.


Status History

06/30/2005 - CR Submitted

07/01/2005 - CR Acknowledged

07/05/2005 - Clarification Call Scheduled for July 11, 2005

07/11/2005 - Clarification Call Held

08/17/2005 - Discussed in the Monthly Product Process CMP Meeting

09/21/2005 - Discussed in the Monthly Product Process CMP Meeting

10/19/2005 - Discussed in the Monthly Product Process CMP Meeting

10/20/2005 - PROS.10.20.05.F.03395.OutsideMoveCTX (Level 3)

11/16/2005 - Discussed in the Monthly Product Process CMP Meeting

11/18/2005 - PROS.11.18.05.F.03472.FNLOutsideMoveCTX (Level 3 Final)

12/05/2005 - Status Changed to CLEC Test Due to Implementation on December 5, 2005

12/14/2005 - Discussed in the Monthly Product Process CMP Meeting

01/18/2006 - Discussed in the Monthly Product Process CMP Meeting


Project Meetings

January 18, 2006 Monthly Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that this CR was implemented on December 5th and asked for closure. Kim Isaacs-Eschelon stated that the CR could be closed.

- December 14, 2005 Monthly Product Process CMP Meeting Discussion: Jill Martain/Qwest stated that this change was effective on December 5th and asked Eschelon if they have had the opportunity to test the change. Kim Isaacs/Eschelon asked that the CR remain in CLEC Test for testing.

- November 16, 2005 Monthly Product Process CMP Meeting Discussion: Peggy Esquibel-Reed/Qwest stated that the notice was sent on October 20th with a proposed effective date of December 5th. Peggy then noted that this CR would be placed in CLEC Test on 12/5/2005. Stephanie Prull/Eschelon asked if there is an associated Systems CR for the FDT changes. Jill Martain/Qwest stated that there is no Systems CR and stated that one could be opened if Stephanie felt that one was needed. Stephanie Prull/Eschelon stated that it should be consistent and may submit a Systems CR. Bonnie Johnson/Eschelon asked if there was a manual process in place that works. Jill Martain/Qwest stated that there will be with the implementation of this CR. Kim Isaacs/Eschelon stated that the Notice says that you must add FDT XX information in the Remarks section of the LSR form and mark for manual handling. Peggy Esquibel-Reed/Qwest noted that the Qwest Response, presented in the September CMP Meeting, says that portions of the criteria that will be required for POTs and CTX 21 service will be used for the manual Centrex Plus/Centron move orders, due to the implementation of an IMA 18.0 Systems CR SCR040204-03 (IMA to Allow Frame Due Time of XX). The TOS must equal 1 or 3, the DDDO and DDD must be the same day, the telephone number at both the old address and new address must be the same, FDT XX is only applicable on non designed business customers, FDT XX only applicable when ACT = C and LNA = T (existing Centrex Plus/Centron outside move process), and in addition, the FDT XX must be in the remarks of the LSR. FDT XX is not allowed by IMA in the DFDT field for this product type. Susie Wells/Qwest asked if there were additional questions. Susie stated that Centrex and Centron are manual anyway and will add this process based on Remarks. Susie noted that the same criteria is being used as the process for POTS. Stephanie Prull/Eschelon thanked Qwest for the information and stated that she would think about the need for a Systems CR. This CR remains in Development Status.

October 19, 2005 Monthly Product Process CMP Meeting Discussion: Peggy Esquibel-Reed/Qwest stated that the notice would be going out soon and that Qwest was looking at a December timeframe for implementation. Peggy then stated that the CR remained in Development Status.

- September 21, 2005 Monthly Product Process CMP Meeting Discussion: Susie Wells/Qwest stated that Qwest accepts this CR and stated that portions of the criteria that will be required for POTs and CTX 21 service will be used for the manual Centrex Plus/Centron move orders, due to the implementation of an IMA 18.0 Systems CR SCR040204-03 (IMA to Allow Frame Due Time of XX). Susie noted that the TOS must equal 1 or 3, DDDO and DDD must be the same day, the telephone number at both the old address and new address must be the same, and FDT XX is only applicable on non designed business customers. Susie then noted that new for this CR is that the FDT XX only applicable when ACT = C and LNA = T (existing Centrex Plus/Centron outside move process), the FDT XX must be in the remarks of the LSR, and the FDT XX is not allowed by IMA in the DFDT field for this product type. Susie stated that the Ordering Overview PCAT would be updated and will follow normal timeline. Susie stated that a status would be provided at the October Product Process CMP meeting. There were no questions or comments. Jill Martain/Qwest stated that this CR moves into Development status.

- August 17, 2005 Monthly Product Process CMP Meeting discussion: Kim Isaacs-Eschelon presented the CR and stated that there is a current process for POTS and Centrex 21 and she would like it expanded. Bonnie Johnson-Eschelon stated that she would like to note that Eschelon worked through their Service Manager in order to determine feasibility and their Service Manager said that it was feasible. Jill Martain-Qwest stated that CR moves to presented status.

- July 11, 2005 Clarification Call Attendees: Kim Isaacs-Eschelon, Susie Wells-Qwest, Janean Van Dusen-Qwest, Jim Recker-Qwest, Peggy Esquibel Reed - Qwest

Review Description of Change Peggy Esquibel Reed-Qwest stated that Eschelon is requesting that Qwest Expand the option of requesting that the service at the old address not be disconnected until the service at the new address is working to include Centrex Plus and Centron Products.

Discussion: Kim Isaacs-Eschelon stated that they contacted their Service Managers (Jean and Josh) because they had customer’s who had lost their service. Kim said that they sent examples to their service managers and that this situation could result in escalations.

Susie Wells-Qwest asked if Eschelon wanted the same process that exists today on 1FR/Centrex 21 T/F orders and that the due date on the orders would be on the same day.

Kim Isaacs-Eschelon said yes.

Jim Recker-Qwest asked if this would only be on T/F orders.

Kim Isaacs-Eschelon said yes and that the due date would be on the same date if the customer is moving off a Centrex Common Block. Kim asked if this would be done on a T/F or D/N (i.e. if the were moving from a Common Block to a different product).

Susie Wells-Qwest said that the type of order would be a C and N order. She said that a move order on Centrex Plus/Centron is actually a change order. Susie said that 1 order is necessary in the Central Region and 2 orders in the Western and Eastern Regions. She said that if there is a move and is changing from one product to another product; this would be a different process.

Kim Isaacs-Eschelon asked if Qwest would consider those types of moves.

Susie Wells-Qwest said that when the customer changes products, they may experience some type of service outage.

Kim Isaacs-Eschelon said that she understood and that she wanted to avoid the N order being jeop’d.

Susie Wells-Qwest asked if Eschelon’s concern was if the order was jeop’d at the new address and if this request was to stop the jeop, or if this request was because the customer didn’t want their service disconnected until the new service was installed.

Kim Isaacs-Eschelon said that it is both and that they are marking for manual with the ACT = T with the same conditions: Business only, no change in TNs and the same due date.

There were no additional questions or comments.

Confirm Areas and Products Impacted Peggy Esquibel Reed-Qwest confirmed that the areas impacted are Ordering and Provisioning and the products impacted are Resale, UNE-P, Centrex Plus and Centron

Establish Action Plan Peggy Esquibel- Reed-Qwest said that Eschelon will present this CR in the August 17, 2005 CMP Meeting and that the Qwest Response was due in September.


CenturyLink Response

September 13, 2005

RESPONSE For Review by the CLEC Community and Discussion at the September 21, 2005 CMP Product/Process Meeting

TO: Bonnie Johnson Eschelon

SUBJECT: PC063005-2 Expand the option of requesting that the service at the old address not be disconnected until the service at the new address is working to include Centrex Plus and Centron Products.

This is in response to the Eschelon’s submitted CMP CR PC063005-2. This CR requests that the Centrex Plus and Centron products be added to the existing POTS and Centrex 21 option, to request the old address not be disconnected until the service at the new address is working.

A clarification call was held on July 11, 2005 for discussion of this request, and this CR was presented at the July 20, 2005 Product Process CMP Meeting.

Qwest accepts this CR. Centrex Plus and Centron move requests are a manual process. Qwest will add the FDT XX option to request the old address not be disconnected until the service at the new address is working as part of the manual process that is currently in place.

Portions of the criteria that will be required for POTs and CTX 21 service will be used for the manual Centrex Plus/Centron move orders, due to the implementation of an IMA 18.0 Systems CR SCR040204-03 (IMA to Allow Frame Due Time of XX): - TOS must equal 1 or 3 - DDDO and DDD must be the same day - Telephone number at both the old address and new address must be the same - FDT XX is only applicable on non designed business customers - FDT XX only applicable when ACT = C and LNA = T (existing Centrex Plus/Centron outside move process) - In addition, the FDT XX must be in the remarks of the LSR. - FDT XX is not allowed by IMA in the DFDT field for this product type

Updates to the Ordering Overview PCAT will be made and will follow the normal implementation timeline for this Product Process Change Request.

Qwest will provide a status update of the work to implement this CR at the October Product Process CMP meeting.

Sincerely, Qwest


Open Product/Process CR PC062906-1 Detail

 
Title: Ability to Request Dual Service on Partial Moves
CR Number Current Status
Date
Area Impacted Products Impacted

PC062906-1 Completed
10/18/2006
Order - LSR Resale - POTS, UNE-P POTS/Centrex 21
Originator: Isaacs, Kim
Originator Company Name: Eschelon
Owner: Coyne, Mark
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest should allow dual service on partial move requests. Eschelon is requesting the ability to request Dual Service for partial move requests because Eschelon has several customers that request this option.. Currently CLECs have to find an alternate solution to accommodate the customer’s needs. The alternative solutions are generally complicated, leave room for error and down time, and often don’t fully meet customer’s needs.

Several End User customers need and request Dual Service with partial moves for a number of reasons. For example, a small business end user customer is moving just one department to a new location and it is necessary during this transition period that calls ring into both the new and old location

Expected Deliverables:

Eschelon is requesting the ability to request Dual Service for partial move requests.


Status History

6/29/06 - CR submitterd

6/29/06 - CR acknowledged

7/13/06 - Clarification Meeting Held

7/13/06 - Status changed to Clarification

7/19/06 - Status changed to Presented

7/19/06 - Discussed in the July Product/Process CMP Meeting

8/16/06 - Discussed in the AugustProduct/Process CMP Meeting

8/16/06 - Status changed to Development

8/25/06 - PROD.08.25.06.F.04148.Dual_Service_V4

9/14/06 - PROD.09.14.06.F.04169.Dual_Service_V5

9/19/06 - Status changed to CLEC Test

9/20/06 - Discussed in the September Product/Process CMP Meeting - See Attachment D in the Distribution Package

10/18/06 - Discussed in the October Product/Process CMP Meeting - See Attachment D in the Distribution Package

10/18/06 - Status changed to Completed


Project Meetings

10/18/06 Product/Process CMP Meeting

Susan Lorence-Qwest stated that this CR was implemented on 9/15/06 and asked if everyone was ok to close. There was no objection to closure.

9/20/06 Product/Process CMP Meeting

Mark Coyne - Qwest stated that this request was noticed on August 25th and became effective on September 15th. He said that the status will change to CLEC Test.

8/16/06 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this CR was presented in the July Product/Process CMP Meeting. Becky Ferrington-Qwest stated that Qwest’s recommendation for this request is in line with discussion that took place with Eschelon in the clarification meeting. Becky reviewed the following proposed change for Partial Moves: This restriction is specific to requesting Dual Service and a Partial Move on the same LSR. However, if the end-user has multiple lines and wants to move only one of the lines with Dual Service, you can achieve this via 2-LSRs. First, request a deconsolidation LSR (ACT = N, Manual Indicator = Y, remarks describing the TN/s that you want to establish on a separate account) for the old location. Subsequently, submit a second LSR to do a full move of the account to the new address and establish the Dual Service. You can submit both LSRs at the same time, if you use a related purchase order number (RPON) on both and drop each for manual handling. The 2-LSR process described above is exclusive to simple deconsolidation and full move with dual service. Any other change activity (such as adding or removing features) associated to these requests should be made only on the Move request and will default to the intervals described in the Service Interval Guide (SIG) Kim Isaacs-Eschelon stated that this recommendation sounded good. Mark Coyne-Qwest stated that this CR will move to development.

7/19/06 Product/Process CMP Meeting

Kim Isaacs-Eschelon presented this change request. She said that Qwest should allow dual service on partial move requests. Eschelon is requesting the ability to request Dual Service for partial move requests. She said that the clarification call was held last week and that Qwest is looking at documenting a 2 LSR process.

Mark Coyne - Qwest stated that this CR will move to a presented status and that we will provide a response in the August CMP Meeting.

July 13, 2006 Clarification Meeting Introduction of Attendees: Kim Isaacs-Eschelon, Steph Prull-Eschelon, Becky Ferrington-Qwest, Joanne Ragge-Qwest, Carol McKenzie-Qwest, Anders Ingemarson-Qwest, Denise Martinez-Qwest, Lee Gomez-Qwest, Anne Robberson-Qwest, Chuck Anderson-Qwest, Lynn Stecklein-Qwest, Mark Coyne-Qwest, Sandy McGee-Qwest, Shirley Tallman-Qwest, Peggy Esquibel Reed-Qwest

Review Requested (Description of) Change: Lynn Stecklein-Qwest Reviewed the CRs description and asked Eschelon if they had additional information to share regarding this request. Kim Isaacs-Eschelon stated that this request was submitted because the end user customer is looking for a solution and to eliminate confusion. Becky Ferrington-Qwest stated that we generally don't allow for a partial move on the retail side. Becky said that we may have a solution that would involve using the existing process and revising the process that would require 2 LSRs instead of 4 LSRs. Kim Isaacs-Eschelon said that the this process may be a viable solution. Steph Prull-Qwest stated that this CR was issued as a Produc/Process and that the 2 LSR process eliminates the potential for system impacts. Becky Ferrington-Qwest stated that she would verify timing issues and LSR order types There were no additional comments or questions.

Establish Action Plan & Resolution Time Frame: Lynn Stecklein-Qwest stated that this CR is due for presentation at the July 19, 2006 Product/Process CMP Meeting, Qwest would internally review the request, and that Qwest would provide the response to the CR by August 16, 2006.


Open Product/Process CR PC080204-1 Detail

 
Title: Escalation Code and sub code, including examples, documented on Qwest’s Wholesale web site
CR Number Current Status
Date
Area Impacted Products Impacted

PC080204-1 Completed
4/20/2005
Pre Order Ordering Provisioning Escalation process
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Thacker, Michelle
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest will publish its escalation code and sub codes with examples of when Qwest uses the codes. When a CLEC opens an escalation ticket with Qwest for any reason, Qwest said it would provide the escalation close out code and sub code to the CLEC at the CLEC’s request. However, the CLEC cannot verify if it agrees with the code and sub code Qwest used to close the escalation ticket, because Qwest does publish an exhaustive list of its escalation close out code and sub codes. Eschelon may choose to escalate the code and sub code Qwest used to close the ticket, but is unable to so because the CLEC does not have the codes and sub codes that are available when Qwest closes a CLEC ticket. Qwest should also include examples of when Qwest uses a particular code and sub code while closing a CLEC escalation ticket.

Expected Deliverable: Qwest will publish the available escalation codes and sub codes Qwest uses when closing out a CLEC escalation ticket. Qwest will include examples of when specific codes are used.


Status History

8/2/04 - CR submitted

8/2/04 - CR acknowledged

8/18/04 -August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

9/16/04 -September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/20/04 - October CMP Meeting minutes will be posted to the project meeting section

11/17/04 - November CMP Meeting minutes will be posted to the database

12/13/04 - Sent out escalation product code document and scheduled adhoc meeting for Jan 5

12/14/04 - Rescheduled ad hoc meeting per Eschelon's request for Jan 6

12/15/04 - December meeting minutes will be posted to the database

1/6/05 - Ad hoc meeting held

1/19/05 Discussed in the January Product/Process Meeting - See attachment C in the Distribution Package

2/3/05 - Communicator Issued PROS.02.03.05.F.02494.OrderingV65, Expedites and Escalations Overview V18

2/16/05 Discussed in theFebruary Product/Process Meeting - See attachment C in the Distribution Package

2/3/05 - PROS.02.03.05.F.02494.OrderingV65_ExpediteV18

3/16/05 - Status changed to CLEC Test

3/16/05 - Discussed in the March Product/Process CMP Meeting - See Attachment C - Product/Process Distribution Package.

4/20/05 - Discussed in the April Product/Process CMP Meeting - See Attachment C - Product/Process Distribution Package

4/20/05 - Status changed to completed.


Project Meetings

4/20/05 Product/Process CMP Meeting Discussion

Jill Martain - Qwest stated that this request was effective on 2/24/05 and that this CR will be closed.

3/16/05 Product/Process CMP Meeting Discussion

Michelle Thacker - Qwest stated that this request was effective on February 24th. She said that this will move to CLEC Test with the expectation of closing in April 2/16/05 Product/Process CMP Meeting

Michelle Thacker - Qwest stated that the targeted implementation is February 24, 2005.

Jill Martain - Qwest stated that this CR will remain in a Development Status.

1/19/05 Product/Process CMP Meeting

Michelle Thacker/Qwest stated that an adhoc meeting was held January 6, 2005 to review the product reason codes. Michelle stated that the notification will go out the 1st week of February and will be published the 3rd week of February. Michelle stated that it will be published in the ordering overview. Bonnie Johnson/Eschelon thanked Qwest for considering publishing in the Escalation/Expedite PCAT because that is where people would look for it. Michelle Thacker/Qwest said that there will be a link and that there will be a pull down menu in ordering overview.

PC080204-1 Escalation Product Reason Codes Ad Hoc Meeting January 17, 2005

Cox Communications requested that Qwest schedule an adhoc meeting to discuss the Product Reason codes that were reviewed with the CLEC Community on January 6, 2005. Cox indicated that they did not receive the notification on the date change of the original meeting. Cindy Harlan reviewed what was discussed in the adhoc meeting held on January 6. Cox asked where they could locate this information. Cindy advised that this information will be sent via a level 4 notifcation upon completion. Chuck Ploughman stated that Cox could request to receive notifications directly. Cox said that they would look into receiving the notifications directly. There were no other questions.

January 6, 2005

In attendance: Gary Price – DSET Kim Isaacs – Eschelon Sharon Van Meter – ATT Michelle Thacker – Qwest Amanda Silva – VCI Bonnie Johnson – Eschelon Cindy Harlan – Qwest

Cindy Harlan – Qwest advised the purpose of the call is to review the Product Reason code document that was distributed.

Michelle Thacker – Qwest explained the Product Reason codes are used to categorize escalation calls to the Wholesale Center.

Bonnie Johnson – Eschelon asked if this is an exhaustive list. Michelle advised it is not a total list. Exceptions are codes that are used for a 30 day period to identify a specific or limited condition and codes for pay phone products, or control cards. Bonnie reviewed the list and asked Michelle to explain the Typing error code. Is this used when the LSR is accurate but something was omitted? Michelle agreed. Kim Isaacs- Eschelon asked about the Jep after FOC code and what happens if the Jep was in error? Michelle advised the centers assign these codes based on the information that they have at the time of the call. Qwest is not trying to focus on whose fault the issue is. Qwest is trying to resolve the issue and the center is just capturing data about the call. The focus is on addressing the issue, not updating the data. Bonnie advised more detail helps with a training issue of SDCs. Michelle advised the SDC decides how a ticket is coded based on the resolution of that ticket. They can not spend a lot of time on recording the data.

Michelle advised the document will be a pull down list in the PCAT. Discussion took place regarding locating the document in the Ordering Overview or the Escalations section. This document will be released with a Level 4 Notification.

Sharon Van Meter – ATT asked if this was for all products, except payphones. Michelle advised yes.

Bonnie asked if we could name the middle column to state ‘examples of this product reason code’. Michelle agreed.

Cindy recapped next steps are to complete the document updates and get these ready to be released via Level 4 Notification. Status will be provided at the next CMP meeting.

December CMP Meeting Minutes Cindy Macy – Qwest advised an ad hoc meeting is scheduled for January 6 to review the product sub codes. The product subcodes document was sent out for review with the meeting notification. This CR will remain in Development Status.

11/17/04 November meeting minutes Cindy Macy – Qwest advised that this process in under development and the PCAT should be available in the next few weeks. This CR will remain in Development Status.

10/20/04 CMP Meeting Minutes Michelle Thacker, Qwest explained that a draft will be available in mid November for review and that she would like to move the CR to development status. Bonnie Johnson, Eschelon wanted to ensure that the list of codes would be exhaustive while the examples may not be. Michelle said the temporary codes to collect data will not be included in the list. Michelle used the example of when BOSS was down in February there was a temporary code created in addition to the three regular codes for this area. The temporary code was for “impact from Boss being down”. There was discussion around this issue. It was determined that when the center is called the temporary code could be given to the CLEC and that Michelle will explain and give examples of the temporary codes in the documentation. The CR will move to development.

- 09/16/04 CMP September Meeting Michelle Thacker reported that Qwest will accept the CR and will post codes to the Wholesale web but not as part of the PCAT. Bonnie asked if the web would cover both codes and sub-codes. Michelle said yes and will also contain brief descriptions of each code. The CR will move to Development Status.

-- 08/18/04 CMP Meeting Bonnie Johnson presented the CR saying that Qwest and Eschelon did have a Clarification call, and that Eschelon is asking Qwest to provide on the Wholesale web site the codes and sub codes used in closing escalations. The problem is that while Qwest knows the codes meaning, Eschelon does not. (Comment begin) Bonnie said Eschelon wants to validate the codes Qwest uses when closing out a ticket and cannot do so because Eschelon does not know the list of codes (end comment). This CR will be moved to Presented status.

-- 11:00 a.m. (MDT) / Thursday August 12, 2004 1-877-521-8688 1456160# PCPC080204-1 Escalation Code and sub code, including examples, documented on Qwest’s Wholesale web site Attendees Attended Conference Call Name/Company: Bonnie Johnson, Eshcelon Stephanie Prull, Eschelon Kim Isaacs, Eschelon Doug Andreen, Qwest Michelle Thacker, Qwest Jim Rucker, Qwest Title:

Meeting Agenda: Action 1.0 Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed. 2.0 Review Requested (Description of) Change Doug read the title of the CR which is Escalation Code and sub code, including examples, documented on Qwest’s Wholesale web site”. The reading of the description was waived since everyone on the call has a good understanding of what is requested. Eschelon’s expectation is that Qwest will publish the available escalation codes and sub codes Qwest uses when closing out a CLEC escalation ticket. Qwest will include examples of when specific codes are used. Michelle said in past meetings she believed these codes were referred to as ‘Close codes Bonnie said yes and added that Eschelon is not asking for an exhaustive list but rather a definition of a category or a code. For example, XX is the code for when the telephone number is wrong. Like closing codes on service orders. Michelle said for example if Qwest didn’t type the telephone number correctly, or on an out of service, would want the codes associated. Bonnie said yes, though out of service is pretty self explanatory. Bonnie also suggested that if a list was sent to Eschelon that they could indicate the ones that are not clearly understood. Bonnie said she would leave it to Michelle on how to work it. There were no further questions or comments. 3.0 Confirm Areas & Products Impacted Areas impacted are Pre-Ordering, Ordering, Provisioning, and the Escalation process. 4.0 Confirm Right Personnel Involved Correct personnel were involved in the meeting. 5.0 Identify/Confirm CLEC’s Expectation Eschelon’s expectation is that Qwest will publish the available escalation codes and sub codes Qwest uses when closing out a CLEC escalation ticket. Qwest will include examples of when specific codes are used. 6.0 Identify any Dependent Systems Change Requests None 7.0 Establish Action Plan (Resolution Time Frame) Eschelon will present the CR at the August CMP Meeting. A response from Qwest will be given at the September meeting.


CenturyLink Response

October 12, 2004

For Review by CLEC Community and Discussion at the October 2004 CMP Meeting

Bonnie Johnson Director Carrier Relations Eschelon Telecom

SUBJECT: Qwest’s Change Request Response PC080204-1 Escalation Code and sub code, including examples, documented on Qwest’s Wholesale web site

This letter is a revised response to Eschelon’s Change Request (CR) PC080204-1. This CR requests that Qwest provide escalation codes and sub codes, including examples, on the Qwest Wholesale web site.

In the original response Qwest accepted the request and indicated that the information would be located outside of the Product Catalogue. After a review of the best location to place the information it was determined that the most appropriate location is a downloadable file in the Ordering Overview section of the PCAT. As agreed in the Clarification call, this will not be a totally exhaustive list but rather cover the codes, sub-codes and descriptions that are frequently used. The list will be updated as needed by Qwest.

As indicated in the original response, Escalations will continue to follow the existing process as currently documented in “Expedites and Escalations”.

Qwest will provide a status update at the November CMP Meeting.

Sincerely,

Michelle Thacker Process Manager - Qwest

-- September 13, 2004

For Review by CLEC Community and Discussion at the September 2004 CMP Meeting

Bonnie Johnson Director Carrier Relations Eschelon Telecom

SUBJECT: Qwest’s Change Request Response PC080204-1 Escalation Code and sub code, including examples, documented on Qwest’s Wholesale web site

This letter is in response to Eschelon’s Change Request (CR) PC080204-1. This CR requests that Qwest provide escalation codes and sub codes, including examples, on the Qwest Wholesale web site.

Qwest accepts this request and will move forward to place codes, sub codes and explanations on the Qwest Wholesale web site. The information will be located outside of the Product Catalogue and will be updated on an as needed basis.

Escalations will continue to follow the existing process as currently documented in Expedites and Escalations.

Qwest will provide a status update at the October CMP Meeting.

Sincerely,

Michelle Thacker Process Manager - Qwest


Open Product/Process CR PC100104-1 Detail

 
Title: Track and Archive External Documentation Requests
CR Number Current Status
Date
Area Impacted Products Impacted

PC100104-1 Completed
7/20/2005
Other: External Documentation Request Process
Originator: Isaacs, Kim
Originator Company Name: Eschelon
Owner: Cole, Jaqueline
Director:
CR PM: Stecklein, Lynn

Description Of Change

Eschelon requests that External Documentation Requests be tracked and archived on the Qwest Wholesale web site. Currently External Documentation Requests are tracked and archived internally at Qwest. Eschelon believes having this information available on the Qwest Wholesale website would be valuable to the CLECs and Qwest. Having the External Documentation Requests tracked and archived on the Qwest Wholesale web site would decrease duplicate requests and decrease unnecessary calls and emails to the documentation team regarding the status of external documentation requests.

Expected Deliverable: Track and Archive External Documentation Requests on the Qwest Wholesale Website.


Status History

10/1/04 - CR Submitted

10/4/04 - CR Acknowledged

10/13/04 - Clarification call held

11/17/04 - November CMP Meeting minutes will be posted to the database

12/15/04 - December meeting minutes will be posted to the database

1/19/05 - Discussed in the January Product/Process CMP Meeting

2/16/05 - Discussed in the February Product/Process CMP Meeting

3/16/05 - Discussed in the MarchProduct/Process CMP Meeting

4/20/05 - Discussed in the April Product/Process CMP Meeting

5/9/05 - PROS.05.09.05.F.02890.CLEC_ExDocReq_Process

5/18/05 - Discussed in the May Product/Process CMP Meeting

6/8/05 - PROS.0608.05.F.02999.FNL_CLEC_ExDocReq_Process - Proposed changes will become operational 6/23/05

6/15/05 - Discussed in the June Product/Process CMP Meeting

7/20/05 - Discussed in the July Product/Process CMP Meeting

7/20/05 - Status changed to Completed


Project Meetings

7/20/05 Product/Process CMP Meeting

Jill Martain - Qwest stated that this CR was effective on June 23rd and asked if this CR could be closed.

Kim Isaacs - Eschelon said that Eschelon was ok to close and that this request has met their needs.

6/15/05 Product/Process CMP Meeting

Jill Martain - Qwest stated that this request will become effective on June 23, 2005 and will remain in Development.

5/18/05 Product/Process CMP Meeting

Jackie Cole - Qwest stated that a notification was sent on 5/9/05 and that the CLEC comment cycle ends 5/24/05. She said that this request will be effective on 6/23/05. This CR will remain in Development.

5/9/05 PROS.05.09.05.F.02890.CLECExDocReqProcess

Timeline: Planned Updates Posted to Document Review Site Available May 09, 2005 CLEC Comment Cycle on Documentation Begins Beginning May 10, 2005 CLEC Comment Cycle Ends 5:00 PM, MT May 24, 2005 Qwest Response to CLEC Comments (if applicable) Available June 08, 2005 Proposed Effective Date June 23, 2005 4/20/05 Product/Process Meeting

Jackie Cole - Qwest stated that an adhoc meeting was held to present the requested enhancements to the web interactive view. Jackie said that during that meeting an additional request was made to show the ‘denied’ and ‘closed’ status. Jackie said that we did review the request and have determined that we cannot provide this information. She stated that we would like to move forward with this request as originally presented with the archived report and the detailed description. Bonnie Johnson - Eschelon asked if they were to look at the history in the interactive view would they be able to see the history and status of the request. Jackie Cole - Qwest stated that they would be able to see the Documentation #, description of request, current status, start date, last date updated, initiators name, PCAT name, the documented URL and a detailed description of the request. Bonnie Johnson - Eschelon asked if they would be able to get to the document itself. Jackie Cole - Qwest said yes, just like the PCAT. Bonnie Johnson - Eschelon said that they would not be able to see the history of the request. Jackie Cole - Qwest said that their Service Managers would be able to access the detailed information and history. Kim Isaacs - Eschelon asked if the URL is blank would that mean that the documentation was not updated. Kim said that their concern is that it may look as if a request for documentation was completed but that it was actually denied. Jackie Cole - Qwest agreed that the URL will be blank. Bonnie Johnson - Eschelon said can we assume that if the URL is blank then the request would indicate a denied status and that the request was not satisfied. Qwest confirmed that would be the case. Liz Balvin - Covad asked how soon these changes would be implemented. Jackie Cole - Qwest stated that a 45 day notification would be sent to the CLECs. Susan Lorence - Qwest said that the 45 day notification could be shortened. Bonnie Johnson - Eschelon said that she was ok with the 45 day notification. Bonnie asked if this view will show historical data over 45 days and the current view for anything less than 45 days. Jackie Cole - Qwest said that anything older that 45 days can be viewed in the archive report and anything less that 45 days will show the current view. Jill Martain - Qwest stated that this CR will remain in Development

3/18/05 Adhoc Meeting

Attendees: Kim Isaacs - Eschelon, Chris Terrell - AT&T, Jackie Cole - Qwest, Mark Coyne - Qwest, Lynn Stecklein - Qwest

Jackie Cole - Qwest stated that the purpose of this meeting was to discuss changes associated with PC100104-1 Track and Archive External Documentation Request). Jackie stated that in a previous adhoc meeting, the CLEC Community requested that Qwest research the feasibility to add an archive report and detailed description. Jackie stated that Qwest was able to accommodate these items. Jackie referred participants to the URL for review.

Kim Isaacs - Eschelon stated that these changes work for Eschelon.

Chris Terrell - AT&T agreed.

Kim Isaacs - Eschelon asked if Qwest would be able to show when a request was denied.

Jackie Cole - Qwest stated that she would have to research whether or not this would be feasible and provide an update in the April CMP Meeting.

There were no other questions or comments.

3/16/05 Product/Process CMP Meeting

Jackie Cole - Qwest stated that we will be able to implement the 3 action items requested in the last adhoc meeting. She stated that the test website is being readied and that a CLEC adhoc meeting will be scheduled to review. Jill Martain - Qwest stated that this CR will remain in Development.

2/16/05 Product/Process CMP Meeting

Jackie Cole - Qwest stated that an adhoc meeting was held on 2/15/05 to review the URL changes with the CLEC Community. Jackie said that we have 3 action items from this meeting to research. She stated that we will be scheduling another adhoc meeting in the next couple of weeks.

2/15/05 Adhoc Meeting

Attendees: Kim Isaacs - Eschelon, Roslyn Davis - MCI, Sharon VanMeter - AT&T, Amanda Silva - VCI Company, Liz Balvin - MCI, Chris Terrell - AT&T, Jackie Cole - Qwest, Carrie Bell - Qwest, Gary Berroa - Qwest, Mark Coyne - Qwest, Lynn Stecklein - Qwest

Lynn Stecklein - Qwest stated that the purpose of the meeting was to review the URL that supports PC100104-1 (Tracking and Archive External Documentation Requests). Lynn asked everyone to refer to the URL that provided in the notification sent 2/7/05.

Jackie Cole - Qwest provided an overview of the proposed changes located at http://www.qwest.com/wholesale/cmp/review/clecs.html. She said that the proposed spreadsheet includes the EDR number, request, Company, current status, last update and initiator.

Kim Isaacs - Eschelon asked if Qwest could create an archived report of what has been completed and could Qwest provide the description of the request.

Jackie Cole - Qwest said that we would take Eschelon's request as an action item to determine if their request could be accommodated.

Chris Terrell - AT&T asked if Qwest could provide a link to the document (s) that were changed.

Jackie Cole - Qwest stated that she would need to take this as an action item to determine if AT&T's request would be feasible. Jackie summarized the action items and stated that we would provide a status in the next few weeks.

1/19/05 Product/Process CMP Meeting

Jackie Cole/Qwest stated that the development team continues to work on the external website. She said that an adhoc meeting will be scheduled to review in mid February.

December CMP Meeting Minutes Jackie Cole – Qwest advised that we are still looking at a couple of different designs for the external web site and the level of effort. Once we have the design document we will schedule an ad hoc meeting with the CLECs. This CR will remain in Development Status.

11/17/04 November meeting minutes Qwest will accept this request and work to provide the functionality discussed in the Clarification Call. Jackie advised the External Documentation Request number, title, description and current status will be provided. Jackie advised that we will have another ad hoc call when Qwest is ready to present more details. This CR will move to Development Status.

10/20/04 CMP Meeting Minutes Kim Isaacs presented this CR saying that Eschelon is requesting external documentation be tracked on the Wholesale web site similar to the way CRs are tracked today. This will be used to monitor status and check for duplication before new requests are submitted. Doug Andreen, Qwest added that the clarification call has been held and Qwest has a good idea of what is required. The CR will move to presented status. Comment from Eschelon: Bonnie said this information would be beneficial and said though it streamlined the documentation request process, the history is missing.

Time/Date: Place: Conference Call-In No.: CR No.: CLEC Change Request Clarification Meeting

2:00 p.m. (MDT) / Wednesday October 13, 2004

1-877-521-8688 1456160# PC100104-1 Track and archive external documentation requests Attendees Attended Conference Call Name/Company: Kim Isaacs, Eschelon Doug Andreen, Qwest Jackie Cole, Qwest Jim Recker, Qwest Mark Coyne, Qwest Title:

Meeting Agenda:Action 1.0Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed. 2.0Review Requested (Description of) Change Doug read and reviewed the CR. The CR requests that External Documentation Requests be tracked and archived on the Qwest Wholesale web site. Kim stated that External Documentation Requests are tracked internally by Qwest and would like to see this available to the CLECs. The business need for the CLECs is twofold. First to be able to check before submitting a request if a similar or duplicate request has already been submitted. Second, is to check the status on existing requests, similar to what is available through the Interactive Report on CR requests. Mark asked what level of detail Eschelon wanted. Kim said the description, current status, and status history i.e. when accepted, posted, denied, completed etc. There was discussion around how many status codes are used in the documentation process and if any other fields would be needed on the web version of the report. There were no further questions. 3.0Confirm Areas & Products Impacted No products or areas, only Wholesale Web site. 4.0Confirm Right Personnel Involved Correct personnel were involved in the meeting.

5.0Identify/Confirm CLEC’s Expectation Track and archive documentation requests on the Wholesale web site 6.0 Identify any Dependent Systems Change Requests None 7.0 Establish Action Plan (Resolution Time Frame) Kim will present the CR at the October CMP meeting and Qwest response will be due in the November time frame.


CenturyLink Response

November 9, 2004

For Review by CLEC Community and Discussion at November’s CMP Meeting

Kim Isaacs ILEC Relations Process Analyst Eschelon

SUBJECT: Qwest’s Change Request Response - CR # PC100104-1

This is in response to Eschelon’s request that External Documentation Requests be tracked and archived on the Qwest Wholesale web site.

Qwest accepts this request and will move forward to provide the functionality as discussed on the Clarification call which includes: Document request number, Title of request, brief description of request and current status.

External Documentation Requests will continue to follow the existing process as currently documented.

Qwest will provide a status update at the December CMP Meeting. Sincerely, Qwest


Open Product/Process CR PC090704-1 Detail

 
Title: CLECs and Qwest will develop, and Qwest will document a new process, which allows CLECs to notify Qwest when Qwest makes changes to an undocumented existing process and it impacts any CLEC.
CR Number Current Status
Date
Area Impacted Products Impacted

PC090704-1 Completed
7/20/2005
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Martain, Jill
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

When Qwest changes process without CLECs knowledge, the CLEC is significantly impacted because there was not opportunity to react, document and train Qwest’s change in its process. Eschelon has made every attempt over the last several years to have Qwest document its existing processes at the level of detail that is clear, concise and understood by both Qwest and CLECs. CLECs have requested documentation of these processes through CRs and, most recently, the documentation process which allows a CLEC to request Qwest documentation or to clarify CLEC facing documentation for an existing process. Process and/or policy documentation requires a level of detail that will eliminate differences in interpretation by the CLEC and Qwest employees using the processes. Eschelon has communicated to Qwest CMP in the past, that CLECs definition of an existing process is a process or policy that Qwest is using and there is no CLEC facing documentation. This includes any process or policy that Qwest has internal documentation to the contrary, however, CLECs are unaware of the correct process because Qwest never provided CLEC documentation. If Qwest chooses to change the process where Qwest is doing something that differs from Qwest’s internal documentation, Qwest should submit a CMP CR to change that process. In addition, the MCC process does not apply in these cases because the MCC process applies only to those processes documented for the CLEC where CLEC/Qwest should be following the correct documented process but is not. Recently, Qwest implemented a new expedite process for installation on certain products. Qwest said the existing expedite process was not impacted, however, when Qwest trained the new process internally Qwest did change the existing process. Qwest had always processed expedite requests for orders other than installation at CLECs request. When Qwest implemented the new expedite process, Qwest would no longer accept non-installation related expedite requests from CLECs. Qwest did not provide CLECs documentation for non-installation related expedites the Escalation and Expedite PCAT, and Qwest said the existing process for expedites was not changing so when Qwest would no longer accept these requests, this was a change to CLECs that CLECs did not anticipate or prepare for. Qwest should not change existing process without submitting a CMP CR to do so.

Expected Deliverables: Qwest and CLECs will collaboratively develop and Qwest will document a process to react to situations where Qwest changes an existing process for which Qwest provided CLEC documentation.


Status History

9/7/04 CR submitted

9/8/04 CR acknowledged

9/16/04 -September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

9/22/04 - Qwest generated notice CMPR.09.22.04.F.02085.Ad-hoc_meeting

10/13/04 - Qwest generated notice CMPR.10.13.04.F.02150.Ad-Hoc_Meeting

10/26/04 - Qwest generated notice CMPR.10.26.04.F.02215.Ad-hoc_meeting

10/28/04 - Qwest generated notice CMPR.10.28.04.F.02242.Updated_Documents

10/29/04 - Qwest generated notice CMPR.10.29.04.F.02245.Ad-hoc_Meeting

11/17/04 - November CMP Meeting minutes will be posted to the database

12/15/04 - December meeting minutes will be posted to the database

12/17/04 - Scheduled ad hoc meeting for 1/7 to review Process with CLECs

1/7/05 - Ad hoc meeting held

01/19/2005 - Discussed in the January Product Process Monthly CMP Meeting

02/16/2005 - Discussed in the February Product Process Monthly CMP Meeting

03/15/2005 - CMPR.03.15.05.F.02700.CMP-Ad_Hoc_Meeting

03/16/2005 - Discussed in the Monthly Product/Process CMP Meeting

03/16/2005 - CMPR.03.16.05.F.02708.AdHocMtgURLChanges

03/24/2005 - Ad Hoc Meeting Held. See Project Meetings Section for Meeting Minutes.

04/08/2005 - PROS.04.08.05.F.02798.CLECImpChgProcClrfctnRqst (Level 4)

04/20/2005 - Discussed in the Monthly Product/Process CMP Meeting

05/06/05 - PROS.05.06.05.F.2870.FNL_ImpChgProcClrfctnRqst (Level 4)

05/18/2005 - Discussed in the Monthly Product Process CMP Meeting

06/15/2005 - Discussed in the Monthly Product Process CMP Meeting

07/20/2005 - Discussed in the Monthly Product Process CMP Meeting


Project Meetings

July 20, 2005 Monthly Product Process CMP Meeting discussion: Jill Martain-Qwest stated that this request was effective on May 23, 2005 and asked if the CR could be closed. Bonnie Johnson-Eschelon said that the CR could be closed.

-- June 15, 2005 Monthly Product Process CMP Meeting discussion: Jill Martain-Qwest stated that this was effective on May 23, 2005 and Qwest would like to move this CR to CLEC Test. There was no dissent to the status of CLEC Test.

May 18, 2005 Monthly Product Process CMP Meeting discussion: Jill Martain-Qwest stated that the Final Notice was sent on May 6th and that the proposed effective date is May 23, 2005. This CR remains in Development status.

-- April 20, 2005 Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that the notice was sent on April 8th and that the comment cycle runs thru April 23rd. Jill then noted that this would become effective on May 23rd and that the status remains as Development.

- March 24, 2005 Ad Hoc Meeting Minutes ATTENDEES: Carol Desborough-Wisor, Tom Larson-Cox, Kim Isaacs-Eschelon, Sharon Van Meter-AT&T, Bonnie Johnson-Eschelon, Bob Eggert-SBC, Rosalin Davis-MCI, Julie Pickar-TDSMetroCom, Stephanie Prull-Eschelon, Peggy Esquibel Reed-Qwest, Gary Berroa-Qwest, Carrie Bell-Qwest, Jackie Cole-Qwest, Jill Martain-Qwest

Peggy Esquibel Reed-Qwest stated that there have already been several discussions regarding this Change Request and that this ad hoc meeting was scheduled in order to review the process that was developed for PC090704-1 which is titled CLECs and Qwest will developed, and Qwest will document a new process, which allows CLECs to notify Qwest when Qwest makes changes to an undocumented existing process and it impacts any CLEC. Peggy stated that the URLs that will be used in the ad hoc call were provided in the meeting notification that was sent on March 16th. Peggy stated that one of the URLs contains the CLEC Process Clarification Change Request Form and the other URL is for the Process document. Gary Berroa-Qwest stated that one of the URLs contained the CLEC External Process Clarification Request form and the other link is the Process document that can be uploaded and saved to the user’s desktop. Gary then directed the call participants to open the link that contained the form and stated that the fields with an asterisk were required fields. Gary then walked through the fields on the form. Jill Martain-Qwest stated that the form is slightly different than what was previously discussed and noted that we wanted it to be similar to the existing process. Bonnie Johnson-Eschelon stated that the fields titled ‘Detailed Description of Change’ and ‘Description of Change Impacted CLEC’ could be interpreted to mean the same thing. Bonnie asked if the ‘Description of Change Impacted CLEC’ was for the impact to the CLEC. Jill Martain-Qwest stated yes, it is for the CLEC to indicate what they experienced and the impact to the CLECs normal course of business. Bonnie Johnson-Eschelon asked if the field could be named differently. Jill Martain-Qwest suggested that the field name be changed to something like ‘Description of How the Change Impacted the CLEC’. Bonnie Johnson-Eschelon stated that she agreed with the field name change. Gary Berroa-Qwest stated that the change could be made and asked if there were any other questions or comments. There were none brought forward. Peggy Esquibel Reed-Qwest asked if all on the call were okay with what was presented. Bonnie Johnson-Eschelon stated that she liked the form and noted that she likes electronic forms. The CLEC Community agreed with Bonnie. Gary Berroa-Qwest stated that the other link is the CLEC External Process Clarification Request and noted that at the bottom is a hyperlink for the Process Guide. Bonnie Johnson-Eschelon asked if the Process Guide contained the language that was previously agreed to. Jill Martain-Qwest stated yes and noted that the only change will be to the form. Gary Berroa-Qwest stated that the web site will have a link to the form and will have the ability to upload the Process Guide. Jill Martain-Qwest stated that when there are items that had a resolution and were closed, it would be similar to the existing external process. Bonnie Johnson-Eschelon stated that she likes that it is on the same web page as it is then all in one location. Peggy Esquibel Reed-Qwest stated that it sounds like everyone likes what they saw. Bonnie Johnson-Eschelon stated yes and stated that she appreciated the work and effort. Peggy Esquibel Reed-Qwest stated that we would then proceed with the implementation of this process with the appropriate notifications. There were no additional comments or questions.

- March 16, 2005 Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that we are working to get the web up and working and noted that an ad hoc call had been scheduled for March 24th. This CR remains in Development status.

-- February 16, 2005 Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that we were working on how to implement this on the web to look like the existing external documentation process. Jill stated that we would schedule ad ad-hoc meeting to take place in March for review and feedback. This CR remains in Development status.

January 19, 2005 Product Process CMP Meeting Discussion Jill Martain/Qwest stated that there was an ad-hoc meeting on January 7th for review of the process. Jill stated that an agreement was reached and noted that Qwest is working internally to determine what needs to be done and how it will be done. Bonnie Johnson/Eschelon stated that she had asked for the post-order process and noted that Qwest does not want to consider that. Bonnie stated that she has asked Qwest if the post completion process could be followed. Jill Martain/Qwest stated that was for a different change request but can be discussed now. Bonnie Johnson/Eschelon asked why Qwest did not want to use the post completion process. Bonnie stated that she has discussed this with Covad, and Covad does not want any post completions. Bonnie stated that she had talked with Liz (Balvin/Covad) and that Liz told her that as long as Qwest is reviewing the examples to eliminate the problem causing post completions she is okay using the post completion process. Jill Martain/Qwest stated that with the previous agreement Qwest agreed to document the existing process, which was a telephone call. Jill agreed to take back and review if Qwest can utilize the Post Completion Process. Bonnie Johnson/Eschelon stated that she would rather that the post completion process be followed since this was a post completion issue. Jill Martain/Qwest stated that she would revisit and look at the pros and the cons.

PC090704-1 CLEC Impacting Change Process Ad Hoc Meeting January 7, 2005

In Attendance: Amanda Silva – VCI Kathy Stitcher – Eschelon Jill Martain – Qwest Pete Budner – Qwest Cindy Harlan – Qwest Bob Eggert – SBC Bonnie Johnson – Eschelon

Cindy Harlan – Qwest opened the call and reviewed the agenda. Cindy advised that this process was requested by Eschelon as a means to address an escalated situation when a process changes and it negatively impacts the CLECs. Jill Martain – Qwest advised that we have reviewed the process internally and made a few changes. The purpose of this call is to review the changes and discuss next steps.

Jill Martain – Qwest stepped through each section of the process. Jill reviewed the scope of the process and when it would be used.

Bonnie Johnson – Eschelon asked if a phone call instead of email could be used for section 3.2. Jill explained a phone call is better as discussion needs to take place in this step. Jill agreed that in section 3.2.2 an email could be sent to capture the discussion.

Bonnie also suggested that Doug’s name be removed from the process document. Jill agreed. Bonnie asked what EDCR stood for. Jill replied External Documentation Change Request.

Bob Eggers asked if the request is out of scope is it still posted historically? Jill advised that is one of the next steps that we need to take. We need to meet with the web team to create a location on the web to store these, and model it after the External Documentation Change Request.

Next Steps include: Create the online form to submit Make web updates Provide notification of the process

December CMP Meeting Minutes Jill Martain – Qwest advised that we are continuing with our internal review. We have some updates to the process as a result of our reviews and some additional work to make the process and form available to the CLECs. An ad hoc meeting will be schedule to review the proposed changes with the CLECs after the first of the year. This CR will remain in Development Status.

11/17/04 November meeting minutes Jill Martain – Qwest advised an ad hoc meeting was held and feedback on the draft proposal was received. Qwest will meet internally and then will schedule another ad hoc meeting with the CLECs. The CR will remain in Development Status.

10/20/04 CMP Meeting Minutes Jill Martain, Qwest stated that there had been one ad-hoc call and that Qwest was in the process of developing the form for review at the next ad-hoc meeting to be held October 27. Bonnie added that she thought the ad-hoc meeting had been a great start. The CR will move to development.

-- Ad Hoc Meeting Minutes PC090704-1 CLECs and Qwest will develop, and Qwest will document a new process, which allows CLECs to notify Qwest when Qwest makes changes to an undocumented existing process and it impacts any CLEC. CMP Product & Process October 27, 2004 1-877-521-8688, Conference ID 1456160# 9:00 a.m. – 10:00 a.m. Mountain Time

PURPOSE

To review the rough document and form for this process

List of Attendees: Jen Arnold – TDS Bonnie Johnson – Eschelon Kim Isaacs – Eschelon Kathy Stichter - Eschelon Lynn Kellas – Electric Light Wave Mark Matson – SBC Telecom Rosalin Davis - MCI Jill Martain – Qwest Jim Recker – Qwest Doug Andreen - Qwest

MEETING MINUTES

The meeting began with Qwest making introductions and welcoming all attendees.

Doug Andreen explained that the purpose of the meeting was to review the document and form associated with this CR.

Jill Martain walked through the document. She said Qwest struggled with the title of the process and further discussion determined that if any of the CLECs had a better title to please submit.

Bonnie Johnson asked what types of situations were covered in section 1.0. Jill said situations where something was being viewed one way by the CLEC’s and a different way by Qwest.

Liz Balvin of Covad had submitted three questions in advance of the meeting. The first involved Impact to the CLEC and if the CLEC would have to prove impact. Jill answered that the impact is determined by the submitting CLEC. Changes could occur during meetings that follow by mutual agreement. Eschelon said this is ok as long as long as it is defined at the CLEC level. The second question concerned making the document less vague with respect to “short term course of action” and “until meetings can be scheduled”. The words “within one business day” were inserted at three places in the document to clarify time frames. The third question concerned CLECs having input to problem resolution. Jill explained that it would be a mutual decision of how to get to resolution, via CR, MCC, etc.

It was also clarified that the intent is to have this on the web in the same place as the External Documentation Process. Kim Isaacs asked if the information would be tracked and Jill answered that this was being looked into. Jill further clarified that out of scope problems would be resolved by Qwest calling the initiator.

It was agreed that the updated document would be distributed via notice tomorrow October 28th and that CLECs would forward comments or red-lines by close of business Wednesday November 3rd. The next meeting was scheduled for Thursday November 18, 9 a.m. Mountain time.

-- Time/Date: Place: Conference Call-In No.: CR No.: CLEC Change Request Ad-Hoc Meeting

October 7, 2004 9:00 p.m. – 10:00 p.m. Mountain Time

1-877-521-8688, Conference ID 1456160# PC090704-1

Attendees Attended Conference Call Name/Company: Jen Arnold – TDS Bonnie Johnson – Eschelon Kim Isaacs, Eschelon Stephanie Prull, Eschelon Kathy Stiester, Eschelon David Bellinger, AT&T Rosalin Brewer, AT&T Rosalin Davis, MCI Amanda Silva, BCI Liz Balvin, Covad Jill Martain, Qwest Communications Jennifer Fisher, Qwest Doug Andreen, Qwest Communications Title:

Meeting Agenda: Action 1.0 Introduction of Attendees Introductions were made and the purpose of the call discussed. 2.0 Minutes Doug Andreen read and reviewed the CR. The CR requests that CLECs and Qwest will develop, and Qwest will document a new process, which allows CLECs to notify Qwest when Qwest makes changes to an undocumented existing process and it impacts any CLEC. He also said that at this meeting we wanted to get to the root cause of the problem from both a CLEC and Qwest perspective, establish a high level outline of the process, and establish next steps. Bonnie Johnson added that this process would be for the times when Qwest unknowingly does something different. Of course, when Qwest knows, they would handle the situation through the CMP process. Jill Martain proposed the following steps as a high level view to resolve the CR issues: 1. Determine a method in which the CLEC can communicate their concern/issue to Qwest, i.e., the comment or cmpcr mailbox. 2. Schedule an ad-hoc meeting to discuss the problem, establish the cause and correction and decide together how to move forward. 3. Decide if PCAT changes, notices, etc. are needed. Some discussion ensued and it was agreed that the above points were an excellent start. It was further agreed to use a yet to be developed template to communicate to Qwest in a standard manner via the cmpcr mailbox. These emails will carry a special Subject line so they are easily identifiable for special handling. It was decided the template would include a description of the issue (the situation before and the existing situation), any associated PCATs, manual processes, Technical Publications, etc., a history of steps taken so far i.e. Repair ticket numbers, escalation tickets, contact with Qwest employees including the CLECs Service Manager, additional SMEs the CLEC would like involved, any proposed solutions, and an assessment on the impact this is having on the CLEC. It was further agreed that the degree of impact would be expressed as high, medium, or low. If a high impact , the CLEC would be contacted within 24 hours to determine an immediate course of action. If a medium or low impact is indicated the regular timeframe for an ad-hoc meeting (5 days) would apply. Bonnie stated she would like to see these distributed to other CLECs. The method for doing this has yet to be devised. Also Bonnie added that this process would be for items where the CLEC has at least already visited with their Service Manager and determined this is the route to go. 3.0 Next Steps/Action Plan Qwest will design a rough draft of the form and process. The next meeting will be October 27, 9 – 10 am. Mountain time. Qwest will forward the form and process before the meeting.

Time/Date: Place: Conference Call-In No.: CR No.: CLEC Change Request Clarification Meeting

September 13, 2004 3:00 p.m. – 3:30 p.m. Mountain Time

1-877-521-8688, Conference ID 1456160# PC090704-1

Attendees Attended Conference Call Name/Company: Jen Arnold – TDS Bonnie Johnson – Eschelon Kim Isaacs, Eschelon Donna Osborne-Miller, AT&T Emily Baird, POP Telecom Liz Balvin, Covad Jim Recker, Qwest Communications Sue Kriebel, Qwest Communications Jill Martain, Qwest Communications Doug Andreen, Qwest Communications Title:

Meeting Agenda: Action 1.0 Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed. 2.0 Review Requested (Description of) Change Doug Andreen read and reviewed the CR. The CR requests that CLECs and Qwest will develop, and Qwest will document a new process, which allows CLECs to notify Qwest when Qwest makes changes to an undocumented existing process and it impacts any CLEC. Bonnie Johnson summarized the description of the CR and said that it is designed to cover situations such as the Design Process Expedite Process as discussed at last month’s CMP meeting where Qwest had always accepted requests but all of a sudden would not. She stated that Eschelon’s interpretation of and existing process is something that Qwest is doing globally whether it is internally documented at Qwest or not. When a process stops and CLECs are impacted, CLECs need a way to react since they cannot see the process change. Jill Martain said such cases are examples where Qwest might view this as a compliance issue while the CLECs view it as a change to existing process Bonnie said we need to collaboratively determine a process for when this happens, for instance when a Qwest employee tells us “Oh no, we got an MCC covering that”. Liz Balvin asked if there was an MCC sent out or if they were going by the final Product Notification. There was much discussion around the Expedite process in specific and what this CR would accomplish. . Discussion continued to state that in the case of expedites, the PCAT was silent on the activity types for expedites. Qwest’s intent is that it applies to all order activity types and the CLEC viewed the PCAT for installation activity only. This CR would implement steps the CLECs and Qwest would follow to resolve these types of situations. It was stated that the MCC or notification processes should not be confused with the intent of this CR. Bonnie stated for situations where Qwest has a document that says “do this” and the CLEC has a different viewpoint of the existing process. This CR is for unique situations where Qwest views an issue as a compliance matter and the CLECs view it as a process change. Jim Recker asked if this would encompass more than Installation and Repair. Jill answered yes that it would cover all areas. Doug pointed out that the CR was not received before the cutoff for the September meeting. Bonnie said she would like to walk it on this month. Therefore, the CR will be walked on at the September 16 CMP meeting.

3.0 Confirm Areas & Products Impacted 4.0 Confirm Right Personnel Involved Correct personnel were involved in the meeting. 5.0 Identify/Confirm CLEC’s Expectation Qwest and CLECs will collaboratively develop and Qwest will document a process to react to situations where the CLECs and Qwest have different viewpoints on process issues/changes that have a direct impact on the CLEC community where the existing documentation needs clarity. 6.0 Identify any Dependent Systems Change Requests None 7.0 Establish Action Plan (Resolution Time Frame) The CR will be walked on at the September 16 meeting. Response will be due at the November CMP meeting.


Open Product/Process CR PC033104-1 Detail

 
Title: Redesign the archive change request information on the Qwest Wholesale web site to allow search and print functionality
CR Number Current Status
Date
Area Impacted Products Impacted

PC033104-1 Completed
7/21/2004
Web site search functionality
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Andreen, Doug
Director:
CR PM: Andreen, Doug

Description Of Change

Eschelon asks Qwest to restructure the design of the archived CRs on its web site to allow search and print functionality. In its current structure, there is so much data contained in the Product/Process and System archived CR storage that search and print functionality is either hindered ort cannot be performed at all. Qwest and the CLECs will collaboratively determine how to separate the data so functionality is restored but archived CRs can be found easily.

Expected Deliverable:

Qwest will redesign the archive change request information on the Qwest Wholesale web site to allow search and print functionality.


Status History

03/31/04 - CR Submitted

03/31/04 - CR Acknowledged

4/21/04 -April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

5/19/04 -May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

6/16/04 -June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

6/17/04 - Qwest initiated notification PROS.06.15.04.F.01791.Web_CR_Archive_Report

7/21/04 -July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

7/21/04 July CMP Meeting Doug Andreen, Qwest said that a prototype version was placed on the website June 15. The comment cycle began on June 16 and completed on June 22. No comments were received. Therefore, the change became effective July 6. There were no comments in the meeting and the CR will be moved to Completed status.

- Meeting Minutes CMP June Meeting Doug Andreen, Qwest said the site is now up and running. He said the CLEC notification went out yesterday and the comment cycle starts today. Effective date is scheduled for July 6. John Berard, Covad asked if this is still an Adobe file. Doug said no. John asked if it could be downloaded as an Adobe file. Doug said he would check. Doug said it will work for download the same way as the new Interactive Report. (After the meeting it was found that the file can be downloaded as an Adobe (pdf) file or a text file but it will only download the specific level of the file you are in at the time. For instance, if you are in the CR Index, the download will only contain the Index and will not have links to the detail file. If you are in a Detailed Record the download will only contain that record. However, the file can be downloaded as an html file, and if downloaded at the Index level, will maintain links to the Detailed information.) Bonnie Johnson, Eschelon added that she is anxious to try the new search capabilities. Liz Balvin asked if individual CRs can be printed. Doug answered yes. This CR will move to Test Status

Meeting Minutes CMP May Meeting Doug Andreen, Qwest summarized the response saying that Qwest accepts the CR and is proceeding to design the Archive change request information in the same manner as the recently completed rewrite of the Interactive Report. He added that this design effort should be finished between now and the next meeting so the intent is to notice the CLEC Community and then post to the Web as a Prototype just as was done with the Interactive Report rewrite. The CR will move to Development.

-- 4/21/04 April CMP meeting Bonnie Johnson, Eschelon presented this CR and stated the plan is to design it in the same way as the Prototype Interactive Report. The CR will move to Presented.

- 10:30 (MST) / Wednesday April 7, 2004

1-877-521-8688 1456160# PC033104-1

Attendees Bonnie Johnson, Eschelon Cindy Macy, Qwest Communications Doug Andreen, Qwest Communications

Meeting Agenda:Action 1.0 Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

2.0 Review Requested (Description of) Change Doug read and reviewed the CR. The CR requests a redesign of the Archive CR Report to allow search and print functionality

Bonnie stated that the current structure there is so much data that search and print functionality is either hindered or cannot be performed. It calls for Qwest and the CLECs to collaboratively determine how to separate the data so functionality is restored.

Cindy asked if Bonnie could elaborate on the search and print function capabilities.

Bonnie stated that no new capabilities are needed but just to restore the functionality of these items. Search in particular has been crashing. The intent is to minimize the data.

(It is noted this CR was originally an action item and had been discussed in the last CLEC meeting. At that meeting it was discussed that if the Prototype Interactive Reports were approved in the April CLEC meeting that the Archive could follow the Interactive Report format and be broken into sections by the year the CRs had been initiated. ) 3.0Confirm Areas & Products Impacted Archive report for Product and Process and Systems CRs.

4.0 Confirm Right Personnel Involved Correct personnel were involved in the meeting.

5.0 Identify/Confirm CLEC’s Expectation Redesign the Archive Report to restore/allow search and print functionality of CRs.

6.0 Identify any Dependent Systems Change Requests None 7.0 Establish Action Plan (Resolution Time Frame) Bonnie will present this CR at the April meeting and a response will be due in the May timeframe.


CenturyLink Response

May 12, 2004

DRAFT RESPONSE For Review by CLEC Community and Discussion at the May CMP Meeting

Bonnie Johnson Senior Manager ILEC Relations Eschelon

SUBJECT: Qwest’s Change Request Response - CR # 033104-1

This is in response to Eschelon’s request to redesign the archive change request information on the Qwest Wholesale web site to allow search and print functionality.

Qwest accepts this CR and will proceed to design the archive change request information in the same manner as the recently completed rewrite to the Interactive Report.

Qwest will provide an updated status in the June CMP meeting.

Sincerely,

Doug Andreen Qwest


Open Product/Process CR PC111504-1 Detail

 
Title: Excessive Repair/DSL hold time escalation contact information
CR Number Current Status
Date
Area Impacted Products Impacted

PC111504-1 Denied
1/19/2005
Maintenance Repair
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Colton, Nick
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest will develop a process and/or provide and document contact information on how a CLEC can escalate when calling the Qwest repair and DSL technical support centers using a contact other than the number a CLEC calls to report the trouble. Qwest publishes only one number for its Repair and DSL technical support center. Qwest’s current escalation process asks the CLEC to escalate using that number. However, when the reason for escalation is that the CLEC cannot get through to report the trouble, and Qwest has the CLEC on hold for excessive periods of time, that same number is of no use to the CLEC and the CLEC cannot escalate. For example, Eschelon had brought excessive hold times for Qwest’s DSL support center as an issue to Eschelon’s service Management Team twice in the last several months. In February of 2004, Eschelon discovered Qwest started taking repair calls for MSN. This resulted in significant hold times for almost every call between 45 minutes and one hour. Eschelon brought this issue to our Service Managers again in October of 2004. The hold times this time had spiked to about 30 minutes per call. In both cases, Eschelon was unable to escalate individual occurrences of excessive hold times to Qwest because Qwest’s escalation process requires the CLEC to escalate using the same number the CLECs calls to report the trouble and was only able to report the problem as a global issue to Qwest. Qwest should provide an escalation process and/or contact over and above escalating through the number Qwest asks a CLEC to call to report the trouble.

Expected Deliverable:

Qwest will develop a process and/or provide and document contact information on how a CLEC can escalate when calling the Qwest repair and DSL technical support centers using a contact other than the number a CLEC calls to report the trouble.


Status History

11/15/04 - CR Received

11/17/04 - CR Acknowledged

11/19/04 - Contacted CLEC and scheduled Clarification call for 12/3

12/3/04 - Held Clarification Call

12/15/04 - December meeting minutes will be posted to the database

12/28/04 - Requested information from Eschelon

1/12/05 - Emailed response to CLEC


Project Meetings

1/19/05 Product/Process CMP Meeting

Georgeanne Weidenbach/Qwest stated that Qwest undertook to reduce hold time issues in its DSL Technical Support Center by implementing shift changes as well as adding a significant number of agents in the fourth quarter of 2004. Georgeanne said that Qwest plans to continue evaluating needs and adding agents as resources permit in 2005. She also stated that Wholesale Customers can submit repair tickets, effective December 2004, on-line using CEMR. Georgeanne said that Qwest has not experienced hold time issues associated with its other repair centers. Bonnie Johnson/Eschelon stated that she sent the denial to their Service Manager and advised that they would be paging them if the hold time is excessive. Jill Martain/Qwest stated that this CR would be closed.

From: Johnson, Bonnie J. [mailto:bjjohnson@eschelon.com] Sent: Wednesday, December 29, 2004 2:33 PM To: Macy, Cynthia; Johnson, Bonnie J. Cc: Peterson, Pete; Isaacs, Kimberly D. Subject: RE: PC111504-1 Excessive Repair DSL hold time

Hi Cindy, Your request would be very time consuming. Perhaps if Qwest had requested we provide that information on a going forward basis when we had the clarification call, Eschelon could have done that. In addition, I believe Qwest is required to report hold time or time to answer information so chances are Qwest already has the data you are asking for.

To go back would and gather the information would be too difficult, if we could gather it at all. I will ask Pete Peterson our RSB Manager if he could forward examples on a going forward basis, however.

Bonnie J. Johnson Director Carrier Relations Eschelon Telecom, Inc. Phone 612 436-6218 Fax 612 436-6318 Cell 612 743-6724 bjjohnson@eschelon.com

--Original Message-- From: Macy, Cynthia [SMTP:Cynthia.Macy@qwest.com] Sent: Wednesday, December 29, 2004 2:26 PM To: Johnson, Bonnie J. Subject: RE: PC111504-1 Excessive Repair DSL hold time

Bonnie,

Thank you very much for the information. I have forwarded this on to the team working on this CR.

We would also appreciate it if you could please provide a list of Qwest ticket numbers (Designed Services) or Phone numbers (POTS & DSL) that were reported to Qwest repair that had the excessive hold time while trying to make the initial report.

It would be nice to have the date and time the circuits were reported as well but not necessary. This information will help us determine the scope of the potential problem and where we may have an issue with hold time i.e. center, day of week, time of day, Holidays, volumes of tickets with excessive hold time, etc.

I appreciate your efforts obtaining this information. If you can provide this for the past tickets and for future tickets that would be great.

Let me know if you have any questions. Thanks, Cindy

Cindy Harlan Wholesale Change Management Qwest 303-382-5765

--Original Message-- From: Johnson, Bonnie J. [mailto:bjjohnson@eschelon.com] Sent: Wednesday, December 29, 2004 12:36 PM To: Macy, Cynthia; Johnson, Bonnie J.; Isaacs, Kimberly D. Cc: Peterson, Pete Subject: RE: PC111504-1 Excessive Repair DSL hold time

Hi Cindy, The number Eschelon is calling for DSL (as well as other repair) are the numbers posted on Qwest's web site.

http://www.qwest.com/wholesale/clecs/maintenance.html

Contacts Interconnect Service Center (888-796-9087): * To submit Trouble Reports within 24 hours of Service Order Confirmation.

QCCC Warranty Group (866-549-3846 option 5) * To submit Trouble Reports on UNEs within 30 calendar days of Service Order Completion

AMSC (800- 223-7881): * Telephone Number * Non-Designed Service * Centrex Service * Shared Loop Service * Designed Service DSO, DS1, and DS3 circuit number * Unbundled Loop Service

RCHC (888-405-0083): * Non-Design POTS: * Resale - Simple Residential (1FR) * Resale - Simple Business (1FB) * UNE-P POTS Qwest Digital Subscriber Line (DSL) Technical Support Center (800-247-7285) * Resale * UNE-P * UNE-STAR

In addition, as you can see from the repair escalation web site, Qwest does not provide alternate numbers for escalation. You have to escalate through the main TN and Qwest provides no information at all on DSL escalations.

http://www.qwest.com/wholesale/customerService/escalation.html

Tier Repair Contacts Non-Design Services Designed Services Info To Provide 1 Qwest AMSC, CRSAB, or RCHC initial Trouble report 800-223-7881 800-223-7881 Non Design: Telephone Number Designed Services Circuit ID, CLLI code, 2/6 code or trunk group 2 Status 800-223-7881 800-223-7881 Non Design: Telephone Number Designed Services Qwest ticket number 3 Escalations Note: The appropriate Escalation Manager's name & number will be provided after the Designed Test Center is contacted after level one escalation at the technician level. Level two and three will occur at the line manager and center manager level. Levels four and five will occur at the Director and Vice president level as noted in tiers six and seven. 800-223-7881 800-223-7881 Non Design: Telephone Number Designed Services Qwest ticket number

Bonnie J. Johnson Director Carrier Relations Eschelon Telecom, Inc. Phone 612 436-6218 Fax 612 436-6318 Cell 612 743-6724 bjjohnson@eschelon.com

--Original Message-- From: Macy, Cynthia [SMTP:Cynthia.Macy@qwest.com] Sent: Wednesday, December 29, 2004 11:40 AM To: Johnson, Bonnie J.; Isaacs, Kimberly D. Cc: Macy, Cynthia Subject: PC111504-1 Excessive Repair DSL hold time

The team working on this CR needs to know what the exact phone numbers are that you are calling. Would you please provide the actual telephone numbers that are dialed that you are experiencing excessive hold time on.

Thank you, Cindy

Cindy Harlan Wholesale Change Management Qwest 303-382-5765

December CMP Meeting Minutes Kim Isaacs – Eschelon presented the CR. Kim advised that Eschelon is requesting escalation contact information for cases when there are excessive hold times for DSL repair and regular repair. The first level escalation number is the same as the second level escalation number. When the CLEC can’t get through on the first number they have no other alternative number to contact. John Berard – Covad asked if there was not a 3rd level number that was different. Cindy Macy – Qwest advised that there is only one number to contact for DSL repair and regular repair so if there is an issue getting through it seems as if there is not an alternative available. This CR will move to Presented Status.

Clarification Call: PC111504-1 Excessive Repair / DSL hold time escalation contact information

December 3, 2004 1:0 0 – 2:00 p.m. MT

In attendance:

Paul Schlachter – Qwest Communications Kim Isaacs – Eschelon Jen Arnold – TDS Roslyn Davis – MCI Randy Owen - Qwest Communications Tim Francis - Qwest Communications Paul Diamond - Qwest Communications Jim Recker - Qwest Communications Bonnie Johnson – Eschelon John Berard – Covad Cindy Macy - Qwest Communications

Cindy Macy – Qwest opened the call and advised that this is the Clarification call for PC111504-1 Excessive Repair / DSL hold time escalation contact information. Cindy advised that we will have Eschelon review the CR that they submitted. We will make sure Qwest understands the CLECs expectations and discuss next steps.

Bonnie explained for DSL repair there is a number to call to report tickets and this is the same number to use if you have an escalation. There is only one number to call for any issue the CLECs may have. Bonnie explained the Service Managers are the escalation point for the CSIE group for provisioning, but for repair there isn’t another contact available.

Bonnie advised they are experiencing excessive hold times for Qwest DSL repair and for basic repair also. When a call is made to the repair line we can be on hold for up to 45 minutes. The problem is that there is not another number to call if we can’t get through on the repair line. It doesn’t matter if we have an escalation as we can’t get through any sooner. Bonnie clarified that it is not the repair call that needs to be escalated, but the fact that we can’t get through. We need another way to contact repair when the main line hold time is excessive.

Cindy Macy – Qwest asked about the comment on the CR that mentions that Eschelon has worked with Service Management on past incidents. Bonnie explained that they worked with Service Management in February 2004 and October 2004. Service Management investigated why the hold time was so long and provided that information to Eschelon. They did not put anything in place to reduce the hold time or discuss an alternate way to contact repair when hold times are long.

Paul – Qwest asked for the average call hold time? Bonnie advised that in February it was 45 minutes, October was 30 minutes and November is 25-30 minutes. Bonnie said she understands that the nature of doing business will occasionally cause delays, but we need to get a process or other avenue in place to address the excessive hold time when it occurs. This should not go on for extended periods of time.

The team clarified that Eschelon is asking for a process to contact repair (both DSL and regular repair) when the main number has excessive hold time. Cindy verified this could be a pager, email, another phone number or another person to contact. Bonnie advised yes, that they need an alternate process to contact repair when the hold time on the phone number is excessive.

Cindy advised the next step is for Eschelon to present the CR at the December CMP meeting. Qwest will have an internal meeting to review what can be done and a response will be provided at the January CMP meeting.

There were no other questions.


CenturyLink Response

For Review by the CLEC Community and Discussion at the January 19, 2005 CMP Meeting

January 11, 2005

Eschelon Bonnie Johnson Director, Carrier Relations

SUBJECT: CR # PC111504-1 Excessive Repair / DSL hold time escalation contact information

Qwest undertook to reduce hold time issues in its DSL Technical Support Center by implementing shift changes as well as adding a significant number of agents in the fourth quarter of 2004. Also, Qwest plans to continue evaluating needs and adding agents as resources permit into 2005. Further, Wholesale customers may submit repair tickets (including DSL repair tickets, effective December 2004) on-line using CEMR. Qwest has not experienced hold time issues associated with its other repair centers. Qwest is meeting or exceeding its repair measures in these centers. With the operational improvements that Qwest has already made, Qwest is denying this request because the requested change does not result in a reasonably demonstrable business benefit (to Qwest or the requesting CLEC) or customer service improvement.

Sincerely, Qwest Communications


Open Product/Process CR PC050405-1 Detail

 
Title: Provide individual WTNs (Working Telephone Number) with all NRCs (Non Recurring Charge)
CR Number Current Status
Date
Area Impacted Products Impacted

PC050405-1 Completed
2/15/2006
Billing Resale, UNE-P, Centrex
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Kilker, Terri
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Currently, Qwest does not provide the individual WTNs with each NRC. For example, on a new install of 4 lines, for the same customer with different WTNs, all the NRCs show the main number on the service order, i.e. the BTN (Billing Telephone Number). Because of this, Qwest is issuing incorrect BillMate Soactvty files. From looking at the Qwest BillMate Soactvty file, Eschelon does not know for which lines Qwest is billing NRCs, making validation of bills more time consuming. Eschelon asks Qwest to provide the correct telephone number for each NRC, on the BillMate Soactvty files.

Expected Deliverable:

Qwest will identify each NRC, on the BillMate Soactvty files, with the correct telephone number.

(See related Systems CR SCR050405-04)


Status History

05/04/2005 CR submitted

05/05/2005 CR acknowledged

05/13/2005 Clarification Call Held

05/18/2005 Discussed in the Monthly Product Process CMP Meeting

06/07/2005 Initial Evaluation Response Sent to Eschelon, via Email

06/15/2005 - Discussed in the Monthly Product Process CMP Meeting

07/20/2005 - Discussed in the Monthly Product Process CMP Meeting

08/17/2005 - Discussed in the Monthly Product Process CMP Meeting

09/21/2005 - Discussed in the Monthly Product Process CMP Meeting

10/19/2005 - Discussed in the Monthly Product Process CMP Meeting

11/16/2005 - Discussed in the Monthly Product Process CMP Meeting

12/14/2005 - Discussed in the Monthly Product Process CMP Meeting

12/16/2005 - PROS.12.16.05.F.03536.Individual_WTNs_for_NRC (Level 1)

12/27/2005 - Status Changed to CLEC Test Due To December 19, 2005 Implementation

01/18/2006 - Discussed in the Monthly Product Process CMP Meeting

02/15/2006 - Discussed in the Monthly Product Process CMP Meeting

02/15/2006 - Status Changed to Completed. Concurrence Received at Monthly CMP Meeting.


Project Meetings

February 15, 2006 Monthly Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that this was deployed in December and asked Eschelon if they were ready to close the CR. Kathy Stichter-Eschelon stated that the CR could be closed. This CR moves to Completed status.

January 18, 2006 Monthly Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that this is the manual piece of this effort and was implemented on December 19th. Jill asked if there was any objection to closing the CR. Kathy Stichter-Eschelon asked for the CR to remain open for another month so she can get a few more bills. Kathy stated that she did not think that this was working properly but was not sure if it is the manual or mechanized portion. Kathy stated that she would have a better feel next month. Jill Martain-Qwest stated that the CR would remain in CLEC Test.

December 14, 2005 Monthly Product Process CMP Meeting Discussion: Jill Martain/Qwest stated that this effort is in process and still on target for December 19, 2005. This CR remains in Development Status.

-- November 16, 2005 Monthly Product Process CMP Meeting Discussion: Terri Kilker/Qwest stated that this CR is in Development and is on target for the December timeframe. Terri stated that the notice would be going out. Jill Martain/Qwest stated that Qwest will be sending a Level 1 Notice for this effort due to no PCAT Updates. Kathy Stichter/Eschelon asked when the notice would be sent. Terri Kilker/Qwest stated that it would be sent in the near future. Terri then advised Kathy (Stichter/Eschelon) that she had sent her an email in response to her EDI question. Kathy Stichter/Eschelon stated that she did receive the email.

October 19, 2005 Monthly Product Process CMP Meeting Discussion: Terri Kilker/Qwest stated that this CR is currently in Development and is on target for a December Release. Jill Martain/Qwest stated that this CR remains in Development status.

- September 21, 2005 Monthly Product Process CMP Meeting Discussion: Terri Kilker/Qwest stated that this request includes a Product Process and a Systems CR. Terri stated that the Systems CR (SCR050405-04) is currently targeted for implementation on December 17th and that it is Qwest’s preference to implement the manual piece in conjunction with the system changes. Terri then asked if Eschelon would like to withdraw the Product Process CR, as the work would be done via the systems CR. Bonnie Johnson/Eschelon stated that she was opposed to withdrawing the Product Process CR and that she would like to see the implementation date on the Product Process CR match the systems implementation date. Bonnie stated that Qwest pushes dates out on systems CRs and stated that she wants a firm tentative date. Bonnie stated that she can live with a December 17th date but if the system piece gets moved out, she would like Qwest to move forward with the Product Process piece. Kathy Stichter/Eschelon stated that there is still a process piece involved so she is confused on the request to withdraw. Kathy asked if Qwest did process changes with systems CRs. Jill Martain/Qwest stated that there are occasionally PCAT updates needed for a systems change. Terri Kilker/Qwest stated that it is a reasonable request to have the dates match. Bonnie Johnson/Eschelon stated that the request was that if the systems piece was not implemented, they wanted the Product Process CR implemented in a timely manner. Bonnie stated that she would like Qwest to commit to the December 17th date, in the body of the CR, in case the date on the systems CR gets pushed out. Kathy Stichter/Eschelon stated that she does not have a problem with the December date and noted that the 2 CRs are separate requests. Kathy stated that she understands that Qwest wants to work them together but also sees no problem in implementing the Product Process CR in December if the system CR gets pushed out. Kathy stated that she is leery about putting the process changes in the systems CR. Liz Balvin/Covad stated that any systems CR requiring a process change should be done at the same time, but it is cleaner to keep them separate. Kathy Stichter/Eschelon stated that some orders do not flow through and needs a process that will train folks of what to do with those orders. Liz Balvin/Covad stated that if a system change is not going to implement for several years, the process piece needs to be done sooner then the systems piece. Bonnie Johnson/Eschelon stated that the current manual piece will continue to be manual after the system CR goes in and that makes this one a little different. Terri Kilker/Qwest stated that there are products that currently do not flow through and will continue to not flow through after this CR is implemented. Terri asked if Eschelon’s expectation was if the systems CR gets pushed out, that the manual process would cover the products that currently do not flow through. Kathy Stichter/Eschelon said yes. Jill Martain/Qwest stated that both the Product Process and the Systems CR would remain open with the targeted date of December 17th. Jill then noted that this CR moves to Development Status.

August 17, 2005 Monthly Product Process CMP Meeting discussion: Terri Kilker-Qwest stated that we are beginning the development portion on the systems CR and have identified the products that will require the addition of the WTN behind the NRCs. Terri stated that the systems CR may be targeted for April 2006. Terri then asked if this Product Process CR was still needed. Jill Martain-Qwest asked how firm the April 2006 date was. Terri Kilker-Qwest stated that it is a targeted date and that may know more in September. Jill Martain-Qwest stated that Qwest is still evaluating this Product Process CR, pending the firm implementation date for the Systems CR Kathy Stichter-Eschelon stated that if the date for the systems CR is April 2006, that they cannot wait that long to implement the Product Process CR, with the Systems CR. Bonnie Johnson-Eschelon asked to confirm that the date for the Systems CR was April 2006. Terri Kilker-Qwest stated that it is currently targeted for April 2006, but noted that it could change. Bonnie Johnson-Eschelon asked if there were many pieces to the request. Terri Kilker-Qwest stated that several back-end systems are involved. Bonnie Johnson-Eschelon asked if that was for the April 2006 date. Terri Kilker-Qwest said yes. Jill Martain-Qwest stated that the April 2006 targeted date is not yet a firm date. [Comment received from Eschelon: and we would wait to see target date. Jill said there could be room in other releases so Qwest could bring it in then.] Terri Kilker-Qwest stated that she would like to note that the manual piece is very small and that the majority of the impacted products do flow through. Terri stated that the real benefit is with the systems CR and not with the manual piece. Terri stated that because the manual piece will provide a smaller benefit, for products that do not flow-through; it does not make sense to implement the manual process prior to the system change. Terri stated that we need to ensure that not everything can be dropped for manual handling in order to get the WTN on the order. Bonnie Johnson-Eschelon stated that she understood that for the products that do flow through but there are products that don’t flow through and noted that they could be more than it appears. Kathy Stichter-Eschelon asked if more would be known in September, as far as the date goes. Jill Martain-Qwest stated that we are working towards that. [Comment received from Eschelon: but cannot guarantee Qwest will have a target date in September.] Kathy Stichter-Eschelon stated that if they don’t get anything this month, another month to start the Product process piece is a concern. Jill Martain-Qwest stated that we are working to get the date and noted that she does understand the concern for the systems and the Product Process efforts. This CR remains in Evaluation status.

- July 20, 2005 Monthly Product Process CMP Meeting discussion: Jill Martain-Qwest stated that there is a System CR associated with this CR. She said that we have the LOE for the System CR and would like to withdraw this CR. Jill said that we can accommodate both the manual and system work on the same CR. Kathy Stichter-Eschelon said that she did not understand why they had to wait on the manual piece. Jill Martain-Qwest said that we prefer to implement at the same time from a consistency perspective. Kathy Stichter-Eschelon said that they prefer to have the manual piece implemented. Jill Martain-Qwest said that the manual piece would only take care of the manual orders and that the flow through orders would not be supported. Kathy Stichter-Eschelon asked when this CR could be implemented. [comments to minutes from Eschelon 7/28/05: Kathy Stichter-Eschelon said she could not agree to wait to implement the process CR until the systems CR is worked and asked when the systems CR could be implemented.] Jill Martain-Qwest stated that she did not know at this point but that she would check. Jill said that this is the only billing CR. Liz Balvin-Covad asked if there was a way to implement the manual process. Jeff Sonnier-Sprint asked if Qwest could identify the orders that would drop to manual. Liz Balvin-Covad asked what products this CR impacted. Kathy Stichter-Eschelon said this request impacts TN based products. Jill Martain-Qwest said that we will look at when the system piece can be implemented and then decide on the manual piece. She said that Qwest will work offline with Eschelon and that this CR will remain in Evaluation Status.

- June 22, 2005 Email Received from Eschelon: Peggy, My intent was that this would be going forward. Thanks Kathy Stichter

-- June 21, 2005 Email Sent to Eschelon: Hi Kathy, We have been meeting internally to discuss the change requests asking that the WTNs be provided with NRCs and would like clarification on one item. Can you clarify if Eschelon's intent is that this effort be done only on a going forward basis? This will assist us in the scope of this request and ensure that our discussions have the correct focus for these requests. Thanks, I appreciate the information. Peggy Esquibel-Reed Qwest CMP CRPM

-- June 15, 2005 Monthly Product Process CMP Meeting discussion: Terri Kilker-Qwest stated that this CR is in Evaluation status and noted that Qwest is in the process to identify which products need to be included in this effort, other than TN based and non-design products. Terri stated that a status would be provided at the July CMP Meeting. Jill Martain-Qwest stated that this CR would move to Evaluation status.

May 18, 2005 Monthly Product Process CMP Meeting discussion: Kathy Stichter-Eschelon stated that Eschelon submitted a Product Process CR and a Systems CR. Kathy stated that the Product Process CR is for orders that are manually handled. Bonnie Johnson-Eschelon stated that it was noted on the Clarification Call that Eschelon feels that they should not have to issue a CR to get an accurate bill and stated that she would appreciate expeditious care for this CR. Liz Balvin-Covad asked Eschelon if they were not receiving a TN at all. Kathy Stichter-Eschelon stated that this request is for TN based products and not for those with circuits. Kathy stated, for example, that if there are 5 TNs on an account, they would get 1 NRC and it shows the BTN, which is fine. Kathy stated that the other 4 are then lumped together without the actual lines being identified. [Comment from Eschelon: Kathy said Qwest told her that flow through orders are not created to show the TN. Bonnie Johnson-Eschelon asked Kathy to verify that with some products it does show up. Kathy confirmed that some products that are manually typed have the information.] Liz Balvin-Covad stated that they are required to identify them on the orders. [Comment from Eschelon: Liz Balvin-Covad stated that this is a substantial issue if Qwest is not carrying this information through to billing and required to identify them on the bill.] Jill Martain-Qwest stated that Qwest is reviewing the requests to see what can be done. Jeff Sonnier-Sprint asked if this was just recently beginning to happen. Kathy Stichter-Eschelon stated that it was just brought to her attention but did not know if it is a recent problem. Jeff Sonnier-Sprint stated that if it is a recent problem that it should be a maintenance issue and not a CR. Jill Martain-Qwest stated that it is not a recent issue and noted that the team is looking into the request to determine what options we have. This CR moved to Presented Status.

May 13, 2005 Clarification Meeting SCR050405-04 / PC050405-1 Provide Individual WTNs (Working Telephone Number) with All NRCs (Non-Recurring Charge)

Attendees: Kim Isaacs-Eschelon, Kathy Stichter-Eschelon, Stephanie Prull-Eschelon, Peggy Esquibel Reed-Qwest, Terri Kilker-Qwest, Alan Zimmerman-Qwest, Jami Larson-Qwest, Brenda Kerr-Qwest, Jim Recker-Qwest

Review Requested (Description of) Change: Peggy Esquibel Reed-Qwest reviewed the CR Title and Description. Both CRs contain the same title and description. Peggy asked Eschelon if they had additional information to share and asked for Eschelon to explain the differences in these requests. Kathy Stichter-Eschelon stated that the Product Process CR was submitted requesting that the WTN be added to the service order manually for the situations where it cannot be added mechanically. Kathy stated that the Systems request is for an edit. Kathy stated that if an edit were placed in the SOP, then the Product Process CR would not be needed. Terri Kilker-Qwest asked to confirm that if the ability to apply this to the order was provided, that it would eliminate the manual process. Kathy Stichter-Eschelon stated that when Eschelon asked their Service Manager about this, they said that the SDC does not float the WTN behind the NRC USOCs. Kathy Stichter-Eschelon stated that their ICA states that Qwest will provide an accurate bill and without the WTN with the USOC Qwest does not provide an accurate bill. Kathy stated that the current bill shows a quantity of 4 instead if displaying them separately. Kathy stated that was not an accurate bill so a CR should not be necessary from Eschelon. Peggy Esquibel Reed-Qwest stated that she would note Eschelon’s statement. Stephanie Prull-Eschelon asked if there was a system limitation to add the WTN or if there was just no edit or process. Terri Kilker-Qwest stated that there was not for UNE-P and that for PBX, the process was automatically written. Terri noted that this would require edits for flow through and that the other manual process would need additional processes developed. Stephanie Prull-Eschelon asked if this could manually be done and asked to confirm that there just was not a current process in place. Terri Kilker-Qwest said correct. Kim Isaacs-Eschelon stated that their ICA states that they are to get a correct bill and asked if this should be a defect and treated as such. Alan Zimmerman-Qwest stated that Qwest and Eschelon won’t agree on the interpretation of the ICA and noted that Qwest believes that a correct bill is provided. Peggy Esquibel Reed-Qwest asked if this request was specifically for BillMate. Kathy Stichter-Eschelon stated that the CRIS should hit all output. Stephanie Prull-Eschelon stated that the expectation is that it should flow through to all FTP Files. Teri Kilker-Qwest asked to confirm that this request is for Resale, UNE, and UNE-P. Kathy Stichter-Eschelon stated that it is for any product that is TN based, not for UNE Loops or designed circuits. Stephanie Prull-Eschelon asked if the current process, for UNE-P PBX, was established internally to make things easier. Terri Kilker-Qwest stated that only one person established the process and is using it for their own product. Terri noted that this person just started doing it. Kathy Stichter-Eschelon stated that it would be easier for the SDCs to explain the charges if they had the associated TN with the USOC. Peggy Esquibel Reed-Qwest asked if there were any additional questions or comments. There were none brought forward. Peggy then stated that this CR is scheduled for presentation at the May CMP Meeting and that Qwest would internally review the requests.


CenturyLink Response

For Review by the CLEC Community and Discussion at the June 15, 2005 CMP Meeting

June 6, 2005

Kathy Stichter Eschelon

SUBJECT: CR # PC050405-1 Provide individual WTNs (Working Telephone Number) with all NRCs (Non-Recurring Charge)

This letter is in response to Eschelon's Change Request PC050405-1 Provide individual WTNs (Working Telephone Number) with all NRCs (Non-Recurring Charge). This CR requests a manual process for the WTN to be provided for each Non-Recurring USOC on a service order. This effort will assist in validation of the bills.

Qwest would like to place this CR in evaluation status in order to continue with analysis of this request and look at viable solutions for this change request. Qwest will provide an updated response at the next CMP meeting. Qwest will move this CR to Evaluation status.

Sincerely, Qwest


Open Product/Process CR PC022105-1 Detail

 
Title: ASR Initial Jeopardy Sent to E mail Address on ASR
CR Number Current Status
Date
Area Impacted Products Impacted

PC022105-1 Denied
7/29/2005
Ordering, Provisioning, Delayed Orders All Local ASR Products
Originator: Johnson, Bonnie
Originator Company Name: Eschelon
Owner: Sunins, Phyllis
Director:
CR PM: Harlan, Cindy

Description Of Change

Qwest will send the initial jeopardy for an ASR to the E-mail address the CLEC provides on the ASR. If the E-mail address is blank, Qwest will call the number listed on the ASR with the information. Please see PC070804-1. This CR is part of a formal process because Qwest could satisfy only a part of the CR. Business needs are included in that CR.

Expected Deliverable:

Qwest will develop, document and adhere to a process to send the initial jeopardy for an ASR to the E-mail address the CLEC provides on the ASR.


Status History

02/21/2005 - CR Submitted

02/21/2005 - Related Change Request, PC070804-1, will move to Deferred Status at March CMP.

02/22/2005 - CR Acknowledged

3/3/05 - Discussed with Bonnie Johnson that this CR will implement the work that was agreed to on PC070804-1. The work that Qwest was not able to implement will be deferred using PC070804-1. This CR will be discussed at the March meeting and moved to Development status as the work is in progress as a result of PC070804-1.

3/16/05 - CMP meeting minutes will be posted to the database

4/20/05 - CMP Meeting minutes will be posted to the database

5/18/05 - CMP Meeting minutes will be posted to the database

6/15/05 - CMP Meeting minutes will be posted to the database

6/14/05 - Level 3: PROS.06.14.05.F.02992.Re-Notice_ProvisioningV64 effective 7-29-05 and NonCMP: PROS.06.14.05.F.02993.Re-Notice_IXC_WSP_JEP

6/05 Sent test email to Eschelon, SBC and Covad

7/20/05 - CMP Meeting minutes will be posted to the database

7//29/05 - changed status to CLEC Test

8/17/05 - CMP Meeting minutes will be posted to the database

9/13/05 - Send Response to Eschelon

9/21/05 - CMP meeting minutes will be posted to the database


Project Meetings

PC022105-1 ASR Initial Jeopardy Process Ad Hoc Meeting October 20, 2005

In attendance: Kim Isaacs – Eschelon Sharon VanMeter – ATT Jeff Yeager – Accenture Diane Friend – Time Warner Sue Wright – XO Jeff Sonier – Sprint Jill Martain – Qwest Liz Balvin – Covad Phyllis Sunins – Qwest Cindy Harlan – Qwest Stephanie Prull – Eschelon Bob Eggert – SBC

Cindy Harlan – Qwest advised that Eschelon requested this ad hoc meeting to discuss the differences between the CNR Jeopardy Process and the ASR Jeopardy Process as it relates to the manner in which Qwest notifies the CLEC of the Jeopardy condition.

Kim Isaacs – Eschelon reviewed the history of the CRs and stated that the CLEC Community believes there is a business need to make changes to this process. QORA does not allow the CLEC to see when an order is in jeopardy status. Kim advised that we do not understand how a change can be made to the CNR process and not the ASR Initial Jeopardy process.

Phyllis Sunins – Qwest discussed some of the detailed steps for each process and explained the differences between the two processes. Basically, these two processes are not the same as different people perform each process, different systems are used to perform / track the process, different functions are performed for a CNR jep and an ASR Initial Jep, and each process has different time frames. Phyllis further explained that the change that was made to the CNR process was impacted due to the ASOG 31 release effective October 10. The CNR process was using an industry field on the ASR form. This field was removed effective with ASOG 31 release, so Qwest had to make a change to the process to support the Industry change.

Bob Eggert – SBC asked if there is any way that Qwest can make enhancements to these tools. Jill Martain – Qwest stated that at the October CMP meeting we agreed to look at QORA platform capabilities and see if that helps with these issues. Kim Isaacs – Eschelon said that she is concerned that they asked for this quite some time ago, and now we are saying that we may be able to do this. That would be great but it is concerning. Jill said Qwest did not purchase this functionality so it was not available.

Phyllis asked if there were any additional questions. The CLEC community had no further questions.

September CMP Meeting Minutes: Phyllis Sunins/Qwest advised that we implemented this change on 7-29-05 and the CR remained in CLEC Test for the following month. She said that during the CLEC Test cycle we determined the manual process was very resource intensive and delayed other steps in the jeopardy process. Phyllis said that at the August CMP meeting we agreed that we would change the process back to the original process, issue a Level 3 notification, and a denial on this CR. She said that Qwest also agreed to look at the manual process to see if there was anything that could be done. Phyllis advised that because we have customers that objected to the process and because it was optional we had to create multiple processes, the cost to mechanize this process is economically not feasible as documented in response to the System CR SCR030204-04. She said that we are denying this request based on the costs to implement the process.

Bonnie Johnson/Eschelon said that she didn’t believe that there was necessarily CLEC agreement, but did understand from the last meeting that Qwest was retracting the process. Bonnie said that we need to care for this situation in the CMP document. She said that this needs to be denied, if Qwest is not going to implement the process.

Liz Balvin/Covad advised that she is disappointed, as Qwest is doing manual work today and we should look at mechanizing this. Liz advised she appreciates the creative thinking and hopes that Qwest continues to look outside of the box to try to alleviate some of our own pain and manual work.

Jill Martain/Qwest advised that the costs don’t make it feasible for Qwest to implement this. She said that we would have to totally mechanize this to be effective. Jill asked Bonnie if she is looking for a specific section of the CMP document to be updated. Jill advised that we have changed the project to denied. Jill said that this is a unique situation and it should be an anomaly. Bonnie advised that she is concerned that this will set precedence and that Qwest will decide later that we can’t implement a change that we already agreed to. Bonnie advised if we are faced with this again than we will have to discuss how to handle this. She said that she was not sure that in the future she would agree to allow Qwest to deny the change after the fact.

This CR will move to Denied Status.

August CMP Meeting Minutes:

Jill Martain – Qwest said during the CLEC Test cycle this CR has been difficult for Qwest to implement. The manual work involved has been very resource intensive. We are finding that it is delaying other steps in the jeopardy process. Qwest will need to issue a Level 3 notification to revise the process to what it was previously. At this time, we don’t know how we can manage this process as the time and effort to put the manual notices out are too resource intensive. Jill explained that we have not been in this position before, and shared two options for what Qwest can do with the actual CR. Option 1 – Issue Level 3 to change the process and close the CR, or Option 2 – Issue Level 3 to change the process and deny the CR. Bonnie Johnson – Eschelon advised that she will have to think about how we should handle this. If the end result is we are not going to implement the process as we agreed, then it should be denied. Bonnie asked if there is any opportunity for the System CR to be worked. Are any changes to QORA possible? Bonnie said that originally the CR was denied for economic infeasibility, but maybe this can be looked at again. Jill Martain – Qwest advised that we can look at it again, but it probably isn’t feasible. Bonnie advised that Qwest needs to put something in the CMP document to cover this situation, such as a new category of Reversed, or the CR should be denied. Liz Balvin-Covad advised she does not understand why the level of effort has become overwhelming. Jill Martain advised it is a compounding effect based on the volumes and the additional steps and manual work for the resources to fill out the notice. The process sounds easy but when you look at the volume it adds small steps and delays other steps along the way, putting critical tasks at risk. Liz Balvin asked if there was a way to have one point of contact per CLEC entity. Jill Martain-Qwest advised that it is not the same email address all of the time. It is potentially a different person per order. Liz Balvin-Covad advised that the CLECs like the idea of having a tracking method. [Comment received from Eschelon: Covad was very excited when this process was implemented.] Jill Martain-Qwest advised we will go back and do some research on the systems work. Bonnie Johnson-Eschelon asked that maybe we can mechanize just the initial jeopardy step. The previous system denial was for the entire process, so maybe if we just mechanize the initial jeopardy it would make a difference.

Liz Balvin-Covad asked if maybe we could just mechanize the email itself as it appears the email is a well liked process. Jill Martain-Qwest advised we will talk to the team internally and see if there are any options that can be addressed.

July CMP Meeting Minutes: Jill Martain – Qwest advised that this process is in effect on July 29, 2005 and Qwest sent the test emails to Eschelon, Covad and SBC.

Liz Balvin – Covad asked if they could send another test email to someone in their organization.

Cindy Harlan - Qwest advised yes, please just send me their email address and we will take care of that.

Jill Martain - Qwest asked if we could move this to CLEC Test on 7/29.

Kim Isaacs – Eschelon agreed that it is okay to move to CLEC Test on 7/29.

June CMP Meeting Minutes: Jill Martain – Qwest advised this process is effective July 29. Qwest anticipates that we will be able to test the mailbox sometime the week of June 27. Bob Eggert – SBC asked if Qwest would have a standard email response for the email jeopardy. Bob advised the subject line needs to be standard and something that everyone can support to prevent the emails from being rejected as SPAM. Cindy Harlan – Qwest advised that we did receive the email suggestion that Bob sent in and appreciated the suggestion. Cindy advised that our Process Specialist is in the process of creating the standardized email form. The CLECs suggested that we make the Subject line of the ASR Jeopardy to be as follows: ASR Jeopardy Notice PON# XXXX. Cindy advised that it is expected that these emails will come from one common email mailbox with a qwest.com address. Cindy will verify this information with the Process Specialist and advised Bob Eggert – SBC. This CR will remain in Development Status.

May CMP Meeting Minutes: Phyllis Sunins-Qwest advised that the PCAT should be available for review on 5/23/05, with a comment cycle from 5/24/05 to 6/7/05 and implementation scheduled for 7/7/05. Phyllis advised that Qwest would like to test the group mailbox that was set up for this effort with a couple CLECs. Bonnie Johnson (Eschelon) and Liz Balvin (Covad) advised that they would be glad to participate. Phyllis Sunins-Qwest advised that Cindy Harlan (Qwest) would contact them in the near future to arrange for the test. Phyllis then confirmed that for the test we would need orders submitted via ASR that have jeopardy conditions.

April CMP Meeting Minutes Jill Martain – Qwest advised we are moving forward to develop this process internally. Jill said that we hope to have the timelines for implementation next month.

March CMP Meeting Minutes Jill Martain - Qwest advised that this CR was submitted by Eschelon to implement the initial jeopardy as discussed on PC070804-1. Qwest is working internally to get this implemented. This CR will move to Development Status.

February CMP Meeting Minutes/Clarification: Cindy Harlan - Qwest advised that Qwest held an ad hoc call on Monday February 14. The purpose of the call was to review Qwest's proposed process and obtain a decision from the CLEC community regarding whether to move forward or defer the CR. Bonnie agreed that she would provide a decision at the February CMP Meeting. Bonnie Johnson - Eschelon reported at the February CMP meeting that she took this back internally and would like to move forward implementing the email on initial facility jeopardy notifications. Bonnie advised that she is deciding how she wants to move forward with the CR. There was some discussion around either moving forward with the existing CR or deferring the existing one and creating a new one. Bonnie advised that she does not want to loose the work that has been done as the CLECs may want to revisit this, if something changes at Qwest as it may be possible to implement the rest of this CR at a later time. Cindy Harlan - Qwest advised we can work together to determine how to implement some of the work and defer the rest. Liz Balvin-Covad asked who would receive the email jeopardy. Jill advised an email address needs to be populated in the initiator field on the ASR and that is where the email jeopardy would be sent. Jill advised that Qwest has internal work that needs to be done to implement this. This CR will remain in Development Status.


CenturyLink Response

September 13, 2005 For Review by the CLEC Community and Discussion at the September 21, 2005 CMP Meeting

To: Bonnie Johnson, Eschelon

Subject: PC022105-1 ASR Initial Jeopardy Sent to Email Address on ASR

Description of Change: Qwest will send the initial jeopardy for an ASR to the E-mail address the CLEC provides on the ASR. If the E-mail address is blank, Qwest will call the number listed on the ASR with the information.

Qwest Response: Qwest implemented this change effective July 29, 2005. The CR remained in CLEC Test status for 30 days after implementation. During the CLEC Test cycle it was determined that this CR is very resource intensive. Qwest found that this process is delaying other steps in the jeopardy process.

As agreed during the August CMP Meeting, Qwest advised that they will issue a Level 3 Notification to reinstate the process to the way it was previous to this CR. (Qwest will reinstate the process to contact the CLEC via phone call, instead of using E-mail PROS.09.07.05.F.03226.ProvisiongASRJEP effective October 22, 2005). Qwest also agreed to look at the manual steps involved in this process to see if there are any changes that can be made to eliminate the resource impact.

Qwest reviewed possible options for mechanizing the email portion of the ASR jeopardy process. Based on the multiple steps required in this process, mechanizing the email portion of the ASR jeopardy process would not reduce the manual effort to a level that provides a reasonably demonstrable business benefit. In addition, the cost to implement the multiple process and system changes is economically not feasible as determined previously in SCR030204-04. Qwest is denying this request due to economic infeasibility, based on the costs to implement the multiple process and system changes required.

Sincerely, Qwest


Open Product/Process CR PC122606-1X Detail

 
Title: Change EUMI Field and End User Address Requirements for Port Within Ordering Process #1 to avoid CLEC LSR Submission Errors and Qwest Reject in Errors (cross over from SCR122606 01)
CR Number Current Status
Date
Area Impacted Products Impacted

PC122606-1X Completed
6/20/2007
Ordering LNP
Originator: Isaacs, Kim
Originator Company Name: Eschelon
Owner: Coyne, Mark
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Qwest’s current Port Within Ordering Process number #1 states: End-user has existing Qwest Retail/Resale/UNE-P POTS Account, End-user moving to new location, Conversion to a New Resale/UNE-P Provider, Move existing TNs, Different C.O., Same Rate Center, New Facilities (Includes conversion from RSID to ZCID or ZCID to RSID):

Instructs CLECs to populate the EUMI Field = N (even though the end user is moving) and provide the new address in the remarks and drop the order to manual handling. When Qwest implemented this process, Eschelon commented that it is counter-intuitive and may cause unnecessary delays for some Port Within requests. Over the past year, Eschelon has experienced a number of Qwest rejects in error when populating the EUMI =N and the Old Address on the End User Form as instructed by the Port Within Ordering Process Number #1. Eschelon has provided the rejects in error to our service management team but the rejects in error continue to occur. For example, in December, Eschelon opened the following escalation tickets to have Qwest correct rejects in error: 26015615, 26017558. This is delaying LSR processing and costing both Eschelon and Qwest valuable resources to open escalation tickets for each occurrence. Therefore, Eschelon is requesting the Qwest update the EUMI Field requirements to support an EUMI = Y with the new address on the End User Form when a CLEC requests a Port Within Conversion and Move (Port Within Ordering Process Number #1). Thank you.

EXPECTED DELIVERABLE:

Qwest will update the EUMI Field requirements to support an EUMI = Y with the new address on the End User Form when a CLEC requests a Port Within Conversion and Move (Port Within Ordering Process Number #1).


Status History


Project Meetings

June 20, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this CR was implemented on May 11th and asked if this CR was okay to close. Kim Isaacs-Eschelon said yes. This CR is now in Completed Status.

May 16, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this CR was another cross over from Systems and will be implemented on May 11th. Mark stated that this CR is currently in CLEC Test and asked if there were any questions. There were no questions. Mark then noted that Qwest would be looking to close this CR next month.

- April 18, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this Eschelon CR was also crossed over from Systems in the March CMP Meeting. Mark then noted that a Level 3 Notice was sent on March 29th and that this change will become effective on May 11, 2007. Mark stated that no comments were received during the comment cycle. Mark stated that this CR would be moved to CLEC Test on May 11th. Mark asked if there were any questions. There were none brought forward.

- March 21, 2007 Product Process CMP Meeting: Venessa Heiland-Qwest stated that Eschelon had stated that it is counter intuitive when an EUMI=N is used when the end user is moving. Venessa stated that this request was investigated and noted that there is a current process in place for EUMI=Y and that these port scenarios could be added to that existing process. Venessa stated that this CR will be accepted as a process change and that the CR would cross over to the Product Process area. Venessa then noted that there would be an update to the PCAT to accommodate this requested change. Mark Coyne-Qwest asked if there were any questions. There were none. This CR is crossed over to Product Process and is in Presented status.

Date: March 6, 2007 Proposed Process Solution Meeting: ATTENDEES: Kim Isaacs-Eschelon, Peggy Esquibel Reed-Qwest, Venessa Heiland-Qwest DISCUSSION: Peggy Esquibel Reed-Qwest stated that this meeting is for Qwest to propose a Process Solution for this systems submitted CMP CR. The proposed solution was briefly discussed in the February CMP Meeting and Venessa would like to discuss it with you today. If there is no objection to the proposed solution, the CR will be crossed-over to a Product process CR and proceed down that path. Venessa Heiland-Qwest stated that there is an existing process for EUMI=Y and stated that it requires ACT=V and that the customer code be provided. Venessa asked if that same process would work for this request and asked if Eschelon saw any stumbling blocks to this solution. Kim Isaacs-Eschelon stated that the proposed solution would work. Venessa Heiland-Qwest stated that this would then be a documentation change and would proceed as a process change. Venessa stated that the old address would then be placed in Remarks. Kim Isaacs-Eschelon asked if the proposed solution would alter the auto population of the LSO on the End User Form or would impact it. Venessa Heiland-Qwest said no. Kim Isaacs-Eschelon noted that the proposed solution would also benefit Qwest. Venessa Heiland-Qwest stated that it would benefit Eschelon, Qwest, and the rest of the CLECs. Kim Isaacs-Eschelon stated that she agreed. Venessa Heiland-Qwest then noted that the typists would not need to look-up which process to use, there would be just one consistent process. Kim Isaacs-Eschelon then stated that the proposed solution would work for Eschelon. Peggy Esquibel Reed-Qwest stated that a Process CR would then be created and that the cross over, to Product Process, would be done during the March Monthly CMP Meeting. The call was concluded.


Open Product/Process CR PC072505-1X Detail

 
Title: Cable Pair & Binding Post Identification (CR Crossed over to SCR072505 1X)
CR Number Current Status
Date
Area Impacted Products Impacted

PC072505-1X Crossover
2/20/2013
Ordering UNE-P, Resale
Originator: Lynn, Lisa
Originator Company Name: Granite Telecommunications
Owner: Martinez, Denise
Director:
CR PM: Lorence, Susan

Description Of Change

1/2/2013 UPDATE: Receive the identification of Cable Pair and Binding Post information upon Completion not when the order reaches Confirmed status.

Product types: We use the C/P/BP information for POTs; Centrex; Trunks and Resale. Please note this is not currently needed for T1s.

*****Original CR

Identification of cable pair and binding post information when the order reaches confirmed status (FOC). The cable pair and binding post information is currently provided via repair after the order is completed.

Expected Delivery:

ASAP


Status History

07/25/2005 - CR Submitted

07/25/2005 - CR Acknowledged

07/25/2005 - Email Sent to Granite Telecomm, Requesting Clarification Meeting Availability

08/04/2005 - Clarification Meeting Held. See Project Meetings Section for Meeting Minutes.

08/17/2005 - Discussed in the Monthly Product Process CMP Meeting

09/21/2005 - Discussed in the Monthly Product Process CMP Meeting

10/19/2005 - Discussed in the Monthly Product Process CMP Meeting

10/25/2005 - CMPR.10.25.05.F.03416.AdHocMeeting_PC072505-1

11/01/2005 - Ad Hoc Meeting Held

11/16/2005 - Discussed in the Monthly Product Process CMP Meeting

12/07/2005 - CR Placed in Deferred Status, at the Request of the CR Originator

12/14/2005 - Discussed in the Monthly Product Process CMP Meeting


Project Meetings

03/20/13 Product/Process CMP Meeting Mark Coyne - CenturyLink said there were no remaining CLEC CRs under Product and Process but relayed to call participants that the Granite CR PC072505-1, Cable Pair & Binding Post Identification, was crossed over to Systems last month and will be talked about under the Systems package.

02/20/13 Product/Process CMP Meeting Mark Coyne - CenturyLink reviewed the background on this CR: Granite had revised the CR in early January to receive the Cable Pair and Binding Post information upon Completion instead of at Confirmed status; CenturyLink subsequently sent a draft response for Granite to consider using CEMR since the information was available there today; Granite then responded requesting that CenturyLink move forward with the CR to modify IMA and that Granite would use CEMR as an interim solution. Based on that, Mark reviewed the response that CenturyLink had sent that proposed that the CR be crossed over to a System CR to evaluate a system solution with the hope of providing an LOE at the March meeting.

Tracy Strombotne – CenturyLink asked what would be the new system CR number.

Mark Coyne – CenturyLink said the new CR would be SCR072505-1X. Mark asked if there were any additional questions. There were none.

1/16/13 Product/Process CMP Meeting Mark Coyne - CenturyLink said this was a CR that was on the Deferred list. Granite Telecommunications re-presented the CR last month. Then on January 2, Lisa Lynn, Granite, revised the CR to request the identification of Cable Pair and Binding Post information upon Completion not when the order reaches Confirmed status. In addition, the product types were updated to request the information on POTs; Centrex; Trunks and Resale. Considering the revised CR, CenturyLink sent a draft response on January 9 to request Granite consider using CEMR for cable pair and binding post information since it is available there today. This requested content is available immediately vs. revising IMA. Mark said that since Granite was not on the call today, we would contact them to determine if they had considered the CenturyLink proposal. If so, CenturyLink will request moving the CR to a Completed status next month. Mark asked if there were any questions.

Kim Isaacs – Integra questioned whether a status of Completed was the appropriate status for the CR since the CR was originally requesting the functionality in IMA.

Susan Lorence – CenturyLink said we could approach Granite to revise the CR to indicate that getting the cable pair information from CEMR was sufficient since the capability that was being requested was available.

Kim Isaacs – Integra said OK.

There were no other questions.

12/12/12 Product/Process CMP Meeting Mark Coyne - CenturyLink said this was a CR that was on the Deferred list. CenturyLink had contacted Granite Telecommunications who indicated they wanted to move forward with it. As the CenturyLink SME team reviewed the CR, there were some questions about the CR since it had been so long since the CR was active.

Lisa Lynn – Granite Telecommunications presented the CR again. The main reason for the CR was to identify where the line is for their wire techs. Lisa said the products impacted are POTS, Centrex, Trunks and T1s.

Denise Martinez - CenturyLink said in the original description of the CR, the request is for the information to be provided at the FOC. Denise said that at FOC, there could be subsequent changes in the assignment. Denise asked if it was OK to send the information at completion instead as that was more appropriate.

Lisa Lynn – Granite Telecommunications said she would have to check.

Jamal Boudhaouia - CenturyLink said from a network perspective, the information cannot be relied on until completion as CenturyLink may find that the initial facility assignment prior to completion may not be suitable and they may be changed.

Denise Martinez - CenturyLink requested confirmation that the only information being requested was the Cable Pair & Binding Post Identification.

Lisa Lynn – Granite Telecommunications said yes.

Kim Isaacs – Integra asked if this was for resale products only instead of unbundled loop.

Lisa Lynn – Granite Telecommunications said not just resale but also unbundled loop.

Kim Isaacs – Integra said the demarc information is in CEMR when the order completes but was not sure if the cable pair and binding post information was always there currently. (12/19/12 Updates received from Integra in CAPS) IT SHOULD BE QUITE EASY TO ADD CABLE AND PAIR INFORMATION IN CEMR OR BRING IT OVER TO THE COMPLETION NOTICE. Jamal Boudhaouia - CenturyLink said that was a good point and that we would investigate that.

Mark Coyne – CenturyLink asked if there were any additional questions. There were none. Mark confirmed that Lisa would investigate the open questions and get back with CenturyLink so we can proceed with the evaluation of the CR.

11/14/12 Product/Process CMP Meeting Mark Coyne - CenturyLink said this was a CR that was on the Deferred list. CenturyLink contacted Granite Telecommunications to see what they wanted to do with the CR and the response was that they wanted to move forward with it. Granite was unable to make the CMP call today to re-present the CR and answer questions from the SME team about the intent. Mark said we will either have an ad hoc within the next couple weeks or will review the CR in the December CMP meeting. Mark asked if there were any questions; there were none.

10/17/12 Product/Process CMP Meeting Mark Coyne - CenturyLink said this was a CR that was on the Deferred list several months ago and that CenturyLink is following up with Granite Telecommunications to check on this CR. He said we will propose moving this CR to Pending withdrawal in the November meeting.

08/15/12 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed that in the July meeting, CenturyLink had asked the owner of each Deferred CR to determine if it should remain in Deferred status, is it should be Withdrawn, or whether it should be re- evaluated. Mark then reviewed the status of each CR as listed on the Attachment:

PC072505-1 - Cable Pair & Binding Post Identification – Still under investigation.

March 17, 2006 Email Sent to Granite: Hello Lisa, This email is just to follow-up on your submitted CMP CR to Qwest. The CR is PC072505-1 Cable Pair & Binding Post Identification. The CR is currently in Deferred status, awaiting your decision as to whether Qwest's proposed solution is acceptable to Granite. Please let me know if you have made your decision and what that decision is. If you have not yet made your decision and need more time, let me know that as well. The CR can remain in Deferred status until you are ready. Thank you, Peggy Esquibel-Reed Qwest Wholesale Change Management

- December 14, 2005 Monthly Product Process CMP Meeting Discussion: Jill Martain/Qwest stated that this CR is pending the decision from Granite, to see if they would accept Qwest’s proposed solution. Jill noted that Granite has requested that the CR be placed in Deferred Status until they can do some testing internally and make their decision.

Bonnie Johnson/Eschelon stated that Eschelon has an interest in sponsoring this CR if Granite chooses to withdraw their request. Bonnie stated that she did not want the effort stopped. Jill Martain/Qwest stated that the effort is not stopping, Granite just wanted to perform some internal tests before they decide whether Qwest’s proposed solution would work for them. Jill stated that Qwest would continue to follow-up, with Granite, and once they make their decision, the CR would move out of deferred status and would be back on the agenda for discussion at CMP.

December 7, 2005 Email Received from Granite: Hi Peggy, Thanks for your assistance. I hope to contact you in the near future. Happy Holidays. Lisa

-- December 7, 2005 Email Sent to Granite: Hi Lisa, It may be better to place the CR in Deferred Status...for now. Once you make your decision, please let me know and we can then take it out of Deferred Status and see what you want to do regarding the proposed solution. There is no set amount of time that the CR must remain in Deferred; so if you have your decision soon, we can remove it from Deferred and proceed with the next step, at that time. Thank you, Peggy Esquibel-Reed Qwest Wholesale CMP

December 7, 2005 Email Received from Granite: Hi Peggy, Thanks for your quick response. Apparently, we have to test "how the messages come in, how big they are, if our system can support it". At this time, our team is not ready to do this. Would it be best to put the CR in deferred status until we take this preliminary step? Thanks, Lisa

-- December 7, 2005 Email Sent to Granite: Good Morning Lisa, Thanks for the email. I am a little confused as to what you plan to test. There have been no changes, and nothing implemented so far, as a result of this CR. This CR can’t be implemented until we know which path to pursue and that is based on your accepting the proposed solution or not accepting it. If it is Granite’s preference, we can place the CR in a Deferred Status until you make your decision. Let me know. Thanks much, Peggy Esquibel-Reed Qwest Wholesale CMP

-- December 7, 2005 Email Received from Granite: Hi Peggy, We will contact you as soon as we are ready to test the possible solution. Again, thanks for all of your assistance. Thanks, Lisa

December 6, 2005 Email Received from Granite: Hi Peggy, I forwarded this email to get a response for you and unfortunately I didn’t get one. Let me try again and get back to you asap. Thanks for your diligent follow-up. Lisa

December 6, 2005 Email Sent to Granite: Hello Lisa - This email is a follow-up to see if Granite has made their decision regarding PC072505-1. Thank you, Peggy Esquibel-Reed Qwest Wholesale CMP

- November 30, 2005 Email Sent to Granite: Good Morning Lisa, This email is just to follow-up to see if you have made a decision to accept Qwest’s proposed solution for your CMP CR for Cable Pair and Binding Post Identification. Please let me know if the solution is acceptable so we can proceed with the development effort. If the proposed solution will not fit your need and is not accepted, let me know that as well. If more time is needed for you to make your decision, please let me know when the decision is anticipated. I appreciate it. Thanks much, Peggy Esquibel-Reed Qwest Wholesale CMP

- November 16, 2005 Monthly Product Process CMP Meeting Discussion: Denise Martinez/Qwest stated that the original request was that the Cable Pair and Binding Post information be provided on the FOC. Denise stated that Qwest investigated the request and determined that it could not be done via the FOC because the information is not yet available and a delay in the FOCs is not desirable. Denise stated that an alternate solution was presented to the CLEC Community, to provide the information via the PSON. Denise stated that at a minimum the PSON Header and a message indicating that there has been no activity would be provided. The majority of the PSONs would contain Cable Pair and Binding Post information. Denise then stated that the CLECs asked if the information could also be provided on the Completion Notice and noted that it could be. Denise stated that the information would be provided on both the PSON and on the Completion Notice. Denise stated that both Notices would contain a disclaimer that states that the assignments could change up to and including the Due Date. Denise stated that this solution was proposed and that it is pending the approval of the CR originator. Stephanie Prull/Eschelon asked why the Completion Notice would have a disclaimer when the order is already done at that point. Denise Martinez/Qwest stated that the same information is needed on both notices and that on the Completion Notice it would identify if there was a change to the assignments from when the PSON was issued. Bonnie Johnson/Eschelon stated that on the Completion Notice when the information is sent, because the order has completed, the information should not have changed. Bonnie asked if Qwest wanted the information from the PSON mirrored on the Completion Notice. Denise Martinez/Qwest said yes and stated that it is a snapshot at a different point in time of the process. Denise stated that there had been problems in the past in getting the notices in synch and would like to avoid that risk if can, of having them be different. Bonnie Johnson/Eschelon said that in reality, the information on the Confirmation Notice would not have changed. Denise Martinez/Qwest stated that it shouldn’t. Jill Martain/Qwest stated that there could be a timing issue that may result in the information being different. Denise Martinez/Qwest stated that in a rare instance, it could happen. Denise stated that more would be known when it is developed and tested. Jill Martain/Qwest stated that the CR remains in Evaluation, pending the approval of the proposed solution, from Granite Telecommunications.

November 9, 2005 Email Received from Granite: Hi Peggy, Our EDI group needs to do user and analyst testing and they have a few things ahead of this issue. We are estimating that it will be several weeks before the group can take on this project. Until then, there are no necessary next steps required of Qwest. We will keep you posted on the progress. Thanks for your assistance.

Lisa

November 4, 2005 Email Sent to Granite: Lisa, Thank you for meeting with us on November 1st to discuss the proposed solution for your submitted CMP CR for Cable Pair and Binding Post Identification. This email is a follow-up to see if the solution presented on that call is workable for you. If the proposed solution is acceptable to you and you would like us to proceed with that option, let me know so we can then proceed. Please let me know ASAP so we can determine next steps. Thanks much, Peggy Esquibel-Reed Qwest Wholesale CMP

November 1, 2005 Ad Hoc Meeting Minutes: ATTENDEES: Jeff Sonnier-Sprint, Joyce Philo-McLeod, Sharon Van Meter-AT&T, Bonnie Johnson-Eschelon, Jody Thompson-TDS, Stephanie Prull-Eschelon, Jennifer Arnold-TDS, Chelsea Payne-Mcleod, Rosalyn Davis-MCI, Kim Tosi-Granite, Lisa Mui-Granite, LouAnn Miller-McLeod, Peggy Esquibel Reed-Qwest, Jim Recker-Qwest, Shirley Tallman-Qwest, Chris Viveros-Qwest, Denise Martinez-Qwest

DISCUSSION: Peggy Esquibel Reed-Qwest stated that the ad hoc call was for Qwest to present a proposed solution to Granite and the CLEC Community, for PC072505-1 Cable Pair and Binding Post Identification. Peggy stated that at the October CMP Meeting, Qwest had indicated that we are unable to provide the information on the FOC, because at FOC, there are no assignments yet. This call is for discussion of the proposed solution. Denise Martinez-Qwest stated that at FOC, the data is not yet available and noted that it would also result in FOCs being delayed. Denise stated that no one wants delays in the FOCs. Denise stated that an Assignments Section would be added to the PSON when the PSON is created. Denise stated that it would include a header and that it would display ‘no activity for section’. Denise stated that when the data was then available, another PSON would be sent. Denise stated that also added to the PSON would be a disclaimer that would state that the assignments could change on and including on the due date. Denise then asked for questions. Lisa Mui-Granite stated that she was not familiar with the PSON. Denise Martinez-Qwest stated that the PSON is sent after the FOC. Denise noted that it is not the completion; it is the Pending Service Order Notice. Denise stated that it is a snapshot of the service order after the FOC and pre-completion. Denise noted that updated PSONs are sent when there has been an update to a service order. Lisa Mui-Granite asked if they could be viewed via IMA. Denise Martinez-Qwest yes and noted that they could not be viewed in the FAX Gateway. Lisa Mui-Granite stated that they do not currently get PSONs. Denise Martinez-Qwest stated that it is a snapshot of the SOP and noted that they could request to start receiving them. Sharon Van Meter-AT&T stated that not all request a PSON and asked what would be done for those CLECs. Denise Martinez-Qwest stated that they would need to request the PSONs in order to get the information. Lisa Mui-Granite stated that she would discuss this proposed solution with their IT people to see why PSONs are not currently requested. Lisa stated that this could be tremendously helpful. Denise Martinez-Qwest stated that the information may or may not change on the due date. Bonnie Johnson-Eschelon asked if the information did change on the due date, if another PSON would then be sent. Denise Martinez-Qwest stated that it could and noted that it would depend on timing. Denise stated that if the last PSON was sent and then the information changed, it would then be time for a Completion Notice to be sent. Bonnie Johnson-Eschelon asked if the updated information could then be on the Completion Notice. Denise Martinez-Qwest stated that Qwest would internally discuss that request. Lisa Mui-Granite asked if Granite could view the service order. Denise Martinez-Qwest stated that they could view the service order via the PSON. Lisa Mui-Granite stated that she needed to speak internally to see if this solution is acceptable for them. Lisa asked if this was the only solution. Denise Martinez-Qwest said yes and stated that no one want delays in the FOCs. Peggy Esquibel Reed-Qwest asked if there were any other questions. Bonnie Johnson-Eschelon advised Granite that Eschelon does receive the PSONs for EDI and GUI and stated that she and/or Stephanie Prull (Eschelon) would be happy to discuss with Granite. Stephanie Prull-Eschelon asked if this was a Systems CR. Peggy Esquibel Reed-Qwest stated that the CR was submitted as a Process change and stated that if today’s proposed solution was acceptable, the CR would be crossed over to a Systems CR. Bonnie Johnson-Eschelon asked if Qwest would look into providing the information on the Completions Notice. Denise Martinez-Qwest stated that Qwest would look into that. Jim Recker-Qwest asked if there was feedback from other CLECs. Joyce Philo-McLeod stated that she would check and see if McLeod receives PSONs or if they would need further development. Joyce asked if they could be viewed in IMA. Denise Martinez-Qwest stated that they can view via IMA if they have requested PSONs. Stephanie Prull-Eschelon stated that McLeod would need to certify for PSON and then they would see them. There were no additional questions. Peggy Esquibel Reed-Qwest asked Granite to please let her know if this solution was acceptable to them.

-- October 19, 2005 Monthly Product Process CMP Meeting Discussion: Jim Recker/Qwest stated that this request is for Cable Pair and Binding Post to be provided on the LSR FOC. Jim stated that we are unable to do that because at FOC, there are no assignments yet. Jim then stated that Qwest has a potential solution and that an ad hoc meeting was being scheduled for Qwest to present the potential solution and for discussion. Jim stated that this CR would remain in Evaluation Status pending the outcome of the ad hoc meeting.

-- September 21, 2005 Monthly Product Process CMP Meeting Discussion: Jim Recker/Qwest stated that Granite is requesting that the cable pair and binding post be placed on the order at FOC. Jim stated that another call was held, with Granite, yesterday in order to communicate that some information is currently available to Granite, in CEMR. Jim stated that we are continuing to evaluate this request. Jim noted that when the information is put on the order, at FOC, it has not yet gone through the assignment process. Jim said that changes to the PSON may be an option but if the cable pair & binding post information is placed on the PSON, that information could change and may not be the final assignments. Jim stated that based on the call yesterday, with Granite, we are still looking into items internally to see if we can move forward with this request. Bonnie Johnson/Eschelon stated that she understands Qwest’s concern regarding the information on the PSON possibly changing and noted that the assignments could change in the course of the installation process. Bonnie asked if that was a common occurrence. Jim Recker/Qwest stated that he was trying to get some numbers around that. There were no additional comments. Jill Martain/Qwest stated that this CR would move to Evaluation status.

-- August 17, 2005 Monthly Product Process CMP Meeting discussion: Peggy Esquibel Reed-Qwest stated that Granite Telecommunications is requesting that Cable Pair & Binding Post Information be provided sooner and that currently the information is provided via repair. This CR moves to presented status.

-- Clarification Meeting-August 4, 2005 Attendees: Lisa Mui-Granite Telecomm, Kim Tosi-Granite Telecomm, Kim Isaacs-Eschelon, Peggy Esquibel Reed-Qwest, Janean Van Dusen-Qwest, Jim Recker-Qwest, Becky Ferrington-Qwest, Denise Martinez-Qwest, Alan Braegger-Qwest, Terri Kilker-Qwest, Gary Stacy-Qwest, Caroline Myers-Qwest

Review Requested (Description of) Change: Peggy Esquibel Reed-Qwest read the CRs description: Identification of cable pair and binding post information when the order reaches confirmed status (FOC). The cable pair and binding post information is currently provided via repair after the order is completed.

Obtain the Business Need from the CR Originator: Peggy Esquibel Reed-Qwest asked Granite Telecom for their business reason for the requested change or for information as to what problem has been encountered that prompted this request. Granite Telecomm stated that they need the information as soon as the FOC. As soon as the order confirms, they schedule the installer and they would look for the information. If they wait until the order completes, it is a longer wait for their end user customer to get service. They now have to call repair for the information.

Additional Discussion: Becky Ferrington-Qwest asked if the requested product set is UNE-P POTS. Lisa Mui-Granite Telecom stated that it is for any installation but that the bulk for Granite is POTS. Lisa Mui-Granite asked for the likelihood of getting this request. Peggy Esquibel Reed-Qwest stated that Qwest will need to analyze the request and stated that the next step is for Granite to present this CR to the CLEC Community at the August 17th Monthly CMP Meeting and then Qwest would provide a response in September. There were no additional questions or comments

Confirmed Impacted Area(s): Ordering

Confirmed Impacted Products: All


CenturyLink Response

February 15, 2013

To: Lisa Lynn Cc: New Cr, Cmp Subject: CenturyLink Draft Response to Granite Change Request (CR) PC072505-1 Cable Pair & Binding Post Identification

Good morning, Lisa, With the February CMP Monthly meeting scheduled for February 20, 2013, we are proposing that your Change Request PC072505-1, Cable Pair & Binding Post Identification, be crossed over to a System CR. We are proceeding with the evaluation of the CR as a system change to IMA. As a crossover, the Product Process CR will be closed and CenturyLink will open CR SCR072505-1X on your behalf with a reference to the original Product Process CR. Please let me know if you have any questions. Here is the link to the calendar entry for this meeting http://wholesalecalendar.centurylinkapps.com/detail/385/2013-02-20. We hope you are able to attend. Thank you, Susan Lorence CenturyLink CR Project Manager ** January 9, 2013

TO: Lisa Lynn Granite Telecommunications

SUBJECT: CR # PC072505-1 Cable Pair & Binding Post Identification

This letter is in response to Granite Telecommunications Change Request PC072505-1, Cable Pair & Binding Post Identification. The original CR requested the cable pair and binding post information be made available when the order reaches confirmed status (FOC). During the December 12, 2012 monthly CMP meeting, this CR was re-reviewed since it had been in a “Deferred” status in CMP since late 2005. During the December discussion, the CenturyLink SME team identified that the cable pair and binding post information could not be depended upon prior to completion. It was relayed that CenturyLink may find that the initial facility assignment prior to completion may not be suitable and must be changed. Based on that discussion, on January 2, 2013, per your request, the CR was revised to: • Receive the identification of cable pair and binding post information upon completion versus when the order reaches confirmed status. • Capture the specific product types impacted as POTs, Centrex, and Resale.

In the original CR, it was specifically noted that “the cable pair and binding post information is currently provided via repair after the order is completed.” With the original CR requesting the information at FOC, the solution of utilizing the repair system information was not identified as a viable approach. During the December call, use of CEMR was suggested as a way to access cable pair and binding post information. Now that the CR has been revised to request that CenturyLink provide the cable pair and binding post information upon completion, consideration of using the data currently available in the repair system has become more viable.

Rather than making system changes in IMA to provide the cable pair and binding post information upon completion, CenturyLink would like to propose that Granite utilize that information that is currently available in CEMR. The CenturyLink SME team has confirmed that this information is consistently available in CEMR for all of the product types you have identified. To access this information in CEMR, a customer utilizes the Non-design screen, selects the Demarc tab and enters the TN that is being investigated. An example of what is returned is attached to this response.

Again, since the cable pair and binding post information is currently available, CenturyLink is proposing that no system changes be made to IMA to provide this same information. CenturyLink would like to walk through this screen capability during the January CMP monthly meeting and would like to further discuss whether this existing capability will suffice to meet the Granite business reason for this requested change.

Sincerely, Susan Lorence CenturyLink CR Project Manager

NOTE: Attachment specific to CEMR screen shot is not available in CMP database.

* September 13, 2005

For Review by the CLEC Community and Discussion at the September 21, 2005 Product Process CMP Meeting

TO: Lisa Mui Granite Telecommunications

SUBJECT: CR # PC072505-1 Cable Pair & Binding Post Identification

This letter is in response to Granite Telecommunications Change Request PC072505-1 (Cable Pair & Binding Post Identification). This CR requests the identification of cable pair and binding post information when the order reaches confirmed status (FOC). The cable pair and binding post information is currently provided via repair after the order is completed.

A clarification call was held on August 4, 2005 for discussion of this request, and this CR was presented at the Product Process Monthly CMP Meeting on August 17, 2005. Qwest has requested another call with Granite Telecommunications, for further discussion of this Change Request.

Qwest would like to place this CR in evaluation status in order to continue with analysis of this request. The current process was developed via several previously submitted Product Process and Systems CMP CRs. Qwest is continuing to and look at viable solutions for this change request. Qwest will provide an updated response at the next CMP meeting. Qwest requests that this CR move to Evaluation status.

Sincerely, Qwest


Open Product/Process CR PC020514-1X Detail

 
Title: Syncing XML and LSOG Publications(CR Crossed over from SCR020514 1X)
CR Number Current Status
Date
Area Impacted Products Impacted

PC020514-1X Completed
3/19/2014
Wholesale Ordering
Originator: O’Day, Judi
Originator Company Name: Granite Telecommunications
Owner: Martinez, Denise
Director:
CR PM: Lorence, Susan

Description Of Change

With the May 20, 2013local release, several fields were removed from use in the CenturyLink LSOG including the field LSR:AUTHNM. However, this field is still present in the current XML publications. When attempting to submit an LSR converting lines from a different CLEC, CenturyLink returns an error stating that “AUTHNM is required” despite this field no longer being available per the LSOG. Furthermore, even if the AUTHNM field is populated (which should be valid per the current XML) the PON is still sent back for the error “AUTHNM is required”.

Expected Deliverables: Sync the CenturyLink published information in the LSOG and the XML guidelines so that CLECs will know which information is correct. Reinstate the AUTHNM field in the LSOG or update the LSOG to indicate another appropriate location for this information.


Status History


Project Meetings

3/19/14 Product Process CMP Meeting Mark Coyne – CenturyLink said this CR was a cross over from System CR SCR020514-1X that occurred in the System meeting last month. After review with Granite and Integra, it was determined there was not a system issue but a clarification needed to be made to the documentation. Mark said CenturyLink sent a level 1 notification on February 27 which was effective immediately to update the Port In PCAT. The notice identified that some providers require an authorization name in order to port a number to a new provider and in that case, the authorization name must be placed in the Remarks field. The CR is currently in CLEC Test and CenturyLink would like to move this CR to Completed status. Mark asked if there were any objections. There were none.

2/19/14 Systems CMP Meeting Jhett Jones – Granite presented the new CR that is associated with IMA Release documentation. Jhett said he thinks the XML documentation is out of synch with fields that were removed from the LSOG May 2013. Jhett said their concern is the AUTHNM field that is causing some order problems when converting from a losing CLEC to Granite. An error is received from CenturyLink that AUTHNM is required. Jhett said this request is to synch up the LSOG and XML documentation.

Susan Lorence – CenturyLink relayed that a clarification call had been held on February 13, 2014 and that during that call, it was determined that the system documentation was correct. Susan said the suggested approach was to cross this CR over to a Product Process CR and that CenturyLink would like to make an update to the PCAT to add clarification around the use of AUTHNM. Susan asked if that plan was still agreeable to Granite.

Judi O’Day – Granite said that was still agreeable.

Susan Lorence – CenturyLink said that we believe this documentation update is not related to a change in process but is only adding a clarification to the PCAT and CenturyLink would like to send a level 1 notice that would be effective immediately.

Kim Isaacs – Integra asked whether if updates would be to the Port In PCAT and whether the update was to show that AUTHNM should be placed in the Remarks vs. the AUTHNM field since some carriers may require it.

Janean Van Dusen – CenturyLink said yes, those are the updates that would be made to the Port In Business Procedure.

Susan Lorence – CenturyLink said a lot of investigation has occurred associated with this ordering situation and that CenturyLink would then be sending a level 1 notice to make the documentation update.


Open Product/Process CR PC120301-1 Detail

 
Title: Porting of Centrex designated numbers
CR Number Current Status
Date
Area Impacted Products Impacted

PC120301-1 Completed
1/16/2002
Provisioning
Originator: Nikolaisen, Greg
Originator Company Name: HBC Telecom
Owner: Wells, Joan
Director:
CR PM:

Description Of Change

We get numbers that are resold to McCleod that have been marked as "Centrex", and cannot be ported in the normal way. These either have not been portable, or have taken weeks to accomplish, wasting both of our man hours to get it done manually. We need to have these ported just like any normal number. These are not really Centrex numbers in reality, somehow they have been marked as Centrex when they were resold to McCleod.


Status History

11/30/01 - CR received from HBC Telecom.

12/03/01 - E-Mail Acknowledgement issued to HBC Telecom.

12/03/01 - Greg Nikolaisen, HBC Telecom, contacted via voice mail indicated Greg will be out of office through 12/5/01. Sent e-mail requesting available dates for clarification meeting and requesting examples.

12/06/01 - Conducted Clarification Meeting with HBC Telecom.

12/12/01 - CMP Meeting - HBC was not on the call to present its CR. Qwest reviewed what was discussed at the Clarification meeting. CR Status to change to Clarification.

12/18/01 - Issued Meeting Minutes to HBC Telecom.

01/10/02 - E-mail received from HBC Telecom indicating that they are not experiencing any further problems.

01/11/02 - Issued Qwest's Draft Response dated 1/10/02 to HBC Telecom.

01/16/02 - CMP Meeting - Qwest presented its Draft Response. Qwest indicated that HBC had confirmed via e-mail that the issue had been fixed. It was agreed that the CR could be closed.

01/21/02 - Issued Qwest's Response dated 1/10/02 to CLEC Community.


Project Meetings

Subject: CMP for Centrex portiing Date: Thu, 10 Jan 2002 16:20:32 -0600 From: greg.nikolaisen@hbci.com To: rhmart2@qwest.com CC: barbf@hbci.com, chagedorn@hbci.com

Rick,

With the changes that were done, the reason that we opened the CMP has been fixed. We now can port Centrex designated numbers. The need for this CMP is gone. Please cancel.

Thanks for the help on this matter.

Greg Nikolaisen

-

CLEC Change Request Clarification Meeting

December 6, 2001, 3:00 p.m. (MT) Conference Call 877-564-8688 PC1120301-1, Porting Centrex Designated Numbers

Attendees: Ric Martin, Qwest Joan Wells, Qwest Susie Wells, Qwest Greg Nikolaisen, HBC Telecom Barb Ferguson, HBC Telecom

Introduction of Attendees Introductions of the participants on the Conference Call were made and the purpose of the call discussed.

Review Requested (Description of) Change Greg indicated that they had no problems porting numbers from Qwest, except for numbers that are designated as Centrex. These were numbers apparently resold to McLeodUSA, or another reseller. Greg advised that the problem was encountered when they were trying to enter the order into IMA-GUI. He indicted that they had one order that they were trying to work for weeks and Joshua Nielson, Qwest, was able to get it to all of a sudden go through IMA. Greg thought the system might be looking for the main Centrex group number. Qwest questioned the HBC’s interface to the NPAC. HBC indicated that they weren’t having any problems once the order made it into NPAC. HBC advise that they were have to put in a due date the day before 18:00 hours the due date in IMA. Qwest advised that the due dates should be the same. It was explained that this shouldn’t be a problem. Qwest looked up the reference order LSR 3578825, 3 TNs, and confirmed they were a Centrex line. Qwest also confirmed the due dates were in NPAC. Qwest showed the due date in IMA as the 9th. Qwest asked HBC to provide previous examples that Qwest could research. Susie explained that there has been problems in the east with Centrex orders and that Qwest was relaxing the edit. Qwest thought this might correct the problem. HBC is to try and recreate the situation with Qwest on the line. HBC will contact Joan Wells (801) 239-4597 on Monday. It was felt that this was more of an IMA issue than a Porting process issue.

Confirm Areas & Products Impacted The product identified was the area being impacted.

Confirm Right Personnel Involved Joan Wells is the SME for LNP and Susie Wells is the SME for Centrex

Identify/Confirm CLEC’s Expectation HBC wants the porting (ordering) of TNs with Centrex designations to happen as planned. HBC would like to determine the root cause for the problem.

Identify any Dependent Systems Change Requests There is no dependent systems CR.

Establish Action Plan (Resolution Time Frame) HBC to provide examples and try to recreate the problem with Qwest on-line. Qwest to investigate the issues. Qwest advised that the path forward would be as follows: ? Since this CR was received after the 3 weeks prior to the CMP, McLeodUSA will present this CR at the December CMP Meeting. ? The CR will have the collective CLEC clarification at the January CMP Meeting. ? Qwest will begin to identify solutions that can be offered at the January CMP Meeting. ? Qwest will develop its response for the February’s CMP Meeting

--

Subject: CR PC120301-1 Date: Mon, 03 Dec 2001 15:23:01 -0700 From: Richard Martin Organization: Qwest Communications International, Inc. To: "Nikolaisen, Greg"

Greg,

I understand from your voice mail that you will be out until Wednesday. I wanted to see what dates would be good for you to set-up a clarification call with Qwest's SME. Also, in reading the CR, it would be benificial if you could have some examples provided for Qwest to look into.

Please respond by e-mail or phone.

Thanks

Ric 303-896-9823


CenturyLink Response

Wholesale Product Marketing

January 10, 2002

Mr. Greg Nikolaisen, HBC Telecom

This letter is in response to Change Request, PC120301-1 – Porting of Centrex Designated Numbers from Qwest.

Description of Problem: The CLEC encountered problems specifically in the Eastern Region, when trying to enter orders into the GUI to port numbers. The problem was occurring only when the numbers that the CLEC was trying to Port were residing on a CTX.

In Qwest’s Eastern Region, there was a problem when trying to cross reference a working CTX telephone number to the main BTN of the CTX. This internal error, along with an edit in the GUI that was effective in the 8.0 release was causing the GUI to reject any CSR requests saying the number could not be found or was invalid. The problem was corrected internally on December 18th,and the edit was relaxed in the GUI. Any numbers that are a part of a CTX should cross reference appropriately to the main BTN allowing the CLEC to pull the WTNs in order to place their order to Port correctly.

Sincerely, Susie Wells Centrex Process Manager


Open Product/Process CR PC040105-01 Detail

 
Title: Qwest Directory Assistance (DA) Database Lookups for CLECs
CR Number Current Status
Date
Area Impacted Products Impacted

PC040105-01 Denied
12/14/2005
Originator: Jensen, Corey
Originator Company Name: HickoryTech
Owner: Stouffer, Jim
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest Operators will not look up DA Listings for CLEC numbers if they are not stored in the Qwest SDG Database.

Expected Deliverable:

Qwest Operators will look up CLEC Listings in the National Database anytime a number is not found in the internal Database


Status History

4/1/05 - CR Submitted

4/1/05 - CR Acknowledged

4/7/05 - Clarification Meeting Held

4/7/05 - Status changed to clarification

5/18/05 - Status changed to Presented

5/20/05 - Discussed at the May Product/Process CMP Meeting.

6/2/05 - Status changed to Evaluation

6/15/05 - Discussed at the June Product/Process CMP Meeting.

7/20/05 - Discussed at the July Product/Process CMP Meeting

8/17/05 - Discussed at the August Product/Process CMP Meeting

9/12/05 - Revised response issued

9/21/05 - Discussed at the September Product/Process CMP Meeting

10/19/05 - Discussed at the October Product/Process CMP Meeting

11/7/05 - CMPR.11.07.05.F.03447.Ad_Hoc_Meeting

11/16/05 - Discussed at the November Product/Process CMP Meeting.

12/14/05 - Discussed at the December Product/Process CMP Meeting.

12/14/05 - Status changed to Denied


Project Meetings

E-mail from Hickory Tech

Hello Lynn - We are working on getting the list of questions together for you. I hope to have them soon. Thanks, Pam --Original Message-- From: Stecklein, Lynn [mailto:Lynn.Stecklein@qwest.com] Sent: Friday, December 16, 2005 3:41 PM To: Pam Lehrke Cc: Martain, Jill; Foster, Sandy Subject: FW: December CMP Meeting Minutes for Review and Feedback

Hi Pam,

Peggy forwarded your message to me. I am sorry you missed the December CMP Meeting. I am curious as to what CMP 12-month schedule you are referring to. I checked the Wholesale Website and the current calendar does reflect the date as December 14th.

Is there anyway you can submit your questions/comments to me so that I can refer them to the appropriate subject matter experts?

Thanks,

Lynn Stecklein Qwest Wholesale CRPM 303 382-5770

--Original Message-- From: Esquibel-Reed, Peggy Sent: Friday, December 16, 2005 2:25 PM To: Stecklein, Lynn Subject: FW: December CMP Meeting Minutes for Review and Feedback

--Original Message-- From: Pam Lehrke [mailto:Pam.Lehrke@HickoryTech.com] Sent: Friday, December 16, 2005 1:09 PM To: Esquibel-Reed, Peggy Subject: RE: December CMP Meeting Minutes for Review and Feedback

Hi Peggy -

I was unaware of the changed date for this months CMP meeting. I was using the CMP 12-month schedule. We have further comments/questions on our issue, please advise as to how we are to proceed.

Thank you,

Pam Lehrke

HickoryTech

--Original Message-- From: Esquibel-Reed, Peggy [mailto:Peggy.Esquibel-Reed@qwest.com] Sent: Friday, December 16, 2005 1:54 PM To: Johnson, Bonnie J.; Isaacs, Kimberly D.; Van Meter, Sharon K, NEO; Dianne.Friend@twtelecom.com; sue.wright@xo.com; lhankins@covad.com; laurie.fredricksen@integratelecom.com; Tom Hyde; Sanders, Nancy; Sonnier, Jeff J [NTK]; Stichter, Kathleen L.; rosalin.davis@mci.com; lynnkellas@eli.net; christerrell@att.com; Prull, Stephanie A.; Pam Lehrke; Julie Pickar (E-mail) Cc: Stecklein, Lynn Subject: December CMP Meeting Minutes for Review and Feedback

Hi All,

I have attached the meeting minutes from the December Product/Process and Systems CMP Meetings. Please review the documents to ensure that your comments were captured accurately. You need only to review your statements. Please provide your proposed changes no later than 8:00 a.m. MT, Wednesday, December 21, 2005.

Please track your changes.

Have a Safe a Happy Holiday!

Peggy Esquibel-Reed

Qwest Wholesale CMP

12/14/05 Product/Process CMP Meeting

Sandy Foster/Qwest stated that Qwest has spent an extensive amount of time reviewing the existing process and potential solutions associated with this request. Sandy said that Qwest has determined that it is economically not feasible for Qwest to search the National DA Database every time a local listing is not found in Qwest’s Regional DA Database and is denying this request. Bonnie Johnson/Eschelon asked if Qwest does this for retail 100% of the time. Sandy Foster/Qwest said no and that Qwest has no idea where the call is coming from. Bonnie Johnson/Eschelon asked if something could happen in the process to determine if it happens with one provider more often. Sandy Foster/Qwest said no, not to her knowledge. She said that the process as outlined is an equitable search procedure across the board. Pati Leo/Qwest agreed. Jill Martain/Qwest stated that this CR will be closed.

11/16/05 Product/Process CMP Meeting

Lynn Stecklein/Qwest stated that an adhoc meeting was held on 11/15/05 to communicate Qwest’s proposal on this CR. She said that the CLECs indicated the proposal will not meet their needs. Lynn stated that Qwest agreed to take back the concerns raised by the CLECs and provide an updated response in the December CMP Meeting. Bonnie Johnson/Eschelon stated that Qwest said that the original CR was economically not feasible and wanted to know if that is what the response will be in December. Jill Martain/Qwest stated that to implement the CR would be very costly and that we are looking into suggestions from yesterday’s call to determine costs.

10/19/05 Product/Process CMP Meeting

Sandy Foster/Qwest stated that after extensively reviewing this request our findings have determined that this change is too costly. Sandy said that we are looking at an alternative and hope to have the proposal completed by no later that the 1st of next week. She said that she hopes that this proposal can be beneficial to both Qwest and the CLECs. Pam Lehrke/Hickory Tech stated that she is interested in seeing the proposal as soon as possible. Liz Balvin/Covad said that providing an alternative is better that a flat out denial.

9/17/05 Product/Process CMP Meeting

Lynn Stecklein/Qwest said that Qwest continues to explore all options associated with this request. She said that we have determined that to implement this CR as written would be very costly to implement. Lynn said that we have talked with Hickory Tech since the last CMP Meeting and they have asked Qwest to consider another alternative. She said that we are researching to determine the feasibility of this option. She said that our goal is to provide the response in the October Meeting. 8/17/05 Product/Process CMP Meeting

Lynn Stecklein - Qwest said Qwest continues to evaluate this CR. She said that we are in the process of reviewing Hickory Tech’s issue against our policy and found complexities that needed to be addressed before responding to this CR. Lynn said to further complicate this analysis, Qwest just recently learned that the current relationship of our National Database Vendor has changed. She said that this change has added additional complexities that we are analyzing and that we will work towards providing a response in September.

7/20/05 Product/Process CMP Meeting

Lynn Stecklein - Qwest stated that our intent was to provide a response in this meeting. She said that an adhoc meeting was held with the CLEC Community to further understand and clarify Hickory Tech’s issue. She said that Qwest is currently reviewing the information from that meeting against our policy and have found complexities that need to be addressed before we can provide a response.

Jill Martain - Qwest stated that this CR will remain in Evaluation status.

6/15/05 Product/Process CMP Meeting

Jill Martain - Qwest stated that an adhoc meeting was held yesterday and that this request is still in Evaluation. She said that Qwest would provide a readout in the July CMP Meeting.

5/18/05 CMP Product/Process Meeting

Pam Lehrke - Hickory Tech stated that this request has to do with whether a CLEC houses their Directory Listings in the Qwest Database. Pam said that they have experienced situations and through testing have found that when the listing is not in the Qwest database, the Qwest operator will not do a lookup in the National Database. Pam said that they would like Qwest to look up CLEC listings in the National Database anytime a number is not found in the internal Qwest database. Jill Martain - Qwest asked if there were any questions. Jody Baker- North Star Access asked what is Qwest’s policy regarding Qwest looking in the National Database for listings that are not in the Qwest database. Jill Martain - Qwest stated that the subject matter experts were not available to answer this question and suggested that that an adhoc meeting be scheduled to discuss further. Jill said that the status of this CR will move to Presented.

4/7/05 Clarification Meeting

Attendees: Pam Lehrke - Hickory Tech, Sandy Foster - Qwest, Russ Urevig - Qwest, Lori Simpson - Qwest, Carol Mckenzie - Qwest, Pati Leo - Qwest, Lynn Stecklein - Qwest

Review Description of Change Pam Lehrke - Hickory Tech stated that today Qwest operators will not look up DA listings for CLEC numbers if they are not stored in the Qwest SDG Database. She said that they would like Qwest operators to look up CLEC listings in the National Database anytime a number is not found in the internal Qwest Database.

Discussion: Lynn Stecklein - Qwest asked what is the SDG database. Pam Lehrke - Hickory Tech said that the Qwest database that houses listing information. Russ Urevig - Qwest asked if this included Facility based listings. Pam Lehrke - Hickory Tech said yes. She said that sometimes when a listing is not found the Qwest operator will expand the search to a National Database. Lori Simpson - Qwest asked if this is always the case. Pam Lehrke - Qwest stated that they had approximately 40 test calls and never once got a find. Lori Simpson - Qwest stated that Qwest includes th primary listing of CLECs in the Qwest Database. Lori asked if the caller could be anyone. Pam Lehrke - Hickory Tech said that the caller could be any client of Qwest looking for a listing or any local service provider. Pam said that it appeared that it was up to the operator's discresion to bounce over to another database. There were no other questions.

Confirm areas and Products Impacted Directory Assistance

Establish Action Plan Lynn Stecklein - Qwest stated that Hickory Tech will present this request in the May Product/Process CMP Meeting.


CenturyLink Response

December 7, 2005

Final Response

SUBJECT: PC040105-01 (Qwest Directory Assistance (DA) Database Lookups for CLECs

This letter is in response to Hickory Tech’s request that Qwest Communications Directory Assistance (DA) operators look up CLEC listings in the National DA database any time that a number is not found in Qwest’s Regional DA database.

Qwest reviewed its existing process and determined that every additional second spent on a search costs us approximately $1 million annually. This cost does not include the additional costs that Qwest would incur for each listing that is accessed from the National DA listing database. A dip into a national database automatically adds on at least 18 seconds to a search. This is at a minimum. Additionally, due to the numerous national databases that are available for use, there is no guarantee that the listing that is being requested is available in the national database(s) that Qwest uses. Consequently, it is not economically feasible for Qwest to guarantee that it would search the National DA database every time a local listing is not found on Qwest’s Regional DA database.

Qwest proposed a compromise solution that was rejected by the CLEC community. Qwest also explored alternative options suggested by the CLECs that might be beneficial to both the CLEC community and Qwest. However, these solutions proved costly as well since they either require Qwest to develop a new interface to accept a different electronic feed, or, be too resource intensive to manually load additional listing information.

Qwest does have a process available to the CLEC community that allows CLEC listings to be shown in the Qwest Listing database which would guarantee that these listings are available by the Qwest DA agent. This process is outlined in the White Pages Directory Listings PCAT.

Qwest continues to endeavor to provide a comprehensive Directory Assistance while ensuring that the costs and service remain competitive. On this basis, Qwest denies this request because it is economically not feasible.

Sincerely,

Qwest

For Review by the CLEC Community and Discussion at the September 21, 2005 CMP Meeting

September 21, 2005

Hickory Tech Pam Lehrke

SUBJECT: CR # PC040105-01 Qwest Directory Assistance (DA) Database Lookups for CLECs

This letter is in response to Hickory Tech's Change Request (CR) PC0240105-01 Qwest Directory Assistance (DA) Database Lookups for CLECs. This CR requests that Qwest Operators look up CLEC listings for CLEC numbers if they are not stored in the Qwest SDG Database.

Qwest would like to keep this CR in evaluation status in order to continue with analysis of the existing process and look at potential solutions for this change request. Qwest will provide an updated response at the October CMP meeting.

Sincerely,

Qwest Communications

For Review by the CLEC Community and Discussion at the June 15, 2005 CMP Meeting

June 2, 2005

Hickory Tech Pam Lehrke

SUBJECT: CR # PC040105-01 Qwest Directory Assistance (DA) Database Lookups for CLECs

This letter is in response to Hickory Tech's Change Request (CR) PC0240105-01 Qwest Directory Assistance (DA) Database Lookups for CLECs. This CR requests that Qwest Operators look up CLEC listings for CLEC numbers if they are not stored in the Qwest SDG Database.

Qwest would like to place this CR in evaluation status in order to continue with analysis of the existing process and look at potential solutions for this change request. Qwest will provide an updated response at the July CMP meeting. Qwest will move this CR to Evaluation status.

Sincerely,

Qwest Communications


Open Product/Process CR PC120213-1 Detail

 
Title: Updates to the Poles, Ducts and Right of Way Process Automatic Refund of Excess Make Ready Charges [Related CRs are PC120213 2 and PC120213 3]
CR Number Current Status
Date
Area Impacted Products Impacted

PC120213-1 Denied
4/3/2014
Pre-order(Quotes & Field Verification) and Billing Poles, Ducts, Right of Way
Originator: Isaacs, Kim
Originator Company Name: Integra
Owner: Karpowich, Steve
Director:
CR PM: Lorence, Susan

Description Of Change

01-30-14 CR REVISED DESCRIPTION:

Integra requests the following changes to the Poles, Ducts and Right of Way process:

1. Automatic Refund of Excess Make Ready Charges; currently when CenturyLink’s actual Make Ready costs are less than the Make Ready charges paid by the CLEC, CenturyLink requires that the CLEC request a refund within 60 days. Integra requests a change in the existing process which would require that CenturyLink automatically refund (via check or credit) excess Make Ready charges paid by the CLEC.

Expected Deliverables/Proposed Implementation Date (if applicable):

Upon completion of this change request, Integra expects that;

1. CenturyLink with automatically refund (via check or credit) any excess Make Ready charges paid by the CLEC

[NOTE: After discussion in the January

2014 CMP meeting, CR PC120213-1 is being split into three related CRs to address each of the requested changes separately. Related CRs are PC120213-2 and PC120213-3]

*************

12-2-13 Original CR: Integra requests the following changes to the Poles, Ducts and Right of Way process:

1. Automatic Refund of Excess Make Ready Charges; currently when CenturyLink’s actual Make Ready costs are less than the Make Ready charges paid by the CLEC, CenturyLink requires that the CLEC request a refund within 60 days. Integra requests a change in the existing process which would require that CenturyLink automatically refund (via check or credit) excess Make Ready charges paid by the CLEC.

2. Extension of Inquiry Review Quote Acceptance Interval; Under the current process, a CenturyLink CenturyLink Inquiry Review quote is valid for only 30 days from the date the CLEC receives the quote. Integra requests that the quote acceptance interval be extended to a minimum of 90 days.

3. Monitoring of Approved CenturyLink Contractors during CLEC Field Verification; CLECs have the option of using a CenturyLink approved contractor when conducting Field Verifications for underground facilities. CenturyLink’s current practice is to have a CenturyLink employee monitor the contractor (already approved by CenturyLink) at the CLECs expense. Integra requests a change in the policy, if CenturyLink feels it is necessary to monitor contractors they have previously ”approved” then CenturyLink should not charge the CLEC for the monitoring.

Expected Deliverables/Proposed Implementation Date (if applicable):

Upon completion of this change request, Integra expects that;

1. CenturyLink with automatically refund (via check or credit) any excess Make Ready charges paid by the CLEC

2. CLECs will have a minimum of 90 days to accept an Inquiry Review quote.

3. When CLEC choses to use a CenturyLink approved contractor to complete a Field Verification for underground facilities, CenturyLink will not require the CLEC to pay for the monitoring of the approved contractor.


Status History


Project Meetings

4/16/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was submitted by Integra last December with three proposed changes in process. CenturyLink requested the CR be broken into three related CRs. Mark reviewed the draft response for this proposed change. He said after extensive consideration by the SME team to automatically refund any excess Make Ready charges paid by the CLEC, CenturyLink is denying this CR on the grounds that there is no reasonably demonstrable business benefit. The SME team found the volume of this type of situation is low and that rarely do the CenturyLink quotes come back under the Make Ready charges paid by the CLEC so there is typically nothing left to refund. Mark also said the SME team found no instances of this Excess Make Ready Charge refund situation specific to Integra. Mark asked if there were any questions; there were none.

3/19/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CenturyLink SME team is still evaluating this CR and is considering the volume of this type of activity. We hope to send the draft response for the April meeting. Mark asked if there were any questions. There were none.

2/19/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this is the first of the three requested changes by Integra on the original CR. Mark said a draft response was sent on February 12 indicating this CR is still being evaluated and that we hope to have an answer by the March meeting. Mark asked if there were any questions. There were none.

1/15/14 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed that the CR was presented last month by Kim Isaacs – Integra and that the CenturyLink SME team is still investigating each of the three proposed changes. Mark said that we would like to propose that we break the CR up into three separate but related CRs as we continue to move forward in our investigation.

Kim Isaacs - Integra said that was not a problem.

12/11/13 Product/Process CMP Meeting Kim Isaacs - Integra presented the new CR which requests three process changes associated with Poles, Ducts and Right of Way (PDR) as listed in the CR. Kim asked if there were any questions. There were none.

Mark Coyne – CenturyLink relayed that a clarification call had been held on December 9, 2013 and that the meeting minutes from the call would be posted soon. Mark said the CR would be moved to Presented status and the SME team would be evaluating the proposed changes.

12/9/13 Clarification Call Meeting Minutes Attendees: Kim Isaacs – Integra Laurie Roberson – Integra Susan Lorence-CenturyLink Mark Coyne-CenturyLink John Hansen-CenturyLink Steve Karpowich-CenturyLink Rita Urevig-CenturyLink Maggie Burgoyne-CenturyLink Cindy Schwartze-CenturyLink Tammy Meyer-CenturyLink

Susan Lorence – CenturyLink introduced the call and explained the purpose of the call. She asked Kim Isaacs from Integra to present the Change Request (CR). She suggested that they present the change and the deliverable at the same time for each of the three issues included in the CR.

Kim Isaacs-Integra presented the first issue which was the automatic refund of excess Make Ready costs.

Susan Lorence-CenturyLink asked for clarification as to where the current process was documented and wanted to confirm if it was in the Interconnection Agreement (ICA).

Kim Isaacs-Integra confirmed. She explained that all three of these issues were items that the CenturyLink ICA negotiators had asked Integra to bring through CMP.

Susan Lorence-CenturyLink asked for other questions; there were none. Susan clarified that the request is for customers to not have to initiate any excess amount of Make Ready charges and that CenturyLink would automatically issue the excess credit amount. She also clarified that it is unclear whether the current process was a check or a credit.

Kim Isaacs-Integra said that she thought the current process was only that a credit was available.

Susan Lorence-CenturyLink asked if Integra was insistent on receiving a check instead of a credit.

Kim Isaacs-Integra stated that she felt they would be willing to accept a credit if it was going to be automatic and a check would become an issue. She then presented the second item in the CR. She stated that they would like the quote to remain open until a resolution was reached, but that as a compromise, a minimum of 90 days would be sufficient.

Susan Lorence-CenturyLink reiterated that the current process only kept the quote open for 30 days and once that had elapsed; the process had to begin anew.

Kim Isaacs – Integra concurred.

Susan Lorence-CenturyLink asked if the CenturyLink SMEs had any questions. There were none.

Kim Isaacs – Integra presented the third and final issue in the CR.

Mark Coyne-CenturyLink asked how that was billed.

Kim Isaacs – Integra responded that it was billed Time and Materials. She stated that there was a CLEC Field Verification Option but that they had to use a CenturyLink-approved contractors and an employee to watch the contractor.

Susan Lorence-CenturyLink asked if it was in the ICA.

Kim Isaacs – Integra said that it was and that there was something in the PCAT, but nothing about the payment requirement.

Susan Lorence –CenturyLink stated that rates and charges were outside the scope of CMP, but that this had process change implications.

Kim Isaacs – Integra said the issue is really the need for monitoring.

Susan Lorence –CenturyLink asked if there were other questions from CenturyLink SMEs. There were none. She concluded the meeting by reminding Integra that they would present the CR at the next CMP meeting on Wednesday, December 11, 2013. She also asked if the CR could be split into three different CRs if necessary.

Kim Isaacs – Integra said that she felt initially that would not be an issue.

Susan Lorence-CenturyLink concluded the call at 9:16 AM MT.


CenturyLink Response

April 3, 2014

Kim Isaacs, Integra

SUBJECT: Integra CR PC120213-1, DRAFT RESPONSE for Review This letter is in response to CLEC Change Request PC120213-1, Updates to the Poles, Ducts and Right of Way Process -Automatic Refund of Excess Make Ready Charges

CR Description: Integra requested the following change to the Poles, Ducts and Right of Way (PDR) process: Automatic Refund of Excess Make Ready Charges. Currently, when CenturyLink’s actual Make Ready costs are less than the Make Ready charges paid by the CLEC, CenturyLink requires that the CLEC request a refund within 60 days. Integra requests a change in the existing process which would require that CenturyLink automatically refund (via check or credit) excess Make Ready charges paid by the CLEC. Upon completion of this change request, Integra expects that CenturyLink will automatically refund (via check or credit) any excess Make Ready charges paid by the CLEC.

NOTE: This specific change was originally one of three requested changes on Integra CR PC120213-1. After discussion in the January 2014 CMP meeting, CR PC120213-1 was split into three related CRs to address each of the requested changes separately. This CR now only addresses the first of the three requested changes related to the Make Ready Process.

History: A clarification meeting was held on December 9, 2013 with Integra and CenturyLink representatives in attendance. The CenturyLink SME team has completed an analysis of the requested change associated with the PDR Make Ready Process.

CenturyLink Response: After consideration of the requested PDR change, CenturyLink is denying this Integra Change Request to automatically refund (via check or credit) any excess Make Ready charges paid by the CLEC on the grounds that there is no reasonably demonstrable business benefit or significant customer improvement benefit. During the SME team investigation, they found the volume of this type of situation is relatively low. The SME team determined that rarely do the CenturyLink quotes come back under the Make Ready charges paid by the CLEC so there is typically nothing left to refund. In addition, the SME team found no instances of this Excess Make Ready Charge refund situation specific to Integra. If Integra can show some recent examples of this situation, the SME team will reconsider this change request further.

Sincerely, Susan Lorence CenturyLink Wholesale CMP Project Manager 402 422-4999

February 12, 2014 Kim Isaacs Integra

SUBJECT: Integra CR PC120213-1, DRAFT RESPONSE for Review

This letter is in response to CLEC Change Request PC120213-1, Updates to the Poles, Ducts and Right of Way Process - Automatic Refund of Excess Make Ready Charges

CR Description: Integra requested the following change to the Poles, Ducts and Right of Way (PDR) process: Automatic Refund of Excess Make Ready Charges. Currently when CenturyLink’s actual Make Ready costs are less than the Make Ready charges paid by the CLEC, CenturyLink requires that the CLEC request a refund within 60 days. Integra is requesting a change in the existing process which would require that CenturyLink automatically refund (via check or credit) excess Make Ready charges paid by the CLEC.

NOTE: This specific change was originally the first requested change included on Integra CR PC120213-1. After discussion in the January 2014 CMP meeting, CR PC120213-1 was split into three related CRs to address each of the requested changes separately.

Upon completion of this change request, Integra expects that CenturyLink with automatically refund (via check or credit) any excess Make Ready charges paid by the CLEC.

History: A clarification meeting was held on December 9, 2013 with Integra and CenturyLink representatives in attendance.

CenturyLink Response: The CenturyLink SME team is still completing an analysis of this requested change associated with the PDR Process. We hope to be able to share our response in the March CMP meeting.

Sincerely,

Susan Lorence CenturyLink CR Project Manager


Open Product/Process CR PC082712-1X Detail

 
Title: Download multiple/all .txt files option for Wire Center Tool (Crossed over from SCR082712 1)
CR Number Current Status
Date
Area Impacted Products Impacted

PC082712-1X Completed
1/16/2013
Originator: Prull, Steph
Originator Company Name: Integra
Owner: Hansen, John
Director:
CR PM: Hansen, John

Description Of Change

Integra is requesting the ability to choose to download and save selected or all Wire Center CLLIs as an option. We would like to be able to have

a way to have the files download without manual intervention for every file. Integra would continue to see the files as .txt files.

Integra expects Centurylink to provide a way to automatically download selected or all files in the Wire Center CLLI/RLD tool on the web.

https://rld.qwest.com/rld/


Status History


Project Meetings

1/16/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR was discussed last month and said we would like to move the CR to a Completed status but before doing that, Mark asked if anyone had used the functionality yet.

Steph Prull – Integra said that yes, Integra had successfully used the new capability and it was OK to move the CR to Completed.

12/12/12 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CR was originated by Integra as System CR and was crossed over to a Product Process CR during the November CMP monthly meeting with the approval by Integra. Mark said the Level 1 notice will be a sent as a “process option that does not supercede the current process” on 12-12-12 effective immediately with an update to the Raw Loop Data Job Aid.

Kim Isaacs – Integra asked about an earlier notice that had been distributed and this change.

Mark Coyne – CenturyLink said that there was a mix-up in notices and that the correct notice for this CR was going out today.

NOTE: The issue was that a notification had been sent on 12/3/12 that had a process option for a 30K address validation but had the document update for the wire center update associated with the above CR. There was a correction notification sent on 12/11/12 to correct the posted job aid doc on the archive site to match the 12/3/12 notice. The notice for the Wire Center CR was sent on 12/12/12 for those content updates.

Mark Coyne – CenturyLink asked if there were any additional questions. There were none.


Open Product/Process CR PC082808-1IGXES Detail

 
Title: Design, Provision, Test and Repair Unbundled Loops to the Requirements requested by CLEC, including NCI/SECNCI Code Industry Standards
CR Number Current Status
Date
Area Impacted Products Impacted

PC082808-1IGXES Denied
3/13/2009
Originator: Johnson, Bonnie
Originator Company Name: Integra
Owner: Mohr, Bob
Director:
CR PM: Stecklein, Lynn

Description Of Change

In October 2007, Integra notified its Qwest service management team that Integra was experiencing issues with Qwest’s provisioning and repair of xDSL circuits (provisioned on Non-Loaded Loops). Integra and its related entities (“Integra”) have continued to work with its Qwest service management team to address these issues. For example, in May of 2008, Integra provided an example to its Qwest service management team in which HDSL2 service was working fine for Integra’s end user customer; Qwest made a Qwest-initiated change to its network which disrupted the customer’s HDSL2 service; Integra opened a trouble ticket to restore service; and Qwest repair told Integra that Qwest would test and repair only to voice grade parameters, which meant that the end user customer’s HDSL2 service no longer worked (i.e., was permanently disrupted).

Integra communicates the type of service it intends to provide on 2/4 Wire Non-Loaded Loops by using the appropriate NCI/SECNCI codes on the Local Service Request (LSR). However, Qwest has indicated that it now designs, provisions and repairs the circuits to voice grade parameters measured at 1004 Hz, regardless of the NCI/SECNCI code requested on the LSR. The Network Code NC: LX-N indicates that a CLEC is ordering within the Non-Loaded Loop family. As discussed below, it supports a number of digital services depending upon the NCI/SECNCI codes provided on the LSR (e,g., Digital DS0 Level, Advanced Digital Transport, ADSL, Basic Rate ISDN, HDSL2 …). Therefore, an order of LX-N with the NCI code of 02QB9.00H and a secondary NCI code (“SEC”) of NCI 02DU9.00H tells Qwest that it needs to provision, test, and repair for HDSL2 capable service. For example, Qwest needs to ensure that the loop meets the appropriate performance parameters. Each digital service has its own parameters, such as:

• Voice grade analog circuit with Loss at 0 to -8.5 dB at 1004 Hz

• ISDN service Loss at less than 40 dB at 40 kHz

• ADSL service Loss at less than 41 dB at 196 kHz

• HDSL2 service Loss at less than 28 dB at 196 kHz.

When Integra raised the issue of Qwest limiting digital services to voice grade parameters with its Qwest Service Management team, Qwest responded by indicating that “Qwest does not provision requests to meet a specific facility or technology, but rather provisions a class of service, based on the NC codes the CLEC orders.” Integra continues to believe that its current Interconnection Agreements (“ICAs”) require Qwest to provide unbundled loops that transmit digital signals in addition to voice-grade service, etc. Integra reserves its rights under its ICAs. At the same time, in an effort to resolve this issue and at the request of Qwest, Integra is requesting in CMP that Qwest develop and maintain the process and procedures needed to design, provision, test and repair Unbundled Loops so that the circuit will conform to the requirements requested by CLEC, including compliance with the industry standards for the NCI/SECNCI code provided on the LSR. On 7/23/08, Qwest proposed that Integra submit a change request in CMP, including asking Qwest to design, provision, test and repair services in way that takes into account NCI/SECNCI codes standards instead of just the NC codes. Integra includes that request in this CR.

Qwest’s Technical Publication 77384 indicates that a number of advanced digital services are provisioned on Non-Loaded Loops (NC: LX-N), using a variety of NCI/SECNCI codes (for example: Advanced Digital Transport in a variety of spectrum classes, Basic ISDN – NCI: 02QC5.OOS, HDSL - NCI: 02QB9.00H). Qwest’s Technical Publications indicate that the NCI/SECNCI codes conform to the various ANSI standards for the specific digital service. However, as noted earlier, the Qwest service management team confirmed that it is Qwest’s current practice to design, provision, test and repair these digital services delivered on Unbundled Loops based on the NC code which delivers voice grade parameters measured at 1004Hz, even though each digital service has its own parameters for optimum performance. Integra is requesting that Qwest use the industry standards for NCI/SECNCI codes provided on the LSR when designing, provisioning, testing and repairing Unbundled Loops. For example, an Unbundled Loop ordered on the LSR with the Basic ISDN NCI: 02QC5.OOS should be designed, provisioned, tested and repaired per industry standards using a loss based on 40 kHz, not the voice grade 1004 Hz. Additionally, an Unbundled Loop ordered on an LSR with HDSL NCI 02QB9.00H should be provisioned using loss based on 196 kHz. When Qwest grandparented the ADSL compatible loop (only for CLECs without any ADSL compatible loop terms in their ICAs), Qwest pointed to the 2 Wire Non-Loaded Loop as an alternative to the ADSL compatible loop. However, per Qwest’s current stated position regarding designing, provisioning, testing and repairing to the NC code only, the 2 Wire Non-Loaded Loop would not be a reliable or serviceable alternative to an ADSL compatible loop. For a 2 Wire Non-Loaded loop to be a viable alternative to an ADSL compatible loop, Qwest should design, provision, test and repair digital capable Non-Loaded loops (such as HDSL capable or ADSL compatible loops) based on the NCI code as well.

While Qwest has said that it does not provision requests to meet a specific facility or technology, it should provision requests in compliance with industry standards and as ordered by CLEC, including providing working digital capability/compatibility when that capability is ordered. The SGATs, like the recent Qwest-Eschelon Minnesota and Arizona ICAs (§9.2.2.3), define 2/4 wire non-loaded loops as “digital capable” loops. The SGATs and the recent Qwest-Eschelon ICAs (§9.2.2.1.1 & 9.2.2.1.2) provide that use of the words “capable” and “compatible” to describe Loops means that Qwest assures that the Loop meets the technical standards associated with the specified Network Channel/Network Channel Interface codes, as contained in the relevant technical publications and industry standards. Qwest’s stated position that its current process recognizes only the “Network Channel” code but not the “Network Channel Interface” is inconsistent with this long-established principle. Similarly, the Qwest-Integra Oregon ICA has been in place since 2000 (for Integra as well as other CLECs, as it is based on the Qwest-AT&T ICA). That ICA (Att. 3, §2.1 and subparts) defines an unbundled loop to include loops that transmit digital signals and provides that CLEC may order special copper loops unfettered by any intervening equipment and which do not contain any bridged taps, so that CLEC may use the loops for a variety of services by attaching appropriate equipment. For example, when a CLEC orders an HDSL2 capable loop (identified on the LSR by using the NC code of LX-N with the NCI code of 02QB9.00H and a SEC code of NCI 02DU9.00H), the CLEC should receive a loop unfettered by intervening equipment so that CLEC may provide working HDSL2 service over the HDSL2 capable loop by attaching appropriate equipment. Regarding repair after a Qwest maintenance or modernization event, the SGATs and recent Qwest-Eschelon ICAs (§9.1.9) provide that network maintenance and modernization activities will result in UNE transmission parameters that are within transmission limits of the UNE ordered by CLEC. If CLEC orders a 2/4 wire non-loaded loop that is digital capable (such as ADSL compatible or HDSL2 capable), then the loop must be restored to the appropriate digital capable level after a Qwest maintenance or modernization event. In short, if a loop qualifies for a digital service, the circuit should work (and continue working) for that digital service.

Qwest will design, provision, test and repair Unbundled Loops to the requirements ordered by CLEC, including industry standards for the NCI/SECNCI codes provided on the LSR. Qwest should take into account NCI/SECNCI code standards, and not just the NC codes. When a CLEC orders a 2/4 wire non-loaded loop for providing a digital service (e.g., as identified using the applicable NCI/SECNCI code on the LSR), Qwest will not limit the design, provisioning or repair of 2/4 wire non-loaded loops to voice grade parameters (e.g., measured at 1004 Hz). After repairs and Qwest network maintenance and modernization changes, the end user customer’s service should work for the service ordered by CLEC.


Status History


Project Meetings

3/20/09 Escalation #45 Initiated by Integra at:http://www.qwest.com/wholesale/cmp/escdisp.html

3/18/09 Prod/Proc CMP Meeting Bob Mohr-Qwest reviewed the denial response that can be located in the CR description as follows: The Unbundled Non Loaded Loop product was developed to interface with various applications contained in Technical Publication 77384. For Unbundled Loop LX-N Network Channel (NC) codes, the NCI codes are informational only, as stated in the above mentioned Technical Publication and do not affect transport designs or performance. The associated NC code requires that the service use non-loaded, metallic facilities free of faults (grounds, shorts, noise, or foreign voltage). The CLEC has responsibility to inspect the character of the facilities, e.g. gauge, length, etc and determine that the facility is appropriate for their specific application. Because Qwest is under no obligation to provide the product in the manner requested by CLEC, and Qwest is only obligated to provide a Non Loaded Loop to the broader standards listed in Technical Publication 77384, this Change Request to Design, Provision, Test and Repair Unbundled Loops to the requirements of the NCI code required a business discussion regarding the benefit to providing Non Loaded Loops in this manner vs. the cost to do so. That is, because there is no obligation to provide Non-Loaded Loops in this manner, the decision to implement this CR becomes one of economics. Absent the CLEC community agreement to negotiate in good faith to perform cooperative testing, this request becomes economically not feasible for Qwest. Therefore, Qwest respectfully denies this request. Bonnie Johnson-Integra commented that from Integra’s perspective hearing that NC/NCI codes are informational only is a surprise and they don’t agree.(3/27/09 Comments to minutes received from Integra) Bonnie said Qwest can name a product whatever it wants, but it doesn’t change Qwest’s obligations. Bonnie said that they are escalating this and the other denied CR. She said that Integra has provided detailed information .(3/27/09 Comments to minutes received from Integra) in its CRs and in the response about testing and Qwest hasn’t responded .(3/27/09 Comments to minutes received from Integra) to any detail. Bonnie said that .(3/27/09 Comments to minutes received from Integra) you do not negotiate in CMP. You negotiate ICAs they don’t agree that Qwest doesn’t have an obligation to what has been negotiated in the ICAs and have a right to this type of loop and Qwest can’t continue negotiate. She said that they want a revised response for both CRs .(3/27/09 Comments to minutes received from Integra) the respond to the cites and detail Integra provided. Liz Balvin-Covad said that Qwest is provisioning a product they can’t test and turn up in a mechanized way. Bob Mohr-Qwest said that Qwest is provisioning a non loaded loop product with an HDSL interface. Liz Balvin-Covad asked if this was being done manually. Bob Mohr-Qwest said it uses the standard provisioning Unbundled Loop provisioning process. Kim Isaacs-Integra asked Qwest to explain an HDSL interface. Jamal Boudhaouia-Qwest said that we provide a 2-4 wire non loaded loop with the capability to transport multiple protocols. Jamal said we give access to the Raw Loop data through IMA and we don’t restrict the use of the loop. He said that we let the CLEC determine what protocol they want to support. Kim Isaacs-Integra said if they find the loop there is no way to reserve the most compatible loop. Jamal Boudhaouia-Qwest said that it is the same for Qwest with no reservation and it is first in first out. Kim Isaacs-Integra said that Qwest .(3/27/09 Comments to minutes received from Integra) has already said it does this for itself. Qwest service runs through the CSA guidelines. Jamal Boudhaouia-Qwest said that is a finished service and (3/27/09 Comments to minutes received from Integra) and has a USOC associated with an NC/NCI code. He referred to tech pub 77384. The CLEC community has the opportunity to order the DS-1 capable loop that is the same as the retail offering that Qwest offers its end users. Kim Isaacs-Integra said they provide the NC/NCI code. Jamal Boudhaouia-Qwest said that the NC/NCI codes are for information only as documented in tech pub 77384. Bonnie Johnson-Integra said that the industry drives the NC/NCI codes and Qwest tech pubs are intended to be based on the industry standard. She asked if Qwest was insinuating that they develop a product and pick the NC/NCI codes out of a hat. Liz Balvin-Covad said the loop is provisioned to the specified NC/NCI codes but you don’t provision to the HDSL functionality. Jamal Boudhaouia-Qwest said that you could qualify a loop for HDSL and that the NC code determines the type of loop being requested. Kim Isaacs-Integra said that in reality you order HDSL or ADSL using LX-N and the appropriate NC/NCI codes. Kim said that pre-qual, in the past, has delivered a loop that does not support the functionality. She said that when a bridge tap issue is identified, Qwest says they only need to provide to voice grade standards and still does not understand why NC/NCI codes are informational only. Jamal Boudhaouia-Qwest said that the NCI codes are used for spectrum management purposes within copper.(3/27/09 Comments to minutes received from Integra) but not for provisioning or testing. The language in the ICAs and the negotiation template provides the reasons for the CLECs to provide Qwest with the correct NC/NCI code combinations. Liz Balvin-Covad asked why Qwest only provisions to voice grade. Jamal Boudhaouia-Qwest said that network was built and managed to voice grade. However, we provision the non-loaded loop to a higher grade than voice grade. As most every one here knows, voice grade can run on loaded loops. So Qwest provisions the non-loaded loops to a higher grade than voice grade. Liz Balvin-Covad asked what happens when it is non loaded and when you test and run into the situation that it has to be conditioned. Kim Isaacs-Integra said that the argument with Qwest is the definition of excessive bridge tap and the amount of bridge interference. Kim said that there are issues with the digital and voice grade parameters. Jamal Boudhaouia-Qwest said that digital data services, by definition, encompass any digital bits ranging from 9.6KB up to 20 Megs and digital data service could be supported on bridge tap. Jamal said that he wanted to get back to Covad’s question of manual vs. mechanized. Liz Balvin-Covad asked when they order 2/4 wire that is in their contracts, does Qwest have the ability to assign the loop electronically. Jamal Boudhaouia-Qwest said it is assigned electronically and that the order will flow through IMA. Liz Balvin-Covad asked if the USOC was available. Jamal Boudhaouia-Qwest said the USOC is not available for the HDSL capable loop. Liz Balvin-Covad-asked if HDSL is a Qwest supported functionality. Jamal Boudhaouia-Qwest said HDSL is a protocol to provide DS1 which could be provided using multiple technologies HDSL, AMI, SONET etc. He said that HDSL is just one of the protocols. Jamal said that using the 2/4 wire non loaded loop, the mux will generate the HDSL signal to transport DS1. Liz Balvin-Covad asked what excessive bridge tap is and will Qwest remove. Kim Isaacs-Integra said that is where they run into trouble. Jamal Boudhaouia-Qwest said that there are different requirements for different protocols and technologies. Liz Balvin-Covad-asked why this CR was being denied for economically not feasible reasons. Bob Mohr-Qwest said that the CR is being denied because of the cost of the equipment to perform the testing and the training required for the technicians to perform HDSL testing. Jamal Boudhaouia-Qwest said that we don’t do manual testing from the Central Office for Qwest today. Jamal said that after provisioning the testing is done through the centers. He said that we have asked the CLEC community to negotiate a testing process for HDSL similar to what tests Qwest performs for itself. Also, Qwest would be able to negotiate the technical parameters to test to with the CLEC community. He said that to make sure that the facility meets the requirements of the services to be provisioned on the loop, we need to consider the added length at the Central Office and the Customer Premises. He said that a 2000 feet copper segment could be added to the loop length and testing end-to-end becomes critical in the delivery of the service to the end user. Kim Isaacs-Integra said that (3/27/09 Comments to minutes received from Integra) Qwest she was assuming that the CLEC was making no consideration for the length in office and the end user location. Kim said that they make the calculation and place their order and Qwest auto assigns the loop with no load coil. She said that some will work and asked if Qwest was refusing to determine the location of the bridge tap. Bonnie Johnson-Integra said that Qwest (3/27/09 Comments to minutes received from Integra) said that they don’t do this testing for themselves and that they assign the facility following the CSA guidelines. She said that Qwest is expecting them to do testing that they don’t do for themselves and that they want parity that is currently in their contract. Jamal Boudhaouia-Qwest said that he respectfully disagreed. He said that he is asking for cooperative testing to mirror what Qwest does for itself. He said that the CLEC would be to interject a signal from their center and Qwest technicians in the field would receive the signal. Liz Balvin-Covad asked if there was a cost associated with cooperative testing. Bob Mohr-Qwest said that we have not looked at that. Liz Balvin-Covad asked what Qwest will do if they do the cooperative testing and determine excessive bridge tap. Bob Mohr-Qwest said that if cooperative testing is done and excessive bridge tap is causing impediments and the CLEC authorizes conditioning, Qwest will remove excessive bridge tap as is our process today. Julia Redman-Carter-PAETEC asked if Qwest would waive it. Bonnie Johnson-Integra said that (3/27/09 Comments to minutes received from Integra) Qwest said the test in not done in the CO because Qwest said they are not equipped to do that. Jamal Boudhaouia-Qwest said that we don’t have testing equipment in the CO and is very inefficient to do the testing in the CO. Jamal said that to do HDSL signal testing it would be done in the centers and that the CLECs can do this. Liz Balvin-Covad asked if the CLEC can launch that test. Jamal Boudhaouia-Qwest said yes, they can interject the signal. Bonnie Johnson-Integra asked what Centers Qwest was referring to. Jamal Boudhaouia-Qwest said that he was referring to the provisioning, maintenance and alarm centers. Jamal said that he did not know how the CLECs operate their business but that most telecom companies have some type of network operation center that is used to monitor the health on the network. Bonnie Johnson-Integra asked for more information on the repair aspect and that she did not understand how Qwest can deny. Bonnie said that the FCC requires that Qwest (3/27/09 Comments to minutes received from Integra) not limit testing to test to Voice Grade parameters. Jamal Boudhaouia-Qwest said since Integra is referencing the FCC requirements, the question becomes one of a legal nature. Bonnie Johnson-Integra said that they asked this question in the escalation and want a complete response. Mark Coyne-Qwest said that this question has been addressed in previous meetings and we believe that it has been answered. Julia Redman-Carter-PAETEC asked that Qwest provide the legal response. Mark Coyne-Qwest said that we will take this into consideration. Bonnie Johnson-Integra said that this before this CR was originated, they tried to resolve with their Service Manager and were told that they need to take the issue to CMP. Bonnie said that when they presented this CR they did not feel that they needed to bring this to CMP. She said that Qwest should respond to all citations in the escalation and respond to the (3/27/09 Comments to minutes received from Integra) to the Integra’s response to testing. Liz Balvin-Covad asked if the limits to test only to voice grade is limited to 2 wire non loaded. Jamal Boudhaouia-Qwest said that it is called out in the tech pub and does specify 2 and 4 wire. Jamal said that he will send to Mark and will be provided in the notes. Kim Isaacs-Integra said that the tech pub says 2 or 4 wire is tested to voice grade parameters.

2/18/09 Prod/Proc CMP Meeting Mark Coyne-Qwest said that this CR is currently in a development status and will remain as is based on the discussions regarding cooperative testing. (2/26/09 Comments to minutes received from Integra) Bonnie Johnson-Integra asked if we were going to discuss this CR on the call today. Mark Coyne-Qwest said that the last CMP Meeting Integra took an action to provide a response to Qwest regarding the cooperative testing. Bonnie Johnson-Integra said that Integra provided Qwest a formal response on 2/4/09 and has not received anything back and needs to decide on next steps. She said that she wanted the 2/4/09 response included in the body of the CR. (3/2/09 Comments to minutes received from Integra) Mark Coyne – Qwest stated Qwest has Integra’s response Bonnie Johnson – Integra indicated that Integra provided Qwest with Integra’s response on 2/4/09 and asked if there was confusion at Qwest. Bonnie asked if Qwest has taken any action on Integra’s response. Mark Coyne – Qwest stated actions have been taken but the SME team is not prepared to discuss them at this time. Lynn Stecklein-Qwest said that she would get the response posted. Mark Coyne-Qwest said if Integra’s position is to not test, Qwest will look at a response. Liz Balvin-Covad asked why Qwest required testing on the HDSL product when it is not required on the 2 – 4 wire that has 6 installation options available. Bob Mohr-Qwest said that we have had lengthy discussions on why we need this for HDSL. Bonnie Johnson-Integra said that in the Denial on implementing the USOC the issue was a financial liability. Bonnie said that they would like Qwest to implement a manual process and add a remark to assign the appropriate loop when submitting orders. Mark Coyne-Qwest said that Jamal has addressed the manual process. Jamal Boudhaouia-Qwest said that even with the manual process, cooperative testing is still a required. He said that Qwest has stated their position in the past and has been document in previous meeting minutes. 2/26/09 Comments to minutes received from Integra) Doug Denney-Integra asked Qwest to clarify that it’s position is that even though Qwest is unable to test the loop, CLECs should be able to test. Jamal Boudhaouia-Qwest said that Qwest’s position has previously been documented. Bonnie Johnson-Integra asked why Qwest was reluctant to speak to the process for those who have not been in those meetings. She asked what Qwest was going to do about repair if the HDSL loop is working and then needs repair. Bob Mohr-Qwest said that we need cooperative testing on a repair basis. Liz Balvin-Covad asked if there was a charge for the cooperative testing because Qwest is saying they can’t do without both parties. Bob Mohr-Qwest said that has not been identified. Doug Denney-Integra asked in a repair situation for HDSL, is Qwest going to undertake what Qwest does for themselves, i.e. checking for bridge tap and load coil. Jamal Boudhaouia-Qwest said the (3/2/09 Comments to minutes received from Integra) electrical testing is done as stated previously the tests have been described. Bonnie Johnson-Integra asked if Qwest’s process going forward is to continue to test to voice grade level and not to the HDSL standard. Bob Mohr-Qwest said this (2/26/09 Comments to minutes received from Integra) has not been decided the CR is requesting to test to those limits. Bonnie Johnson-Integra asked if we do nothing with the CR, will Qwest continue test to voice grade level and would it be status quo for voice grade only. Bonnie said that (2/26/09 Comments to minutes received from Integra) Jamal said in a previous meeting he was unaware that was taking place and she never received a response to that question. Jamal Boudhaouia-Qwest said that we did talk to this in previous meetings and that he will review the minutes. Doug Denney-Integra said that Qwest’s denial on the exception CR states that there is a financial risk and asked what Qwest was referring to. Bob Mohr-Qwest said that the financial liability is associated with the cost of equipping and training the technicians to perform the test at this level. Doug Denney-Integra said that the other CR doesn’t ask Qwest to do this and that they only want the USOC implemented. He said he was not sure how that fits into the rejection of the CR. Bob Mohr-Qwest said that the CR would be a half solution without testing and would shift additional liability to the repair process and Qwest is not willing to implement a partial solution. Doug Denney-Integra said that Integra is (3/2/09 Comments to minutes received from Integra) still reviewing Qwest’s denial of the other CR and may have more questions.

2/4/09 Integra Response On the January 21, 2009 CMP call, Integra agreed to consider the comments that Qwest had made on that call and respond in writing. Integra provides this response to Qwest. Please ensure that this response in included in the detail for CR PC082808-1IGX.

The Issue

Integra believes that Qwest has not appropriately framed the issue. Qwest focuses on one issue (Qwest’s view of testing) to the exclusion of the larger issues outlined in Integra’s change request (CR). Qwest’s approach suggests that Qwest may stop all progress on all aspects of the CR if one issue that it claims is “critical” is not handled in the manner proposed by Qwest. Integra disagrees with that approach.

In the January 21st CMP meeting, Qwest (Jamal) erroneously said that Integra’s “original CR calls for a test process” (see footnote 1) and that this is a “new process.” (see footnote 2) That is simply not the case, as is clear from reading the entire CR. It is also apparent from the CR’s title, which does not request a “test process” but asks Qwest to “Design, Provision, Test, and Repair Unbundled Loops to the requirements requested by CLEC, including NCI/SECNCI Code Industry Standards.” In other words, even when using existing processes (including existing testing), Qwest needs to apply the applicable NCI/SECNCI codes. The example provided by Integra in the first paragraph of the CR makes this even more clear:

For example, in May of 2008, Integra provided an example to its Qwest service management team in which HDSL2 service was working fine for Integra’s end user customer; Qwest made a Qwest-initiated change to its network which disrupted the customer’s HDSL2 service; Integra opened a trouble ticket to restore service; and Qwest repair told Integra that Qwest would test and repair only to voice grade parameters, which meant that the end user customer’s HDSL2 service no longer worked (i.e., was permanently disrupted).

In this example, Qwest already has a process for testing as part of a repair. The issue is that Qwest personnel, when using that process, should not take the position that Qwest will test “only to voice grade parameters” but instead should test to the standard applicable for the requested service (e.g., a loop capable of carrying data). As pointed out in the CR, it has long been established (e.g., in the SGATs and in ICAs, such as those cited in the CR going back to 2000) that use of the words “capable” and “compatible” to describe Loops means that Qwest assures that the Loop meets the technical standards associated with the specified Network Channel/Network Channel Interface codes, as contained in the relevant technical publications and industry standards. Therefore, this is a process that had long been in place (until recently, when Qwest starting telling Integra that it would test only to voice grade parameters). Qwest needs to restore compliance with the ICA terms requiring testing to the appropriate levels.

The above example involved a repair. The same is true for loop installations. During the CMP clarification call, Qwest (Jamal) asked Integra how Qwest would provide the test results to Integra. Integra responded:

“Doug Denney-Integra said that there are different installation options that exist today and some of those require different degrees of test results being provided by Qwest. He said that those are described in the Carrier’s contracts and when we set up the cost for those options. He said they are not attempting to (9/12/08 Comments to minutes from Integra) change the process of providing test results with regard to provisioning loops.” (see footnote 3) (Emphasis added) Integra asked Qwest in its CR to perform the tests Qwest is currently obligated to perform per the ICAs for the installation option ordered. As noted above, Qwest should be testing to the levels appropriate for the type of circuit ordered.

Installation

Qwest provides CLEC with multiple types of loops and, for each, various installation options. Types of Unbundled Loops and Assignment of Those Loops Qwest provides multiple types of loops to Integra and other CLECs. For example, Qwest’s ICA negotiations template in Section 9.2.2.2 addresses “Analog (Voice Grade) Unbundled Loops” and in Section 9.2.23 addresses “Digital Capable Loops – DS1 and DS3 Capable Loops, Basic Rate (BRI) ISDN Capable Loops, 2/4 Wire Non-Loaded Loops and xDSL-I Capable Loops.” Section 9.2.2.3 provides that digital capable loops, including “2/4 Wire Non-Loaded Loops,” are “capable of carrying specifically formatted and line coded digital signals.” That means that, when Qwest delivers the loop, it must deliver a loop capable of providing data to the CLEC to have met its obligation to provide the digital capable loop ordered by the CLEC. There is no exception in 9.2.2.3 for providing a loop that is not digital capable and then later, after imposing extra work and delays upon CLEC, providing a different loop that is digital capable. Qwest’s ICA negotiations template Section 9.2.2.3 also states: Qwest will provision digital Loops in a non-discriminatory manner, using the same facilities assignment processes that Qwest uses for itself to provide the requisite service. (emphasis added) A key problem that exists today, however, is that Qwest is not meeting this commitment. For CLECs, Qwest’s facilities assignment process does not select/assign the best (most qualified loop available for the type of loop ordered by the CLEC. Instead, it is just as likely, or more likely, to assign a voice grade (see footnote 4) loop to fill a CLEC request for a digital capable loop. In contrast, for Qwest retail, Qwest automatically assigns the best (most qualified) loop available for the type of loop ordered by Qwest retail.(see footnote 5) Every day that this situation continues is another day of discrimination, and so Qwest should make every effort to accelerate resolution of this problem. Existing Loop Installation Options

Qwest also offers multiple loop installation options (basic, coordinated, cooperative testing, etc.). Qwest lists its installation option offerings in its ICA negotiations template Section 9.2.2.9, which provides that the options are available for all types of loops, though the price may vary by option. Section 9.2.2.9.1 provides that “Basic Installation” is available for all “new or existing Unbundled Loops,” which includes for example 2/4 Wire Non-Loaded Loops. For a basic installation of a loop, Section 9.2.2.9.1 provides that Qwest completes its work and Qwest calls the CLEC, and for new service Qwest conducts performance testing but does not provide the test results to CLEC. As indicated above (and reflected in the 9/9/08 CMP Clarification Call minutes), Integra is not attempting to change this option (which in most, if not all, Qwest states is available to CLECs at a commission-approved rate).

As Integra understands Qwest’s current proposal, however, Qwest is seeking to alter this option – by removing the basic option altogether for HDSL (2 and 4 wire non loaded loops) and insisting instead on not only a more expensive installation option (cooperative testing) but also requiring time consuming and costly joint meets in circumstances when they are unnecessary and not required for Qwest retail. For Qwest retail, however, Qwest assigns a loop following CSA guidelines and, if it does not work, will perform the repair. (see footnote 6) To be nondiscriminatory, a basic installation option must remain available to CLECs for digital capable loops.

Specifically, Qwest admitted that for comparable types of service, Qwest does not perform or require its staff to perform the work it seeks to require CLECs to perform. Qwest said:

Jamal Boudhaouia - He said that we will check to see if the bridge tap is interfering with it. He said that Qwest does not do HDLS [sic] test in the CO because we are not equipped to do that and the equipment is very expensive. (12/30/08 Comments to minutes received from Integra) When we hook to the HDSL mux we test remotely - it works or doesn't work - we don't have the ability to test the raw loop, we look for open shorts, bridge tap, or Load Coils that we missed. (see footnote 7) (Emphasis added)

In other words, Qwest “does not do HDSL2 tests in the CO” for every installation for itself, but Qwest is attempting to force HDSL2 tests in the CO upon CLECs by requiring joint cooperative testing in the case of every loop installation. This is inefficient and creates unnecessary work, delay, and expense for CLECs. For example, if a CLEC that has 50 collocations throughout a city has ordered loops with the same due date for 3 installations in 3 unmanned collocations spread far apart in that city, Qwest would require CLEC to dispatch technicians all over town that day to jointly test for problems, even though the loops may in fact work when delivered (and should work, if proper facilities are assigned). For CLECs, Qwest proposes to require joint testing 100% of the time.

In contrast, Integra’s position is much more efficient, because it isolates joint testing to those limited circumstances when joint testing is truly required. Per Integra’s position, when Qwest assigns a loop capable of carrying data consistent with industry guidelines, in most cases the loop should work as intended. Therefore, no joint testing is required. Even assuming the loop does not work upon delivery, CLEC will be able to perform tests once it hooks up its equipment. Qwest’s existing processes require CLEC to perform trouble isolation before reporting trouble to Qwest and to submit its test results with its trouble report. (See Qwest’s ICA negotiations template Sections 12.3.3.5 & 12.3.4.) As with any other basic loop installation after which the loop does not work, the companies may agree on the cause of the problem and the solution. If the CLEC reports that its tests indicate, for example, that excessive bridged taps are interfering with its HDSL2 service and Qwest agrees, no joint meet its required. (see footnote 8) Only in the sub-set of installations for which the loop does not work and the companies do not agree on trouble isolation may joint testing be required. (see footnote 9) This is a far more efficient than Qwest’s proposal to require joint testing for 100% of installations.

As discussed above, a key problem that Integra’s CR is attempting to address is that, when Qwest provides a digital loop with a basic installation to CLECs, the facilities assignment process should take care of as many problems in advance of loop delivery as the facilities assignment process for Qwest retail. For example, if a Qwest retail customer that orders a digital service is unlikely to be assigned an analog facility with excessive bridged taps, a CLEC that orders a digital service should also be just as unlikely to be assigned an analog facility with excessive bridged taps. Once Qwest’s facilities assignment process is nondiscriminatory, the need for CLECs to request repairs after a basic installation should be reduced accordingly. In other words, repairs following installations that are caused by Qwest delivering a voice grade loop when in fact a digital loop was ordered should be substantially reduced, if not eliminated.

Qwest is legally and contractually obligated to deliver the loop a CLEC orders within the industry standard parameters for that loop. Qwest appears to have taken the position, however, that if CLECs will not agree to order and pay for cooperative testing (despite the availability in its ICAs of basic installation at Commission-approved rates), Qwest will not implement the USOC for CLECs that will allow Qwest’s systems to assign a loop for CLECs that will support the type of service the CLEC ordered. Qwest refers to this as “Gate one.” (see footnote 10) Qwest is basically saying it will not do one without the other. (see footnote 11) As Qwest knows from previous communications, Integra does not agree. There is no legitimate reason to link the two. Qwest needs to bring its facilities assignment process into compliance and make it nondiscriminatory. If implementing the USOC for CLECs is the means by which Qwest may do that (at least for one of the products, HDSL), Qwest should have done it by now given its obligations but certainly should not delay it any longer by attaching inappropriate pre-conditions to implementing the USOC. (see footnote 12) Integra will comply with the installation option provisions in its ICAs, including basic installation. Qwest needs to ensure that, before delivering a loop, Qwest is first assigning a loop that meets the industry standards for that type of loop. Qwest cannot cure its failure to appropriately assign a loop on a nondiscriminatory basis by shifting the burden to CLECs to perform work that would not be necessary if the assignment process worked as it should. Once it works as it should, there may be little or no need for joint testing or repair, because the delivered loop will work as intended for the service ordered.

To be nondiscriminatory, a proper facilities assignment process should be automated for CLECs, just as it is for Qwest retail. Qwest should ensure the process is automated, including implementation of a USOC(s) if that serves this purpose. With respect to the USOC for HDSL, Integra has submitted a separate CR for Implementation of USOC to Correct Facilities Assignment for HDSL” to attempt to ensure that the USOC is implemented without delay.

Until the facilities assignment process is automated for all affected products, and without waiving any rights, Integra asks Qwest as an interim measure to train its personnel to use the existing manual process (by which remarks in an order cause an order to fall out for manual handling) so that, when a remark indicates that the facility being ordered is a digital capable service (e.g., HDSL2), Qwest personnel will assign the type of facility needed for the digital capable loops (including compliance with industry standards). CLECs preferring automatic facilities assignment will be able to avoid this manual process by not using remarks. Footnotes: Qwest should deliver a loop capable of supporting the type of service ordered by the CLEC, which will reduce problems at installation and reduce the number of needed repairs to make the service work as intended.

Repair, including repairs following Qwest maintenance and modernization activities

The example that was included in the first paragraph of Integra’s CR (copied in part above) involved a repair not associated with an installation. A Qwest process already exists that enables CLECs to make comments when submitting trouble reports. When a CLEC, as part of those comments, identifies the facility to be repaired as a digital capable facility (e.g., HDSL2), Qwest needs to treat that facility accordingly. For example, Qwest personnel cannot (as they did in the example) tell the CLEC that Qwest will test and repair only to voice grade parameters, even though the facility is supposed to be capable of carrying data. (see footnote 13)

To the extent that problems, such as the one in the example, occur because of inadequate training, Qwest should promptly train its personnel as to the appropriate parameters for services capable of carrying data. Once a facility is identified (by CLEC or Qwest) as a digital capable service (e.g., HDSL2), there should be no more instances when Qwest personnel as a matter of policy refuse to test to the industry standards/parameters for that service.

To the extent that problems, such as the one in the example, occur because Qwest repair personnel are relying on circuit ID or other indicators suggesting that a loop is an analog loop when in fact it is a digital capable loop, Qwest should promptly train its personnel to accept input from CLECs as to the type of service. For example, if a CLEC tells Qwest in written remarks or on a telephone call (consistent with applicable Qwest process) that a facility was ordered as HDSL2, the Qwest repair personnel should not take the position that Qwest will not treat it for testing and repair purposes as HDSL2 because the circuit ID or other indicator suggests otherwise. Qwest should test and repair it per the applicable industry standards for the digital capable service identified by CLEC.

There is no reason to wait for implementation of a USOC to ensure that repairs are performed in a manner appropriate for the service ordered by the CLEC. Even after a USOC(s) is implemented for new ordering, digital capable loops (including HDSL2 circuits) will exist in the embedded base. If Qwest does not identify these facilities itself, Qwest will have to rely on information provided by CLEC as to the type of facility ordered when facilities in the embedded base need repair. Qwest should be relying on that CLEC-provided information now.

Qwest has identified no systems change or other change that is needed before implementing the requested training. Certainly, there is no legitimate reason to tie Qwest’s position on testing at installation to testing for these repairs.

Footnote 1 - See http://wholesalecalendar.qwestapps.com/detail/10/2009-01-21 and link to minutes from 1/21/09 CMP Product/Process meeting. Footnote 2 - See http://wholesalecalendar.qwestapps.com/detail/10/2009-01-21 and link to minutes from 1/21/09 CMP Product/Process meeting. Footnote 3 - See http://www.qwest.com/wholesale/cmp/cr/CRPC082808-1IGX.html minutes from 9/9/08 clarification meeting. Footnote 4 - Because Qwest used the term “voice grade” to describe the type of loop it was then testing to (see above example from the first paragraph of the CR), Integra uses that term in this response for ease of reference. Footnote 5 - See, e.g., http://www.qwest.com/wholesale/cmp/cr/CRPC082808-1IGX.html minutes from 12/17/08 CMP meeting (Jamal Boudhaouia-Qwest - “The Qwest HDSL2 goes through the CSA guidelines and Qwest will do remote testing from the center.”; “Qwest said that we have to take the necessary steps for the centers and LFACs to make sure the facility is qualified. He said that we have 2 extra steps - the technician needs to be equipped and that we have the insertion for the CSA guidelines.”); see also See http://wholesalecalendar.qwestapps.com/detail/10/2009-01-21 and link to minutes from 1/21/09 CMP Product/Process meeting. (Jamal Boudhaouia-Qwest – “Qwest retail does not use a manual process.”) Footnote 6 - See http://www.qwest.com/wholesale/cmp/cr/CRPC082808-1IGX.html minutes from 12/17/08 CMP meeting (quoted below). Footnote 7 - See http://www.qwest.com/wholesale/cmp/cr/CRPC082808-1IGX.html minutes from 12/17/08 CMP meeting. Footnote 8 - This assumes that Qwest is not enforcing a policy of testing only to voice grade parameters even when the CLEC informs Qwest that its service is supposed to be capable of carrying data, as discussed below regarding repairs. Ensuring Qwest’s personnel are properly trained in this regard is one of the purposes of Integra’s CR. Footnote 9 - When a joint meet is required, the Qwest-Eschelon approved ICAs in MN, OR, and UT provide for joint repair appointments. See 9.2.5.2.1. Footnote 10 - See http://www.qwest.com/wholesale/cmp/cr/CRPC082808-1IGX.html minutes from 11/12/08 CMP meeting. Footnote 11 - See http://wholesalecalendar.qwestapps.com/detail/10/2009-01-21 and link to minutes from 1/21/09 CMP Product/Process meeting. Jamal at Qwest said if CLECs can not complete co-op testing we need to re-analyze the CR. Footnote 12 - See http://wholesalecalendar.qwestapps.com/detail/10/2009-01-21 and link to minutes from 1/21/09 CMP Product/Process meeting. “Doug Denney-Integra (1/30/09 Comments to Minutes received from Integra) said while we would all like 100% perfection there is the opportunity for and improvement along the way. He asked why we want to delay the USOC and manual process because of the testing issue when by using the USOC we could get to 80% improvement today. Footnote 13 - See, e.g., Qwest-Eschelon OR ICA: “9.1.9 In order to maintain and modernize the network properly, Qwest may make necessary modifications and changes to the UNEs in its network on an as needed basis. Such changes may result in minor changes to transmission parameters. If such changes result in the CLEC’s End User Customer experiencing a degradation in the transmission quality of voice or data, such that CLEC’s End User Customer loses functionality or suffers material impairment, Qwest will assist the CLEC in determining the source and will take the necessary corrective action to restore the transmission quality to an acceptable level if it was caused by the network changes. . . .” (emphasis added).

1/21/09 Product/Process CMP Meeting

Bob Mohr-Qwest said that Qwest met with the Database administrator to develop the timeline and systems requirements for the implementation of the USOC. Bob said that the table changes will be worked with the system release in (1/30/09 Comments to Minutes received from Integra) mid April. He said that joint cooperative testing is a critical component for the success of this effort. Bob said that between now and April we will make necessary changes to the PCAT, Tech Pubs, Contract Language, and Internal documentation. This will include changes for ISDN BRI and ADSL Non Loaded ordering as well. Bob said that Cooperative testing must be included in that solution.

Bonnie Johnson-Integra said Integra proposed, until the USOC can be put in place, implementation (1/30/09 Comments to Minutes received from Integra) of a manual work around to bring relief. The work around is to drop to manual handling and the type of loop would be identified in the Remarks. Bonnie said that Qwest responded that they were not implementing manual process. Why can’t Qwest implement Integra’s proposal

Jamal Boudhaouia- Qwest said that LFACs will look for a HDSL qualified Facility when the new USOC is present. He said that based on the NC codes the USOC will be assigned. He said that if the USOC is not there LFACs doesn’t know what to assign and that the remarks is informational only. He said that IMA will drive LFACs to assign the correct facility.

Bonnie Johnson-Integra said that (1/30/09 Comments to Minutes received from Integra) for a period of time in the past, Qwest used this process for ADSL. Today there is a process where if the order does not flow through, it will drop to manual assignments and are there are codes associated with the process. Bonnie asked if the concern was that the Qwest resources would not know what kind of loop to assign and couldn’t Qwest train their people on this process.

Jamal Boudhaouia-Qwest said that to drop every loop to manual handling is economically not feasible and there will be delays during provisioning and additional hold time.

Bonnie Johnson-Integra said that it didn’t sound like this is a system or training issue (1/30/09 Comments to Minutes received from Integra) but that Qwest was concerned about the volume of orders and that Integra is only proposing that HDSL2 loops be dropped to manual handling, not all loops.

Jamal Boudhaouia-Qwest said that another concern is what triggers would have to be put in place for LFACs and IMA.

Bonnie Johnson-Integra said that Integra is only proposing that HDSL2 loops be dropped to manual handling not all loops. She said that they would identify for Qwest that this is HDLS2. She said they are not asking Qwest to make the decision on their own. She said that they will indicate in Remarks and should not require more work on the Qwest side.

Jamal Boudhaouia-Qwest said that the manual process will cause issues down the line due to human error etc. He said that this process would impact all CLECs and not just Integra. (1/30/09 Comments to Minutes received from Integra) Qwest has not thought about a manual process. Qwest hasn’t discussed what changes in systems would be required.

Liz Balvin-Covad asked for clarification on the issue. (1/30/09 Comments to Minutes received from Integra) You (Integra) have the right to order this type of loop?

Bonnie Johnson-Integra said that (1/30/09 Comments to Minutes received from Integra) Qwest is provisioning and repairing to a voice grade level.

(1/30/09 Comments to Minutes received from Integra) Liz Balvin-Covad said because there is no USOC?

Jamal Boudhaouia-Qwest said it is provisioned as a 2 wire loaded loop. (1/30/09 Comments to Minutes received from Integra) The product developed doesn’t provision HDSL. The NCI/SECNCI codes were used for information only.

Bonnie Johnson-Integra said (1/30/09 Comments to Minutes received from Integra) Qwest should install based on the NC/NCI codes.

Jamal Boudhaouia-Qwest said that we have never offered the product to HDSL parameters. He said that Integra wants a process to ensure HDLS2 Unbundled loops are provisioned correctly.

Liz Balvin-Covad asked why the NC/NCI codes aren’t driving this.

Jamal Boudhaouia-Qwest said that the NC/NCI codes never drove this and we want to assign a USOC and drive to all downstream. He said that Qwest wants a robust process to make sure we have codes and logic in place.

Bonnie Johnson-Integra said (1/30/09 Comments to Minutes received from Integra) based on the Industry Standards for the NC/SECNCI they should be HDSL2 capable. Bonnie said that Integra did not feel they should have to submit a CR but that is what Qwest told us to do so here we are.

Liz Balvin-Covad asked why Qwest could not support a manual process. (1/30/09 Comments to Minutes received from Integra). Liz stated she was surprised, shocked to hear that Qwest is not using the NCI/SECNCI codes. This is industry standard. Covad relies heavily on xDSL Loops. I am just shocked. I am not saying you are lying, Jamal, I am just shocked.

Bonnie Johnson – Integra indicated that this is our position as well.

Liz Balvin – Covad stated this appears to be a defect in the downstream systems.

Jamal Boudhaouia – Qwest stated Qwest is trying to implement a robust process. We are where we are.

Liz Balvin – Covad requested manual support.

Jamal Boudhaouia-Qwest said that we don’t believe manual handling is the right way to do this and that cooperative testing is critical to the process.

Doug Denney-Integra asked why the joint testing is critical to the process. (1/30/09 Comments to Minutes received from Integra) In past calls Qwest indicated that it doesn’t test for themselves.)

Jamal Boudhaoia-Qwest said each equipment manufacturer has specific standards. He said that we have proposed critical joint testing for the complete provisioning and acceptance. He said that we test remotely without a technician and Qwest can’t do this on their own to insure we have delivered a quality loop. Bonnie Johnson-Integra said they will take this back internally and that they wanted to make sure they were on the same page. Kim Isaacs-Integra said that currently when you have a repair situation, all Qwest will do is test to analog VG. She said that ticket will say maintain to the appropriate level. (1/30/09 Comments to Minutes received from Integra) Kim asked why Qwest could not implement the repair process. Jamal Boudhaouia-Qwest said that the repair scenario is different than provisioning because it is not driven by input/output. Dan Wiger-Integra asked what a cooperative test would look like (1/30/09 Comments to Minutes received from Integra) on the installation process what does Qwest do for itself and what is expected. The testing parameters are still an open issue. He asked if Qwest is suggesting some type of test if , for example, our equipment is hooked up and the circuit won’t pass, would they be asked to do something or will Qwest initiate a process and fix the problem. Qwest implied that coop testing is needed on repairs. Jamal Boudhaouia-Qwest said (1/30/09 Comments to Minutes received from Integra) testing parameter would apply to provisioning and repair and that we would have to agree on the parameters. Dan Wiger-Integra said that they would know as the customer to repair back to the HDSL. He said that cooperative testing for repair would be a challenge. He asked if it was open/out would Qwest fix to the standard. Jamal Boudhaouia-Qwest said that the loop is hooked up to the Mux and HDSL has different parameters different than Nortel, for example. He said that we would fix it so that it is easier for you to interject a signal. Dan Wiger-Integra said (1/30/09 Comments to Minutes received from Integra) Qwest can fix metallic trouble but the challenges would be more on HDSL. Basic faults are easier to diagnose but that Multi band Mux remote capabilities would be a problem. We would ask Qwest to repair to parameters. Jamal Boudhaouia-Qwest said that we will agree to the concept of the proprietary process, the test parameters depend on what they want to see and on your testing capabilities. He said that Qwest will negotiate and agree on parameters. Dan Wiger-Integra asked is (1/30/09 Comments to Minutes received from Integra) Qwest positioning that it does not have the resources, trained or personnel in the CO to test with the Field and the CLEC will the CO resource. Jamal Boudhaouia-Qwest said that we would not be in parity with retail. (1/30/09 Comments to Minutes received from Integra) If CLEC can not complete co-op testing we need to re-analyze the CR. He said that it is much more than training and resources but do they have the equipment to do the testing. Dan Wiger-Integra asked if the pair was not working, would Qwest (1/30/09 Comments to Minutes received from Integra) Retail would test through the vendor equipment and do further testing on the frame to the technician in the field – Qwest in Wholesale – CLEC CO Test. Jamal Boudhaouia-Qwest said that HDSL parameters don’t have the capability nor have the technician in the CO to test to HDSL parameters. Dan Wiger-Integra said (1/30/09 Comments to Minutes received from Integra) stated that Qwest retail would seek another pair and that they would have to take this back. Doug Denney-Integra said that said that Integra wanted to get the manual process going so that they could work on how to handle testing going forward. Jamal Boudhaouia-Qwest said that Integra’s CR requested Design, Provision, Test and Repair Unbundled Loops to the requirements requested by the CLEC. He said that with this new process, Qwest expects provisioning will be better than before for HDSL requirements. He said that the original CR calls for a test process. Doug Denney-Integra (1/30/09 Comments to Minutes received from Integra) said while we would all like 100% perfection there is the opportunity for and improvement along the way. He asked why we want to delay the USOC and manual process because of the testing issue when by using the USOC we could get to 80% improvement today. Jamal Boudhaouia-Qwest said (1/30/09 Comments to Minutes received from Integra) to propose a new process if this will not work. He did not understand the objections to cooperative testing. He said that everyone needs to be comfortable with the testing and we want to meet the CLECs needs so that we don’t have issues going forward. He said that he would be open to another discussion. Bonnie Johnson-Integra said that when a CR requires system work in the past a workaround has been implemented. She said that Integra believes that Qwest can assign a loop without cooperative testing as it does for itself. (1/30/09 Comments to Minutes received from Integra) Jamal Boudhaouia-Qwest said that Qwest Retail does not use a manual process. (1/30/09 Comments to Minutes received from Integra) Bonnie Johnson-Integra said she was not stating that Qwest does this using a manual process and that Qwest retail could have a USOC they use. Dan Wiger-Integra said that Qwest has identified 3 steps in the process from this discussion: 1. Implement a new process/manual process, 2. implementing the USOC with cooperative testing will provide a quality loop and 3.final details on testing and how it will work. Bonnie Johnson-Integra said that it appears that Qwest is unwilling to move forward without implementing the USOC and won’t do one without the other. Jamal Boudhaouia-Qwest said that Qwest is not unwilling to discuss a manual process and Integra’s CR is requesting a testing process. Bob Mohr-Qwest said that Qwest wants assurance that with cooperative testing, we meet the HDSL test standard. Mark Coyne-Qwest summarized that based on Qwest’s response we will go back and look at the manual process, move forward with implementing the USOC and work together on joint testing. Mark Nickell-Qwest asked when Integra would respond to the question on joint testing. Bonnie Johnson-Integra said that they would review internally and provide a timeframe for a response to the CMP CR mailbox.

12/17/08 Product/Process CMP Meeting Bob Mohr-Qwest said that we wanted to provide an update from the last call. He said that we have held meetings with our sub teams to address the support of the (12/30/08 - Comments to minutes received from Integra) HDSL USOC and provisioning guidelines. The team has completed the analysis and determined that LFACs will look for a HDSL qualified Facility when the new USOC is present. He said that the team will meet on January 8th to work through the implementation steps and establish timelines associated with the implementation of the USOC. The team will also address non loaded BRI and ADSL loops. He said the 2nd sub team is working on the testing criteria and several outstanding issues from last month’s CMP meeting were discussed. He said that the implementation plan depends on the CLECs testing to 196 KHz and is critical to the implementation team. Jamal Boudhaouia-Qwest said that conditioning on the bridge tap and load coil will be performed (12/30/08 - Comments to minutes received from Integra) when we detect excessive bridge tap and have as we do today and that we will get authorization to remove it. Kim Isaacs-Integra asked if it would be done on the near and far end on the bridge tap and interference bridge tap too. Jamal Boudhaouia-Qwest said that far and near is part of the CSA guidelines and is very clear. He said that we will consider from a process perspective the automatic authorization to remove the bridge tap to make it compatible. Kim Isaacs-Integra said that they can populate the SCA field on the 1st order to approve authorization. Jamal Boudhaouia-Qwest said that we assume authorization because of ease and efficiency. He said you can choose to follow the same process. Kim Isaacs-Integra said that it should be based on if the field is populated and that the existing process says that we communicate to Qwest whether we approve the condition. Jamal Boudhaouia-Qwest said that he could go either way. He provided examples of how Qwest performs testing. (12/30/08 Comments to minutes received from Integra) Kim Isaacs – Integra indicated that Integra would prefer to use the existing process to approve conditioning. Jamal Boudhaouia-Qwest provided examples of how Qwest performs testing. DS1 service (12/30/08 Comments to minutes received from Integra) using HDSL2 – Qwest owns both ends, MUX on CO end of loop to customer prem. The Qwest HDSL2 goes through the CSA guidelines and Qwest will do remote testing from the center. HDSL is not a complete standard more focused to loop make up but each equipment manufacturer has specific standards. BRI – Testing is done remotely. UBL – Test is done on frame on most loops and the technicians are equipped with that ability. HDSL – CSA guidelines are used and hook up to the (12/30/08 Comments to minutes received from Integra) HDSL equipment and do remote. The HDSL is how loop should be done and have different parameters on how they test depending upon the manufacturer’s specifications. It is different for Lucent or any other manufacturer. We do the testing remotely and the tester reads the performance. Jamal asked that the CLECs test remotely or coordinate with the Qwest tester to cooperatively test with Qwest. He said that we don’t know how you test to 196 KHz and it depends on your Mux. Dan – Integra said that Qwest has various vendor technicians and has various test standards for HDSL. He said that if they are expected to do (12/30/08 Comments to minutes received from Integra) continuity testing how do they logistically accomplish this with HDSL and what is the next step. He said that Qwest can have the CO tech put the test devise on the loop asked why Qwest is not able to do this on HDSL. Jamal Boudhaouia-Qwest said that we don’t do 196 KHz on our own and that we do performance but they are driven by the vendor equipment. Our Technician is not equipped and the tools are very expensive to do 196 KHz. He said the equipment itself has certain parameters between the NIU or the technician would have a laptop to do remotely. Dan-Integra asked if the CLEC orders (12/30/08 Comments to minutes received from Integra) HDSL it is the industry standard to run multi-band test and Qwest does not run an insertion loss for high frequency. He asked how Qwest would know if the HDSL is a qualified loop. Jamal Boudhaouia-Qwest said that is the question associated to the CR. He said that today Qwest doesn’t perform or guarantee tests. Dan-Integra asked Qwest to confirm that Qwest itself does not perform test. Jamal Boudhaouia-Qwest said that on raw copper loop the tech on the other end doesn’t interject test parameters (12/30/08 Comments to minutes received from Integra) Qwest connects the loop to the HDSL equipment and tests remotely. Dan-Integra asked if Qwest would perform the test for HDSL signaling for themselves if the circuit doesn’t work. Jamal Boudhaouia-Qwest said no and that typically (12/30/08 Comments to minutes received from Integra) Qwest looks for overlooked bridge tap or load coil and removes these if found – the practice of testing the loop don’t do is driven by CO Mux. Qwest tests remotely. Dan-Integra said that with the Mux you don’t have the technician. He said that you order the facility and hook up to the vendor equipment and it doesn’t work. He said that a loop issue is found. He asked how they could cooperatively test by sending the tone for every ADSL and hand off a qualified loop. (12/30/08 Comments to minutes received from Integra) Dan stated it sounds as though Qwest is just using vendor testing. Jamal Boudhaouia-Qwest said that we don’t have the equipment or technicians trained for HDSL signaling. He said Qwest does not have the capability to test raw loops. He said that we will check to see if the bridge tap is interfering with it. He said that Qwest does not do HDLS test in the CO because we are not equipped to do that and the equipment is very expensive. (12/30/08 Comments to minutes received from Integra) When we hook to the HDSL mux we test remotely - it works or doesn't work - we don't have the ability to test the raw loop, we look for open shorts, bridge tap, or Load Coils that we missed. Most of the time we don't test using test equipment in the CO. Qwest is not equipped to do the testing in every central office. Dan-Integra asked if Qwest’s position was that when the CLEC orders an HDSL Loop Qwest wants the CLEC to be part of the Loop Qual testing. Jamal Boudhaouia-Qwest said (12/30/08 Comments to minutes received from Integra) LFAC will do the Loop Qualification. We don’t know the capability of the CLEC. He said that we are asking for cooperative testing and what other parameters beside 196 KHz to test to because 196 KHz may not interject the signal. Dan-Integra said that they would review the recommendation internally. He asked if they agree to cooperative testing would the standard be jointly defined. Jamal Boudhaouia-Qwest said (12/30/08 Comments to minutes received from Integra) yes we are willing to jointly define compliance standards that some CLECs can’t test remotely with 196 KHz. Doug Denney-Integra (12/30/08 Comments to minutes received from Integra) said that Qwest indicated some COs are equipped with test with this 196 KHz testing standard and asked if Qwest’s position is the same, regarding testing of the loop, even in offices where the capability to test the loop exists. Jamal Boudhaouia-Qwest said that is correct from a process perspective. He said that in these offices the process we are introducing with this CR would be across the board. Bonnie Johnson-Integra asked when Qwest includes new technology or service is the criteria included in the binder group. Jamal Boudhaouia-Qwest assuming that Qwest knows the NC/NCI codes in the binder group are running each pair is assigned the correct codes in the cable. He said that he tried to make manage spectrum management process – DS1 on it if the separate CO based HDSL and ADSL interfere with the CO based – interference will appear after a certain amount of time and that is how the spectrum if we know the codes in binder group. Kim Isaacs-Integra asked how Qwest gets the NC/NCI information to manage spectrum etc. Jamal Boudhaouia-Qwest said that it is driven by the service order and that is how they get assigned to the cable. Kim Isaacs-Integra said that (12/30/08 Comments to minutes received from Integra) service modifier LFXU is for 2 Wire Analog and Non Loaded Loops and they all carry the same service modifier code and asked how Qwest could manage spectrum correctly/interference on the loop. Jamal Boudhaouia-Qwest said that (12/30/08 Comments to minutes received from Integra) historically the NC/NCI codes were not loaded. He said that when we have a UBL the NC/NCI codes need to be correct on the loop and that is what we are trying to do going forward in order to manage spectrum.. Kim Isaacs-Integra asked how Qwest determines the NC/NCI codes on LXFU. Jamal Boudhaouia-Qwest said that if we have LXFU would be able to manage with NC/NCI codes and we are looking at the total technical parameters with the NCI/SECNCI going forward. Kim Isaacs-Integra said when assigning HDSL, LFACs will find the loop upfront and asked if the NC codes will be tied to the circuit so when you manage spectrum you aren’t going to have interference. Jamal Boudhaouia-Qwest said that when the USOC is input, IMA will drive the correct NCI codes. Bonnie Johnson-Integra said that the reason they are asking is because they have had an ongoing issue for 2 years. She said that Qwest network personnel told them that the repair commit time for LXFU 2-4 wire Non-Loaded Loop is 24 hours when the SIG indicates it is 4 hours. She said that Qwest said they determine repair commit time by the service code modifier and not the NC/NCI code and that they can’t differentiate between 2 & 4 wire analog and a 2/4 Wire Non-Loaded Loop. She said that they are concerned with the challenge in repair when there are 600 pairs on the binder group and is Qwest looking at 600 orders. She said that going forward there will be a different USOC but will still have the service code modifier. She said that we may need to take a closer look at this with HDSL & being included and LXFU modifier. Jamal Boudhaouia-Qwest said that we are not looking at 600 pairs. He said that there are 25 pair cables and if the services apart in each binder group there won’t be an interference issue. He said that he was not aware of the repair time and will take as an action item. He said that what he envisions going forward is that the new USOC will drive NC/NCI codes and HDSL will be assigned. Bonnie Johnson-Integra asked if we could do research on how they can differentiate between a VG loop and an HDSL loop. Jamal Boudhaouia-Qwest said that we can research.

11/19/08 Product/Process CMP Meeting

Bob Mohr-Qwest said that we had questions from the adhoc meeting held 11/12 and would like to provide an update. Bob said that the 1st question is associated with the embedded base of circuits. He said the question was will Qwest update the circuit with the USOC as needed when the CLEC opens repair tickets and indicates this is a 2 wire non-loaded loop with HDSL NC/NCI codes. Bob said that if the circuit is identified and qualifies as HDSL, Qwest will change to the new USOC. He said that if the circuit does not meet the guidelines we will ask that it be moved to a service that qualifies. Bonnie Johnson-Integra said that when we are talking about repair we are talking about 2 buckets. She said that the 1st bucket is when a circuit is working and Qwest does a network modification resulting in the circuit not working. She said that there should never be a case when the circuit worked and now doesn’t qualify because of the network modification (11/26/08 Comments to minutes received from Integra) because per Jamal on the ad hoc call, an address qualifies or it does not. Jamal Boudhaouia-Qwest said that is correct. (11/26/08 Comments to minutes received from Integra) we will look at this situation on an individual case basis. Bonnie Johnson-Integra said that going forward they should not have to open up a ticket in this situation (11/26/08 Comments to minutes received from Integra) because Qwest will not install the circuit if it does not qualify. Jamal Boudhaouia-Qwest there should be no repair issue and that the circuit should work and continue to work going forward. Bonnie Johnson-Integra said that if the circuit does not qualify and you request that the circuit be moved to another facility should only apply to circuits prior to this process. She said that the circuits Bob is referring to are those that don’t meet the guidelines. Bob Mohr-Qwest said he was referring to the embedded base. Bonnie Johnson-Integra asked if these would be circuits that never worked. Jamal Boudhaouia-Qwest said that if there have been 4 or 5 repair tickets on a circuit there may be a problem. He said that if the circuit has always worked properly, it should work going forward. Julia Carter-Redman-McLeodUSA said that their concern is that they have a circuit that has worked properly for years (11/26/08 Comments to minutes received from Integra) a change occurs in Qwest’s network and now the circuit doesn’t work. Qwest’s response is that the circuit meets the standar for test per NCI code and CLEC now has to re-order because it has the wrong NCI codes. Jamal Boudhaouia-Qwest said that the issue is to provide correct NCI codes. Julia Redman-Carter-McLeodUSA said that the (11/26/08 Comments to minutes received from Integra) circuit has been working for years and the codes in the beginning worked and now there is a repair issue. Qwest is now claiming it doesn’t work because the NCI codes are wrong.and we have to reorder with the now correct NCI codes. Jamal Boudhaouia-Qwest said that we are talking about 2 different issues. Mark Coyne-Qwest said that McLeodUSA’s issue doesn’t fall into the description of the CR and that we have captured their concern. Bonnie Johnson-Integra said that their CR is asking for Qwest to install and provision circuits based on the NCI/SECNCI codes. She said that Qwest was only installing to voice and their CR addresses ADSL. Jamal Boudhaouia-Qwest said that we are trying to make sure that the NC/NCI codes expected on the request are to provision UBL. He said that our expectation is that the NCI codes in the PCAT and ICA are correct going forward. Julia Redman-Carter-McLeodUSA confirmed that this (11/26/08 Comments to minutes received from Integra) addresses only installation and provisioning on a going forward basis. Jamal Boudhaouia-Qwest said yes. Julia Redman-Carter-McLeodUSA said that they don’t want (11/26/08 Comments to minutes received from Integra) to have to reorder something that has been working and now stops working. PAETEC want the service repaired based on the standard for the service we originally ordered and received.

Kim Isaacs-Integra said that the NCI & SECNCI codes used for the service should work to those standards. She said that if the NCI code is different than what you wanted, the circuit won’t work per the standard. Julia Redman-Carter-McLeodUSA said that she still has a problem with a circuit working for years (11/26/08 Comments to minutes received from Integra) though it may have the ‘wrong’ codes – and now Qwest won’t repair and PAETEC may need to re-order again because of Qwest changes. Kim Isaacs-Integra said if you have an embedded circuit with a 2 wire non loaded loop NCI and it is working as ASDL and then it stops working, Qwest will repair to NCI code standards based on ADSL. Jamal Boudhaouia-Qwest said that we could talk further about this is an adhoc meeting. Jamal said that we test and manage to current NCI codes. Bonnie Johnson-Integra said if the current codes are HDSL capable and the circuit was working and then it doesn’t, Qwest is going to have to remove the bridge taps. Mark Coyne-Qwest said that these were good discussion points for an adhoc meeting. Bonnie Johnson-Integra asked why these discussions have to take place outside of a CMP Meeting. (11/26/08 Comments to minutes received from Integra) Bonnie said we have the participants on the call now and Qwest seems to always be trying to get things outside of CMP. Mark Coyne-Qwest said that he was not sure we had all the right SMEs on the call. (11/26/08 Comments to minutes received from Integra) Bonnie Johnson-Integra asked Jamal and Bob it that was true. Jamal Boudhaouia-Qwest said that McLeod’s issue is outside of the CR and said that he was not prepared to discuss this concern. Julia Redman-Carter-McLeodUSA said that she was not able to join the adhoc meeting. Bonnie Johnson-Integra confirmed that Qwest will change the circuit if it qualifies and if a circuit has worked for a year it should still work. Jamal Boudhaouia-Qwest agreed that circuit should qualify and that if the circuit does not work, Qwest will take a look at it and place it on a facility that works. Julia Redman-Carter-McLeod said that they should not have to make changes to make it work. Bonnie Johnson-Integra asked if the confusion is that in the past McLeodUSA was using NCI codes not associated with HDSL and that is the difference from the CR. Julia Redman-Carter-McLeodUSA said (11/26/08 Comments to minutes received from Integra) that per the NCI/SECNCI codes the testing standard applied should be to HDSL codes per PCAT. She asked that if the circuit was working previous years and meets the designated standard per the NCI code but not the ADSL standard so that the circuit is working as it has been for the previous years, then does CLEC have to re-order with the now correct codes. Jamal Boudhaouia-Qwest said that we are not asking the CLEC to re-order but if the circuit never worked we are asking that it be moved to a different service. He said that if the circuit qualifies and has the correct codes Qwest will apply the USOC. Laurie Roberson-Integra said that if the circuit has been working for a year and quits and it qualifies, Qwest will restore it. She said if there is a Qwest network change and it doesn’t qualify per the rules Qwest will not restore. Jamal Boudhaouia-Qwest said that based on tests and if the circuit worked intermittently and doesn’t meet standards, Qwest will ask the CLEC to change it. Laurie Roberson-Integra asked if the circuit worked before and now it doesn’t will Qwest try and fix the issue. Jamal Boudhaouia-Qwest said that he wanted to emphasize the standard test of 96HZ and if the circuit falls outside of the standard, Qwest will ask the CLEC to change it. Bonnie Johnson-Integra said that it is a case-by-case basis and that McLeodUSA’s issue is a different issue and not related to this CR. Jamal Boudhaouia-Integra agreed and said it is a totally different spectrum issue (HDSL with ADSL) and that the remote D-Slam has no affect on ADSL. Kim Isaacs-Integra asked how Qwest will address bridge tap removal (near and far end) during the design and provisioning phase and what will Qwest do if it interferes with the service. Jamal Boudhaouia-Qwest said that would fall under the conditioning process and said he was not familiar with the current practice. Kim Isaacs-Integra asked if Qwest could provide a response. Mark Coyne-Qwest said that we will provide a response in the meeting minutes. Jamal Boudhaouia-Qwest addressed the question regarding what additional work and HDSL2 testing requirements need to be added to this process. He said that the technicians need to be equipped with HDSL tier testing and be able to read and understand DB levels. They will need to check for load coils going forward and test to the correct range. Bonnie Johnson-Integra asked if this additional work (11/26/08 Comments to minutes received from Integra) because the circuit will now be designed is related to Qwest wanting to increase from 3 to 5 day intervals. Jamal Boudhaouia-Qwest said that we have to take the necessary steps for the centers and LFACs to make sure the facility is qualified. He said that we have 2 extra steps - the technician needs to be equipped and that we have the insertion for the CSA guidelines. Bonnie Johnson-Integra asked when Qwest adds the USOC could she assume that it goes through LFACs to find the facility or does it fall out for manual handling. She said that she knew some will flow through. Jamal Boudhaouia-Qwest said that they would go through LFACs. Kim Isaacs-Integra asked if they would be auto assigned. Jamal Boudhaouia-Qwest said that he did not have the details but that the center will have to look for the correct facility. He said that extra time is needed in trying to mirror the design process and it is not an automatic process. He said all DS1s go through the design process. Jamal Boudhaouia-Qwest addressed whether coordinated/cooperative testing will be required, and if so, does that mean basic install will not be available for these loops. He said that cooperative testing will have basic install testing with coordinated cooperative testing or have CLEC requested timeframes. Bonnie Johnson-Integra asked Qwest to confirm that plain basic installation was not available and has to be basic with cooperative test. Jamal Boudhaouia-Qwest said that was correct. Kim Isaacs-Integra said that on a basic install with DS1 or analog, Qwest is doing some test with a verbal response and asked if there was anything additional that needs to be done with HDSL. Bob Mohr-Qwest asked if they were referring to a finished DS1. Kim Isaacs-Integra said that with any loop order they can request basic install and Qwest will test to standard with a run test and asked what additional activity they need to do with cooperative testing. Bob Mohr-Qwest said that performance testing may be required and was not certain if there was a different test. He said that with the basic option, test results are not provided. Jamal Boudhaouia-Qwest said that we need to look at DS1 capable loops. He said that we will look at DS1 testing requirements to see what the CLEC has to do. Jamal said that he envisioned that the testing could be done remotely by the Qwest technician and CLEC with the same test results. Kim Isaacs-Integra (11/26/08 Comments to minutes received from Integra) asked if Qwest wanted us to send the 196 kHz down the loop and it will loop back. Bonnie Johnson-Integra said that with cooperative test you need the CLEC for something vs. just testing to the parameters and calling us. Bonnie said that they may have additional questions. Mark Coyne-Qwest said that if there are any other questions to send to cmpcr@qwest.com.

November 12, 2008 adhoc meeting Attendees: Bob Mohr–Qwest, Jamal Boudhaouia-Qwest, Doug Allen-AT&T, Kim Isaacs-Integra, Bonnie Johnson-Integra, Loriann Burke-XO Communications, Joyce Bilow–Paetec, Laurie Roberson-Integra, Doug Denney-Integra, Jo Wees-Qwest, Susan Lorence-Qwest

Susan Lorence-Qwest stated the purpose of the call is to discuss CR PC082808-01IG, Design, Provision, Test and Repair Unbundled Loops to the requirements requested by CLEC, including NCI/SECNCI Code Industry Standards, and for Qwest SMEs to provide a high level concept of the proposed solution. Bob Mohr-Qwest relayed that since the last ad hoc call, there have been several meetings to evaluate what would be required to provision specific interfaces for the Non Loaded loops to industry guidelines. The key is for downstream groups to be able to identify the unique interface. Bob relayed we would like to share the concept of a 2 gate approach to qualifying and provisioning the HDSL loop interface. Bob Mohr-Qwest said the team had researched how the NC/NCI codes are processed today for the specific interfaces and found that the majority of downstream systems rely on a unique USOC along with NC/NCI combination. Qwest found an existing USOC (U2UXX) that is defined today as a HDSL Unbundled Loop. The USOC is not used for any other application and LFACS can assign a Qual Code to validate availability of a facility that meets the HDSL guidelines. Bob relayed that if a facility exists then LFACS assigns facility and the order has made it through gate 1 otherwise the order is rejected. Jamal Boudhaouia - Qwest relayed that the determination in Gate 1 is if there is any capable facility available. (11/21/08 - Comments to minutes received from Integra) HDSL CSA Guidelines T1.418 recommendation would be used to determine capability. He relayed he wanted to be sure everyone was clear on the guidelines.

Bonnie Johnson-Integra asked Qwest to confirm that with the USOC, Qwest would be able to identify in LFACS whether or not there was a facility and that this was the current process that any order takes through Gate 1 11/21/08 – Comments to minutes received from Integra) and not a new process. Bonnie raised the question on what would occur if there was no facility. She indicated she disagreed that if there was no facility, Qwest would reject rather than treat as a delayed order.

Bob Mohr-Qwest said (11/21/08 – Comments to minutes received from Integra) rejected might be the wrong word and he said he would take that issue back to his SME team.

Bonnie Johnson-Integra (11/21/08 – Comments to minutes received from Integra) said that Qwest was focused on the HDSL and said the change was broader than HDSL and questioned whether Qwest was looking for other unique USOCs.

Bob Mohr-Qwest (11/21/08 Comments to minutes received from Integra) recommendation with respect to digital products other than HDSL2 to order the corresponding digital compatible or capable loops. at the same price as non-loaded loops but there was not that latitude with HDSL.

Bonnie Johnson-Integra asked if new USOCs will also be obtained for the other Non-Loaded Loop Interfaces such as ISDN BRI and xDSL-I.

Qwest relayed the concept for other interfaces such as BRI ISDN, and xdsl-I should be ordered using the existing NC code for that UBL (xDSL-I and BRI ISDN Capable UBLproducts). This will ensure that these services are provisioned using industry guidelines and testing. ADSL interfaces should be ordered using the NC code of LXR- and this will drive the specific ADSL tests and parameters.

Kim Isaac-Integra (11/21/08 Comments to minutes received from Integra) said that it appears Qwest was stepping away from the ADSL loop through grandfathering the product. This ADSL loop may disappear in the next round of ICAs.

Bob Mohr–Qwest said there is no plan to grandfather ISDN BRI Capable and xDSL-I Capable Loop, but that Qwest was looking into the issue related to grandfathering of the product ADSL (11/21/08 Comments to minutes received from Integra) and possibly un-grandparenting the ADSL capable loop product.

Bonnie Johnson-Integra asked about the timeframe for that and Bob Mohr-Qwest relayed that he did not have that information at this point.

Bob Mohr-Qwest said at this point in the process, Gate 1 had been passed and that Gate 2 involved the actual provisioning and testing of the order. Bob relayed that with the additional testing and coordination, a change to the interval from 3 to 5 days is required. There was also the need to explore whether a cooperative test was required and whether that was operationally feasible. Bob relayed that the call was needed to explore those two areas: the interval change from 3 to 5 days and cooperative testing.

There was discussion on why there was a need for the increased interval. (11/21/08 Comments to minutes received from Integra) Jamal Boudhaouia - Qwest relayed that the 2 wire non loaded loop is a 3 day interval because it is not designed. The increased interval was due to the additional testing time that was required to test the 196khz frequency And because the circuit would now be a designed service and different test sets and technicians trained for this testing are needed on each end of the circuit.

Bonnie Johnson-Integra questioned what the expectation was around cooperative testing vs. a coordinated testing.

Discussion occurred the around the types of testing, various cost issues and how often these type of circuits would be ordered vs. the required test equipment.

(11/21/08 Comments to minutes received from Integra) Bonnie Johnson – Integra asked if Qwest was going to require coordinated/cooperative testing.

(11/21/08 Comments to minutes received from Integra) Bob Mohr – Qwest said that from a product perspective Qwest needs to determine the cost vs. the return.

(11/21/08 Comments to minutes received from Integra) Bonnie Johnson – Integra indicated she would take this back internally. She asked Qwest if they are currently doing any testing for 2-wire loops.

Jamal Boudhaouia - Qwest relayed that today there is no requirement to perform (11/21/08 Comments to minutes received from Integra) HDSL tests. He said Qwest tests for load coils only.

Jamal Boudhaouia – Qwest (11/21/08 Comments to minutes received from Integra) said the qual code for the 1st gate will be the CSA Guidelines. The specific guidelines indicate that if there are no facilities, the order would be rejected.

(11/21/08 Comments to minutes received from Integra) Susan Lorence – Qwest indicated that there was an earlier question regarding the difference between rejected and delayed orders.

(11/21/08 Comments to minutes received from Integra) Jamal Boudhaouia – Qwest said for HDSL, there is no recommendation on a standard. ANSI T1.418 is the standard that references HDSL2 on the other hand if certain guidelines are not met, the address does not qualify which would be a reject vs. following the delayed order process. Jamal referenced that the CSA guidelines must be met.

(11/21/08 Comments to minutes received from Integra) Kim Isaacs - Integra questioned whether qualifications were based on gauge or distance only because we can request conditioning to remove load coils and interfering bridge tap

Jamal Boudhaouia - Qwest relayed it was based on gauge and distance and that it was a mathematical calculation.

Jamal Boudhaouia–Qwest relayed he would provide the specific guidelines. NOTE: The T1E1 Technical Report #28 is the guideline that Jamal Boudhaouia cited, specifically Section 3.1 depicts the CSA Guidelines that are Industry Standard.

Bonnie Johnson-Integra relayed that if the parameters are considered during loop qualification, the order should not get rejected.

Jamal Boudhaouia–Qwest indicated that if a customer uses the Raw Loop data tool, that chances are good that if it qualifies, the facility will still be available however there is no guarantee that some other provider did not order those facilities. The Raw Loop data tool does not reserve facilities.

Bonnie Johnson-Integra stated again there is a difference between an address that does not qualify and (11/21/08 Comments to minutes received from Integra) address that does qualify but no facilities which is the difference between a reject and a delayed order.

Jamal Boudhaouia–Qwest relayed (11/21/08 Comments to minutes received from Integra) that is a good point and Qwest would take that into consideration.

Bob Mohr-Qwest said he would take an action item: what to do with ADSL.

Bonnie Johnson - Integra questioned whether Qwest was looking for concurrence before the CR moves forward on the two areas of extending the interval from 3 to 5 days and the question of testing.

Bob Mohr-Qwest said the idea was to share the concept while Qwest continues to investigate the testing and other issues. He questioned whether Qwest was on track and moving in the right direction.

Bonnie Johnson-Integra (11/21/08 Comments to minutes received from Integra) said that provisioning and repairing the loops to the NC/NCI code is where we need to be. We will not discuss whether we believe Qwest should have been doing this all along under our ICA on this call. Integra cannot dictate how to get to the solution but knows where we need to end up and wants to get there.

Jamal Boudhaouia–Qwest said Qwest wants to get there as well with a process that will work.

Susan Lorence-Qwest confirmed that Qwest would provide the Carrier Service Area (CSA) guidelines and asked for questions. Qwest relayed information had been provided on the direction and status of the CR and Qwest has additional items to think about.

10/15/08 Prod/Proc CMP Meeting Mark Coyne-Qwest stated that Bob Mohr-Qwest will provide an update. Bob stated that the team reviewed the change and stated that no IMA (10/22/08 Comments to minutes received from Integra - in bold) or system changes are necessary, so this CR will cross over to Product/Process. Bob stated that they looked at one change and solution and the concept failed. Bob stated that Qwest has other solutions but those were more complex and the team is evaluating the changes that need to be made. Bob stated that we would like to schedule an adhoc meeting in about two weeks to review the status and potential new solutions. Bonnie Johnson-Integra asked if the adhoc meeting will be to update the CLECs or to present a solution for the CR. Bob Mohr – Qwest stated that is what Qwest hopes but he did not want to set any misconceptions but the existing solutions are more complex. Bob stated that in the next 2 weeks our objective is to research, test, and look at financials. Mark Coyne – Qwest thanked Bob for the update.

9/17/08 Systems CMP Meeting Susan Lorence-Qwest said that this request was submitted as a Product/Process CR. This CR is in the Systems Package because an industry guideline CR has to be submitted as a system CR per the CMP Document. If determination is made that there are no system changes the CR will be crossed over to a Product/Process CR. Bonnie Johnson-Integra said (9/25/08 Comments to minutes from Integra in bold) she will not read the entire CR request but that there have been a number of discussions with Qwest on these types of circuits and there is a lot of background and history. At a high level, Qwest advised Integra that regardless of the NCI code on requests for 2w/4w non loaded loops, Qwest installs, provisions and repairs to a voice grade level. She said that they are asking Qwest to provision and repair circuits based on the industry standards for the NCI/SECNCI Code instead of just the NC code. Susan Lorence-Qwest said that we held a clarification meeting on September 9th. She said that Bonnie provided ANSI T1.418 as the Industry Guideline. Bonnie Johnson-Integra said that was provided as an example and may not cover all of them. Qwest has a lot of codes already referenced in the tech pubs. We talked in the clarification call about the industry guideline CR having to be submitted as a system CR. She said that if there if no system work, the CR would be crossed over to a Product/Process CR. She said that they have been trying to address this issue for quite some time and have a concern about any delay. She said that there have been so many people engaged up to the VP level and they would like Qwest to respond ASAP on how soon this can be done. Susan Lorence-Qwest said that the SME team is already looking at the CR and that we will have a response by the next CMP meeting. She said that we hope to provide a response on whether we are accepting the change and whether there is system work involved. She said that once we determine if there is no system work involved, the CR will be crossed over to Product/Process. Bonnie Johnson-Integra said that they don’t believe they should have had to issue this CR but Qwest recommended that they do. She said that there are industry guidelines that Qwest should be repairing and provisioning their circuits to. She said that they have been trying to get this resolved for over a year and they don’t want to wait month after month for a response and will not be very patient. She said that anything Qwest can do to expedite the process would be appreciated.


CenturyLink Response

March 13, 2009

For Review by CLEC Community at the March 18, 2009 CMP Product/Process Meeting

Bonnie Johnson Integra

Subject: Integra Change Request - CR #PC082808-1IGX

This CR is requesting to Design, Provision, Test and Repair Unbundled Loops to the Requirements requested by CLEC, including NCI/SECNCI Code Industry Standards.

Additional detail for this change request can be found at: http://www.qwest.com/wholesale/cmp/changerequest.html

Qwest Response:

The Unbundled Non Loaded Loop product was developed to interface with various applications contained in Technical Publication 77384. For Unbundled Loop LX-N Network Channel (NC) codes, the NCI codes are informational only, as stated in the above mentioned Technical Publication and do not affect transport designs or performance. The associated NC code requires that the service use non-loaded, metallic facilities free of faults (grounds, shorts, noise, or foreign voltage). The CLEC has responsibility to inspect the character of the facilities, e.g. gauge, length, etc and determine that the facility is appropriate for their specific application.

Because Qwest is under no obligation to provide the product in the manner requested by CLEC, and Qwest is only obligated to provide a Non Loaded Loop to the broader standards listed in Technical Publication 77384, this Change Request to Design, Provision, Test and Repair Unbundled Loops to the requirements of the NCI code required a business discussion regarding the benefit to providing Non Loaded Loops in this manner vs. the cost to do so. That is, because there is no obligation to provide Non-Loaded Loops in this manner, the decision to implement this CR becomes one of economics. Absent the CLEC community agreement to negotiate in good faith to perform cooperative testing, this request becomes economically not feasible for Qwest. Therefore, Qwest respectfully denies this request.

Sincerely

Qwest Corporation


Open Product/Process CR PC050409-1CM Detail

 
Title: Increased clarity in Qwest initiated proposed documentation changes, including avoiding overlapping notices and modifying notices if an overlapping change is unavoidable.
CR Number Current Status
Date
Area Impacted Products Impacted

PC050409-1CM Completed
7/15/2009
Originator: Johnson, Bonnie
Originator Company Name: Integra
Owner: Coyne, Mark
Director:
CR PM: Stecklein, Lynn

Description Of Change

Integra and its affiliates (“Integra”) and McLeod dba PAETEC (“McLeod”) request that, when Qwest initiates a proposed PCAT or Technical Publication change (both of which involve posting of redlined changes per CMP Document Section 2.5), Qwest allow the full CMP cycle to complete for that change before initiating additional proposed changes to the same PCAT or Technical Publication. In other words, the notices/timelines should not overlap. When Qwest initiates multiple, overlapping proposed changes to a single document (or any red lined document associated with a Qwest notice), it causes a situation in which CLECs are unable to consider the impact of that change based on all of changes Qwest is collectively proposing. This denies CLECs an opportunity to comment on changes in their entirety because, depending on the type of notice, CLECs may not be aware of a change that has already been made but is not reflected in a posted red lined document.

To illustrate, if a CLEC receives notices by category (e.g., product or process), Qwest could make a red lined change as a product notice and another overlapping change to the same PCAT as a process change. Considering that the same CLEC employee may not review both types of notices, an employee would not be aware that one red lined PCAT does not accurately reflect the PCAT as it will appear when the previous change goes in to effect. That could significantly impact how the CLEC may comment on, or react to, the change.

An example occurred with respect to the expedite PCAT. Qwest initiated a series of overlapping proposed PCAT changes that were so complicated that, on Nov. 18, 2005 in PROS.10.19.05.F.03380. ExpeditesEscalationsV30, Qwest had to provide the following timeline, in response to CLEC complaints of confusion: (See attached example)

Naturally, CLECs would like to avoid such confusing and overlapping Qwest changes and proceed in an orderly manner to review and respond to proposed changes. Qwest should not propose additional changes to the same PCAT in a manner that prevents CLECs from readily knowing the full impact and relationship of the changes.

Another example (also involving expedites): Qwest recently indicated it intended to make overlapping PCAT changes (relating to compliance with an Arizona Commission order in the Eschelon Arizona complaint case against Qwest, Docket No. T-03406A-06-0257) with respect to the expedite PCAT. Integra expressed concern in a Nov. 26, 2009 email to Qwest, in which Integra said: “Part of the problem that led to the AZ expedites case was due to Qwest using overlapping notices, causing confusion, and we had hoped that experience would have led to Qwest not issuing notices so close in time.” Qwest has not provided any assurance that it will not make overlapping changes going forward.

Qwest should not send multiple, overlapping notices regarding changes to the same PCAT or Technical Publication. With appropriate planning on Qwest’s part and attention to the CMP deadlines, any instance in which an overlapping change is needed would be rare. In such rare instances, if it is necessary to make additional changes to the same PCAT or Qwest Technical Publication before the previous changes have gone into effect, and a change will not be reflected in the red line, Qwest should communicate in the notice for the additional changes that there is a pending notice/change that is not reflected in the red line associated with the additional changes, and Qwest should provide the notice number and link to the proposed changes in the previous notification, as described in the enclosed proposed redline of Section 2.6 of the CMP Document.

Qwest will make mutually agreeable changes to the CMP Document to implement this CR (such as the proposed changes shown in the enclosed proposed redline of Section 2.6 of the CMP Document). The purpose of the changes will be to ensure that, absent an urgent or critical business need to do so, Qwest will not send notices that overlap, for a single PCAT or Technical Publication (or any document Qwest is red lining as a part of the associated notice of change). Qwest will allow the applicable CMP deadlines to complete before initiating additional proposed changes. In unusual circumstances, due to an urgent or critical business need, Qwest may issue overlapping notices but only if it follows the procedures outlined above (and in the attached proposed changes to the CMP Document) to ensure that CLECs are aware that there are other pending proposed changes to the same document.


Status History


Project Meetings

7/15/09 Product/Process CMP Meeting

Mark Coyne-Qwest said that this CR is proposing updates to Section 2.5 of the CMP Document to add increased clarity in Qwest-initiated proposed documentation changes, including avoiding overlapping notices and modifying notices if an overlapping change is unavoidable. Mark said that a vote will be conducted today.

Lynn Stecklein-Qwest said the redline is included in the distribution package. Quorum is 7 and has been achieved. In Section 2.1 of the CMP document it states that incorporating a change into the Change Management Process requires unanimous agreement.

A vote of ‘Yes’ will indicate a preference that Section 2.5 of the CMP Document be updated to include clarity in Qwest initiated proposed documentation changes, including avoiding overlapping notices and modifying notices if an overlapping change is unavoidable.

A vote of ‘No’ will indicate a preference that Section 2.5 of the CMP Document not be updated to include clarity in Qwest initiated proposed documentation changes, including avoiding overlapping notices and modifying notices if an overlapping change is unavoidable.

Lynn said Qwest has received 3 ‘Yes’ votes from Qwest, Verizon Business and Comcast via e-mail. One abstain vote was received from Action Communications, Inc. The meeting participants voted as follows: Integra – Yes, PAETEC – Yes, Covad – Yes, TDS Metrocom – Yes, Time Warner Telecom – Yes

The vote was granted with 8 ‘Yes’ votes, 0 ‘No’ votes and 1 ‘Abstain’ vote. A vote disposition notice will be sent and the change will be made to the CMP document.

6/20/09 Product/Process CMP Meeting

Mark Coyne-Qwest said that in the May meeting we had a discussion regarding Integra’s changes to Section 2.5. Mark said that Integra presented their redline changes and Qwest also submitted its proposed changes to that language. Mark said that Integra has reviewed the change and has made additional changes. Mark said that we are in the process of reviewing and hope to bring this to a close in July.

Bonnie Johnson-Integra said that the document on the calendar is the redline that she and Julia used after Qwest redlined their changes. Bonnie said they accepted those changes and what you see is language that is currently not in the CMP document. She said that when we reach consensus there will be a lot more changes than this. She said it easier to accept changes rather than work from the original CMP document.

5/20/09 Product/Process CMP Meeting

Bonnie Johnson-Integra said that this CR was submitted as a joint request by Integra and PAETEC. Bonnie said that it is an ongoing challenge for the CLECs when there are multiple notices issued for one PCAT. She said that one of the problems is that until a proposed change is effective and if another change goes out for the same PCAT; the redline doesn’t include the final result of the notice that is not yet effective. Bonnie said that this could impact the end result and how they view the subsequent changes of the other language being changed. They are proposing that Qwest avoid doing multiple overlapping changes unless it’s required, i.e. a regulatory change or to change a phone number. If for some reason Qwest needs to issue an overlapping notice, Qwest needs to identify there is another pending change to that document that has not yet posted and is not reflected in this redline.

Julia Redman-Carter PAETEC said that the process of having changes that aren’t yet effective is sometimes referred to as stacking. She said that if Qwest does stack they need to let the CLECs know what is being stacked. They need the full picture so that they can make an informed decision (5/28/09 Comments to minutes received from PAETEC in CAPS) AND NOT realize TILL LATER THAT there WERE other pieces they may not HAVE been aware of WHEN ORIGINALLY REVIEWED. Mark Coyne-Qwest said that Qwest can appreciate what the CLECs are saying in this CR. He said that it is a challenge for the documentation team that updates the PCATs when this occurs. Mark said that we do try to keep this to a minimum but based on business needs that come along it does happen. Mark questioned the sentence in the proposal where it states that this needs to happen on rare occasions and asked how the CLECs define rare.

Bonnie Johnson-Integra said some level 1 changes impact the way they do business and those occasions are rare and considered immediate, i.e. correcting a phone number or if you have a regulatory change. Bonnie said that it sounds like this may help Qwest as well.. It appears when Qwest reviews a tech pub or PCAT and makes a change other things are done that need clarity or clean up. She said that it appears that when Qwest identifies changes are needed, they issue level 1, 2, 3 etc. Bonnie said that something to consider is that unless those level 1’s or 2’s are critical business needs or something that impacts the way they do business with Qwest, is to issue those changes in one change rather than issuing separate levels for 1 PCAT. She said that their recommendation is, rather than doing all changes in separate notices, do them at the highest level of change.

Mark Coyne-Qwest said that he realizes these types of changes do present difficulty for the documentation team to track and is a challenge to both Qwest and the CLECs. Mark said we took at look to determine how often this has occurred and found only found 17 occurrences in the past 2 years. Mark said that this is in relation to approximately 977 notices and is less than 1%. He said that these situations will continue to occur on a rare basis as it has in the past. He said that we are in full agreement with the 2nd part of the CM request which is how we relate those changes on the notice to make sure the CLEC are aware of those changes. Mark said that he liked the idea of cross referencing or pointing the CLEC to the notice so the CLECs can determine the impact. He said there is a concern with the statement in the proposal that Qwest will not initiate a proposed change. Mark said we can’t say that we will never initiate a change and that the proposal does include except in certain conditions. He said that we have a counter proposal with language in the 1st piece to accommodate our business needs, but at the same recognizing that this is a rare occasion. Mark said that if this happens we will address it with information on the notice. Bonnie Johnson-Integra said that PAETEC and Integra will look at the counter proposal and is good to hear we are in agreement that we need to care for the issue. Bonnie said that they can’t agree with the change from “will” to “should” because it does not give them any certainty.

Mark Coyne-Qwest asked that the CLECs review the entire counter proposal and let us know what concerns and comments they have and we will go back and take a look at “will” vs. “should”.

Bonnie Johnson-Integra asked Qwest to let them know what they are trying to achieve by changing the language to not having any certainty. She said that “should” won’t work for the CLECs and “will” won’t work for Qwest but until they know what the concern is, she doesn’t know what to propose.

Julia Redman-Carter-PAETEC asked if Qwest would consider the idea when there are previous changes not yet effective, to note in the document that there are changes under review that are not yet effective and in the document redline highlight those changes.

Mark Coyne-Qwest said that we don’t have a problem pointing back to the Document Review site so that you can see the related notice.

Julia Redman-Carter-PAETEC said if there was another solution (5/28/09 Comments to minutes received from PAETEC in CAPS) THAT MIGHT BE EASIER for Qwest other than providing the information in the notice, they will entertain other suggestions. THE PURPOSE OF THE PROPOSED CHANGE IS to be able to identify ALL the APPLICABLE changes in those situations SO WE CAN MAKE INFORMED DECISIONS.

Mark Coyne-Qwest said that he didn’t see a problem on the 2nd piece of providing the notice number and providing a link back to the document review site rather than including the information on the subsequent notice. Mark addressed the comment from Integra on the “will” vs. “should” and it was phrased it in the 1st sentence that Qwest will attempt to avoid issuing or initiating those types of changes.

Bonnie Johnson-Qwest said that if there is an overlap notice it needs to address how you are going to handle and the result if that happens. She said that the 1st part talks about the effort or attempt and the 2nd part should have certainty if unavoidable.


Open Product/Process CR PC020409-1EXES Detail

 
Title: Qwest will implement the USOC to correct the facility assignment for HDSL
CR Number Current Status
Date
Area Impacted Products Impacted

PC020409-1EXES Denied
2/17/2009
Provisioning, Ordering Unbundled Loop, Loop
Originator: Johnson, Bonnie
Originator Company Name: Integra
Owner: Mohr, Bob
Director:
CR PM:

Description Of Change

Integra and its entities (“Integra”) submits this change request (CR) to address a single issue – implementation of a Universal Service Ordering Code (“USOC”) for HDSL (2 and 4 wire non loaded loops) to correct assignment of facilities. Qwest has indicated that there is a USOC already recognized by Telcordia/industry standards that would help ensure that facilities assigned to CLECs meet the parameters and industry standards applicable to the specific HDSL product ordered by the CLEC. Qwest, however, has not yet implemented its use for CLECs. (Qwest has not yet indicated whether it uses this USOC for Qwest retail or, if not, how assignment of facilities is physically performed for Qwest retail. Qwest should provide this information.) Qwest should implement the USOC expeditiously.

This CR does not replace in any way Integra’s CR PC082808-1IGX (which is broader), and it should not delay the processing of that CR. Implementation of a USOC was not specifically mentioned in the description of change in that CR, whereas here Integra is specifically requesting USOC implementation for HDSL. Integra reserves its rights as to CR PC082808-1IGX. It appears from CMP discussions related to PC082808-1IGX that implementation of the USOC may be bogged down by other issues, so Integra has also submitted this CR to attempt to avoid delay in implementing the USOC. If implementation of the USOC assists in resolving some of the issues raised in CR PC082808-1IGX, as suggested by Qwest, then the companies may address that situation at the time.

CLECs communicate the type of service they intend to provide on 2/4 Wire Non-Loaded Loops by using the appropriate NCI/SECNCI codes on the Local Service Request (LSR). Qwest, however, told Integra personnel that Qwest provisions circuits to voice grade parameters, regardless of the NCI/SECNCI code requested on the LSR (e.g., even if the code indicates a digital capable service, rather than a voice grade service). Qwest has suggested that the resulting problems may be at least partially alleviated if Qwest implements this USOC because, once Qwest assigns the USOC to a service, doing so will allow it to flow through facility assignment to better identify a facility capable of supporting HDSL2 service. Although Qwest had said that work on USOC implementation is currently underway and scheduled to be implemented in mid April of 2009, Qwest has since suggested that it may stop work on the USOC if CLECs do not agree to an unrelated Qwest proposal. Qwest should not tie implementation of the USOC to other issues. Doing so will cause an unnecessary delay and may cause discriminatory conditions to continue.

Qwest’s ICA negotiations template Section 9.2.2.3 states:

Qwest will provision digital Loops in a non-discriminatory manner, using the same facilities assignment processes that Qwest uses for itself to provide the requisite service. (emphasis added)

A key problem that exists today, however, is that Qwest is not meeting this commitment. For CLECs, Qwest’s facilities assignment process does not select/assign the best (most qualified) loop available for the type of loop ordered by the CLEC (e.g., HDSL). Instead, it is just as likely, or more likely, to assign a voice grade loop to fill a CLEC request for a digital capable loop. In contrast, for Qwest retail, Qwest automatically assigns the best (most qualified) loop available for the type of loop ordered by Qwest retail. Every day that this situation continues is another day of discrimination, and so every effort should be made to accelerate resolution of this problem. As Qwest has suggested that implementation of this USOC will assist with this issue for HDSL, Qwest should promptly implement the USOC.

Expected Deliverables/Proposed Implementation Date (if applicable):

Qwest will implement the USOC no later than mid April of 2009.


Status History


Project Meetings

2/18/09 Prod/Proc CMP Meeting

Mark Coyne-Qwest said that this exception CR was submitted by Integra. He said that a vote was conducted on 2/17/09 and the CR was denied. He said that a copy of the denial can be found on the Wholesale Calendar. Bonnie Johnson-Integra said Qwest traditionally sends a formal denial and asked when it would be sent. Lynn Stecklein-Qwest said that the denial was posted in the Qwest response section of the CR but that a formal denial letter would be sent. Bonnie Johnson-Integra said that she had additional questions on PC082808-1IGX. (Captured above)

Exception CR Vote Required Meeting Minutes – PC020409-1EX February 17, 2009 Attendees: Bonnie Johnson-Integra, Loriann Burke-XO, Julia Redman-Carter-McLeod, Mindy Chapman-Neustar, Bob Mohr-Qwest, Mark Nickell-Qwest, Jamal Boudhaouia, Mark Coyne-Qwest, Susan Lorence-Qwest Lynn Stecklein-Qwest stated that the purpose of this meeting is to review and conduct a vote on the Exception Request submitted by Integra to implement a USOC to correct the facility assignment for HDSL. She said that Integra and its entities (Integra) have submitted this change request to address a single issue - implementation of a Universal Service Ordering Code (USOC) for HDSL (2 and 4 wire non loaded loops) to correct assignment of facilities. Integra is seeking the following exceptions: • Implement the USOC no later than mid April of 2009 • This exception CR will not replace Integra s CR PC082808-1IGX and should not delay the processing of the CR. Lynn said that Quorum is eight and has been achieved. She reviewed the yes and no vote as follows: A vote of - Yes will indicate a preference to allow the implementation of the USOC to correct the facility assignment for HDSL no later than mid April 2009 and not delay the processing of PC082808-1IGX. A vote of - No will indicate a preference to NOT allow the implementation of the USOC to correct the facility assignment for HDSL and not delay the processing of PC082808-1IGX.

Bonnie Johnson-Integra said that she wanted to make sure that we were voting on whether this CR would be treated as an exception.

Lynn said that we were.

She said that Section 16.4 of the CMP Document states that - If the Exception Request is for a general change to the established CMP timelines for Product/Process changes, a two-thirds majority vote will be required unless Qwest or a CLEC demonstrates, with substantiating information, that one of the criteria for denial set forth in Section 5.3 is applicable. If one of the criteria for denial is applicable, the request will not be treated as an exception. E-mail votes with a vote of yes have been received from: Covad, Comcast Cable, Jaguar Communication, Live Wire Networks, Quantum Communications, Verizon Business During the call Integra, McLeod and XO voted yes. Lynn said that Qwest voted no. She said as stated earlier in section 16.4, this section allows for the CR to not be granted as an exception if one of the criteria for denial is applicable. She said that Bob Mohr (Qwest) will provide information on why the request will not be granted as an exception CR based on the standards set forth in Section 5.3. Bob Mohr-Qwest said this Exception Change Request requires a business discussion regarding the obligation to provide the HDSL Capable Loop USOC and the cost to do so. Absent the obligation to provide an HDSL Capable Loop, the decision to implement this Exception CR becomes a financial decision. Absent the CLEC community agreement to perform cooperative testing, this HDSL Capable Loop USOC implementation becomes a financial liability to Qwest. Qwest therefore respectfully denies this Exception CR to implement an HDSL Capable Loop USOC without including the cooperative test requirement as it is economically not feasible.

Bonnie Johnson-Integra said that Qwest is willing to do this for themselves but not for Wholesale.

Lynn Stecklein-Qwest said that this CR will be closed and the formal denial response will be sent to Integra and posted to the Wholesale Calendar.


CenturyLink Response

February 17, 2009

Qwest Response Exception Vote Required Meeting

Bonnie Johnson Integra

SUBJECT: CLEC Change Request Response - CR #PC020409-1EX

This CR submitted by Integra and its entities (“Integra”) is requesting to address a single issue – implementation of a Universal Service Ordering Code (“USOC”) for HDSL (2 and 4 wire non loaded loops) to correct assignment of facilities. Qwest has indicated that there is a USOC already recognized by Telcordia/industry standards that would help ensure that facilities assigned to CLECs meet the parameters and industry standards applicable to the specific HDSL product ordered by the CLEC. Qwest, however, has not yet implemented its use for CLECs. (Qwest has not yet indicated whether it uses this USOC for Qwest retail or, if not, how assignment of facilities is physically performed for Qwest retail. Qwest should provide this information.) Qwest should implement the USOC expeditiously.

This Exception Change Request requires a business discussion regarding the obligation to provide the HDSL Capable Loop USOC and the cost to do so. Absent the obligation to provide an HDSL Capable Loop, the decision to implement this Exception CR becomes a financial decision. Absent the CLEC community agreement to perform cooperative testing, this HDSL Capable Loop USOC implementation becomes a financial liability to Qwest. Qwest therefore respectfully denies this Exception CR to implement an HDSL Capable Loop USOC without including the cooperative test requirement as it is economically not feasible.

Sincerely,

Qwest Corporation


Open Product/Process CR PC060111-4 Detail

 
Title: Need for a Process/Policy on what net neutrality information a reseller should disclose, and the manner in which the Qwest reseller should disclose that information to its customers.
CR Number Current Status
Date
Area Impacted Products Impacted

PC060111-4 Denied
7/20/2011
Resale Any resale product impacted by the FCC Net Neutrality order
Originator: Johnson, Bonnie
Originator Company Name: Integra
Owner: Campbell, Bill
Director:
CR PM: Lorence, Susan

Description Of Change

The FCC issued its order on Net Neutrality (FCC 10-201; 25 FCC Rcd 17905; GN Docket No 09-191 and WC Docket No. 07-52). The order will be effective around August 1, 2011. Resellers of Qwest internet access products will need to provide Net Neutrality disclosure language for those Qwest internet access products. Confusion may result if the disclosures are different. Please provide Qwest’s disclosure language and if needed, a process for carriers to obtain and use that language.


Status History


Project Meetings

7/20/11 Product Process Monthly CMP Meeting Mark Coyne – CenturyLink – provided an update on CR status. Qwest response/denial (7/28/11 Updates received from Integra in CAPS) WAS sent (7/28/11 Updates received from Integra in CAPS) ON 7/14 and included in (7/29/11 Updates received from PAETEC in italicized CAPS) SAID [Deleted RELAYED] CMP package. As part of CMP the response/denial was reviewed. QWEST‘S RESPONSE INDICATED [DETERMINED], THAT IT WAS DETERMINED THAT THE PRODUCTS ASSOCIATED WITH THE NET NEUTRALITY ORDER ARE RELATED TO INTERNET ACCESS (HSI, QVR, QWB) BECAUSE THESE INTERNET ACCESS PRODUCTS ARE OUTSIDE OF THE SCOPE OF CMP. HOWEVER, DURING THE CLARIFICATION CALL, IT WAS AGREED THAT UPON QWEST'S REVIEW OF THE FINAL ORDER, IT WILL BE DETERMINED WHAT CHANGES AND NOTIFICATIONS ARE REQUIRED TO THE QWEST CUSTOMER. QWEST WILL ALSO THEN NOTIFY THEIR WHOLESALE CUSTOMERS VIA A NON-CMP NOTICE. Requested to move CR to denied status if no objection.

Bonnie Johnson- Integra said she was fine with that.

6/15/11 Product Process Monthly CMP Meeting Bonnie Johnson- Integra said the CR was to request a process associated with the Net Neutrality order that has no known date right now. She said during the Clarification call, it was identified that the order only impacts HSI resale products that Qwest said are under commercial agreements and not part of CMP. Qwest is going to deny the CR (6/23/11 Updates received from Integra in CAPS) WITH A NOTE THAT [delete AND] will state that when the order is received, Qwest will review and provide information to the commercial agreements notification group.

Mark Coyne – Qwest clarified those services are outside of the scope of CMP and that Qwest was preparing the denial response.

Bonnie Johnson- Integra said though Qwest is denying the CR, there was agreement on the process that will be used to communicate. Once the order comes out, Qwest will determine the disclosure and send a notice to Commercial agreement carriers.

Mark Coyne – Qwest said yes. There were no other questions.

6/13/11 Clarification Meeting Attendees: Bonnie Johnson-Integra, Kim Isaacs – Integra, Mark Coyne-CenturyLink, Jamal Boudhaouia -CenturyLink, Bill Campbell -CenturyLink, Susan Lorence-CenturyLink

Bonnie Johnson-Integra said the net neutrality order is to go into effect around August 1, 2011 and for the products Integra resells, they require net neutrality disclosure and their requirements should be same as Qwest and they do not want to forward customers to the Qwest website.

Jamal Boudhaouia -CenturyLink asked which products she was referring to and said it was a proposed order from the FCC.

Bonnie Johnson - Integra said she is not an expert on net neutrality and was maybe making an assumption that Qwest was developing disclosure on impacted products and that it would impacts products that resellers resell.

Jamal Boudhaouia -CenturyLink said based on his analysis, the proposed order impacts the products that are internet access offered to mass markets and small business customers and the only customers impacted are HSI.

Bonnie Johnson-Integra said OK and asked if they have commercial agreements on those.

Bill Campbell -CenturyLink said yes.

Bonnie Johnson-Integra said if Qwest believes those are the products requiring disclosure, then Integra should mirror it.

Jamal Boudhaouia -CenturyLink said by definition, it only impacts products associated with internet access and the only product that is offered for resale is QWB via commercial agreement.

Bill Campbell -CenturyLink said QVR is also offered.

Bonnie Johnson-Integra said she is not debating which products Qwest believes require disclosure but that for those products that do, Qwest and Integra should work together.

Jamal Boudhaouia -CenturyLink said the order was FCC 10-201 adopted December 21, 2010 and released December 23, 2010.

Bonnie Johnson-Integra said it appears the effective date is August 1.

Jamal Boudhaouia -CenturyLink said he respectfully disagreed based on where the order was in the FCC order process.

Bonnie Johnson-Integra said it may not be August 1 but whatever date, she would like to get it done.

Jamal Boudhaouia -CenturyLink said he did not disagree but based on the FCC process, he thought the earliest date would be October 15, 2011.

Bill Campbell -CenturyLink questioned whether a declarative statement had to be issued.

Jamal Boudhaouia -CenturyLink said no but it was open for debate the type of required disclosure within the industry. He said once the order was effective, resale disclosure requirements would be determined.

Bill Campbell -CenturyLink said when the general business changes are determined, retail would make some decisions, and he would send a non-CMP notice to HSI wholesale customers.

Bonnie Johnson-Integra said she thought the CR would remain on HOLD until decisions are made but wanted a plan of action.

Susan Lorence-CenturyLink said she understood the products are related to internet access (HSI, QVR, QWB) that are outside of the scope of CMP and she did not want to keep the CR open.

Bonnie Johnson-Integra said to respond to the CR as suggested and close the CR.

Bill Campbell -CenturyLink and Jamal Boudhaouia -CenturyLink agreed that that plan would work

Bill Campbell -CenturyLink said upon Qwest/CTL review of the final order, it will be determined what changes and notifications are required to the Qwest customer. Qwest will also then notify their wholesale customers via a non-CMP notice.

Susan Lorence-CenturyLink said the SME team would confirm this approach and asked if there were any other questions and there were none.


CenturyLink Response

July 14, 2011 To: Bonnie Johnson, Integra

CC: Kim Isaacs – Integra, Mark Coyne - Qwest, Jamal Boudhaouia – Qwest, Bill Campbell - Qwest, Susan Lorence-Qwest

This letter is in response to CLEC Change Request PC060111-4, Need for a Process/Policy on what net neutrality information a reseller should disclose, and the manner in which the Qwest reseller should disclose that information to its customers

CR Description: The FCC issued its order on Net Neutrality (FCC 10-201; 25 FCC Rcd 17905; GN Docket No 09-191 and WC Docket No. 07-52). The order will be effective around August 1, 2011. Resellers of Qwest internet access products will need to provide Net Neutrality disclosure language for those Qwest internet access products. Confusion may result if the disclosures are different. Please provide Qwest’s disclosure language and if needed, a process for carriers to obtain and use that language.

Expected Deliverable: Qwest will work with Resellers of Qwest’s internet access products to develop a process so Resellers can obtain the net neutrality disclosure language and use that language for Qwest resale products impacted by the FCC net neutrality order.

History: The CR was submitted on June 1, 2011 and a clarification meeting was held on June 13, 2011 with Integra and Qwest representation. The CR was presented in the June CMP monthly meeting.

Qwest Response: As part of the discussion in the Clarification call on June 13, 2011, it was determined that the products associated with the Net Neutrality order are related to internet access (HSI, QVR, QWB). Because these internet access products are outside of the scope of CMP, Qwest is denying this CR for that reason. However, during the clarification call, it was agreed that upon Qwest's review of the final order, it will be determined what changes and notifications are required to the Qwest customer. Qwest will also then notify their wholesale customers via a non-CMP notice.

Sincerely, Qwest Corporation


Open Product/Process CR PC070816-1X Detail

 
Title: Add reporting functionality to the CLEC Badge Access Request Web site (See Crossover CR SCR070816 1X)
CR Number Current Status
Date
Area Impacted Products Impacted

PC070816-1X Completed
2/15/2017
Collocation Access premise process
Originator: Roberson, Laurie
Originator Company Name: Integra
Owner: Cederberg , Annmarie
Director:
CR PM: Lorence, Susan

Description Of Change

Integra requests CenturyLink add Report functionality to the CLEC Badge Access Request website. The reporting function would allow CLECs to generate reports that provide the CLEC with the ability to view badge holders access level by CenturyLink central office or card reader.

Currently, CLECs request this report from their service manager. Based on the amount of time it takes CenturyLink to fulfill a report request, Integra believes it would be more efficient if CLECs have the ability to generate their own reports. Providing the CLECs the ability to efficiently inventory their access badges may lower the number of duplicate badge requests and issues surrounding badge access which should result in efficiency gains for both CenturyLink and the CLECs.

Expected Deliverables/Proposed Implementation Date (if applicable): The ability to generate ad hoc reports that would show an inventory of badge holders current access by central office or card reader.


Status History


Project Meetings

2/15/17 Product/Process CMP Meeting Mark Coyne – CenturyLink recapped some history for this CR. It was submitted as a System CR but was crossed over to Product Process in August 2016. CenturyLink proposed a three month Process Trial that ended on December 31, 2016. Following the trial, the CenturyLink Security team evaluated the results. CenturyLink submitted a level 4 process notification on January 9, 2017 to have customers directly email the CenturyLink Security team mailbox to request a Badge Access Report. The Final notice was sent on January 26, 2017. The CR has been in CLEC Test since the effective date of February 10, 2017. Mark said we would like to move this CR to a COMPLETED status and asked if there were any objections. There were none.

1/18/17 Product/Process CMP Meeting Mark Coyne – CenturyLink said the three month Process Trial ended on December 31, 2016. The CenturyLink Security team evaluated the results and determined they would move forward with the change in process to have customers directly email the CenturyLink Security team mailbox to request a CLEC Badge Access Report. The intent is that the Badge Access Report will be provided within 3 business days. Mark said a level 4 process notification was distributed January 9, 2017 with a planned effective date of February 10, 2017. Mark asked if there were any questions. There were none.

12/14/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this ELI CR is in the last month of a Process trial. So far there have not been problems filling the CLEC Badge Access Report requests within the three business day window. After the trial ends on December 31, the CenturyLink Security team will evaluate the results. Based on their evaluation of the volume of requests and the timing of the report turn-around, it is likely a Level 3 change in process notification will be sent after the first of the year. Mark asked if there were any questions. There were none.

11/16/16 Product/Process CMP Meeting COVERED UNDER ATTACHMENT C Mark Coyne – CenturyLink said this ELI CR is in the middle of a three month Process trial to have customers directly email the CenturyLink Security team mailbox to request the CLEC Badge Access Report. The trial is to determine volume of requests and the timing of the report turn-around by the CenturyLink Security team. Mark said in talking with Mark Rice, CenturyLink, there has been no problem so far filling the report requests in the three business day timeline. Mark said following the end of the trial on December 31, 2016, CenturyLink will evaluate the results. If CenturyLink determines a change should be implemented, the appropriate level of CMP notification will be sent to formalize the process. Mark asked if there were any questions. There were none.

10/19/16 Product/Process CMP Meeting COVERED UNDER ATTACHMENT C Mark Coyne – CenturyLink said this is one of the ELI Crossover CRs. In the September CMP meeting, we reviewed the updated CenturyLink response that stated that CenturyLink would be initiating a three month Process trial to determine how many customer requests would be received each month for the badge holder report and whether the proposed turnaround time of three business days is valid for the Security team to fulfill the report request. A copy of the Process notification that was sent on September 26, 2016 to announce the trial is included in the package. The trial is scheduled from October 1, 2016 through December 31, 2016. Mark said that at the completion of the Process Trial, CenturyLink will evaluate the results to determine if a change to the current process is appropriate. If so, CenturyLink will implement the change through the appropriate level of CMP notification to formalize the process updates available to all customers.

Kim Isaacs - Electric Lightwave said they had submitted a Walk On request regarding the Process Trial and asked if it should be discussed with this CR.

Mark Coyne – CenturyLink said yes. He said the Walk on request was received on October 18, 2016 and that it was posted to the Wholesale calendar. He then read in part the ELI Walk on: The notice does not state what information is required to request the badge report and we would like clarification on that.

Kim Isaacs - Electric Lightwave said ELI had trialed the report request process. The request took CenturyLink longer than the planned three business days to fulfill but there was no word why. Kim asked if it would make the report process more efficient if the customer included their RSID and/or ACNAs when the report request is made. She said a Service Manager is closer to the customer’s account than the CenturyLink Security team and asked if including a little more information might be helpful. Kim said it might work better if CenturyLink does not have to assume what the customer wants and can pull the correct report right away.

Mark Rice – CenturyLink said the ELI report request was sent correctly. He said previously, the CenturyLink Security team had a process established to send a report to Integra at the first of each month so when the ELI request came in to the mailbox, he thought the report had already been delivered. Mark said the problem occurred within the Security team and that he sent the requested ELI report on October 18. The report normally includes all entities for a customer. Mark said if a customer was requesting a “traffic report” or an “access report” for a specific person or time period, that was a different type request. Kim Isaacs - Electric Lightwave said since the trial was open to all customers, was there a standard request that should be used.

Mark Rice – CenturyLink said the Security team has a standard format for the Badge Card Holder report and that is the only information that can be provided from CenturyLink. Mark said he takes the responsibility that the ELI requested report was not delivered within the planned time period of three business days.

Susan Lorence – CenturyLink asked if it was appropriate as Kim had suggested for customers to provide the ACNAs or RSID to the CenturyLink Security team on the email request.

Mark Rice – CenturyLink said that he had all of the information he needed to create the report.

Kim Isaacs - Electric Lightwave said the process could be changed in the future if CenturyLink determines that more information is needed.

Mark Coyne – CenturyLink once the trial is complete, CenturyLink will assess the results and can make an additional change then if appropriate. Mark asked if there were any more questions. There were none.

COVERED UNDER ATTACHMENT F Mark Coyne – CenturyLink said we had already discussed the Walk on from Electric Lightwave under Attachment C with CLEC CR PC070816-1X - Add reporting functionality to the CLEC Badge Access Request Web site. [see Walk on received on 10-18-16 that is posted separately to CMP calendar entry.]

9/21/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this is one of the ELI Crossover CRs. A Draft response was reviewed last month that stated the CenturyLink SME team needed additional time to consider the broader revisions associated with the proposed process change. Mark then reviewed the revised response (included in the CMP package) that had the following key points:

• The CenturyLink SME team is proposing that a process trial be conducted between October 1, 2016 and December 31, 2016. • The process trial would track the number of customer requests received each month and determine if the turn-around time of three business days to return the report to the customer is valid.

Mark said CenturyLink will send a notification to all CLEC and Reseller customers to inform them of the Security team mailbox and the availability of the trial within CenturyLink QC. At the end of the Process trial, CenturyLink will evaluate the results and will then send the appropriate CMP notification to formalize the process updates available to customers.

Kim Isaacs - Electric Lightwave asked if the evaluation would possibly include crossing the CR back to systems to add the requested reporting functionality.

Mark Coyne – CenturyLink said that adding a report that customers could request directly was not possible. The Trial was to confirm the volume and timing for the Security team.

Kim Isaacs - Electric Lightwave asked if it was to confirm the CenturyLink Security team can keep up with the three business day turn around for report requests from the customer.

Mark Coyne – CenturyLink said correct and asked if there were any other questions. There were none.

8/17/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this is a Crossover CR from the Systems side. The Systems CR SCR070816-1X was presented last month by Kim Isaacs – Electric Lightwave. The CR is associated with the CLEC Badge Access Request process. A clarification call was held on July 18, 2016 and based on discussion during the Clarification call, it was agreed that the CR would crossover to Product Process for a change in process. Mark said that CenturyLink had sent a Draft response on August 11, 2016 (8-26-16 Updates received from Electric Lightwave in CAPS) WITH A PROPOSED EFFECTIVE DATE but after additional discussion with the SME team, a revised draft response had been sent on August 12, 2016. He then reviewed the Draft response which stated that additional time was needed by the SME team to consider the broader revisions to the current process. CenturyLink will continue to evaluate this CR. He said until CenturyLink has a proposed effective date, CenturyLink will continue business as usual.

Kim Isaacs - Electric Lightwave asked if the CR would be in Evaluation status.

Mark Coyne – CenturyLink said the CR has been Accepted.

Susan Lorence - CenturyLink said the CR is in a status of Cross over for the first month and then CenturyLink will move it to Evaluation status.

Kim Isaacs - Electric Lightwave confirmed the existing process would remain in place while the CR is being evaluated.

Mark Coyne – CenturyLink said yes.


CenturyLink Response

September 16, 2016

Kim Isaacs, Electric Light Wave Laurie Roberson, Electric Light Wave

SUBJECT: Change Request PC070816-1X, CenturyLink Updated Response for Review

This letter includes an updated response to Electric Light Wave/Integra’s Crossover Change Request PC070816-1X, entitled “Add reporting functionality to the CLEC Badge Access Request Web site”.

CR Description: Integra requests CenturyLink add Report functionality to the CLEC Badge Access Request website. The reporting function would allow CLECs to generate reports that provide the CLEC with the ability to view badge holders access level by CenturyLink central office or card reader. Currently, CLECs request this report from their service manager. Based on the amount of time it takes CenturyLink to fulfill a report request, Integra believes it would be more efficient if CLECs have the ability to generate their own reports. Providing the CLECs the ability to efficiently inventory their access badges may lower the number of duplicate badge requests and issues surrounding badge access which should result in efficiency gains for both CenturyLink and the CLECs.

Updated CenturyLink Response: During the August CMP monthly meeting, CenturyLink reviewed the revised Draft response sent on August 12, 2016 which stated that the Change Request would be crossed over to Product Process. The revised CR response also stated that the SME team needed additional time to consider the broader revisions required before implementing the proposed process to have customers send their request for a report directly to the CenturyLink Security team mailbox.

After further consideration, the CenturyLink SME team is proposing that a process trial be conducted between October 1, 2016 and December 31, 2016. The trial would determine the number of customer requests for the badge holder report that are received each month in the CenturyLink Security team mailbox. The Security team would also determine if the requested turnaround time of three business days to fulfill the report request is valid.

CenturyLink will send notification of the Process trial to all CLEC and Reseller customers in CenturyLink QC. At the completion of the Process trial, CenturyLink will evaluate the results to determine if a change to the current process is appropriate. If so, CenturyLink will implement the change through the appropriate level of CMP notification to formalize the process updates available to all customers.

Please let us know if you have any questions about this proposed process trial. Sincerely, Susan Lorence CenturyLink Wholesale CR Project Manager

* August 12, 2016

Kim Isaacs, Integra Laurie Roberson, Integra

SUBJECT: Integra System Change Request SCR070816-1X, CenturyLink Response for Review REVISED

This letter is in response to Integra System Change Request SCR070816-1, entitled “Add reporting functionality to the CLEC Badge Access Request Web site”.

CR Description: Integra requests CenturyLink add Report functionality to the CLEC Badge Access Request website. The reporting function would allow CLECs to generate reports that provide the CLEC with the ability to view badge holders access level by CenturyLink central office or card reader. Currently, CLECs request this report from their service manager. Based on the amount of time it takes CenturyLink to fulfill a report request, Integra believes it would be more efficient if CLECs have the ability to generate their own reports. Providing the CLECs the ability to efficiently inventory their access badges may lower the number of duplicate badge requests and issues surrounding badge access which should result in efficiency gains for both CenturyLink and the CLECs.

History and CenturyLink Response: This System CR was received on July 8, 2016 and was presented as a walk-on in the July 2016 Monthly Systems CMP meeting. A Clarification call was held on July 18, 2106 with Integra and CenturyLink representatives present. During the Clarification call, there was agreement to cross the CR over to a Product Process CR, PC070816-1X, to implement a process change. The CenturyLink Security team will provide a direct email address for customers to request the report versus continuing to request the report through their Service Manager. The report will be returned to customers within three business days. The data on the report will include badge id, first and last name, company, access level and card reader as it does currently.

This CR will be reviewed as a Crossover CR during the August 2016 Product Process CMP meeting. Following further discussion on August 12, 2016 with the CenturyLink SME team, additional time is needed to consider the broader revisions to the current process. CenturyLink will continue to evaluate this CR and does not yet have a proposed effective date.

Sincerely,

Susan Lorence CenturyLink Wholesale CR Project Manager

**

August 11, 2016

Kim Isaacs, Integra Laurie Roberson, Integra

SUBJECT: Integra System Change Request SCR070816-1X, CenturyLink Response for Review

This letter is in response to Integra System Change Request SCR070816-1, entitled “Add reporting functionality to the CLEC Badge Access Request Web site”.

CR Description: Integra requests CenturyLink add Report functionality to the CLEC Badge Access Request website. The reporting function would allow CLECs to generate reports that provide the CLEC with the ability to view badge holders access level by CenturyLink central office or card reader. Currently, CLECs request this report from their service manager. Based on the amount of time it takes CenturyLink to fulfill a report request, Integra believes it would be more efficient if CLECs have the ability to generate their own reports. Providing the CLECs the ability to efficiently inventory their access badges may lower the number of duplicate badge requests and issues surrounding badge access which should result in efficiency gains for both CenturyLink and the CLECs.

History and CenturyLink Response: This System CR was received on July 8, 2016 and was presented as a walk-on in the July 2016 Monthly Systems CMP meeting. A Clarification call was held on July 18, 2106 with Integra and CenturyLink representatives present. During the Clarification call, there was agreement to cross the CR over to a Product Process CR, PC070816-1X, to implement a process change. The CenturyLink Security team will provide a direct email address for customers to request the report versus continuing to request the report through their Service Manager. The report will be returned to customers within three business days. The data on the report will include badge id, first and last name, company, access level and card reader as it does currently.

This CR will be reviewed as a Crossover CR during the August 2016 Product Process CMP meeting. CenturyLink is moving forward with a level 4 notification to update the Collocation -Premises Access Overview PCAT. At this time, the proposed effective date will be September 27, 2016.

Sincerely,

Susan Lorence CenturyLink Wholesale CR Project Manager


Open Product/Process CR PC070816-2X Detail

 
Title: Add CLLI code (8 digit) option for Building Search to the CLEC Badge Access Request Website (See Crossover CR SCRC070816 2X)
CR Number Current Status
Date
Area Impacted Products Impacted

PC070816-2X Completed
12/14/2016
Collocation Access premise process
Originator: Roberson, Laurie
Originator Company Name: Integra
Owner: Cederberg , Annmarie
Director:
CR PM: Lorence, Susan

Description Of Change

Integra requests that CenturyLink add a CLLI code search option to the CLEC Badge Access Request website. Currently the system has an option to search by “Building ID”, however, the CLEC community does not use Building ID. In addition, CenturyLink bills charges associated with access badges using the CLLI code. The CLLI code is an industry standard code that the CLEC community uses to easily identify central offices. Adding this field would allow the CLEC to quickly identify the central office they need access to.

Expected Deliverables/Proposed Implementation Date (if applicable): To be able search by CLLI code under Building Search in the CLEC Badge Access web site.


Status History


Project Meetings

12/14/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this ELI CR has been in CLEC Test since November 15, 2016 when the 8 digit CLLI code search option was implemented in the Badge Access Request web tool. Mark said we would like to move this CR to a Completed status.

Kim Isaacs - Electric Lightwave said there are no objections. Kim said any issues they have encountered have been due to new people on their side and said thank you.

Mark Coyne – CenturyLink said we will move this to Completed then.

11/16/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this ELI CR is in CLEC Test as of November 15, 2016 when the 8 digit CLLI code search option was implemented in the CenturyLink Badge Access Request web tool. Mark said we will leave the CR in CLEC Test and will review it in December. Mark asked if there were any questions. There were none.

10/19/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this is the second ELI Crossover CR. On October 11, 2016, CenturyLink sent an updated CR response to ELI. Mark then reviewed the key points in the response as included in the package. The CenturyLink response indicates that the planned effective date had been moved to November 15, 2016. This change is due to the CenturyLink SME team needing some additional time to review some inconsistencies in the CLLI code data. Mark asked if there were any questions. There were none.

9/21/16 Product/Process CMP Meeting Mark Coyne – CenturyLink said this is the second ELI Crossover CR. He said the draft response was reviewed last month which also proposed this CR be a cross over to Product Process. Kim Isaacs - Electric Lightwave had expressed concern about the crossover to Product Process from Systems but agreed to it as long as the concern was noted. Mark then reviewed the updated response (included in the CMP package) that stated CenturyLink is planning to implement the CLLI code (8 digit) Building Search option in the CLEC Badge Access Request Website with an effective date of November 1, 2016. Mark asked if there were any questions.

Kim Isaacs - Electric Lightwave said she did not have any and said thank you.

FROM 8/17/16 System CMP Meeting Minutes Mark Coyne – CenturyLink said this was the other CR of the two new System CRs presented by Electric Lightwave last month associated with the CLEC Badge Access Request process. Mark then reviewed the CenturyLink Draft Response that was sent on August 11, 2016 and said that based on further investigation by the CenturyLink SME team, CenturyLink accepts this CR and believes this CR should also be crossed over to Product Process. At this time, the proposed effective date would be early October 2016. Mark asked if Electric Lightwave was OK to Cross this CR over to Product Process.

Kim Isaacs - Electric Lightwave said historically, that has occurred with web functionality CRs but Electric Lightwave disagrees that web functionality is Product Process vs. Systems. Kim said that they agree to disagree on this but, with that noted, is OK to cross the CR over.

Mark Coyne – CenturyLink said based on that, the CR will be a Cross over CR next month.

Bonnie Johnson – MN Dept of Commerce asked why web functionality is being addressed by CenturyLink as Product Process. She said she agrees with Electric Lightwave that it has always been Systems.

Susan Lorence – CenturyLink said the reason is that a Systems CR has a longer implementation/notification cycle than a Product Process CR. Also, a system CR would require CenturyLink to use some of the allotted system hours for the year and that was not needed for this CR. Susan also referenced the existing Level 2 Product Process Change Category that CenturyLink felt best fit this type of change: • Changes to eliminate/replace existing Web functionality will be available for twenty-one (21) days until comments are addressed. (Either a demo or screen shot presentation will be available at the time of the notification for evaluation during the twenty-one (21) day cycle.) Susan said this type of web update is not like a web change to a GUI. She said that type of CR would have to remain a System CR and asked if that explanation helped.

Bonnie Johnson – MN Dept of Commerce said thank you.

Mark Coyne – CenturyLink asked if there were any other comments and asked Kim if she wanted to keep the comment that they disagreed with this approach.

Kim Isaacs - Electric Lightwave said yes, she believes web functionality should be a system change.


CenturyLink Response

October 11, 2016

Kim Isaacs, Electric Light Wave Laurie Roberson, Electric Light Wave

SUBJECT: Change Request PC070816-2X, CenturyLink Updated Response for Review

This letter includes an updated response to Electric Light Wave/Integra’s Crossover Change Request PC070816-2X, entitled “Add CLLI code (8 digit) option for Building Search to the CLEC Badge Access Request Website”.

CR Description: Integra requests that CenturyLink add a CLLI code search option to the CLEC Badge Access Request website. Currently the system has an option to search by “Building ID”, however, the CLEC community does not use Building ID. In addition, CenturyLink bills charges associated with access badges using the CLLI code. The CLLI code is an industry standard code that the CLEC community uses to easily identify central offices. Adding this field would allow the CLEC to quickly identify the central office they need access to.

Updated CenturyLink Response: During the September CMP monthly meeting, CenturyLink reviewed the UPDATED CR response which stated that after further analysis, the CenturyLink SME team had revised the proposed effective date and was planning to implement the CLLI code (8 digit) Building Search option in the CLEC Badge Access Request Website with an effective date of November 1, 2016. The SME team is continuing to work on some data cleanup issues with the CLLI codes in the CLEC Badge Access Request web tool and has REVISED the PLANNED EFFECTIVE date to be November 15, 2016.

Sincerely,

Susan Lorence CenturyLink Wholesale CR Project Manager

* September 15, 2016

Kim Isaacs, Electric Light Wave Laurie Roberson, Electric Light Wave

SUBJECT: Change Request PC070816-2X, CenturyLink Updated Response for Review

This letter includes an updated response to Electric Light Wave/Integra’s Crossover Change Request PC070816-2X, entitled “Add CLLI code (8 digit) option for Building Search to the CLEC Badge Access Request Website”.

CR Description: Integra requests that CenturyLink add a CLLI code search option to the CLEC Badge Access Request website. Currently the system has an option to search by “Building ID”, however, the CLEC community does not use Building ID. In addition, CenturyLink bills charges associated with access badges using the CLLI code. The CLLI code is an industry standard code that the CLEC community uses to easily identify central offices. Adding this field would allow the CLEC to quickly identify the central office they need access to.

Updated CenturyLink Response: During the August CMP monthly meeting, CenturyLink reviewed the Draft response which stated that the Change Request was accepted for implementation. The CenturyLink response also recommended that the CR be crossed over to a Product Process CR to implement the enhanced web functionality to the CLEC Badge Access Request Website. At that time, the proposed effective date was to be early October 2016.

After discussion in the monthly meeting, it was agreed that CenturyLink would note the concerns expressed by Electric Light Wave/Integra and could then crossover the CR to Product Process PC070816-2X. After further analysis, the CenturyLink SME team has revised the proposed effective date and is planning to implement the CLLI code (8 digit) Building Search option in the CLEC Badge Access Request Website with an effective date of November 1, 2016.

Sincerely,

Susan Lorence CenturyLink Wholesale CR Project Manager


Open Product/Process CR PC120213-2 Detail

 
Title: Updates to the Poles, Ducts and Right of Way Process Extension of Inquiry Review Quote Acceptance Interval See related CR: PC120213 1
CR Number Current Status
Date
Area Impacted Products Impacted

PC120213-2 Completed
5/21/2014
Pre-order(Quotes & Field Verification) and Billing Poles, Ducts, Right of Way
Originator: Isaacs, Kim
Originator Company Name: Integra
Owner: Karpowich, Steve
Director:
CR PM: Lorence, Susan

Description Of Change

Integra requests the following changes to the Poles, Ducts and Right of Way process:

Extension of Inquiry Review Quote Acceptance Interval; Under the current process, a CenturyLink CenturyLink Inquiry Review quote is valid for only 30 days from the date the CLEC receives the quote. Integra requests that the quote acceptance interval be extended to a minimum of 90 days.

[NOTE: This specific change was originally the second requested change included on Integra CR PC120213-1. After discussion in the January

2014 CMP meeting, CR PC120213-1 is being split into three related CRs to address each of the requested changes separately.

Expected Deliverables/Proposed Implementation Date (if applicable):

Upon completion of this change request, Integra expects that:

CLECs will have a minimum of 90 days to accept an Inquiry Review quote.


Status History


Project Meetings

5/21/2014 Product/Process CMP Meeting PC120213-2 and PC120213-3 Mark Coyne – CenturyLink relayed that on April 16, the Final notice had been sent with an effective date of May 1, 2014. Mark said the CRs are both in CLEC Test and that we would like to move them both to a Completed status.

Kim Isaacs – Integra said that was fine.

4/16/2014 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed that on March 28, CenturyLink sent a level 3 notice that incorporated the process changes for both CRs. The comment cycle just ended and there was one CLEC comment received. The final notice will be sent April 16 with an effective date of May 1, 2014. Mark asked if there were any questions; there were none.

3/19/20/14 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed the draft responses to accept each of these CRs were reviewed in the February CMP monthly meeting. Mark said CenturyLink is combining the document updates for these two CRs on one level 3 notice which is close to being ready to be distributed. Our SME team is going back to review the language in current ICAs to insure there are no issues there. The level 3 notice should be going out early next week with a planned effective date of late April or early May. Mark asked if there were any questions. There were none.

2/19/20/14 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed that this CR relates to a CR that CenturyLink requested be broken up last month into three separate CRs. This CR is the second of the three requested changes by Integra. Mark said CenturyLink had sent a draft response on February 12 to accept this CR and that CenturyLink will be extending the PDR Inquiry Review Quote Acceptance Interval to 90 days. The CR is in Development status and CenturyLink will be issuing a Level 3 notification to implement the modified process. Mark asked if there were any questions. There were none.


CenturyLink Response

February 12, 2014

Kim Isaacs Integra

SUBJECT: Integra CR PC120213-2, DRAFT RESPONSE for Review

This letter is in response to CLEC Change Request PC120213-2, Updates to the Poles, Ducts and Right of Way Process Extension of Inquiry Review Quote Acceptance Interval.

CR Description: Integra requested the following change to the Poles, Ducts and Right of Way (PDR) process: Extension of Inquiry Review Quote Acceptance Interval. Under the current process, a CenturyLink Inquiry Review quote is valid for only 30 days from the date the CLEC receives the quote. Integra requests that the quote acceptance interval be extended to a minimum of 90 days.

NOTE: This specific change was originally the second requested change included on Integra CR PC120213-1. After discussion in the January 2014 CMP meeting, CR PC120213-1 was split into three related CRs to address each of the requested changes separately. Upon completion of this change request, Integra expects that CLECs will have a minimum of 90 days to accept an Inquiry Review quote.

History: A clarification meeting was held on December 9, 2013 with Integra and CenturyLink representatives in attendance. The CenturyLink SME team completed an analysis of the requested change associated with the PDR Process.

CenturyLink Response: CenturyLink accepts this Integra Change Request to extend the PDR Inquiry Review Quote Acceptance Interval to 90 days and will issue a Level 3 notification to implement the modified process.

Sincerely,

Susan Lorence CenturyLink CR Project Manager


Open Product/Process CR PC120213-3 Detail

 
Title: Updates to the Poles, Ducts and Right of Way Process Monitoring of Approved CenturyLink Contractors during CLEC Field Verification See related CR: PC120213 1
CR Number Current Status
Date
Area Impacted Products Impacted

PC120213-3 Completed
5/21/2014
Pre-order(Quotes & Field Verification) and Billing Poles, Ducts, Right of Way
Originator: Isaacs, Kim
Originator Company Name: Integra
Owner: Karpowich, Steve
Director:
CR PM: Lorence, Susan

Description Of Change

Integra requests the following changes to the Poles, Ducts and Right of Way process:

Monitoring of Approved CenturyLink Contractors during CLEC Field Verification; CLECs have the option of using a CenturyLink approved contractor when conducting Field Verifications for underground facilities. CenturyLink’s current practice is to have a CenturyLink employee monitor the contractor (already approved by CenturyLink) at the CLECs expense. Integra requests a change in the policy, if CenturyLink feels it is necessary to monitor contractors they have previously ”approved” then CenturyLink should not charge the CLEC for the monitoring.

[NOTE: This specific change was originally the third requested change included on Integra CR PC120213-1. After discussion in the January

2014 CMP meeting, CR PC120213-1 is being split into three related CRs to address each of the requested changes separately.

Expected Deliverables/Proposed Implementation Date (if applicable):

Upon completion of this change request, Integra expects that:

When CLEC choses to use a CenturyLink approved contractor to complete a Field Verification for underground facilities, CenturyLink will not require the CLEC to pay for the monitoring of the approved contractor.


Status History


Project Meetings

5/21/2014 Product/Process CMP Meeting PC120213-2 and PC120213-3 Mark Coyne – CenturyLink relayed that on April 16, the Final notice had been sent with an effective date of May 1, 2014. Mark said the CRs are both in CLEC Test and that we would like to move them both to a Completed status.

Kim Isaacs – Integra said that was fine.

4/16/20/14 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed that on March 28, CenturyLink sent a level 3 notice that incorporated the process changes for both CRs. The comment cycle just ended and there was one CLEC comment received. The final notice will be sent April 16 with an effective date of May 1, 2014. Mark asked if there were any questions; there were none.

3/19/20/14 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed the draft responses to accept each of these CRs were reviewed in the February CMP monthly meeting. Mark said CenturyLink is combining the document updates for these two CRs on one level 3 notice which is close to being ready to be distributed. Our SME team is going back to review the language in current ICAs to insure there are no issues there. The level 3 notice should be going out early next week with a planned effective date of late April or early May. Mark asked if there were any questions. There were none.

2/19/20/14 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed that this CR again relates to a CR that we requested be broken up last month into three separate CRs. This CR is the third of the three requested changes by Integra. Mark said CenturyLink had sent a draft response on February 12 to accept this CR and that CenturyLink will be modifying the process that when a CLEC chooses to use a CenturyLink approved contractor to complete a Field Verification for underground facilities, CenturyLink will not require the CLEC to pay for the monitoring of the approved contractor. The CR is in Development status and CenturyLink will be issuing a Level 3 notification to implement the modified process.


CenturyLink Response

February 12, 2014 Kim Isaacs Integra

SUBJECT: Integra CR PC120213-3, DRAFT RESPONSE for Review

This letter is in response to CLEC Change Request PC120213-3, Updates to the Poles, Ducts and Right of Way Process - Monitoring of Approved CenturyLink Contractors during CLEC Field Verification

CR Description: Integra requested the following change to the Poles, Ducts and Right of Way (PDR) process: Monitoring of Approved CenturyLink Contractors during CLEC Field Verification. CLECs have the option of using a CenturyLink approved contractor when conducting Field Verifications for underground facilities. CenturyLink’s current practice is to have a CenturyLink employee monitor the contractor (already approved by CenturyLink) at the CLECs expense. Integra requests a change in the policy, if CenturyLink feels it is necessary to monitor contractors they have previously ”approved” then CenturyLink should not charge the CLEC for the monitoring.

NOTE: This specific change was originally the second requested change included on Integra CR PC120213-1. After discussion in the January 2014 CMP meeting, CR PC120213-1 was split into three related CRs to address each of the requested changes separately. Upon completion of this change request, Integra expects that when a CLEC chooses to use a CenturyLink approved contractor to complete a Field Verification for underground facilities, CenturyLink will not require the CLEC to pay for the monitoring of the approved contractor.

History: A clarification meeting was held on December 9, 2013 with Integra and CenturyLink representatives in attendance. The CenturyLink SME team completed an analysis of the requested change associated with the PDR Process.

CenturyLink Response: CenturyLink accepts this Integra Change Request associated with the PDR Process and the CLEC use a CenturyLink approved contractor to complete a Field Verification for underground facilities. CenturyLink will issue a Level 3 notification to implement the modified process.

Sincerely,

Susan Lorence CenturyLink CR Project Manager


Open Product/Process CR PC053112-1 Detail

 
Title: Standard Formatting of PTA Notifications
CR Number Current Status
Date
Area Impacted Products Impacted

PC053112-1 Completed
10/17/2012
Provider Test Notifications
Originator: Prull, Stephanie
Originator Company Name: Integra
Owner: Ocken, Kathy
Director:
CR PM: Lorence, Susan

Description Of Change

Integra is requesting that Centurylink create a process or procedure that will create a standard format with standardized information for the Provider Test Notifications. This includes all PTA Notices.

The notices should be delimited in a way that could be parsed by other applications or readers. The requested format is a colon delimited format with each data field on its own line.

The main field/data names should always be consistent if they are applicable to all the forms. I.E All notices say ‘PON Number’ for the CLEC PON associated to the email. Or ‘LEC/USW/CLINK Order Number’ for the Centurylink Service Order Number.

The field/data names that are applicable for the various forms should always be present and consistent even if they may not be applicable for that particular test result.

The content of the data should be consistent across all service centers and users filling in the forms. I.E. All Serial number formats are separated by a ‘.’ Or ‘/’ for an ECCKT. All Telephone numbers are separated by a ‘-‘ in the correct positions. CFA information should be in a consistent format.

The subject lines of the emails have a consistent and recognizable format. I.E. The subject includes the Carrier PON, the Type of Testing, and the Date of testing. PTA: SP-1234567-DS1,UBL - XDSL, 05162012

The header of the form will always be consistent. I.E. the header will always be USW(or appropriate name)/CLEC followed by the type of Testing. Also the names used will be consistent – Integra or Integra Telecom one or the other will always be used.

Yes/No Answers will be consistent in using the full word in all CAPS.

Non applicable fields will be consistently left blank or flagged as NA.

DESIRED DELIVERABLE: Centurylink will implement and enforce a procedure that creates a standardization that all CLECs will be able to rely on for easy reading or parsing of the notifications.


Status History


Project Meetings

10/17/12 Product/Process CMP Meeting Mark Coyne – CenturyLink said the final notification was sent on 9/7/12 with an effective date of 9/24/12. The CR is in CLEC Test. Mark said we would like to move the CR to Completed and asked if there were any questions. There were none.

09/19/12 Product/Process CMP Meeting Mark Coyne – CenturyLink said the level 4 initial notification was sent on 8/17/12 and the final notice was sent 9/7/12 with the planned effective date of 9/24/12; there were no CLEC comments. This CR would be revisited in October.

08/15/12 Product/Process CMP Meeting Mark Coyne - CenturyLink relayed that last month we said the initial notice was planned for early August with a planned effective date of 9/17/12. Mark said instead the initial notice will go out on 8/17/12 with a planned effective date of 9/24/12.

Kathy Ocken – CenturyLink relayed that downloads have been created for the Unbundled Local Loop - General Information and the Unbundled Local Loop - 2-Wire or 4-Wire Analog Loop PCATs to provide the agreed upon format and an example of the PTA notices.

Mark Coyne – CenturyLink asked if there were any questions. There were none.

07/18/2012 CMP Prod/Proc Meeting Mark Coyne - CenturyLink recapped the Change Request and asked Kathy Ocken from CenturyLink to provide an update on the request.

Kathy Ocken – CenturyLink stated that the planned implementation date is September 17, 2012. CenturyLink will be able to meet most of the line items in the request however some are still in development. One of the items, “each data field on its on line”, may be affected when text wrapping occurs in specific readers. All other requirements seem to be managed.

Kim Isaacs – Integra stated that Steph Prull was not able to join the call, but asked for confirmation on the wrapping issue.

Kathy Ocken – CenturyLink stated that Outlook seemed to be the email reader that most commonly wrapped text, but other readers seemed to not have that issue.

Liz Tierney – Megapath Inc. asked for clarification that the information was there and that it was simply formatting when received by the CLEC.

Kathy Ocken – CenturyLink stated that it seemed as if Outlook was not recognizing a “carriage return”.

Mark Coyne – CenturyLink stated that the Level 4 notification associated with this change would likely go out the early part of August for an effective date of September 17, 2012.

06/20/2012 CMP Prod/Proc Meeting Steph Prull – Integra presented the CR. Steph said PTA notices should have consistent information and be delimited in a way that could be parsed by other applications.

Mark Coyne – CenturyLink asked if there were any questions. There were none. He added that a clarification call was held June 11, 2012. CenturyLink is currently evaluating the CR.

06/11/12 Clarification Call Meeting Minutes Attendees: Steph Prull – Integra, Kim Isaacs – Integra, Laurie Roberson – Integra Kathy Ocken – CenturyLink, Ann Robberson – CenturyLink , Sue Leuschen - CenturyLink, Bob Mohr – CenturyLink, Mark Coyne -CenturyLink, John Hansen - CenturyLink, Susan Lorence - CenturyLink

Susan Lorence – CenturyLink took attendance and asked Steph Prull – Integra to give an overview of her Change Request (CR).

Steph Prull – Integra stated that Integra was looking for standardization of the PTA notifications sent from CenturyLink. Steph said important pieces of information that are needed in Integra systems are not always consistent or formatted in the same manner by CenturyLink. This change request asks for consistency and clarity with all notifications so that they will be easier to interpret.

Susan Lorence – CenturyLink stated that she would like to go over each point in the CR so that CenturyLink would have a clear understanding of what Integra was proposing. The first line stated standard format. Susan stated that they are currently sent via E-mail and asked for confirmation that Integra was not asking for delivery in a different format.

Steph Prull – Integra said yes. Since the form was not an industry standard, email was fine but it needed to be consistent.

Susan Lorence – CenturyLink asked for clarification regarding Integra’s request that this applies to “all PTA notices”, i.e., to which products they are referring.

Steph Prull – Integra stated DSL, Unbundled Loop, T-1 and any other products for which they receive a PTA notification.

Susan Lorence – CenturyLink said the CR requests that the notifications be delimited by a colon to allow parsing by other applications. She asked Kathy Ocken – CenturyLink if it was true that colon delimiters were used today.

Kathy Ocken – CenturyLink stated that was correct, that the colon separated the field name from the detail.

Steph Prull – Integra stated that Integra was fine with that but that they have found notices where that was not the case and that they wanted it consistent.

Susan Lorence – CenturyLink asked about the CR line requesting that the main data field name be consistent if applicable to all forms, e.g., PON and the CenturyLink order number. This is a request to standardize the name.

Steph Prull – Integra stated it did not necessarily matter what the field names were as long as they were consistent and said as an example that they may see all three CenturyLink company names today.

Susan Lorence – CenturyLink asked Steph to elaborate on the next part of the CR regarding that the field/data names that are applicable for the various forms should always be present and consistent.

Steph Prull – Integra said that every field should be included on a PTA notice. If there were twenty fields possible, Integra would like to see all twenty fields with each notice even if there is no data populated instead of missing fields if there is no data.

Kathy Ocken – CenturyLink asked if she were referring to the test results PTAs.

Steph Prull – Integra confirmed that it was the test results PTAs.

Sue Leuschen – CenturyLink asked if Integra wanted all fields provided even if there was no data associated with that field in a particular notification.

Steph Prull – Integra stated that she is requesting that the field be left blank or populated with “NA” on the fields that were not required and that she could send some examples if necessary. In some cases, the field is missing from the test results, or it would be blank or have “NA”. Steph said if all fields were present and populated in a consistent manner, it would be easier to interpret especially for people who are new to reading the results.

Susan Lorence – CenturyLink asked if Integra was looking for a single combined form or if they were looking for a standard per type of PTA?

Steph Prull – Integra confirmed that they are asking for a standard form per type of PTA; she said they are not looking for one form for everything. She said she is not particular whether it is blank or NA just that it is consistent.

Susan Lorence – CenturyLink asked for any clarification regarding the CR Description line that addressed content of the data being consistent across all service centers and users filling in the forms.

Steph Prull – Integra confirmed that those familiar with formatting could figure it out no matter how it was presented but those new to the industry had trouble if the formatting was inconsistent and how to enter it into their systems. She said they have seen that the same CenturyLink person may not be consistent.

Susan Lorence – CenturyLink asked for clarification regarding the CR Description that addressed subject lines of the emails.

Steph Prull – Integra stated that the subject lines are not consistent and that what she included were the most common set of information. They would like to see enough information to be able to determine where the notices should be sent internally in their company and that the subject be consistently formatted.

Susan Lorence – CenturyLink asked if these are the suggested fields and asked if Integra only wanted these fields.

Steph Prull – Integra confirmed that those are the only fields that Integra needs but that she is not against seeing more fields as long as CenturyLink lets them know. Her personal preference is that those three fields start the subject line and if additional information is included, any extra would be added to the end.

Susan Lorence – CenturyLink asked for clarification regarding the CR Description that addressed the header will always be consistent. Susan asked how CenturyLink would know what appropriate Integra name that Integra would want there?

Steph Prull – Integra stated that it was not clear how the data was populated, if it were table driven or hand typed. Steph said if the SMEs could educate Integra as to what was used to populate, CenturyLink and Integra could work together to determine how this was addressed as long as consistency is considered. She said this field was not as important as some of the others.

Susan Lorence – CenturyLink said it was good that Integra was open on this requirement since this might be difficult from a CLEC standpoint.

Steph Prull – Integra said it would help for them to know where the data was coming from, they may be able to better address it.

Susan Lorence – CenturyLink read the CR Description line requesting Yes/No Answers be consistently all caps.

Steph Prull – Integra said yes and that it would help when the data were to be parsed.

Susan Lorence – CenturyLink stated that the last point on the CR Decsription, blank or NA, had already been addressed.

Steph Prull – Integra agreed that one or the other would be fine as long as it were consistent.

Susan Lorence – CenturyLink asked if there were any other questions. There were none. Susan said it sounds like CenturyLink understands what Integra is asking and detailed investigation would ensue. If necessary, additional calls may be requested to cover any uncertainties or potential solutions that need to be presented.

The call was concluded at 9:22 AM MT.


Open Product/Process CR PC060812-1EX Detail

 
Title: Allow a CLEC to request conditioning/remove all conditioning on a single trouble report.
CR Number Current Status
Date
Area Impacted Products Impacted

PC060812-1EX Completed
10/17/2012
Maintenance and Repair Unbundled Loop
Originator: Isaacs, Kim
Originator Company Name: Integra
Owner: Mohr, Bob
Director:
CR PM: Lorence, Susan

Description Of Change

This change would allow CLECs to request “Conditioning and/or Remove All Conditionings” on a single trouble report which indicates that the CLEC is pre-authorizing both Conditioning/Remove All Conditioning on a single trouble report in the event that Conditioning does not bring the xDSL circuit into the performance parameters. Integra’s positions on the need to submit this change request are contain in CenturyLink change request PC072010-1ES Revised Change in Process for xDSL Capable Loops, e.g. Non-Loaded and ADSL Compatible Loops (aka xDSL Services). See: http://www.centurylink.com/wholesale/cmp/cr/CR_PC072010-1ES.html

Integra submitted this request as an exception because CenturyLink/Qwest has agreed to this approach and has already done ground work related to this request.

6/15/12 – REVISION: The Exception Process requested above is to implement conditioning/remove all conditioning on a single trouble report in Minnesota using a 31 day implementation schedule. Implementation of condition/remove all conditioning on a single trouble report in other 13 states will follow the CMP Document Level 4 Product/Process guidelines.

Expected Deliverables/Proposed Implementation Date: Qwest/CenturyLink will expeditiously implement a process that allows a CLEC to request condition/remove all conditioning on a single trouble report.


Status History


Project Meetings

10/17/12 Product/Process CMP Meeting Mark Coyne - CenturyLink said the Exception request specific to Minnesota went into effect on 8/6/12. The final notice for the remaining states was sent on 8/17/12 with phased effective dates starting 9/4/12 and ending 9/24/12. The CR is in CLEC Test. Mark said we would like to move the CR to Completed.

Kim Isaacs – Integra said that was fine.

09/19/12 Product/Process CMP Meeting Mark Coyne - CenturyLink said the Exception request specific to Minnesota went into effect on 8/6/12. For the remaining states, all remaining states are now in effect except for Idaho and Washington which will go into effect on 9/24/12. Mark said the CR will then be moved into CLEC Test. Mark asked if anyone has used the process and how the process is working to date?

There were no CLEC responses.

Mark Coyne- CenturyLink said it did not sound like it had been used.

08/15/12 Product/Process CMP Meeting Mark Coyne - CenturyLink said the level 3 notice related to the Integra Exception request specific to Minnesota went into effect on 8/6/12. For the remaining states, the initial level 3 notice went out 7/23/12 that includes a phased implementation. He said the final notice will be sent 8/17/12 and it will show the phased effective dates starting 9/4/12 through 9/24/12 for the remaining states.

07/18/2012 CMP Prod/Proc Meeting Mark Coyne - CenturyLink recapped the Change Request and activities to date. The Level 3 notice was distributed on July 6, 2012 with an effective date of August 6, 2012. Mark asked Bob Mohr for an update.

Susan Lorence – CenturyLink stated that there was a document posted to the calendar that Bob will be speaking to.

Bob Mohr - CenturyLink indicated that the Minnesota implementation was scheduled for August 6, 2012. The SME team has completed the process and is in progress of training the Minnesota team. CenturyLink received comments from Integra on the Conditioning download and agrees to accept those changes. He stated that a new notice would be distributed on July 23, 2012 regarding implementation in the remaining states. The roll-out schedule is included in the document posted to the calendar.

07/02/12 Exception Vote Meeting Minutes Attendees: Laurie Roberson – Integra, Liz Tierney – Megapath, Al Finnell – Windstream, Joyce Bilow – Windstream, Bob Mohr – CenturyLink, Jamal Boudhaouia – CenturyLink, Mark Coyne – CenturyLink, Susan Lorence – CenturyLink Susan Lorence – CenturyLink opened the call and identified that for this second vote meeting for the exception portion of CR PC060812-1EX, it was not required to reach quorum on the call for the vote to be taken. Susan provided the background for the CR as available on the Status History for this CR on the Product Process Interactive report.

Susan Lorence – CenturyLink then asked Laurie Roberson – Integra if she had anything that she wanted to share in regard to this CR.

Laurie Roberson – Integra said no she did not.

Susan Lorence – CenturyLink read what a vote of “Yes” and “No” would mean in regard to this CR. She then asked each Company representative on the call to state their vote. Susan identified that CenturyLink had received two votes via email.

Each Voting Carrier and their vote is listed in the table below: Voting Carrier Voting Participant VOTE Integra Laurie Roberson (by phone) Yes MegaPath Liz Tierney (by phone) Yes Windstream Al Finnell (by phone) Yes CenturyLink Mark Coyne (by phone) Yes Velocity Jim Hickle (by email) Yes TDS Metro Rod Cox (by email) Yes

Susan Lorence – CenturyLink relayed that the Integra request for the exception was granted and shared the following planned timeline for Minnesota ONLY for a level 3 notice for the “change in process” to be sent with a 31 day timeline: o Level 3 notice announcement date: 7/6/12 o Formal CLEC comments cycle: 7/7/12 – 7/21/12 o Final notice and response to comments, if applicable: 7/22/12 NOTE: THIS NOTIFICATION WILL BE SENT ON SUNDAY which is normally not the case for notifications. o Effective date: 8/6/12

Laurie Roberson – Integra asked if CenturyLink would share the timeline for the remaining states in the July CMP meeting.

Susan Lorence – CenturyLink said yes; the SME team is currently determining the rollout schedule for the remaining states. Susan asked if there were any other questions. There were none.

The call ended at 11:10 AM MT.

06/27/12 Exception Vote Meeting Minutes Attendees: Kim Isaacs – Integra,Laurie Roberson – Integra, Jawaid Bazyar - FORETHOUGHT.net, Bob Mohr – CenturyLink, Jamal Boudhaouia – CenturyLink, Don DeLand – CenturyLink, Donovan Trevarrow – CenturyLink, Mark Nickell – CenturyLink, Mark Coyne – CenturyLink, Susan Lorence – CenturyLink Susan Lorence – CenturyLink opened the call and identified that for the CR exception vote to be taken, quorum had to be reached per Section 17.0 of the CMP document. Quorum for the call is eight. Susan identified that CenturyLink had received three votes via email that would provide for representation of six which would not reach quorum. Susan relayed that if the call needed to be rescheduled, the vote would be postponed for three business days and that for the second exception call, the vote will be taken regardless of whether quorum was established. Susan said that the call-in Bridge would remain open for ten minutes to allow other attendees to join the call; ten minutes is the normal window for walkthroughs. Susan asked call participants if that was an appropriate timeframe.

Kim Isaacs – Integra agreed.

By 10 minutes after the call had started, no other attendees joined the bridge.

Susan Lorence – CenturyLink read the specific wording from Section 17.4.1 in regard to the process when quorum is not reached and said she would reschedule the call for Monday, July 2. Susan asked Integra for the best times for the call to be scheduled based on their calendar.

Kim Isaacs – Integra said she would be out of the office on that day but said that Laurie Roberson – Integra would be available on Monday.

Susan Lorence – CenturyLink said she would schedule a second Exception Vote call for Monday and would send out a notification to inform CLECs that a vote had not been taken; customers who had sent in email votes would also be informed no vote had been taken. Susan relayed that assuming that the exception is approved on Monday, the CenturyLink SME team had come up with the following tentative timeline for Minnesota ONLY for a level 3 notice for the “change in process” to be sent with a 31 day timeline: o Level 3 notice announcement date: 7/6/12 o Formal CLEC comments cycle: 7/7/12 – 7/21/12 o Final notice and response to comments if applicable: 7/22/12 NOTE: THIS NOTIFICATION WILL BE SENT ON SUNDAY which is normally not the case for notifications. o Effective date: 8/6/12 Susan Lorence – CenturyLink also relayed that during the July 18 CMP meeting, CenturyLink would provide the planned implementation timeline for the remaining states. Susan asked if there were any questions. There were none. The call ended at 10:45 AM MT.

06/20/2012 CMP Prod/Proc Meeting Kim Isaacs – Integra presented the CR that was also submitted as an exception request. The CR has since been revised to ask for a 31-day implementation in Minnesota only with the other states to follow the CMP Level 4 Product/Process procedures.

Mark Coyne – CenturyLink added that an exception pre-meeting was held June 13, 2012. CenturyLink has revised the CR to capture Kim’s changes. An exception vote meeting is scheduled for June 27, 2012. Mark relayed that the notice and voting specifics are posted to the wholesale calendar for that date. Some email votes have already been received. CenturyLink SMEs are working to develop the process.

Bonnie Johnson – Minnesota Department of Commerce asked if it would be implemented in Minnesota 31 days from the vote or on what date the 31 day clock would start.

Mark Coyne – CenturyLink responded that, depending on the outcome of the vote, CenturyLink would see how quickly it could be implemented.

06/13/12 Clarification Call and Pre-Meeting Exception Call Meeting Minutes Attendees: Kim Isaacs – Integra, Laurie Roberson – Integra, Al Finnell – Windstream, Joyce Bilow – McLeod dba Windstream, Jim Hickle – Velocity, Emily Davis – Midcontinent Communications, Chris Viveros – CenturyLink, Jill Seals – CenturyLink , Lucy Davis – CenturyLink, Jamal Boudhaouia – CenturyLink, Bob Mohr – CenturyLink, Mark Coyne – CenturyLink, John Hansen – CenturyLink, Susan Lorence – CenturyLink

Susan Lorence – CenturyLink took attendance and explained the reason for the call. Susan said two things were key to address in the pre-meeting: clarify the CR and develop a clear statement of what the exception vote of “yes” and “no” means. Susan asked Kim Isaacs – Integra to give an overview of her Change Request (CR). Kim Isaacs – Integra said that the CR requests that CenturyLink expeditiously implement a process that allows a CLEC to request conditioning/remove all conditioning on a single trouble report. Kim said this would be similar to the provisioning process and that she believes the xDSL amendment allows the ability to request this. Integra said the exception is to implement this as soon as possible. Jamal Boudhaouia – CenturyLink asked for clarification based on discussions in the Minnesota 1066 Docket. Jamal said that the (6/20/12 Updates received from Integra in CAPS) [delete EXPEDITED] process would be specific to Minnesota.

Kim Isaacs – Integra asked about the other states.

Jamal Boudhaouia – CenturyLink said CenturyLink is not saying “no” to the other states but until the impact is known, it would be Minnesota only.

Kim Isaacs – Integra asked if another CR would be required for the other states or would the process be phased similar to the original xDSL process.

Jamal Boudhaouia – CenturyLink said the original CR was phased but that CenturyLink is still evaluating this process change. Jamal said CenturyLink is focusing on Minnesota and evaluating the need for an amendment in the other states. Kim Isaacs – Integra said that Integra disagrees with the CenturyLink position. Integra believes the current amendment allows conditioning/remove all on a single ticket.

Jamal Boudhaouia – CenturyLink says CenturyLink understands the Integra position.

Kim Isaacs – Integra asked if there was commitment for the other thirteen states.

Jamal Boudhaouia – CenturyLink said at this point there is not commitment but that CenturyLink may be looking at a phased approach at a later time but that we need to determine the impact to the Network organization.

Kim Isaacs – Integra said CenturyLink should have a good idea of the impact on repair based on the current process for installation. Kim said the data is available on how often conditioning/remove all is requested on LSRs and that CenturyLink could make some assumptions.

Jamal Boudhaouia – CenturyLink said the processes and organizations are different between provisioning and repair.

Chris Viveros – CenturyLink said it was not clear on the point that the LSR provisioning data would be used to estimate the impact to repair on a working circuit.

Kim Isaacs – Integra said she does not think there is high volume on installation where there has been conditioning and then CenturyLink has had to do “remove all”. She said needing both conditioning/remove all on installation is higher than on an existing circuit. Kim said if the volume is not high on installation, it will not be high on repair.

Chris Viveros – CenturyLink said CenturyLink was not implying that the volume would be overwhelming. He said the impact is more than quantity, it is the foreignness of the process. Chris said conditioning is part of provisioning and the issue is how to insert a provisioning step in the repair flow. He said we have allowed conditioning on repair but now the requirement is to determine the type of conditioning necessary. Chris said he understood the Integra exception request to implement more quickly in Minnesota since there were negotiations there.

Kim Isaacs – Integra said she thought CenturyLink the repair centers were the same in all states and no center was Minnesota only. Kim said she thought not including all states vs. just doing the process in Minnesota would be more difficult. Kim said the techs are currently doing the steps on two separate tickets and she did not understand why one ticket was more impacting.

Jamal Boudhaouia – CenturyLink said if it only impacts the center, that would be true. Jamal said the center has to send the request to the outside field. He said the provisioning process is totally different than conditioning, the technicians are different. Jamal said CenturyLink needs to understand the impact to the outside forces. It is much more involved work during the repair process than provisioning and different steps and resources are involved. . Kim Isaacs – Integra (6/20/12 Updates received from Integra in CAPS) [delete ASKED IF] QUESTIONED WHY combining the conditioning and remove all on a single ticket would cause the outside field techs too much confusion.

Jamal Boudhaouia – CenturyLink said it is not confusion but identifying what process to follow. It is combining two processes – conditioning and remove all and doing that effectively in repair.

Kim Isaacs – Integra said she was very disappointed.

Jamal Boudhaouia – CenturyLink said it was noted.

Kim Isaacs – Integra asked if Integra could get a commitment to start with Minnesota and then expeditiously phase the process in within the other states.

Jamal Boudhaouia – CenturyLink said he cannot commit to that today.

Jim Hickle - Velocity asked what could be committed to and over what timeframe. He asked what the normal implementation timeline was across the fourteen states.

Jamal Boudhaouia – CenturyLink said he could not commit to anything but would take it back.

Chris Viveros – CenturyLink said it depends on what is being implemented.

Jim Hickle - Velocity said he thought that CenturyLink had a normal implementation timeline for fourteen states and that it was frustrating for it to take this long to make a decision. He said it should be acceptable to both sides to say, barring unforeseen problems, the process could be implemented in six months. Susan Lorence – CenturyLink said she wanted to get back to the CMP process for this CR. Jim Hickle – Velocity said that getting to a timeline for implementation was within the realm of the CR.

Susan Lorence – CenturyLink recapped that CenturyLInk was looking at Minnesota for the exception and that CenturyLink is considering the impact to the other states. Susan asked if everyone understood what (6/20/12 Updates received from Integra in CAPS) [delete THE CR WAS ACTUALLY] CENTURYLINK IS asking for.

Kim Isaacs – Integra said yes.

Susan Lorence – CenturyLink explained the normal level 4 CR timeline and said the CR was asking for CenturyLink to expeditiously handle the state of Minnesota. She asked once the process for Minnesota was identified, would a 21 day implementation timeline be appropriate and then a normal phased implementation timeline would be used for the other states? Susan said we needed something to be defined as the exception to the CMP process.

Kim Isaacs – Integra said she thought that the exception request would be to have Minnesota implemented on a 21 day cycle and then the remainder of the states implemented on a phased approach.

Susan Lorence – CenturyLink asked Kim to send in a revision to the CR to make that specific as part of the CR exception request.

Kim Isaacs – Integra said she would take that back.

Susan Lorence – CenturyLink said from a CMP perspective, we need a clear understanding of what is being requested for the exception vote to occur. She said we do have a clear understanding of the process change that the CR is requesting. Regarding the actual exception vote, Susan said per Section 16.3 of the CMP document, if the vote was to occur in the June monthly CMP meeting, the CR would have had to have been received 13 days prior to the CMP meeting. Susan proposed that the CR be presented in the June meeting and that the exception vote be taken five business days later on June 27.

Susan Lorence – CenturyLink asked if there were any other questions on the CR or on the exception request. There were none. Susan said CenturyLink would wait to hear back from Kim on submitting the update to the CR that specifies the actual exception for the CR.

Kim Isaacs – Integra said correct.

Susan Lorence – CenturyLink asked if there were any other points to discuss before the call was ended. There were none.

The call was concluded at 9:30 AM MT.


Open Product/Process CR PC072905-1 Detail

 
Title: Title Revision 08/10/2005: Delivery Interval for UBL ADSL and for 2 Wire Non Loaded UBL (Orig Title:Delivery Interval for ADSL and xDSL Capable Loops)
CR Number Current Status
Date
Area Impacted Products Impacted

PC072905-1 Completed
2/16/2006
Provisioning UBL ADSL, 2-wire non-loaded UBL
Originator: Worthen, Brian
Originator Company Name: InTTec, Inc.
Owner: Buckmaster, Cindy
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Qwest’s retail DSL product (line-share and Standalone) now have delivery times of 3 business days. It would be appropriate for ADSL and xDSL capable loops used by CLECs for DSL delivery to have the same Service Delivery Interval.

Expected Deliverable:

11/1/05


Status History

07/29/2005 - CR Submitted

08/01/2005 - CR Acknowledged

08/01/2005 - Email Sent to InTTec, Requesting Clarification Meeting Availablility

08/10/2005 - Clarification Meeting Held

08/17/2005 - Discussed in the Monthly Product Process CMP Meeting

09/21/2005 - Discussed in the Monthly Product Process CMP Meeting

10/19/2005 - Discussed in the Monthly Product Process CMP Meeting

11/16/2005 - Discussed in the Monthly Product Process CMP Meeting

12/14/2005 - Discussed in the Monthly Product Process CMP Meeting

01/09/2006 - PROS.01.09.06.F.03565.Interconn_SIG_V60 (Level 2)

01/18/2006 - Discussed in the Monthly Product Process CMP Meeting

01/30/2006 - Status Changed to CLEC Test Due to January 30, 2006 Implementation

02/15/2006 - Discussed in the Monthly Product Process CMP Meeting

02/16/2006 - Status Changed to Completed With the Concurrence of the CR Originator (via email)


Project Meetings

February 16, 2006 Email Sent to InTTec: Brian, It sounds like you are okay to close the CR. That will complete it out. Thanks much!

-- February 16, 2006 Email Received From InTTec: Peggy, Great! Thank you so much. This completes our transaction, I believe. Brian Worthen InTTec Inc

February 16, 2006 Email Sent to InTTec: Brian, Your request was implemented on January 30th. I have attached a copy of the Level 2 Notice that was sent on January 9th, which has additional information. Thank you, Peggy Esquibel-Reed Qwest Wholesale CMP

- February 15, 2006 Email Received From InTTec: Peggy, Not sure I understand. Does that mean the 3 day delivery interval was implemented? Brian Worthen InTTec Inc

- February 15, 2006 Email Sent to InTTec: Good Afternoon Brian, This email is in regard to the CMP CR that you submitted, PC072905-1 Delivery Interval for UBL ADSL and for 2-Wire Non-Loaded UBL. This CR was implemented on January 30, 2006. The CLEC Community had no objection to the closure of this CR, during this morning’s Monthly CMP Meeting and I now need to see if you also agree that this CR can be closed. Will you please respond to this email and let me know if this CR can be closed. If there is an issue that is preventing your concurrence to closing this CR, please provide me with details and I will see what I can do to help with the resolution of any issues. Thanks much, Peggy Esquibel-Reed Qwest Wholesale CMP

-- February 15, 2006 Monthly Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that this CR was implemented on January 30th and that Qwest would work to close the CR off-line, with the CR originator. Jill then asked if there was any objection to closure. There was no objection.

January 18, 2006 Monthly Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that the Level 2 Notice was out on January 9th with a targeted date of January 30th. Jill then noted that this CR would move to CLEC Test on January 30, 2006.

- December 14, 2005 Monthly Product Process CMP Meeting Discussion: Jill Martain/Qwest stated that this CR is on target for January 28th deployment. This CR remains in Development Status.

-- November 16, 2005 Monthly Product Process CMP Meeting Discussion: Deb Smith/Qwest stated that the targeted effective date for this change is early February because of coordination that is needed with back-end systems. Deb then noted that the notice would be sent around the 2nd week of January. This CR remains in Development Status.

-- October 19, 2005 Monthly Product Process CMP Meeting Discussion: Deb Smith/Qwest stated that Qwest has completed the research for this CR and is accepting this CR. Deb noted that details are being finalized, along with the implementation date, and more information would be provided in the November CMP Meeting. Jill Martain/Qwest noted that back-end system changes are needed for this CR as well and noted that this CR is in Development Status.

-- September 21, 2005 Monthly Product Process CMP Meeting Discussion: Deb Smith/Qwest stated that Qwest would like to move this CR to Evaluation status in order to continue with the analysis to reduce the interval to 3 business days. There were no comments or questions. This CR moves to Evaluation Status.

- September 1, 2005 Ad Hoc Call ATTENDEES: Heidi Moreland-Qwest Deb Smith-Qwest Alan Breager-Qwest Shirley Tallman-Qwest Brian Worthen-InTTec Inc. Jo Wees-Qwest Kathy Ocken-Qwest Gary Stacy-Qwest Cindy Harlan-Qwest

Cindy Harlan-Qwest reviewed the CR and the purpose of this call. Cindy advised that Qwest has begun reviewing this request and that we have a few additional questions.

Deb Smith-Qwest advised that we have a Quick Loop process already available for 2/4 wire UBL non loaded. Deb directed the team to the PCAT where this process is documented. Deb explained some of the specific requirements that would allow your request to qualify as a Quick Loop. The work could not require a dispatch out to the end user location. It does not include conditioning. It would include only central office activities.

Brian Worthen-InTTec asked about a new loop order. Brian said that sometimes there is a Qwest TN at the premise, but his order is a new order.

The team reviewed the PCAT, Tech Pub, SIG, and discussed the different NC/NCI combinations, and the different LSR activity types that are valid for Quick Loop. Jo Wees-Qwest explained if an order comes in trying to order something that is not eligible for Quick Loop, IMA would not allow the Quick Loop due date.

Brian confirmed that he is looking for the same interval on new orders, not on conversions, as he does very few conversions. Deb advised that the Quick Loop Process does not apply to new orders. Deb thanked Brian for the clarification and advised that we have the additional information that we needed, so we will continue to review this request.

Cindy confirmed that we will provide Qwest’s response and additional status at the September CMP meeting.

August 30, 2005 Email Sent to InTTec: Good Morning Brian, This email is a follow-up to the voicemail message that I left for you late last week. We would like to have another discussion with you regarding your submitted CMP CR, PC072905-1 Delivery Interval for UBL ADSL and for 2-Wire Non-Loaded UBL. Will you let me know when you are available to talk with us? Several dates and times would be great. As soon as I receive your availability, I will schedule the call and send you the call-in information. Thanks much, Peggy Esquibel-Reed Qwest Wholesale Change Management

- August 25, 2005 Voicemail Left for InTTec, requesting a meeting to discuss this CR.

- August 17, 2005 Monthly Product Process CMP Meeting discussion: Peggy Esquibel Reed-Qwest read the CR Description. [Comment received from Eschelon: Peggy said the title was revised to delivery of Q DSL in 3 days.] Jill Martain-Qwest stated that this CR moves to presented status.

August 10, 2005 Clarification Meeting Minutes Attendees: Brian Worthen-InTTec, Peggy Esquibel Reed-Qwest, Deb Smith-Qwest, Kathryn Ocken-Qwest, Heidi Moreland-Qwest, Jo Wees-Qwest

Peggy Esquibel Reed-Qwest reviewed the CRs Description and asked InTTec if they had additional information to provide. Brian Worthen-InTTec stated that there was no additional information. Peggy Esquibel Reed-Qwest casked to onfirm that the impact was to Provisioning for UBL ADSL and xDSL. Brian Worthen-InTTec stated it is for what is in the SGAT, Exhibit A. The USOCs are U23WX and UY2FX Qwest noted that UY2FX is for 2-wire non-loaded loop and not for xDSL, and asked for clarification of the USOCs/Products. It was asked for confirmation that this request is for U23WX = 2-wire non-loaded UBL, and UY2FX = ADSL UBL Brian Worthen-InTTec said yes. Brian Worthen-InTTec stated that currently these products have a 5 business day interval and that Retail's interval is currently a 3-day delivery. There were no additional questions or comments. Peggy Esquibel Reed-Qwest stated that InTTec is scheduled to present this CR to the CLEC Community at the August 17th CMP Meeting and that Qwest's response/status is due in mid-September


CenturyLink Response

October 10, 2005

Revised Response For Review by the CLEC Community and Discussion at the October 19, 2005 Product Process CMP Meeting

TO: Brian Worthen InTTec, Inc.

SUBJECT: CR # PC072905-1 Delivery Interval for UBL ADSL and for 2-Wire Non-Loaded UBL

Qwest has completed the analysis for this Change Request and will accept this request. Specific details are being finalized, along with the implementation date.

Qwest would like to move this CR to Development status and will provide additional details in the November CMP Meeting.

Sincerely, Qwest

September 13, 2005

For Review by the CLEC Community and Discussion at the September 21, 2005 Product Process CMP Meeting

TO: Brian Worthen InTTec, Inc.

SUBJECT: CR # PC072905-1 Delivery Interval for UBL ADSL and for 2-Wire Non-Loaded UBL

This letter is in response to the Change Request submitted by InTTec, Inc., PC0729505-1 (Delivery Interval for UBL ADSL and for 2-Wire Non-Loaded UBL). This CR requests an interval of 3 business days for UBL ADSL and for 2-wire Non-Loaded UBL.

A clarification call was held on August 10, 2005, and a revision to the CR was then received on August 10th. Internal calls were held in order to discuss this request and another call was requested with the CR originator. Another call then occurred on September 1st, for education purposes and for further clarification of this request. Clarification was obtained that InTTec is looking for the same interval for new orders, not on conversion orders.

Qwest would like to place this CR in evaluation status in order to continue with analysis of this request. Qwest will provide an updated response at the next CMP meeting. Sincerely, Qwest


Open Product/Process CR PC060514-1 Detail

 
Title: CLLI Change Order Process Requested
CR Number Current Status
Date
Area Impacted Products Impacted

PC060514-1 Denied
10/15/2014
Ethernet / MOE Orders
Originator: Mereau , Matt
Originator Company Name: Level 3
Owner: Morrell, Diane
Director:
CR PM: Lorence, Susan

Description Of Change

Today if an Ethernet order were to follow a flow through order process with CenturyLink and an incorrect CLLI or Switch were assigned where a customer could not access, By current process CenturyLink requires Level3 to submit a new Install/Disco order to get the order assigned to a new switch. Ideally we should not have to submit any new orders as this is essential a CenturyLink mistake. In summary if CenturyLink is not able to provide a quick resolution where they assign incorrect CLLI’s we would at minimal like to be able to submit a change order instead of install/disco with standard sla.

Expected Deliverables/Proposed Implementation Date: ASAP


Status History


Project Meetings

11/19/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said he was going to provide a status on this CR even though it is not included in the package this month. Mark said we heard back from Matt Mereau – Level 3 and Matt had no issues with us closing this CR in a Denied status as being economically not feasible due to the low volume. Mark said the CenturyLink response indicated that the SME team had reviewed the Level 3 PONs and provided feedback on each of them. Mark said CenturyLink had also identified that going forward, internal steps had been invoked to insure adherence to the stated process.

10/15/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said the CenturyLink SME team investigated the five PONs from Level 3 that were examples of the reason this CR was submitted. That information was sent to Matt Mereau - Level 3 in early September. Matt requested a call to better understand the information. On September 18, a call was held with Service Management and the SME team to review each PON. Matt said he would look for additional PONs but also said the conditions surrounding this CR do not appear to be as significant as originally thought. Mark said a draft response was sent to Matt that denies this CR as being economically not feasible due to low volume. Mark relayed CenturyLink also implemented steps to insure process adherence as indicated in the draft CenturyLink response included in the package. CenturyLink will follow-up with Matt to see if there are any questions about the denial.

9/17/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was submitted by Level 3 and was presented in the August monthly meeting. The Clarification call had been held on June 12. The CenturyLink SME team investigated the five PONs from Level 3 where this scenario was thought to be a problem. CenturyLink sent an email to Matt Mereau – Level 3of the specifics of the PON investigation. Follow-up with Matt resulted in a request to meet with the CenturyLink Service Manager and the SME team on 9/18/14 to review the specific situation of each PON. In the August monthly CMP call, Matt said he thought he had another PON occurrence which is still pending. Mark said depending on the result of the SME team and Service management team discussion, we may have a process clarification to make in the CenturyLink documentation.

8/20/14 Product/Process CMP Meeting Mark Coyne – CenturyLink introduced the CR that was submitted by Level 3 and said the Clarification call had been held on June 12.

Matt Mereau – Level 3 then presented the CR. Matt said that at times during CenturyLink Flow through, the incorrect CLLI may get assigned which then prevents their customers from access where the circuit is dropped. When that happens, the CenturyLink resolution is for a disconnect and new connect to be submitted causing a delay in delivery to the end user when the timeline starts over again. Matt said he is asking for a Change order process to shorten the delivery time. He said volume is not high but the current process impacts customer satisfaction.

Tracy Strombotne – CenturyLink asked what the volume of this is.

Mark Coyne – CenturyLink said that based on the Clarification call, it was shared the volume was not high. Mark said the SME team investigated five examples of PONs that MM submitted. Mark said the SME team is still investigating these but it appears three of the five examples were related to inside wiring and the other two were related to CenturyLink installing to a dedicated vs. a shared site. For those related to inside wire, a PCAT update may be required or an internal process update. The SME team will be responding to Level 3 on the specifics of these soon. A draft CR response should be available for the September meeting.

Matt Mereau – Level 3 said he agrees the volume is relative low but he had another one that came to his attention. Matt said he would submit the PON to the CMPCR mailbox for further investigation by CenturyLink.

Kim Isaacs – Integra said if an error has been made by CenturyLink, it was not right for CenturyLink to apply a standard interval to the corrective orders and follow a normal flow.

Mark Coyne – CenturyLink said CenturyLink would take that into account.

7/16/14 Product/Process CMP Meeting Mark Coyne – CenturyLink asked if anyone from Level 3 had joined the call. This CR is a carryover from the June CMP meeting. The Clarification call was held on June 12. The CenturyLink SME team is investigating five examples of the PONs where this has been a problem. The CR will hopefully be presented in the August CMP meeting.

6/18/14 Product/Process CMP Meeting Mark Coyne – CenturyLink said this was a new CR from Level 3 but the originator Matt Mereau was not able to be on the call today so the CR will be officially presented in the July CMP meeting. Mark said the Clarification call was held on June 12 and that during the call, CenturyLink requested information as to frequently this occurred and requested examples. The CR originator said he thought he had about six or so occurrences of this situation since the first of the year and would send those PONs. Mark said CenturyLink had received five PONS and that the CenturyLink SME team was reviewing the service requests.

6/12/14 CMP Clarification Meeting Attendees: Matt Mereau – Level 3 Laurie Roberson – Integra Paul Schlachter – CenturyLink Pat Bratetic – CenturyLink Mark Coyne – CenturyLink John Hansen – CenturyLink Susan Lorence – CenturyLink

Susan Lorence – CenturyLink opened the call and recapped the purpose of the clarification call. She relayed that the CR had originally been requested as an Exception CR but that after discussion with Matt Mereau – Level 3 as to what that meant per CMP, it was determined that it would follow the normal CMP CR process.

Matt Mereau – Level 3 then presented the new CR. Matt said occasionally Level 3 receives an escalation where the incorrect CLLI or Switch is assigned to the order and that it is not determined until the service is delivered to their customer. It then becomes an escalation to try to get the situation quickly resolved. The current process requires a disconnect and a new install order to resolve. Matt said he was told by his CenturyLink Service Manager Scott Ellefson that the problem is because the order follows a flow through process and that when the switch is assigned, it is not known that the switch assigned could not be accessed until the technician arrives. Matt asked if CenturyLink has seen this situation before.

Paul Schlachter – CenturyLink said CenturyLink is aware of the situation and that was a good description.

Matt Mereau – Level 3 said he is hoping to establish a process to correct the problem more quickly.

Paul Schlachter – CenturyLink asked whether Level 3 knew the volume of occurrences and could provide some examples.

Matt Mereau – Level 3 said he could provide examples. The current volume is not huge. Matt said there may have been 6 in the last year but it causes the Level 3 customers to have a bad experience which needs to change.

Paul Schlachter – CenturyLink asked if Level 3 is testing during “test and turn up” or whether Level 3 is waiting until equipment is placed.

Matt Mereau – Level 3 said they are waiting until the vendor completes the installation and cannot get to the location.

Paul Schlachter – CenturyLink said that sounds like it might be a different scenario in that the order was assigned to a dedicated closet.

Matt Mereau – Level 3 said he is getting his information from Scott Ellefson and that maybe he is getting the scenarios mixed up. He said the issue is that Level 3 cannot get to equipment because it is in a lock down closet for another customer.

Paul Schlachter – CenturyLink said that was why the examples will be good to figure out the scenario(s).

Matt Mereau – Level 3 said he can provide the examples and asked if PONs are required.

Paul Schlachter – CenturyLink said yes and to send them to the CMPCR mailbox.

Laurie Roberson – Integra asked if the desired switch that Level 3 wants is on the original order.

Matt Mereau – Level 3 said he thinks it is assigned by CenturyLink flow through.

Paul Schlachter – CenturyLink said the customer provides the actual address and a flow through CLLI. He has seen a couple instances where there is only one device in a location and it is not that the CLLI is incorrect but it cannot be connected to, like a locked closet.

Laurie Roberson – Integra asked what happens if a new order is written, why does the problem not reoccur.

Paul Schlachter – CenturyLink he needs to see the examples to see what the situation is, if the device was placed at wrong location, or if customer was expecting a certain floor and CenturyLink used an existing device rather than place a new device.

Laurie Roberson – Integra said if the order has a specific suite, CenturyLink may use a device that does not serve the suite.

Matt Mereau – Level 3 said like a common room.

Paul Schlachter – CenturyLink said that was correct, CenturyLink would connect to the demarc point. If inside wire was required to connect, it is up to the technician to determine depending on the distance.

Laurie Roberson – Integra asked if a CenturyLink tech is dispatched on these, how does a CenturyLink tech get access and install to a private location not owned by that customer.

Paul Schlachter – CenturyLink said that was why he needed to see the examples to see the scenario and to figure out why a disconnect and install was said to be the solution.

Laurie Roberson – Integra said she knows Ethernet is more complicated but if this happens on DS0, it goes to Repair to correct. She said a disconnect/install seems harsh.

Paul Schlachter – CenturyLink said from the CR Description, it seemed the situation was an incorrect CLLI but it sounds like it may be an incorrect device.

Matt Mereau – Level 3 said he understood the problem was caused because of flow through based on the address and that a site survey does not occur prior because the address implies the building is lit.

Paul Schlachter – CenturyLink said that was correct. Based on the address and what is in the building, CenturyLink tries to use an existing CLLI to go flow through so AQCB is not used to build new.

Matt Mereau – Level 3 said it would take a couple days to identify some PONs and he would try to provide a variety but he felt the discussion summed up the situation. He said you can imagine what happens with customer satisfaction when a customer’s interval goes from 30 or 60 days to 120.

Susan Lorence – CenturyLink said the SME team will look at the examples and that we may need to reconvene to review options – possibly other than the disconnect/reconnect identified on the CR.

Matt Mereau – Level 3 said that sounds like a good plan.

Susan Lorence – CenturyLink reviewed the next steps: the examples would be provided to the CMP CR mailbox, the CR would be presented by Matt at the monthly CMP meeting on Wednesday, June 18, 2014 at 9 AM MT, participating CLECs would have the opportunity to ask questions, and then the SME team will evaluate the examples to determine next steps. Susan said a CR can be accepted or denied based on Section 5.3 of the CMP document. She said she would post the meeting minutes to the Wholesale calendar and any updates that may be required can be sent back to the CMPCR mailbox. Susan asked if there were any other questions. There were none.

The clarification call concluded at 2:25 PM MT.


CenturyLink Response

October 9, 2014

Matt Mereau – Level 3

This letter is in response to Level 3 Change Request PC060514-1, entitled “CLLI Change Order Process Requested”.

CR Description: Today if an Ethernet order were to follow a flow through order process with CenturyLink and an incorrect CLLI or Switch were assigned where a customer could not access, by current process CenturyLink requires Level 3 to submit a new Install/Disco order to get the order assigned to a new switch. Ideally we should not have to submit any new orders as this is essential a CenturyLink mistake. In summary, if CenturyLink is not able to provide a quick resolution where they assign incorrect CLLI’s, we would at minimal like to be able to submit a change order instead of install/disco with standard sla. The requested implementation date for this functionality is as soon as possible. History: This Change Request was received on June 5, 2014. A Clarification call was held on June 12, 2014 with Level 3, Integra and CenturyLink representatives present. During the Clarification call, Matt Mereau, Level 3, agreed to provide some examples of the order scenario for CenturyLink SMEs to investigate. Matt provided five PONs on June 13, 2014.

Due to scheduling conflicts, the CR was not presented by Matt Mereau, Level 3, until the August 20, 2014 monthly Product Process CMP meeting.

On September 4, 2014, an email was sent to Level 3 that provided the details of the investigation of the five PONs by the CenturyLink SME team. Further follow-up with Level 3 resulted in the establishment of a call between Level 3 and CenturyLink SMEs and Service Management to review the information. That call occurred on September 18, 2014. Following the call, Matt Mereau, Level 3, planned to get with his Provisioning team and also do some research to see if there were other PONs that were this scenario. The plan was to send that data to CenturyLink by October 6. No additional data is available at this time.

CenturyLink Response: As a result of the CenturyLink investigation of the five Level 3 PONs associated with this CR and discussion with Level 3 on the September 18, 2014 call that included the CenturyLink SME team and Service Management, Level 3 identified that the conditions surrounding this CR do not appear to be as significant as originally thought. The CenturyLink SME team had identified that four of the five PONs investigated were related to device issues and only one of those four PONs resulted in the need to issue a disconnect and new connect to ensure both the CenturyLink and the customer inventories were kept in sync. The remaining PON was waiting on a related ASR. CenturyLink relayed that, as always, any CenturyLink inventory issues are being addressed as they come to light.

Based on the low volume of this scenario and the estimated very high cost to implement a technical solution to allow a change order to correct an inventory problem instead of requiring a disconnect and install order, CenturyLink is denying this CR due to being economically not feasible.

To ensure process adherence in the CenturyLink Centers on how to handle this order scenario, as of September 2014, the CenturyLink internal process for correcting a device assignment was clarified and reviewed with the Center personnel. For those order scenarios that require a disconnect/add, CenturyLink relayed that no one-time charges will be accessed to the customer, termination liability will not be impacted and an expedited Due Date (DD) can be requested by the customer at no charge.

Sincerely,

Susan Lorence CenturyLink Wholesale CR Project Manager


Open Product/Process CR PC072303-2 Detail

 
Title: Add circuit numbers on invoices for ITP DSO Physical Co lo
CR Number Current Status
Date
Area Impacted Products Impacted

PC072303-2 Withdrawn
8/20/2003
Billing
Originator: Yedersberger, Bernie
Originator Company Name: LTDS
Owner: Harlan, Cindy
Director:
CR PM: Harlan, Cindy

Description Of Change

On Account No. 319 Z01-2842 039 I would like to have the circuiti numbers added to "summary of accounts"

Expected Deliverable

Please add circuit numbers to Account No. 319 Z01-2842 039 on August 1, 2003 invoice


Status History

07/23/03 - CR Submitted

07/24/03 - CR Acknowledged

7/28/03 - Contacted customer

8/4/03 - Held clarification call and changed status to pending withdrawl

8/20/03 - CMP meeting - see meeting notes


Project Meetings

August 20 CMP Meeting: Cindy Macy-Qwest explained the CLEC issued this CR but she really just had a question to ask. She was not familiar with the CMP process. Crystal Soderlund was able to answer her questions and she requested the CR be withdrawn. The CLECs agreed it was okay to withdraw this CR.

Clarification Meeting

August 4, 2003 1-877-572-8687 3393947# PC072303-2 Add circuit numbers on invoices for ITP DS0 Physical Co-Lo

Attendees Bernie Yedersberger – LTDS Carl Sear – Qwest Lillian Robertson – Qwest Janet Leonard – Qwest Crystal Soderlund – Qwest Cindy Macy - Qwest

Meeting Agenda: 1.0 Introduction of Attendees Attendees introduced. Cindy Macy – Qwest reviewed the CMP process and next steps so the team is aware of what to expect.

2.0 Review Requested (Description of) Change Cindy Macy – Qwest introduced Bernie and explained she is the Accounts Payable person for LTDS. Bernie is trying to match the Qwest bill charges to their end user accounts so they can bill appropriately. Bernie explained they have service on 319-Z01-3191 161 which is an ADSL Qualified Loop. This bill shows the circuit numbers so she can match this to her end user account. Bernie wanted to know if we could put the circuit number on her 319-Z01-2842 039 Line Share account. Crystal Soderlund – Qwest explained the ADSL Qualified Loop account is a design service and those types of accounts have a circuit number. The Line share account is a POTS account and those accounts have telephone numbers. Crystal pointed on the bill where to find the WTN and explained how this number could be used to match to your end user account. Bernie thanked Crystal and explained she would like to withdraw this CR as she really just had a question to ask, and did not intend to submit a CR and follow the CMP process. Cindy Macy – Qwest agreed she would present this CR at the August CMP meeting and mark the CR as pending withdraw.

3.0 Confirm Areas & Products Impacted ADSL / Line Sharing

4.0 Confirm Right Personnel Involved Yes

5.0 Identify/Confirm CLEC’s Expectation The CLECs question was answered and this CR will be marked as pending withdraw until the August CMP meeting.

6.0 Identify any Dependent Systems Change Requests none

7.0 Establish Action Plan (Resolution Time Frame) Cindy Macy – Qwest will present the CR and request to withdraw the CR at the August CMP meeting.


Open Product/Process CR PC073003-1 Detail

 
Title: Qwest to provide test plans and results prior to deployment of IMA
CR Number Current Status
Date
Area Impacted Products Impacted

PC073003-1 Crossover
7/27/2009
Preordering & Ordering
Originator: Balvin, Liz
Originator Company Name: MCI
Owner: Gallegos, John
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

CLECs currently have no insight to Qwest IMA test plans or results. MCI

requests review of the test plan and results prior to IMA deployment.

Expected Deliverable:

That Qwest provide in advance of deployment IMA test plans and results.


Status History

07/30/03 - CR Submitted

08/01/03 - CR Acknowledged

08/11/03 - Held Clarification Meeting

08/20/03 - August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/22/03 - CR crossed over to Systems SCR073003-01X


Project Meetings

12/17/03 December CMP Meeting Connie Winston with Qwest said that the LOE has been completed and would like to cross this over to Systems. MCI has requested more details factoring into the LOE. This CR will be crossed over to Systems.

Thu 12/11/03 4:50 PM From: Elizabeth Balvin [liz.balvin@mci.com] To: Sanchez Steinke, Linda Subject: FW: Draft Response PC073003-1

Linda,

Please provide the details of what Qwest anticipates providing that was factored into the LOE.

Thanks in advance,

Liz Balvin MCI Carrier Management - Qwest Region Internal Line - V625-7305 External Line - 303-217-7305 Pager (888) 900-7221

11/19/03 November CMP Meeting Kit Thomte with Qwest said that this CR was being discussed with the Global Action Item meeting 11/18/03 and Connie Winston had implied that it might not go forward. Qwest will update the response. Liz Balvin said there might be the ability for CLECs to request testing scenarios specific to the GUI. This CR will remain in Evaluation status.

10/15/03 October CMP Meeting This CR was discussed at the 10/14/03 meeting and it was agreed this CR would remain in Evaluation status. Liz Balvin expressed concern that this CR was lingering even though discussed in the ad-hoc process. Liz said Qwest had not even provided a response on this CR.

09/17/03 September CMP Meeting Connie Winston reviewed the response to this CR. Connie said that Qwest is evaluating how we can package all the suggestions for improvement and provide a joint benefit. Testing is one of the things that Qwest would like to discuss at the next systems Ad Hoc meeting that will take place in a couple of weeks. Liz Balvin said that she was happy that Qwest is looking at resolutions and taking in CLEC input and would like to know what Qwest will do with the input that is being tracked under the Global Action Item. Bonnie Johnson with Eschelon suggested that Qwest provide something to look at prior to the Ad Hoc meeting. This CR will be moved to Evaluation status.

08/20/03 August CMP Meeting Liz Balvin with MCI said this CR was submitted to request insight into Qwest test plans and results for IMA EDI and GUI. CLECs want the opportunity to provide test scenarios for Qwest to use in the testing schedule. Connie Winston said Qwest would need to evaluate this CR and asked if CLECs were interested in functionality testing. Liz said that CLECs are interested in how Qwest is testing the documentation they publish. CLECs see documentation as edits against the LSR and want to verify that Qwest is not testing on the field. CLECs want to know how Qwest is testing functionality. This CR will be moved to Presented status.

CLEC Change Request Clarification Meeting

11:00 a.m. (MDT) / Monday, August 11, 2003

1-877-572-8687 3393947# PC073003-1 Qwest to provide test plans and results prior to deployment of IMA

Name/Company: Liz Balvin, MCI Donna Osborne-Miller, AT&T Bonnie Johnson, Eschelon Joel Anderson, Qwest John Gallegos, Qwest Pat Bratetic, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change Linda read from MCI’s CR the description of the change: CLECs currently have no insight to Qwest IMA test plans or results. MCI requests review of the test plan and results prior to IMA deployment. Expected Deliverable: Qwest provide in advance of deployment IMA test plans and results.

Liz Balvin with MCI said that she has assumed there are two stages of implementation 1) test plans 2) test results coming out the testing. Currently CLECs have no insight into the test plans and the test planning process. This CR was initiated to bring forth what Qwest sees when testing and CLECs would like to provide input to test plans. Joel Anderson with Qwest asked what level of information CLECs would like to see. Liz said they would like to see test scenarios and test cases. John Gallegos with Qwest said that the system test level mapping it to what communicated in disclosure documents we would have to work on internally because some of the systems testing would be specific to our own systems. John said that IMA pulls data from other systems and test scenario documentation may go into that kind of detail. Liz gave an example from 12.0; in the disclosure documents CLECs don’t know what edits are in the backend systems and the edits may be cricital processes beyond IMA. Liz said CLECs do get the Disclosure Documents in advance. She would like to see Qwest development test cases to validate the business rules and what the results are from the actual testing. John asked for examples of what other ILECs provide. Bonnie Johnson with Eschelon will provide any examples after Kim returns on Tuesday. Joel asked iif CLEC would want to input to system test case. Liz said yes if have input would like to provide it if necessary and would be more confident the CRs are deployed correctly. Examples of CRs are Migrate as specified; Blocking, Hunting, DL. John asked if CLECs would be able to provide scenarios also to ensure they are tested. Bonnie said yes they would. Liz said if with migrate as specified tested every feature and understand documentation published by Qwest it is hard to provide test scenarios. John said that Qwest would work off-line to review documents sent to CLECs.

Confirm Areas & Products Impacted IMA test plans and results prior to deployment of IMA.

Confirm Right Personnel Involved Qwest confirmed the correct personnel were on the call to resolve the CR.

Identify/Confirm CLEC’s Expectation MCI’s expectation is that Qwest provide in advance of deployment IMA test plans and results.

Identify any Dependent Systems Change Requests No systems change requests.

Establish Action Plan (Resolution Time Frame) MCI will present this CR at the August CMP meeting.


CenturyLink Response

December 11, 2003

DRAFT RESPONSE For Review by the CLEC Community and Discussion at the December 2003 CMP Meeting

Liz Balvin MCI

SUBJECT: Qwest’s Revised Response Change Request - PC073003-1 "Qwest to provide test plans and results prior to deployment of IMA"

Qwest has reviewed the information submitted as part of Change Request PC073003-1. Based upon the scope of this CR as agreed to in several meetings, Qwest is able to provide an estimated Level of Effort (LOE) of 8500 to 9200 hours with an additional 4000 hours per release going forward for this IMA Change Request.

At the December Product/Process CMP Meeting, CMP participants will be given the opportunity to comment on this Change Request being crossed over to a System CR. Any clarifications and/or modifications identified at that time will be incorporated into Qwest’s further evaluation of this Change Request.

This Change Request is an eligible IMA 16.0 candidate.

Sincerely,

Connie Winston Qwest

September 9, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the September 2003 CMP Meeting

Liz Balvin MCI

SUBJECT: Qwest’s Change Request Response - PC073003-1 "Qwest to provide test plans and results prior to deployment of IMA"

This is a preliminary response regarding the MCI CR PC073003-1. This CR requests review of the Qwest test plans and results prior to IMA deployment

Qwest is currently evaluating this request and proposes moving this Change Request into Evaluation Status while we continue to investigate. Qwest will provide an updated response at the October CMP Meeting.

Sincerely,

Connie Winston Director, Information Technology Qwest


Open Product/Process CR PC111902-02X Detail

 
Title: Eliminate submission of service order completion notifications (SOCs) when provisioning of services have not yet occurred
CR Number Current Status
Date
Area Impacted Products Impacted

PC111902-02X Crossover
7/27/2009
All
Originator: Balvin, Liz
Originator Company Name: MCI
Owner: Winston, Connie
Director:
CR PM: Harlan, Cindy

Description Of Change

Qwest service order processors are designed today to automatically send a service order completion (SOC) notifications on the firm order confirmation (FOC) due date (auto completion process). Qwest admits that there are certain scenarios that exist that cause a SOC to be sent to the CLEC even when the provisioning of services have not yet completed (Qwest believes this occurs on 1% of the total orders when analyzing all products for both wholesale and retail orders combined). WCom is requesting enhancements to the auto completion process that exist today that would ensure that Qwest creates and sends a SOC to the CLEC only when the actual provisioning of the order has been fully completed by Qwest.


Status History

11/19/2002 - CR submitted

11/20/2002 - CR acknowledged

11/23/2002 - Clarification Meeting scheduled

12/3/2002 - Clarification Meeting held

12/10/2002 - Status changed to evaluation

12/11/2002 - Draft response issues

12/19/2002 - Discussed at Monthly CMP Meeting

7/17/03 - Discussed at July CMP Systems - See Attachment I of Distribution Package

7/17/03 - Connie Winston/Qwest stated that this Change Request was actually worked on the product/process side. Connie noted that the notification was issued on the Service Interval Guide (PROS.02.28.03.F.01018.ReNotice_SIG). She noted that this was an existing process and that we are reinforcing the process. Connie also noted that there is a no system change necessary for this request. She asked how this should be handled from a CMP perspective.

Judy Schultz/Qwest stated that if the work has already been completed, and we have already notified the CLECs, it should move to a CLEC Test status.

Liz Balvin/MCI said that she would like to find out what Qwest has done and thought that this request should be formally crossed-over to Product/Process.

Judy Schultz/Qwest stated that it will be handled as a cross-over request to Product/Process and will be reviewed in the August CMP Product/Process Meeting. The Product/Process CRPM will have an off-line discussion regarding the Level 2 notification.

8/20/03 - August CMP meeting - See project meeting section for meeting minutes

9/17/03 - Sep CMP meeting notes will be posted to the database. CR agreed to close.


Project Meetings

08/20/03 Meeting Minutes Connee Winston – Qwest advised this is a cross over from systems. Connie advised that Network changed the process to make sure we are not sending the service order completion notifications (SOCs) when provisioning has not yet occurred. Liz Balvin-MCI asked Connie to explain how the process was changed. Connie agreed to check with Network and get the details. .

7/17/03 Systems CMP Meeting Connie Winston/Qwest stated that this Change Request was actually worked on the product/process side. Connie noted that the notification was issued on the Service Interval Guide (PROS.02.28.03.F.01018.ReNoticeSIG). She noted that this was an existing process and that we are reinforcing the process. Connie also noted that there is a no system change necessary for this request. She asked how this should be handled from a CMP perspective. Judy Schultz/Qwest stated that if the work has already been completed, and we have already notified the CLECs, it should move to a CLEC Test status. Liz Balvin/MCI said that she would like to find out what Qwest has done and thought that this request should be formally crossed-over to Product/Process. Judy Schultz/Qwest stated that it will be handled as a cross-over request to Product/Process and will be reviewed in the August CMP Product/Process Meeting. The Product/Process CRPM will have an off-line discussion regarding the Level 2 notification.

12/19/02 December Systems CMP Meeting Liz Balvin/WorldCom is requesting that Qwest create and sends a SOC to the CLEC only when the actual provisioning of the order has been fully completed. She also stated that they have worked with the Account Teams and have provided examples of this scenario. Connie Winston/Qwest noted that what we have found this scenario to be very rare. Qwest is researching the SOC process to determine if there are instances where there the provisioning of the service has not been completed. Bonnie Johnson/Eschelon said that they are getting completions on LSRs when there isn’t even an order. Liz Balvin/WorldCom said that the studies show that Qwest believes that this occurs on 1% of the total orders. WorldCom believes that it is higher for UNE-P. Jonathan Spangler/AT&T said that AT&T has found that they are receiving the SOC and believe the customer is up and running. We begin billing the customer and receive a call a week later to find the outside technician is just beginning the work. Liz Balvin/WorldCom said that maybe the answer is a process change that a technician needs to call and say hold the order and stop the auto completion. Lynn Notarianni/Qwest stated that how we go about this needs to be carefully laid out due to close timing situations. You do not want a process that creates jeopardies that are really not.. The completion report is the result of all this and we need to look at the process before determining whether any completion report change is necessary. Sue Stott/Qwest asked if this is the LSR completion vs. the service order completion. Jonathan Spangler/AT&T said yes. Liz Balvin/WorldCom said that she didn’t understand the other’ interface noted on the CR. Connie Winston/Qwest said that this CR is still under evaluation. This CR is not IMA. Completions are handled behind IMA. Kit Thomte/Qwest asked if there were any other questions or comments. No questions or comments. Connie Winston/Qwest said that we will do more research and if there are other examples please send them to us. Jennifer Arnold/USLink asked whom the examples could be sent to. Lynn Stecklein/Qwest said that examples could be sent to Lynn Stecklein or CMPCR, whichever is easiest. Kit Thomte/Qwest noted that the status would remain in Evaluation.

12/3/02 Clarification Meeting

INTRODUCTION OF ATTENDEES Attendees: Liz Balvin - WorldCom, Chad Warner - WorldCom, Conrad Evans - Qwest, Denise Martinez - Qwest, Lynn Stecklein - Qwest

REVIEW REQUESTED (DESCRIPTION OF) CHANGE Lynn Stecklein reviewed the change request submitted by WorldCom. Qwest service order processors are designed today to automatically send a service order completion (SOC) notifications on the firm order confirmation (FOC) due date (auto completion process). Qwest admits that there are certain scenarios that exist that cause a SOC to be sent to the CLEC even when the provisioning of services have not yet completed (Qwest believes this occurs on 1% of the total orders when analyzing all products for both wholesale and retail orders combined). WCom is requesting enhancements to the auto completion process that exist today that would ensure that Qwest creates and sends a SOC to the CLEC only when the actual provisioning of the order has been fully completed by Qwest.

Conrad Evans asked who WorldCom has been working with at Qwest. Liz Balvin said that the Account Teams and the EDI implementation Team has been involved in the analysis. WorldCom sent examples to the Account Team.

CONFIRM AREAS & PRODUCTS IMPACTED Liz Balvin said that the process applies to all products. Liz Balvin also stated that the 1% could be higher if you look at UNE-P

CONFIRM RIGHT PERSONNEL INVOLVED All appropriate were involved in the clarification call. Lynn Stecklein will contact the account team for examples and additional information if available on analysis already completed.

IDENTIFY/CONFIRM CLEC'S EXPECTATION WorldCom wants Qwest to Eliminate submission of service order completion notifications (SOC)s when provisioning of services have not yet occurred.

IDENTIFY ANY DEPENDENT CHANGE REQUEST NA

ESTABLISH ACTION PLAN

WorldCom will present this change request in the December Systems CMP meeting.

Lynn Stecklein will get with the account team for the examples already provided by WorldCom.


CenturyLink Response

DRAFT RESPONSE

December 11, 2002

RE: SCR111902-02 (Eliminate submission of service order completion notifications (SOC)s when provisioning of services have not yet occurred)

Qwest is reviewing the information submitted as part of WorldCom’s Change Request SCR111902-02, which aims to eliminate submission of service completion notifications when provisioning of services have not yet occurred. Based upon research that has been conducted following the Clarification meeting (held December 3, 2002) it has been determined that additional research is needed. Qwest will provide an updated response at the January Systems CMP Meeting.

Qwest is working diligently to address this Change Request and to provide the most accurate LOE possible. At the December Monthly Systems CMP Meeting, CMP participants will be given the opportunity to comment on this Change Request and provide additional clarifications. Qwest is interested in the experiences of the CMP community as relates to this issue. Qwest will incorporate any feedback received at the next Monthly Systems CMP Meeting into further evaluation of this Change Request.

Sincerely, Qwest


Open Product/Process CR PC070103-1 Detail

 
Title: Provide "Lines In Service Report" to CLECs
CR Number Current Status
Date
Area Impacted Products Impacted

PC070103-1 Completed
10/20/2004
Resale, UNE P
Originator: Balvin, Liz
Originator Company Name: MCI
Owner: McGhghy, Laura
Director:
CR PM: Andreen, Doug

Description Of Change

MCI is requesting that Qwest implement a "Lines In Service Report". This report would result in what Qwest reflects as active UNE-P and Resale lines in service that belong to a given CLEC on the date the report is generated. MCI is requesting that the report be provided on a monthly basis via CD-ROM or equivalent media type. This report would provide needed insight to any discrepancies between CLEC customer data and Qwest data and assist with reconciliation efforts.

Information MCI requests on the report:

- CLEC Name

- ACNA - Access Customer Name Abbreviation

- BTN - Billing Telephone Number

- WTN - Working Telephone Number

- Service Delivery Method

- Original Migrate/Completion Date

- Date of snapshot extract

- Type of Service (Bus/Res)

- State

Expected Deliverable:

That Qwest provide a "lines in service report" for UNE-P and Resale lines on a monthly basis via CD-ROM or equivalent media type.


Status History

07/01/03 - CR Received

07/01/03 - CR Acknowledged

07/11/03 - Held Clarification Meeting

07/16/03 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

08/20/03 - August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/29/03 - Held Ad Hoc Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

02/18/04 - February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

02/27/04 - Qwest issued PROS.02.27.04.F.01409.LinesInServiceReport effective immediately

03/17/04 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/21/04 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

05/19/04 - May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

06/16/04 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

7/21/04 -July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

8/18/04 -August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

9/16/04 -September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

10/20/04 CMP Meeting Minutes Laura McGhghy, Qwest stated that testing is complete and the CR can be closed. MCI agreed and the CR will be moved to completed status.

-- 09/16/04 CMP Meeting Minutes Laura McGhghy reported that Qwest would like to leave this CR in Test for one more month. MCI is doing additional analysis and the intent is to have this ready to close next month and shift to the normal process involving the account manager. LeiLani Hines agreed and said that there was a conference call on Monday and due to some confusion when Liz Balvin left MCI we needed to get back on track. MCI will be submitting a new report and she is in agreement with leaving this in Test Status.

- 8/18/04 CMP Meeting Cindi Houston reported that Qwest had began an analysis of the items sent from MCI and requested clarification from MCI on some issues. She is currently awaiting MCI’s reply. Leilani Hines said she will check the status on the MCI side. The CR will remain in Test.

7/21/04 July CMP Meeting Liz Balvin, MCI said that MCI has been attempting to audit the report and have run into delays. She expected information from her MCI counterparts this week but has not received anything as yet. There are several issues and Liz is attempting to ascertain if the issues are MCI or Qwest. Liz will forward issues and examples to Doug Andreen when available. The CR will remain in Test.

6/28/04 9:00 a.m. To: 'liz.balvin@mci.com' From: Sanchez Steinke, Linda CR PC070103-1 Provide "Lines In Service Report" to CLECs

Hi Liz -

As a follow up to our discussion about this CR at the June CMP, has MCI been able to finish the audit and be able to close this CR mid-cycle?

Thank you

Linda Sanchez-Steinke Qwest CRPM 303-382-5768

06/16/04 June CMP Meeting Liz Balvin with MCI asked that the CR remain open for one more month until the audit is completed. If this is done before the next CMP, Liz will e-mail to close the CR. This CR will remain in CLEC Test status.

05/19/04 May CMP Meeting Laura McGhghy with Qwest said she had received additional requests for the reports and asked that the CR be closed. Liz Balvin asked that the CR remain open because they were supposed to have completed an audit but it has not been completed as of yet. This CR will remain in CLEC Test status.

04/21/04 April CMP Meeting Laura McGhghy with Qwest advised we are continuing to provide this report. Bonnie Johnson with Eschelon said she didn’t think Eschelon has the ability to get the report sooner than when the March data is available. Laura said that we are processing now for the March report. This CR will move to CLEC Test status.

03/17/04 March CMP Meeting Laura McGhghy with Qwest said she wanted to clear up any confusion regarding the lines in service report. The report is based on MR8 PID data and Qwest needs time to update tables and this report request follows the standard process for PID data reports. The CLEC should request the report prior to the first of the month and gave an example that if the request is received by the first of March, March results will be available at the end of April. Bonnie Johnson with Eschelon said that when the notice came out it said January data would be available at the end of February. Laura said that the notification was specific to MCI’s request, and, due to the timing of Eschelon’s report request, the Eschelon report will be ready at the end of April. This CR will remain in Development status.

- 02/18/04 February CMP Meeting Laura McGhghy with Qwest gave an update that 2/27/04 is targeted to provide the January data. In addition to the report, there will be a product code explanation file that provides a product code definition. Jennifer Arnold with U S Link asked how to get the report. Laura explained they should contact their service manager to request. This CR will remain in Development status.

01/21/04 January CMP Meeting Laura McGhghy with Qwest gave an update that January data will be provided at the end of February and that a notification will be sent. This CR will remain in Development status.

12/17/03 December CMP Meeting Laura McGhghy with Qwest gave an update on the CR. Laura said that during the ad hoc meeting she had an action item to determine if BTN would be available for non-design services. BTN will not be available for non-design services and will be available for design services. Laura added that the reports will be provided by state and each state will have one report for design services and one report for non-design services. Liz Balvin with MCI clarified that the reports will be state specific and will be broken down by design and non-design reports. This CR will remain in Development status.

11/19/03 November CMP Meeting Laura McGhghy with Qwest provided an update on this CR and said that Qwest is continuing development and expects to provide January results in the February timeframe. Liz Balvin with MCI asked how the CLECs would get the data. Laura said that the data will be available where the PID results are located. This CR will remain in Development Status.

Ad Hoc Meeting Minutes PC070103-1 Provide "Lines In Service Report" to CLECs CMP Product & Process October 29, 2003 1-877-572-8687, Conference ID 3393947# 9:00 a.m. - 10:00 a.m. Mountain Time

PURPOSE

At the October CMP Meeting, participants agreed to hold a conference call to review the format for the report. The following is the write-up of the discussion.

List of Attendees: Donna Osborne-Miller, AT&T Liz Balvin, MCI Kim Issaacs, Eschelon Kathy Stitcher, Eschelon Cedric Cox, MCI Ed Boehme, MCI Laura McGhghy, Qwest Dave Phillips, Qwest Jon Boisseau, Qwest Linda Sanchez-Steinke, Qwest

MEETING MINUTES

The meeting began with Qwest making introductions and welcoming all attendees.

Linda Sanchez-Steinke with Qwest explained that the purpose of the meeting was to review the draft report format. Laura McGhghy with Qwest reviewed the draft reports. Resale design products and non-design products will be available in two files. Design Products report will include; CLEC ID, ACNA, BTN, Circuit ID, Product Code, Extract date, and State. Non-Design Products report will include; CLEC ID, WTN, Product Code, Extract Date and State.

Liz Balvin with MCI asked for further definition of the product code. Laura McGhghy said that the product name, i.e., DS1 would mean resale DS1. Liz asked if the CLEC ID would be the RSID. Laura said yes.

Laura continued explaining the report and said that the original migration date is not something that is in our system and is unavailable for the reports.

Cedric Cox with MCI asked if the BTN is available on non-design and added that most ILECs normally want the BTN with the WTN for disputes. Dave Phillips said that BTN is not available in the data that will be provided with the current report design. Cedric asked if the customer has multiple lines, will the WTNs show on the report as belonging to the CLEC. Dave answered yes. Laura took an action item to find out if BTN is available on the non-design data.

Liz Balvin asked if the report was derived from PREMIS or CRIS, as PREMIS only has WTN data. Dave said that the non-design data is coming from LMOS, and the design data is from TIRKS.

Cedric asked if there was a dispute on a WTN would the CLEC have to provide the BTN. Dave Phillips answered that we would have to work through disputes with the data available.

Liz asked if the extract date is the date the data is pulled from LMOS. Dave and Laura responded that it is the date the data is pulled from either LMOS or TIRKS.

Cedric asked if there will be indication of Residence or Business. Laura said that Res or Bus will be in the product code. Laura and Dave committed to provide a list of the prodcd’s and their English names to MCI.

Liz asked if they could get valid values populated and what date the reports would be available. Laura said that when the data is pulled the extract date is a snapshot of the date it occurs. Dave will find out when the data will be pulled and get back to MCI.

Cedrick asked what the dispute process is if they have 1000 ANI’s that they believe do not belong to them. Jon Boisseau said there is the informal reconciliation process, the formal process through the PAP and Service Management can also take the dispute to regulatory reporting.

Kathy Stitcher with Eschelon asked if unbundled loop would be in the design file. Laura said that resale and any other design type products would be in the design file.

Linda asked if there were any questions. No questions were asked.

10/15/03 October CMP Meeting Laura McGhghy with Qwest provided an update on this CR. Qwest plans to have January data available in the month of February. Laura would like to hold an ad hoc meeting to discuss the draft format of the report. Linda Sanchez-Steinke will e-mail Liz with possible dates for the meeting. This CR will remain in Development Status.

09/17/03 September CMP Meeting Laura McGhghy with Qwest provided the Qwest draft response. Qwest will provide the report requested and target January 2004 for the data to be available. Liz Balvin said would like to see the data in a draft form as soon as available. Other CLECs would like to get the report as well and Laura said they should request the report through their service manager. This CR will move to Development Status.

08/20/03 August CMP Meeting Laura McGhghy with Qwest reviewed the draft response and said Qwest is investigating possible solutions for this CR and will have an updated response at the September meeting. This CR will be moved to Evaluation status.

07/16/03 July CMP Meeting Liz Balvin with MCI presented this CR. MCI would like a monthly report of UNE-P and Resale lines in service. This report would give the ability to sync up the lines in service with the CLEC and Qwest. Sue Kriebel asked for the name of the report provided for access lines and Liz will provide the information to Linda Sanchez-Steinke. Dusti Bastian asked what additional data fields would be included in the monthly report vs. the daily loss and completion report. Liz said this report will be on a specific month timeframe and will include lines in service Qwest identifies and tie back to losses, helping to track and resolve issues. Sue Kriebel asked how the monthly report would be different from the CSR report that identifies lines in service. Liz said they have to access the CSR. Sue said the CSR is received along with the bill, and when the bill is received you can see the TN that is being billed. Liz said that billing isn’t what Qwest identifies as the lines in service and there would also be timing issues with the CSR report. Sue asked if the monthly report would be pulled on a different day than the bill and Liz said MCI wants the report pulled on the 1st or the 31st of the month. Bonnie Johnson with Eschelon said that the loss and completion report received daily only identifies service order activity and not total lines in service. Liz would like to understand why the CR was unilaterally changed to a Product / Process CR and Kit Thomte with Qwest apologized that the CR was acknowledged as Product and Process without an explanation when MCI had requested it be a Systems CR.

CLEC Change Request Clarification Meeting

3:00 p.m. (MDT) / Friday, July 11, 2003

1-877-572-8687 3393947# PC070103-1 Provide "Lines In Service Report" to CLECs

Name/Company: Liz Balvin, MCI Cedric Cox, MCI Donna Lucio, Qwest Fred Howard, Qwest Kerri Waldner, Qwest Luke Von Hagen, Qwest Don Kerschner, Qwest Laurel Nolan, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change MCI’s CR requests that Qwest implement a "Lines In Service Report". This report would result in what Qwest reflects as active UNE-P and Resale lines in service that belong to a given CLEC on the date the report is generated. MCI is requesting that the report be provided on a monthly basis via CD-ROM or equivalent media type. This report would provide needed insight to any discrepancies between CLEC customer data and Qwest data and assist with reconciliation efforts.

Information MCI requests on the report: - CLEC Name - ACNA - Access Customer Name Abbreviation - BTN - Billing Telephone Number - WTN - Working Telephone Number - Service Delivery Method - Original Migrate/Completion Date - Date of snapshot extract - Type of Service (Bus/Res) - State

Liz Balvin with MCI said that Qwest has a similar lines in service report on the Access side and this report allows a sync up with installed services and allows them to catch discrepancies sooner. Kerri Waldner with Qwest asked if the items requested are being provided in any other report. Liz said that she is not aware of any other report providing this information. Dusti Bastian asked for a definition of Service Delivery Method. Cedric said that is the product type, resale or UNE-P. Fred Howard asked if the report was requesting data for MCI only. Cedric answered yes, MCI only is what is requested. Dusti asked if this report would be for services billed or for services provisioned. Cedric said for those services provisioned.

Kerri asked if the report would be a snapshot in time with no accumulation. Cedric said that the report would be a snapshot in time. Donna Lucio asked about the timing of the report and if MCI would want the report at the first or the last of the month. Liz and Cedric said it didn’t matter what date the report is pulled and that they are looking for a monthly report. Cedric said that MCI would take the TN’s and bounce them against a database for telco billing and traffic data. This would give them line loses that they hadn’t been made aware of previously. Kerri asked if MCI wants to get this monthly, would it be a snap shot in time or a monthly compilation. Liz and Cedric answered they would like a snapshot in time and don’t need a cumulative report.

Liz said that she is concerned with the unilateral conversion process that this CR was moved to Product and process and would like an explanation why the CR was handled in this way.

Confirm Areas & Products Impacted Products impacted with this CR are UNE and Resale Lines.

Confirm Right Personnel Involved Qwest confirmed the correct personnel were on the call to resolve the CR.

Identify/Confirm CLEC’s Expectation MCI’s expectation is a monthly report for active UNE-P and Resale lines in service.

Identify any Dependent Systems Change Requests No systems change requests.

Establish Action Plan (Resolution Time Frame) MCI will present this CR at the July CMP meeting.


CenturyLink Response

September 9, 2003

Liz Balvin MCI

SUBJECT: Qwest’s Change Request Response - CR PC070103-1 "Provide 'Lines in Service Report' to CLECs".

As a follow up to the August 20, 2003 CMP Meeting, Qwest is willing to provide a monthly report of all MCI lines in service for all products currently reported in 271 reporting.

This report will be available to MCI from the secure website where MCI obtains all other PID reporting data. Qwest is beginning investigation and coding work at this time and expects to have the data available to MCI in January 2004.

Sincerely,

Laura McGhghy Lead Process Analyst Qwest

August 13, 2003

DRAFT RESPONSE For Review by the CLEC Community and Discussion at the August 20, 2003 CMP Meeting

Liz Balvin MCI

SUBJECT: Qwest’s Change Request Response - PC070103-1 Provide "Lines In Service Report" to CLECs

MCI’s CR requests that Qwest provide a report reflecting active UNE-P and Resale lines in service that belong to a given CLEC on the date the report is generated.

Qwest is investigating possible solutions to this change request and will provide an updated response at the September CMP meeting.

Sincerely,

Donna Lucio Sr. Process Analyst Qwest

Cc: Sue Burson, Qwest Sue Kriebel, Qwest


Open Product/Process CR PC093002-05X Detail

 
Title: Revised Title: EDI documentation guidelines Original Title: Single Source Document for Implementing (Crossover CR SCR093002 05)
CR Number Current Status
Date
Area Impacted Products Impacted

PC093002-05X Crossover
7/29/2009
Pre-Ordering, Ordering All
Originator: Balvin, Liz
Originator Company Name: MCI
Owner: Schultz, Judy
Director:
CR PM: Stecklein, Lynn

Description Of Change

4/18/03 Revised Description: That Qwest personnel utilize the following guidelines when updating documentation, on a going forward basis:

1) Interface differences not clear (EDI or GUI). Functional differences should not exist.

2) Field level of detail for both inquiry and response transactions lacking (what special characters apply?)

3) ALL valid entries be provided for each transaction type

4) Acronyms must be defined

5) Usage rules must be defined

6) References must defined or have links provided

7) Complete and accurate business rules must be provided

8) Restrictions must be clearly defined

9) Lack of business rules to support usage cannot occur

10) Process established to sync up EDI documentation (disclosure documents and appendices)

NOTE: As originally intended, MCI considers this CR to be a process change request. The CMP document is specific:

Section 5.1 states "A CLEC or Qwest seeking to change an existing OSS Interface, (CR to establish a new OSS Interface, or to retire an existing OSS Interface must submit a Change Request)."

Section 5.3 states "If a CLEC wants Qwest to change a product/process, the CLEC e-mails a Change Request (CR) Form to the Qwest CMP Manager, cmpcr@qwest.com."

MCI's CRs, as with Qwest internal documentation enhancements, should not be subject to IMA resources.


Status History

4/18/03P/P CR submitted by WorldCom - See Project Meeting Minutes 4/17/03

5/6/03 - P/P Crossover CR created (See SCR093002-05 System CR)


Project Meetings

4/17/03 An agreement was reached with the CLEC Community in the April CMP Systems Meeting on SCR093002-05 (Single Source Document for Implementing EDI). This change request will be 'crossed over' to product and process and closed. Qwest agreed to 'cross over' this CR with the caveat that Qwest does not agree that this is Process work and believes it to be a system request.

4/17/03 CMP Systems Meeting Kit Thomte/Qwest stated that there is one more walk on to discuss regarding, from Liz Balvin. Liz Balvin/MCI stated that she was expecting a follow up call from Qwest last month and never got one. Kit Thomte/Qwest stated that nothing has changed in regard to this issue. Liz Balvin/MCI stated that WorldCom submitted process CRs and Qwest unilaterally processed them as systems CRs. Liz stated that if Qwest objected to MCI’s issuing these CRs as Process CRs, then Qwest needs to take this to the oversight committee. Kit Thomte/Qwest stated that Judy Schultz needs to address this issue and that Judy will be returning to the meeting after lunch. Liz Balvin/MCI stated that WorldCom wanted the CRs reverted back to Product/Process and sees that it was not done. Liz stated that she does not know if Judy is aware of that. Lynn Notarianni/Qwest stated that Judy is aware of your position on that. Lynn stated that from a standpoint of resolution, Qwest’s position is that we would not be escalating on ourselves on an issue that we feel that the decision was made congruent with how we’ve treated these types of issues in the past. Lynn stated that these CRs do need and take systems resources in order to do the work. Kit Thomte/Qwest recommended that we break for lunch and reconvene at 1:00 p.m. MT. Liz Balvin/MCI stated that WorldCom submitted 3 CRs as document changes and Qwest unilaterally changed them to systems CRs. Liz stated that this conversation has gone round and round. Liz stated that she tried to change the language back in December because she did not want these to impact IMA resources. Liz stated that the Qwest EDI implementation team changes documentation if Qwest finds a problem. Liz stated that if Qwest believes that WorldCom inappropriately sent these as Product/Process, Qwest needs to do something. Liz noted that any time there has been a cross over we’ve agreed to it in this forum and stated that she sees Qwest as out of process and doesn’t know how to better address that. Judy Schultz/Qwest stated that it is important to have this discussion and feels that we are at an impasse. Judy apologized if in the past Qwest has made unilateral decisions without communicating those decisions to change the CRs from Product/Process to Systems. Judy stated that Qwest is in the unique position of knowing which it should be and when there will be an impact to the systems. Judy stated that you might think it is just a process change, but we do know our internal systems and can say when a request would really impact a system. Judy noted that on the other hand, some changes come in as systems and we can look at it and determine that it would not require systems restraints and so we suggest crossing those CRs over to Product/Process. Judy stated that an email is sent to state if processed as a Product/Process or a Systems CR. Judy stated that the one issue that we are a little bit apart on is what to do with these systems documentation changes. Judy stated that in Section 8, which describes systems changes, the deliverables do include the system’s documentation, which is Sue’s (Stott) team. Liz Balvin/MCI stated that she agrees that the initial documentation to documented system enhancements per release should be included, but this is after it is implemented and a CLEC identifies a flaw with the documentation. Liz stated that in December, she said that the change was not intended to change existing documentation or previously existing versions, we just want issues addressed going forward. Liz stated that resources are required for new release documents, but once the document is used and a defect is identified, they should be corrected. Liz noted that the CLECs work with the EDI documentation team and when an issue is identified, that team fixes the problem. Sue Stott/Qwest stated that her team handles those in the same manner as a production support bug. Liz Balvin/MCI stated that these CR’s are for the issues that the EDI team said Qwest would not do as a bug fix. Wendy Green/Qwest stated that those were ones that Qwest viewed as enhancements rather than a bug in the documentation. Sharon Van Meter/AT&T asked if after a release is implemented and a bug is identified in the documentation, WorldCom sends an email to someone? Judy Schultz/Qwest stated that should go through production support. Liz Balvin/MCI stated that the production support help desk would not know this stuff. Liz Balvin/MCI stated that they do work with the EDI team and were told to issue these CRs. Wendy Green/Qwest stated that they are not a bug because the information is already there, it is an enhancement. Wendy noted that a lot of the time Qwest fixes issues that a CLEC brings forwards through that team but in this case you were requesting something a bit bigger than simply a clarification or a bug fix. Liz Balvin/MCI stated that it is not an enhancement because the documentation is incorrect. Lynn Notarianni/Qwest stated that we are disagreeing about a gray area, one side views as an enhancement and one side views as a bug. Donna Osborne-Miller/AT&T stated that her consumer team is finding this a challenge, they are trying to work with a manual and are feeling the same frustration. Liz Balvin/MCI stated that she understands Qwest’s position to not look at every data field so agreed to change the CR. Liz stated that the guidelines are for Qwest to focus on documentation going forward. Judy Schultz/Qwest stated that there is a process for documentation issues when Qwest and the CLECs believe that it is a bug. Liz Balvin/MCI stated is for when Qwest believes it to be a bug. Judy Schultz/Qwest asked when it happens that something in the documentation that a CLEC sees as a defect and Qwest doesn’t, would it satisfy the CLECs if going forward as fields are impacted in the course of a release, the documentation would be changed going forward to adhere to those expectations. Sue Stott/Qwest stated that this is currently occurring. Liz Balvin/MCI stated that in reference to this CR, they were told to issue a CR., as well as for the other 2 CRs. Sue Stott/Qwest stated that where it gets gray is when further clarification is needed for a field. Liz Balvin/MCI stated that these items are not gray, they are adding valid values or formats. Sue Stott/Qwest stated that the bigger issue for IT documentation is Qwest has people working on the releases and when they get a request for a documentation update, the people have to be diverted from the release in order to do the documentation updates. Sue stated that maybe the answer is less capacity for a release. Judy Schultz/Qwest stated that she wants to make sure that we’re clear. Judy noted that if there were 200 different fields to update, that would be a big effort. Judy stated that she thought she heard that IT was going forward in trying to follow the proposed guidelines. Sue Stott/Qwest stated that IT does that today and noted that her concern is, if you are an EDI user you are not going to pay close attention to the new release right away and that Qwest will not be made aware of issues until much later. Randy Owen/Qwest stated that Qwest needs to be careful because you cannot update for some products and not all, that would create other problems. Randy stated that we need to look at updates across the board, maybe a legend should be developed. Liz Balvin/MCI stated that the EDI documentation is going to come along because you now have users. Liz noted that consistency is an excellent point, if you only do that on one field then it could create inconsistency. Liz stated that she liked the idea of a legend but would need to check with her coders to see if one would work for them. Liz stated that she could possibly only be looking at a specific field and would need a guide to tell her what to look at first. Judy Schultz/Qwest asked what if we do a running cheat sheet. Randy Owen/Qwest stated that we saw that this CR might take us there and started down that path. Then heard that is not what was wanted. Sue Stott/Qwest stated that we have to carefully scrutinize to ensure that a documentation change doesn’t also mean a system change. It is so tightly related, the difference can be as subtle as an and/or difference. Sue stated that is another reason why system resources are needed. Judy Schultz/Qwest stated that she understands that it is the same resources and is just trying to explore if IT can do a piece at-a-time. Judy asked if there are ever any times when it would be logical do to this kind of work. Is there ever a time in development when we could spend time doing this? Sue Stott/Qwest stated that it would still take systems resources to do that and stated that the issue is if it affects the voting capacity for a release. Sue stated that in many cases the same resources are used for coding and documentation. Liz Balvin/MCI asked if she could update the single source CR with a title change to ‘Guiding Principals to Qwest Documentation on Going Forward Basis, When Documentation Happens’, and will list the 10-items that you say you are using. Liz stated that the CR would then be moved back to Process and the documentation would be done when the regular document comes out. Liz stated that when new documentation comes out in future releases and sees that the guidelines are not being adhered to, and when it severely impacts her ability to do business then she would bring it forward. Liz stated that she would be willing to do that in order to get these off the table. Liz stated that she understands where Qwest is coming from and that believes that Qwest understands where she is coming from. Kit Thomte/Qwest asked how the guidelines would be updated. Liz Balvin/MCI stated that they would be closed with this CR and for other items that come up, new CRs would be issued. Donna Osborne-Miller/AT&T asked if they are to call the Help Desk if problems after in production. Randy Owen/Qwest stated that the documentation team is to be contacted if prior to 30 days after production, after the 30 days, you contact the Help Desk. Wendy Green/Qwest stated that we took the principles and looked at redesigning to be 1 document for both EDI and GUI. Wendy stated that she did not know if that is still on the table. Liz Balvin/MCI stated that that was not the intent of the CR. Lynn Notarianni/Qwest asked if the guiding principles are separate from SBCs document. Wendy Green/Qwest stated that within the current format, will use the 10 guiding principles. Judy Schultz/Qwest asked if we should have a ‘guiding principles’ standing agenda item to identify what can be removed from the list. Wendy Green/Qwest stated that things would never be crossed off the list because they are principles and are there forever. Liz Balvin/MCI shared Judy’s concern and stated that they just came across a situation where they reserved TNs in the GUI and submitted the order in EDI. The reps populated the PON manually, typing them in lower case, but went out the door in upper case. Liz stated that it is not documented that they have to be in upper case. Liz stated that it would be helpful to have a tab for Documentation Experiences/Discussion. Lynn Notarianni/Qwest stated that there is a tab for design walkthrough’s and we can have one for documentation. Lynn noted that it could have something in it, or not. Liz Balvin/MCI stated that she understands Qwests position and stated that she did not know that she could call the Help Desk for documentation issues, that is a value add from this discussion. Sue Stott/Qwest asked that instead of a standing agenda item or separate tab, maybe we could add documentation issues to the SATE portion of the meeting. Wendy Green/Qwest stated that that would be fine. Liz Balvin/MCI stated that it could be EDI/SATE. Liz Balvin/MCI stated that she would review her 3 CRs to see if they are guiding principles. Judy Schultz/Qwest stated that if Liz wants to close as a process CR, is ok with that as long as it is noted that Qwest does not agree that this is Process work. Judy stated that Qwest truly believes them to be systems requests. Liz Balvin/MCI stated that she was not clear on closing the CR as a Process CR. Judy Schultz/Qwest responded that that is what Liz wanted. Randy Owen/Qwest stated that the guiding principles can be closed, Qwest has adopted them. Judy Schultz/Qwest stated that when a CLEC submits a CR, Qwest looks at it and determines if it is an impact for Product/Process or Systems. Judy stated that Qwest would email the CLEC if the category is different. Judy asked if that was an acceptable way to communicate. Liz Balvin/MCI stated that she did receive emails and that she responded that she did not agree with the assigned category. Judy Schultz/Qwest asked that when the email is sent, what happens if we cannot reach agreement, how do we break that stalemate? Lynn Notarianni/Qwest stated that in that case, if a CLEC says it is a Product/Process CR and Qwest says that it is not, it could result in a denial based on infeaseability. Judy Schultz/Qwest stated that it could result in a denial. Liz Balvin/MCI stated that she would not be unreasonable. Lynn Notarianni/Qwest stated that she is just stating that it could be a risk. Liz Balvin/MCI stated that the stalemate is due to the category of product/process or systems, and stated that she thinks that we have flushed out why each of us believes the way we do. Liz asked if these CRs are going to remain as Process CRs as they were originally intended? Judy Schultz/Qwest stated that she is ok with the change back to Process and closing it out, with Judy adding a note that Qwest believes the CR to be a Systems change. Judy stated that she has an obligation to represent Qwest’s position. Judy stated that in the future, as CRs come in the door, my team will send out an email with the category, and if you don’t agree you need to let us know and we will call a meeting to discuss. Judy asked if that was acceptable to the CLECs. Liz Balvin/MCI said yes. Lynn Stecklein/Qwest asked how the CRs that are marked as both Product/Process are to be handled. Judy Schultz/Qwest stated that in some instances the CR may be both, could be a systems CR and an MN. Judy stated that if the CR is for both P/P and Systems, the CRPM would ask that separate CRs be issued. Lynn Stecklein/Qwest clarified that all 3 CRs will be crossed-over to Product/Process and will be closed. There were no additional questions or comments.

4/18/03 Revised Description: That Qwest personnel utilize the following guidelines when updating documentation, on a going forward basis: 1) Interface differences not clear (EDI or GUI). Functional differences should not exist. 2) Field level of detail for both inquiry and response transactions lacking (what special characters apply?) 3) ALL valid entries be provided for each transaction type 4) Acronyms must be defined 5) Usage rules must be defined 6) References must defined or have links provided 7) Complete and accurate business rules must be provided 8) Restrictions must be clearly defined 9) Lack of business rules to support usage cannot occur 10) Process established to sync up EDI documentation (disclosure documents and appendices) NOTE: As originally intended, MCI considers this CR to be a process change request. The CMP document is specific:

Section 5.1 states "A CLEC or Qwest seeking to change an existing OSS Interface, (CR to establish a new OSS Interface, or to retire an existing OSS Interface must submit a Change Request)."

Section 5.3 states "If a CLEC wants Qwest to change a product/process, the CLEC e-mails a Change Request (CR) Form to the Qwest CMP Manager, cmpcr@qwest.com."

MCI's CRs, as with Qwest internal documentation enhancements, should not be subject to IMA resources.

--Original Message-- From: Elizabeth Balvin [mailto:liz.balvin@wcom.com] Sent: Monday, January 27, 2003 5:09 PM To: 'lsteckl@qwest.com' Cc: 'Johnson, Bonnie J.'; 'amaus@mainstreetcom.com'; 'arlen@contactcom.net'; 'Bart Atkinson (E-mail)'; 'byron.dowding@alltel.com'; 'Carla D NCAM Pardee (E-mail)'; 'chris@contactcom.net'; 'Dan Rosedahl (E-mail)'; 'David Hennes (E-mail)'; 'dosborne@att.com'; 'freddi@microtech-tel.com'; 'John Berard (E-mail)'; 'Karen Clauson'; 'Kimberly Isaacs'; 'Lea Barron (E-mail)'; 'Leilani Hines (E-mail)'; 'Linda Fowlkes (E-mail)'; 'Littler Bill (E-mail)'; 'Lori Mendoza (E-mail)'; 'lrucks@blackfoot.com'; 'Mark R. Powell (E-mail)'; 'mzulevic@covad.com'; 'Nancy Conant (E-mail)'; 'Peder Gunderson (E-mail)'; 'Sharon K NCAM Van Meter (E-mail)'; 'Sherry Lichtenberg (E-mail)'; 'Stephanie Prull (E-mail)'; 'Tom Hyde (E-mail)'; 'vicky@consolidatedtelcom.com' Subject: EDI Documentation Lynn, The following is a high level list of issues WCom has identified regarding Qwest's EDI documentation. While this list is not inclusive, per Qwest recommendation, WCom provides as a start at developing "guidelines" for Qwest documentation updates going forward: 1) Interface differences not clear (EDI or GUI), CLECs expect functionality would NEVER differ, need to confirm 2) Field level of detail for both inquiry and response transactions lacking (what special characters apply?) 3) ALL valid entries be provided for each transaction type 4) Acronyms must be defined 5) Usage rules must be defined 6) References must defined or have links provided 7) Complete and accurate business rules must provided 8) Restrictions must be clearly defined 9) Lack of business rules to support usage cannot occur 10) Process established to sync up EDI documentation (disclosure documents and appendices)

12/18/02 Email w/ Revised Description: --Original Message-- From: Elizabeth Balvin [mailto:liz.balvin@wcom.com] Sent: Wednesday, December 18, 2002 2:19 PM To: 'cmpcr@qwest.com' Cc: 'lsteckl@qwest.com' Subject: FW: SCR093002-05 Single Source Document for Implementing EDI

WCom is willing to change the language in the attached CR to better reflect the intended change. NOTE: The original request was submitted as a "process" CR which is still the intended CMP WCom wishes to follow. As such, the CR would not compete for IMA resources and impact prioritization. The new language should read:

This change request is not intended to modify in any way the current or planned Qwest applications or code to support these systems. In addition, this change request is not intended to be retroactive to current or previous OSS interface requirements. It is intended to be implemented on a going forward basis. The request seeks to require CLEC input such that Qwest understands from a "users perspective" what changes are need to provide "efficacy" as required by the FCC. WCom recommends working sessions with interested Parties as a means to establish ground rules for documentation.

An exception would not be necessary if Qwest agrees with following the Process CMP.

9/27/02 Original Description: At a minimum, the following documents are provided by Qwest for EDI Implementation: Product Catalog (PCAT) Qwest Preparation Guides EDI Disclosure Documentation LSR Developer Worksheets Premis Guide for City List EDI/SATE Error List and IMA User's Guide Sources are not always in sync and cross referencing causes delays


Open Product/Process CR PC022703-25X Detail

 
Title: Documentation update (valid values on AVR and CSR response fields)
CR Number Current Status
Date
Area Impacted Products Impacted

PC022703-25X Crossover
7/27/2009
UNE-P
Originator: Balvin, Liz
Originator Company Name: MCI
Owner: Schultz, Judy
Director:
CR PM: Stecklein, Lynn

Description Of Change

WCom request valid values be provided for the following:

1) Developer Worksheet CSRR9 PGRTIND.

2) Developer Worksheet CSRR10 CSRSIZE

3) Developer Worksheet CSRR77 and CSRR92 USOCQTY.

4) Developer Worksheet CSRR123 and CSRR127 ERRNUM.

5) Developers Worksheet, Appendix A field SWTYPNUM.

6) Developers Worksheet Appendix A, field NMNUM.

7) Developers Worksheet, Appendix A field MCNUM.


Status History

5/6/03 - P/P CR submitted by WorldCom

5/6/03 Crossover created. (See SCR022702-25)


Project Meetings

4/17/03 CMP Systems Meeting An agreement was reached with the CLEC Community in the April CMP Systems Meeting on SCR022703-25X Documentation update - valid values on AVR and CSR response fields). This change request will be 'crossed over' to product and process and closed. Qwest agreed to 'cross over' this CR with the caveat that Qwest does not agree that this is Process work and believes it to be a system request. 4/17/03 CMP Systems Meeting Kit Thomte/Qwest stated that there is one more walk on to discuss regarding, from Liz Balvin. Liz Balvin/MCI stated that she was expecting a follow up call from Qwest last month and never got one. Kit Thomte/Qwest stated that nothing has changed in regard to this issue. Liz Balvin/MCI stated that WorldCom submitted process CRs and Qwest unilaterally processed them as systems CRs. Liz stated that if Qwest objected to MCI’s issuing these CRs as Process CRs, then Qwest needs to take this to the oversight committee. Kit Thomte/Qwest stated that Judy Schultz needs to address this issue and that Judy will be returning to the meeting after lunch. Liz Balvin/MCI stated that WorldCom wanted the CRs reverted back to Product/Process and sees that it was not done. Liz stated that she does not know if Judy is aware of that. Lynn Notarianni/Qwest stated that Judy is aware of your position on that. Lynn stated that from a standpoint of resolution, Qwest’s position is that we would not be escalating on ourselves on an issue that we feel that the decision was made congruent with how we’ve treated these types of issues in the past. Lynn stated that these CRs do need and take systems resources in order to do the work. Kit Thomte/Qwest recommended that we break for lunch and reconvene at 1:00 p.m. MT. Liz Balvin/MCI stated that WorldCom submitted 3 CRs as document changes and Qwest unilaterally changed them to systems CRs. Liz stated that this conversation has gone round and round. Liz stated that she tried to change the language back in December because she did not want these to impact IMA resources. Liz stated that the Qwest EDI implementation team changes documentation if Qwest finds a problem. Liz stated that if Qwest believes that WorldCom inappropriately sent these as Product/Process, Qwest needs to do something. Liz noted that any time there has been a cross over we’ve agreed to it in this forum and stated that she sees Qwest as out of process and doesn’t know how to better address that. Judy Schultz/Qwest stated that it is important to have this discussion and feels that we are at an impasse. Judy apologized if in the past Qwest has made unilateral decisions without communicating those decisions to change the CRs from Product/Process to Systems. Judy stated that Qwest is in the unique position of knowing which it should be and when there will be an impact to the systems. Judy stated that you might think it is just a process change, but we do know our internal systems and can say when a request would really impact a system. Judy noted that on the other hand, some changes come in as systems and we can look at it and determine that it would not require systems restraints and so we suggest crossing those CRs over to Product/Process. Judy stated that an email is sent to state if processed as a Product/Process or a Systems CR. Judy stated that the one issue that we are a little bit apart on is what to do with these systems documentation changes. Judy stated that in Section 8, which describes systems changes, the deliverables do include the system’s documentation, which is Sue’s (Stott) team. Liz Balvin/MCI stated that she agrees that the initial documentation to documented system enhancements per release should be included, but this is after it is implemented and a CLEC identifies a flaw with the documentation. Liz stated that in December, she said that the change was not intended to change existing documentation or previously existing versions, we just want issues addressed going forward. Liz stated that resources are required for new release documents, but once the document is used and a defect is identified, they should be corrected. Liz noted that the CLECs work with the EDI documentation team and when an issue is identified, that team fixes the problem. Sue Stott/Qwest stated that her team handles those in the same manner as a production support bug. Liz Balvin/MCI stated that these CR’s are for the issues that the EDI team said Qwest would not do as a bug fix. Wendy Green/Qwest stated that those were ones that Qwest viewed as enhancements rather than a bug in the documentation. Sharon Van Meter/AT&T asked if after a release is implemented and a bug is identified in the documentation, WorldCom sends an email to someone? Judy Schultz/Qwest stated that should go through production support. Liz Balvin/MCI stated that the production support help desk would not know this stuff. Liz Balvin/MCI stated that they do work with the EDI team and were told to issue these CRs. Wendy Green/Qwest stated that they are not a bug because the information is already there, it is an enhancement. Wendy noted that a lot of the time Qwest fixes issues that a CLEC brings forwards through that team but in this case you were requesting something a bit bigger than simply a clarification or a bug fix. Liz Balvin/MCI stated that it is not an enhancement because the documentation is incorrect. Lynn Notarianni/Qwest stated that we are disagreeing about a gray area, one side views as an enhancement and one side views as a bug. Donna Osborne-Miller/AT&T stated that her consumer team is finding this a challenge, they are trying to work with a manual and are feeling the same frustration. Liz Balvin/MCI stated that she understands Qwest’s position to not look at every data field so agreed to change the CR. Liz stated that the guidelines are for Qwest to focus on documentation going forward. Judy Schultz/Qwest stated that there is a process for documentation issues when Qwest and the CLECs believe that it is a bug. Liz Balvin/MCI stated is for when Qwest believes it to be a bug. Judy Schultz/Qwest asked when it happens that something in the documentation that a CLEC sees as a defect and Qwest doesn’t, would it satisfy the CLECs if going forward as fields are impacted in the course of a release, the documentation would be changed going forward to adhere to those expectations. Sue Stott/Qwest stated that this is currently occurring. Liz Balvin/MCI stated that in reference to this CR, they were told to issue a CR., as well as for the other 2 CRs. Sue Stott/Qwest stated that where it gets gray is when further clarification is needed for a field. Liz Balvin/MCI stated that these items are not gray, they are adding valid values or formats. Sue Stott/Qwest stated that the bigger issue for IT documentation is Qwest has people working on the releases and when they get a request for a documentation update, the people have to be diverted from the release in order to do the documentation updates. Sue stated that maybe the answer is less capacity for a release. Judy Schultz/Qwest stated that she wants to make sure that we’re clear. Judy noted that if there were 200 different fields to update, that would be a big effort. Judy stated that she thought she heard that IT was going forward in trying to follow the proposed guidelines. Sue Stott/Qwest stated that IT does that today and noted that her concern is, if you are an EDI user you are not going to pay close attention to the new release right away and that Qwest will not be made aware of issues until much later. Randy Owen/Qwest stated that Qwest needs to be careful because you cannot update for some products and not all, that would create other problems. Randy stated that we need to look at updates across the board, maybe a legend should be developed. Liz Balvin/MCI stated that the EDI documentation is going to come along because you now have users. Liz noted that consistency is an excellent point, if you only do that on one field then it could create inconsistency. Liz stated that she liked the idea of a legend but would need to check with her coders to see if one would work for them. Liz stated that she could possibly only be looking at a specific field and would need a guide to tell her what to look at first. Judy Schultz/Qwest asked what if we do a running cheat sheet. Randy Owen/Qwest stated that we saw that this CR might take us there and started down that path. Then heard that is not what was wanted. Sue Stott/Qwest stated that we have to carefully scrutinize to ensure that a documentation change doesn’t also mean a system change. It is so tightly related, the difference can be as subtle as an and/or difference. Sue stated that is another reason why system resources are needed. Judy Schultz/Qwest stated that she understands that it is the same resources and is just trying to explore if IT can do a piece at-a-time. Judy asked if there are ever any times when it would be logical do to this kind of work. Is there ever a time in development when we could spend time doing this? Sue Stott/Qwest stated that it would still take systems resources to do that and stated that the issue is if it affects the voting capacity for a release. Sue stated that in many cases the same resources are used for coding and documentation. Liz Balvin/MCI asked if she could update the single source CR with a title change to ‘Guiding Principals to Qwest Documentation on Going Forward Basis, When Documentation Happens’, and will list the 10-items that you say you are using. Liz stated that the CR would then be moved back to Process and the documentation would be done when the regular document comes out. Liz stated that when new documentation comes out in future releases and sees that the guidelines are not being adhered to, and when it severely impacts her ability to do business then she would bring it forward. Liz stated that she would be willing to do that in order to get these off the table. Liz stated that she understands where Qwest is coming from and that believes that Qwest understands where she is coming from. Kit Thomte/Qwest asked how the guidelines would be updated. Liz Balvin/MCI stated that they would be closed with this CR and for other items that come up, new CRs would be issued. Donna Osborne-Miller/AT&T asked if they are to call the Help Desk if problems after in production. Randy Owen/Qwest stated that the documentation team is to be contacted if prior to 30 days after production, after the 30 days, you contact the Help Desk. Wendy Green/Qwest stated that we took the principles and looked at redesigning to be 1 document for both EDI and GUI. Wendy stated that she did not know if that is still on the table. Liz Balvin/MCI stated that that was not the intent of the CR. Lynn Notarianni/Qwest asked if the guiding principles are separate from SBCs document. Wendy Green/Qwest stated that within the current format, will use the 10 guiding principles. Judy Schultz/Qwest asked if we should have a ‘guiding principles’ standing agenda item to identify what can be removed from the list. Wendy Green/Qwest stated that things would never be crossed off the list because they are principles and are there forever. Liz Balvin/MCI shared Judy’s concern and stated that they just came across a situation where they reserved TNs in the GUI and submitted the order in EDI. The reps populated the PON manually, typing them in lower case, but went out the door in upper case. Liz stated that it is not documented that they have to be in upper case. Liz stated that it would be helpful to have a tab for Documentation Experiences/Discussion. Lynn Notarianni/Qwest stated that there is a tab for design walkthrough’s and we can have one for documentation. Lynn noted that it could have something in it, or not. Liz Balvin/MCI stated that she understands Qwests position and stated that she did not know that she could call the Help Desk for documentation issues, that is a value add from this discussion. Sue Stott/Qwest asked that instead of a standing agenda item or separate tab, maybe we could add documentation issues to the SATE portion of the meeting. Wendy Green/Qwest stated that that would be fine. Liz Balvin/MCI stated that it could be EDI/SATE. Liz Balvin/MCI stated that she would review her 3 CRs to see if they are guiding principles. Judy Schultz/Qwest stated that if Liz wants to close as a process CR, is ok with that as long as it is noted that Qwest does not agree that this is Process work. Judy stated that Qwest truly believes them to be systems requests. Liz Balvin/MCI stated that she was not clear on closing the CR as a Process CR. Judy Schultz/Qwest responded that that is what Liz wanted. Randy Owen/Qwest stated that the guiding principles can be closed, Qwest has adopted them. Judy Schultz/Qwest stated that when a CLEC submits a CR, Qwest looks at it and determines if it is an impact for Product/Process or Systems. Judy stated that Qwest would email the CLEC if the category is different. Judy asked if that was an acceptable way to communicate. Liz Balvin/MCI stated that she did receive emails and that she responded that she did not agree with the assigned category. Judy Schultz/Qwest asked that when the email is sent, what happens if we cannot reach agreement, how do we break that stalemate? Lynn Notarianni/Qwest stated that in that case, if a CLEC says it is a Product/Process CR and Qwest says that it is not, it could result in a denial based on infeaseability. Judy Schultz/Qwest stated that it could result in a denial. Liz Balvin/MCI stated that she would not be unreasonable. Lynn Notarianni/Qwest stated that she is just stating that it could be a risk. Liz Balvin/MCI stated that the stalemate is due to the category of product/process or systems, and stated that she thinks that we have flushed out why each of us believes the way we do. Liz asked if these CRs are going to remain as Process CRs as they were originally intended? Judy Schultz/Qwest stated that she is ok with the change back to Process and closing it out, with Judy adding a note that Qwest believes the CR to be a Systems change. Judy stated that she has an obligation to represent Qwest’s position. Judy stated that in the future, as CRs come in the door, my team will send out an email with the category, and if you don’t agree you need to let us know and we will call a meeting to discuss. Judy asked if that was acceptable to the CLECs. Liz Balvin/MCI said yes. Lynn Stecklein/Qwest asked how the CRs that are marked as both Product/Process are to be handled. Judy Schultz/Qwest stated that in some instances the CR may be both, could be a systems CR and an MN. Judy stated that if the CR is for both P/P and Systems, the CRPM would ask that separate CRs be issued. Lynn Stecklein/Qwest clarified that all 3 CRs will be crossed-over to Product/Process and will be closed. There were no additional questions or comments.


Open Product/Process CR PC022703-26X Detail

 
Title: Documentation update (valid date format)
CR Number Current Status
Date
Area Impacted Products Impacted

PC022703-26X Crossover
7/27/2009
UNE-P
Originator: Balvin, Liz
Originator Company Name: MCI
Owner: Schultz, Judy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest doesn't provide the valid date format in Developer Worksheet CSRR15 ORIGDATE.


Status History

4/18/03 CR submitted as P/P

5/6/03 Crossover CR created (See SCR022703-26


Project Meetings

4/17/03 CMP Systems Meeting An agreement was reached with the CLEC Community in the April CMP Systems Meeting on SCR0022703-26X (Documentation update - valid date format). This change request will be 'crossed over' to product and process and closed. Qwest agreed to 'cross over' this CR with the caveat that Qwest does not agree that this is Process work and believes it to be a system request.

4/17/03 CMP Systems Meeting Kit Thomte/Qwest stated that there is one more walk on to discuss regarding, from Liz Balvin. Liz Balvin/MCI stated that she was expecting a follow up call from Qwest last month and never got one. Kit Thomte/Qwest stated that nothing has changed in regard to this issue. Liz Balvin/MCI stated that WorldCom submitted process CRs and Qwest unilaterally processed them as systems CRs. Liz stated that if Qwest objected to MCI’s issuing these CRs as Process CRs, then Qwest needs to take this to the oversight committee. Kit Thomte/Qwest stated that Judy Schultz needs to address this issue and that Judy will be returning to the meeting after lunch. Liz Balvin/MCI stated that WorldCom wanted the CRs reverted back to Product/Process and sees that it was not done. Liz stated that she does not know if Judy is aware of that. Lynn Notarianni/Qwest stated that Judy is aware of your position on that. Lynn stated that from a standpoint of resolution, Qwest’s position is that we would not be escalating on ourselves on an issue that we feel that the decision was made congruent with how we’ve treated these types of issues in the past. Lynn stated that these CRs do need and take systems resources in order to do the work. Kit Thomte/Qwest recommended that we break for lunch and reconvene at 1:00 p.m. MT. Liz Balvin/MCI stated that WorldCom submitted 3 CRs as document changes and Qwest unilaterally changed them to systems CRs. Liz stated that this conversation has gone round and round. Liz stated that she tried to change the language back in December because she did not want these to impact IMA resources. Liz stated that the Qwest EDI implementation team changes documentation if Qwest finds a problem. Liz stated that if Qwest believes that WorldCom inappropriately sent these as Product/Process, Qwest needs to do something. Liz noted that any time there has been a cross over we’ve agreed to it in this forum and stated that she sees Qwest as out of process and doesn’t know how to better address that. Judy Schultz/Qwest stated that it is important to have this discussion and feels that we are at an impasse. Judy apologized if in the past Qwest has made unilateral decisions without communicating those decisions to change the CRs from Product/Process to Systems. Judy stated that Qwest is in the unique position of knowing which it should be and when there will be an impact to the systems. Judy stated that you might think it is just a process change, but we do know our internal systems and can say when a request would really impact a system. Judy noted that on the other hand, some changes come in as systems and we can look at it and determine that it would not require systems restraints and so we suggest crossing those CRs over to Product/Process. Judy stated that an email is sent to state if processed as a Product/Process or a Systems CR. Judy stated that the one issue that we are a little bit apart on is what to do with these systems documentation changes. Judy stated that in Section 8, which describes systems changes, the deliverables do include the system’s documentation, which is Sue’s (Stott) team. Liz Balvin/MCI stated that she agrees that the initial documentation to documented system enhancements per release should be included, but this is after it is implemented and a CLEC identifies a flaw with the documentation. Liz stated that in December, she said that the change was not intended to change existing documentation or previously existing versions, we just want issues addressed going forward. Liz stated that resources are required for new release documents, but once the document is used and a defect is identified, they should be corrected. Liz noted that the CLECs work with the EDI documentation team and when an issue is identified, that team fixes the problem. Sue Stott/Qwest stated that her team handles those in the same manner as a production support bug. Liz Balvin/MCI stated that these CR’s are for the issues that the EDI team said Qwest would not do as a bug fix. Wendy Green/Qwest stated that those were ones that Qwest viewed as enhancements rather than a bug in the documentation. Sharon Van Meter/AT&T asked if after a release is implemented and a bug is identified in the documentation, WorldCom sends an email to someone? Judy Schultz/Qwest stated that should go through production support. Liz Balvin/MCI stated that the production support help desk would not know this stuff. Liz Balvin/MCI stated that they do work with the EDI team and were told to issue these CRs. Wendy Green/Qwest stated that they are not a bug because the information is already there, it is an enhancement. Wendy noted that a lot of the time Qwest fixes issues that a CLEC brings forwards through that team but in this case you were requesting something a bit bigger than simply a clarification or a bug fix. Liz Balvin/MCI stated that it is not an enhancement because the documentation is incorrect. Lynn Notarianni/Qwest stated that we are disagreeing about a gray area, one side views as an enhancement and one side views as a bug. Donna Osborne-Miller/AT&T stated that her consumer team is finding this a challenge, they are trying to work with a manual and are feeling the same frustration. Liz Balvin/MCI stated that she understands Qwest’s position to not look at every data field so agreed to change the CR. Liz stated that the guidelines are for Qwest to focus on documentation going forward. Judy Schultz/Qwest stated that there is a process for documentation issues when Qwest and the CLECs believe that it is a bug. Liz Balvin/MCI stated is for when Qwest believes it to be a bug. Judy Schultz/Qwest asked when it happens that something in the documentation that a CLEC sees as a defect and Qwest doesn’t, would it satisfy the CLECs if going forward as fields are impacted in the course of a release, the documentation would be changed going forward to adhere to those expectations. Sue Stott/Qwest stated that this is currently occurring. Liz Balvin/MCI stated that in reference to this CR, they were told to issue a CR., as well as for the other 2 CRs. Sue Stott/Qwest stated that where it gets gray is when further clarification is needed for a field. Liz Balvin/MCI stated that these items are not gray, they are adding valid values or formats. Sue Stott/Qwest stated that the bigger issue for IT documentation is Qwest has people working on the releases and when they get a request for a documentation update, the people have to be diverted from the release in order to do the documentation updates. Sue stated that maybe the answer is less capacity for a release. Judy Schultz/Qwest stated that she wants to make sure that we’re clear. Judy noted that if there were 200 different fields to update, that would be a big effort. Judy stated that she thought she heard that IT was going forward in trying to follow the proposed guidelines. Sue Stott/Qwest stated that IT does that today and noted that her concern is, if you are an EDI user you are not going to pay close attention to the new release right away and that Qwest will not be made aware of issues until much later. Randy Owen/Qwest stated that Qwest needs to be careful because you cannot update for some products and not all, that would create other problems. Randy stated that we need to look at updates across the board, maybe a legend should be developed. Liz Balvin/MCI stated that the EDI documentation is going to come along because you now have users. Liz noted that consistency is an excellent point, if you only do that on one field then it could create inconsistency. Liz stated that she liked the idea of a legend but would need to check with her coders to see if one would work for them. Liz stated that she could possibly only be looking at a specific field and would need a guide to tell her what to look at first. Judy Schultz/Qwest asked what if we do a running cheat sheet. Randy Owen/Qwest stated that we saw that this CR might take us there and started down that path. Then heard that is not what was wanted. Sue Stott/Qwest stated that we have to carefully scrutinize to ensure that a documentation change doesn’t also mean a system change. It is so tightly related, the difference can be as subtle as an and/or difference. Sue stated that is another reason why system resources are needed. Judy Schultz/Qwest stated that she understands that it is the same resources and is just trying to explore if IT can do a piece at-a-time. Judy asked if there are ever any times when it would be logical do to this kind of work. Is there ever a time in development when we could spend time doing this? Sue Stott/Qwest stated that it would still take systems resources to do that and stated that the issue is if it affects the voting capacity for a release. Sue stated that in many cases the same resources are used for coding and documentation. Liz Balvin/MCI asked if she could update the single source CR with a title change to ‘Guiding Principals to Qwest Documentation on Going Forward Basis, When Documentation Happens’, and will list the 10-items that you say you are using. Liz stated that the CR would then be moved back to Process and the documentation would be done when the regular document comes out. Liz stated that when new documentation comes out in future releases and sees that the guidelines are not being adhered to, and when it severely impacts her ability to do business then she would bring it forward. Liz stated that she would be willing to do that in order to get these off the table. Liz stated that she understands where Qwest is coming from and that believes that Qwest understands where she is coming from. Kit Thomte/Qwest asked how the guidelines would be updated. Liz Balvin/MCI stated that they would be closed with this CR and for other items that come up, new CRs would be issued. Donna Osborne-Miller/AT&T asked if they are to call the Help Desk if problems after in production. Randy Owen/Qwest stated that the documentation team is to be contacted if prior to 30 days after production, after the 30 days, you contact the Help Desk. Wendy Green/Qwest stated that we took the principles and looked at redesigning to be 1 document for both EDI and GUI. Wendy stated that she did not know if that is still on the table. Liz Balvin/MCI stated that that was not the intent of the CR. Lynn Notarianni/Qwest asked if the guiding principles are separate from SBCs document. Wendy Green/Qwest stated that within the current format, will use the 10 guiding principles. Judy Schultz/Qwest asked if we should have a ‘guiding principles’ standing agenda item to identify what can be removed from the list. Wendy Green/Qwest stated that things would never be crossed off the list because they are principles and are there forever. Liz Balvin/MCI shared Judy’s concern and stated that they just came across a situation where they reserved TNs in the GUI and submitted the order in EDI. The reps populated the PON manually, typing them in lower case, but went out the door in upper case. Liz stated that it is not documented that they have to be in upper case. Liz stated that it would be helpful to have a tab for Documentation Experiences/Discussion. Lynn Notarianni/Qwest stated that there is a tab for design walkthrough’s and we can have one for documentation. Lynn noted that it could have something in it, or not. Liz Balvin/MCI stated that she understands Qwests position and stated that she did not know that she could call the Help Desk for documentation issues, that is a value add from this discussion. Sue Stott/Qwest asked that instead of a standing agenda item or separate tab, maybe we could add documentation issues to the SATE portion of the meeting. Wendy Green/Qwest stated that that would be fine. Liz Balvin/MCI stated that it could be EDI/SATE. Liz Balvin/MCI stated that she would review her 3 CRs to see if they are guiding principles. Judy Schultz/Qwest stated that if Liz wants to close as a process CR, is ok with that as long as it is noted that Qwest does not agree that this is Process work. Judy stated that Qwest truly believes them to be systems requests. Liz Balvin/MCI stated that she was not clear on closing the CR as a Process CR. Judy Schultz/Qwest responded that that is what Liz wanted. Randy Owen/Qwest stated that the guiding principles can be closed, Qwest has adopted them. Judy Schultz/Qwest stated that when a CLEC submits a CR, Qwest looks at it and determines if it is an impact for Product/Process or Systems. Judy stated that Qwest would email the CLEC if the category is different. Judy asked if that was an acceptable way to communicate. Liz Balvin/MCI stated that she did receive emails and that she responded that she did not agree with the assigned category. Judy Schultz/Qwest asked that when the email is sent, what happens if we cannot reach agreement, how do we break that stalemate? Lynn Notarianni/Qwest stated that in that case, if a CLEC says it is a Product/Process CR and Qwest says that it is not, it could result in a denial based on infeaseability. Judy Schultz/Qwest stated that it could result in a denial. Liz Balvin/MCI stated that she would not be unreasonable. Lynn Notarianni/Qwest stated that she is just stating that it could be a risk. Liz Balvin/MCI stated that the stalemate is due to the category of product/process or systems, and stated that she thinks that we have flushed out why each of us believes the way we do. Liz asked if these CRs are going to remain as Process CRs as they were originally intended? Judy Schultz/Qwest stated that she is ok with the change back to Process and closing it out, with Judy adding a note that Qwest believes the CR to be a Systems change. Judy stated that she has an obligation to represent Qwest’s position. Judy stated that in the future, as CRs come in the door, my team will send out an email with the category, and if you don’t agree you need to let us know and we will call a meeting to discuss. Judy asked if that was acceptable to the CLECs. Liz Balvin/MCI said yes. Lynn Stecklein/Qwest asked how the CRs that are marked as both Product/Process are to be handled. Judy Schultz/Qwest stated that in some instances the CR may be both, could be a systems CR and an MN. Judy stated that if the CR is for both P/P and Systems, the CRPM would ask that separate CRs be issued. Lynn Stecklein/Qwest clarified that all 3 CRs will be crossed-over to Product/Process and will be closed. There were no additional questions or comments.


Open Product/Process CR PC050503-3 Detail

 
Title: CEMR requests processed via the proper channels
CR Number Current Status
Date
Area Impacted Products Impacted

PC050503-3 Completed
1/21/2004
Repair
Originator: Balvin, Liz
Originator Company Name: MCI
Owner: McBride, Kathy
Director:
CR PM: Harlan, Cindy

Description Of Change

If Qwest should receive a request for CEMR access that has not been processed through the designated CLEC representative, Qwest will reject the request and inform the requestor to go through their designated representative. As a result, the CLEC will have a complete update of all CEMR users and will be better equipped to maintain a current list and to notify Qwest of any changes or deletions. In addition, CLEC will be in a better position to notify users of any upcoming releases or changes to CEMR

Expected Deliverable:

That CEMR requests get processed via the proper channels


Status History

05/05/03 - CR Submitted

05/07/03 - Acknowledged CR

05/13/03 - Clarification Meeting

05/21/03 - Presented at CMP Meeting

06/11/03 - Qwest response posted and distributed

06/18/03 - Discussed at CMP Meeting

07/09/03 - Revised response posted and distributed

07/16/03 - CR Discussed at CMP Monthly Meeting

8/21/03 - Discussed at CMP Meeting

9/5/03 - Held Ad Hoc meeting to review draft process

9/17/03 - Sep CMP meeting minutes will be posted to the database

10/15/03 - Oct CMP meeting minutes will be posted to the database

10/30/03 - Communicated with MCI and Vartech asking them for list of users for DC - sent spreadsheet for them to fill out to identify the users who need DC

11/17/03 - Sent user id list from MCI to IT to establish users

11/19/03 - Nov CMP meeting minutes will be posted to the database

12/3/03 - Established partial list of users with Digital Certificates and user ids. Additional users in progress.

12/8/03 - Established list of users that were missed from the first list.

12/17/03 - Dec CMP notes will be posted to the database

12/29/03 - Provided list of existing users to account manager to validate and share with CLECs

1/21/03 - Jan CMP meeting minutes will be posted to the database


Project Meetings

January 21, 2004 CMP Meeting Liz Balvin – MCI advised this did get implemented in December. The forms are updated. They received the file to sync up their users. The list included users for all systems that have digital certificates. Liz asked how should they notify Qwest of users they want deleted from digital certificates, as the employee has left the business. Cindy Macy-Qwest asked Steve Kast-Qwest if he was aware of this process. Steve advised he is aware of how another CLEC has done this. There isn’t a place on the form to specifically identify deletions, but the CLEC just wrote it on the form and sent it to Qwest. Cindy Macy-Qwest advised she would double check this process and get back to Liz Balvin. Liz advised it is okay to change this CR to Completed Status.

December 17, 2003 CMP Meeting Liz Balvin – MCI advised Cindy Macy and I have been passing multiple emails working on getting users set up. Cindy Macy – Qwest confirmed that the notification went out and the process is effective December 22. Liz asked if it was okay to have multiple admin names as the point of contact for receipt of digital certificates. Cindy confirmed yes. Liz agreed to wait until the process is implemented on December 22 to submit additional users. Qwest was attempting to set up users manually prior to December 22. Cindy confirmed that this requires manual work to the user spreadsheet and that there is a possibility for error. The preferred method is to wait until the process is effective. This CR will move to CLEC test.

November 19, 2003 CMP Meeting Kathy McBride – Qwest advised the notification went out and the comment cycle closed today. Implementation is scheduled for December 3, 2003. Liz Balvin – MCI asked if this process includes allowing for a system admin as the common email address and a sync up of the database. Kathy McBride advised she would check on the ‘sync up of the database’ as she is not sure of that piece. Liz also asked about the list of user ids that she sent in and whether they were being set up. Cindy Macy – Qwest advised the list has been forwarded to our IT group to get the user ids set up. They have identified an ECOM server issue with accepting duplicate email ids. This issue is currently being investigated. Kathy McBride will follow up on these issues.

October 15, 2003 CMP Meeting Kathy McBride – Qwest advised we have concurrence from Security to issue the Digital Certificate to either a single point of contact designee for the CLEC or an individual user. Kathy advised she needs to check with the other systems that require a digital certificate to determine if there are additional system impacts. Kathy advised we are planning on issuing a Level 3 notification addressing the Digital Certificate form changes that are required. The form is used by the CLECs. The form will be updated to include the email address requirement for a designated single point of contact. Kathy explained if you have designated a single point of contact Qwest will verify it is the authorized person when a request for Digital Certificate is received. The requestor has to be either the designated person(s) or the end user that will be receiving the DC. Liz Balvin – MCI asked when this could be implemented. There is a substantial need for MCI to be able to get their end users access to CEMR. Monica Avila-Var Tech advised they have the same need. Kathy advised her target date is November 3 to have the Level 3 available for review. Bonnie Johnson – Eschelon asked is there was any way we could implement a workaround prior to the implementation date to address MCI and VarTech’s needs. Bonnie advised the CLECs should be able to work this with the Service Managers. Judy Schultz-Qwest advised we need to follow the CMP Process. Judy asked Dan Busetti – Qwest CEMR representative if CEMR could accommodate a faster implementation. Dan advised they could. Judy advised we would work this with Service Management and contact the help desk to have a trouble ticket issued. Pam DeLaittre advised Service Management will help get this resolved. Qwest will see what can be done to work this faster. Judy reviewed the Level 3 guidelines on Notification level change to determine what needed to be done. The team agreed if Qwest is able to handle this with a trouble ticket than we do not need to change the Notification level for the CR. This CR will remain in Development Status.

September 17, 2003 CMP Meeting Cindy Macy reported that a CLEC input meeting was held to review the process with the CLECs. A large number of CLECs attended the call. Kathy is currently working on the process and checking on the questions that were raised regarding whether Qwest can send the digital certificate to one email id in each company, opposed to a different email id per digital certificate. Liz Balvin-MCI explained their users are not able to use CEMR as they do not have their own email ids. Liz verified that her request is for Qwest to issue digital certificates to a single email id in their system administration group. Connie Winston and Dan Busetti said this is a security requirement that needs to be reviewed and not an application requirement. Cindy agreed she would schedule an internal meeting to discuss this further. Monica Avila – Var Tech advised her uses do not individual email ids either so they can’t use CEMR. This affects approximately 140 users in each company.

CLEC Ad Hoc Meeting September 5, 2003 PC050503-3 CEMR requests processed via the proper channels

In attendance: Jody Thompson – US Link Julie Pickar – US Link Jan Stys – MCI Steve Kast – Qwest Kim Issacs – Eschelon Jackie Debold – US Link Kathy McBride – Qwest Wayne Hart – Idaho PUC Cindy Macy – Qwest Brenda Davis – MCI Stephanie Prull – McLeod Liz Balvin – MCI Kim Webley – MCI

Cindy Macy – Qwest opened the meeting and reviewed the purpose of the call and agenda. The purpose of the call is to review the draft process for providing digital certificates to a designated contact in each company that chooses to participate.

Kathy McBride reviewed the draft process with the CLECs. Provide a list of all Digital Certificates that Qwest currently has to a designated person in each company (available tentatively in October). The CLECs would clean up the list and identify the designated contacts that would be able to request and receive digital certificate information on all systems (not just CEMR). If a request comes in from some one that is not designated or authorized, the request will be returned to the designate/authorized person.

Jody US Link advised they have received this already, it may have come from an individual request, not related to this effort.

Liz – MCI asked if the list would be in excel. Kathy – Qwest replied she believes so.

Liz – MCI advised they do not want to receive the list of digital certificates to ‘clean up’ until we have implemented the process. They do not want to ‘clean up’ their list more than once. Qwest agreed we would take that information into account in developing the process and timelines.

The suggestion was made that the 1st notification would ask the CLECs if they want to participate in this process, then the single point of contact would need to be identified.

Stephanie Prull – McLeod asked if this process would change the Company Profile. Kathy McBride advised this has not been determined yet.

Brenda – MCI asked if the Service Manager will be sent the single point of contact information. Kathy – Qwest replied they will have access to this information.

Liz – MCI explained that with IMA their own system administrators assign IMA passwords to their own employees. Liz wanted to know if this process would do that for CEMR digital certificates? Liz Balvin recapped that Stephanie Prull – McLeod said because CEMR currently doesn’t allow ‘administrative access’, McLeod doesn’t have the ability to administer user id and passwords (as is available via IMA today). Stephanie confirmed and said given the ability to do it for the systems that go by Digital Certificate we could support the system admin functions. But since the systems currently do not have the ability this is something we can not currently offer our internal users. Kathy – Qwest advised she would check but it doesn’t sound as if this is currently available. Cindy – Qwest advised if this is part of the request; to change CEMR to allow the CLEC to assign the user id and password, that would change the scope of the effort and we would have to relook at that. We will verify that CEMR does not allow the CLEC to assign their own user ids/passwords, but we will not change the scope at this time.

Liz-MCI explained the issue they are having is that they cannot use CEMR as the system requires the digital certificate user id/password to be emailed to the end user, not a single person, and the end users at MCI do not all have email ids. Liz would like Qwest to provide CEMR digital certificates to one designated email address and allow that email address to provide the user id/ password to the end user.

Kathy – Qwest advised she will provide status at the September CMP meeting.

** CMP Meeting 08-20-03

McBride-Qwest stated that Qwest is developing a process to implement the change and requested an ad hoc meeting with the CLECs to review the proposed process. She proposed September 4, from 1-2 PM MT. Balvin-MCI stated that she would contact White-Qwest if that time did not work for her.

=======================================================

CMP Meeting 07-16-03

White-Qwest presented the Qwest acceptance. Balvin-MCI stated that she wanted to be kept abreast of the development of the new process to request digital certificates. CR moved to Development.

========================================================== CMP Meeting 06-18-03

White-Qwest presented the Qwest response. He stated that because of the number of complex issues involved in developing a solution to this request, Qwest would like to move this CR into Evaluation status in order to provide a complete answer. He explained that Qwest will provide a status update at the July CMP meeting and will outline their response at that time. He asked that the CR be moved to Evaluation status.

========================================================== CMP Meeting 05-21-03

Balvin-MCI presented the CR. White-Qwest asked if other CLECs would like this request expanded to all systems that required digital certificates. Johnson-Eschelon and Van Meter-AT&T stated that they would. Mores-Electric Light Wave suggested Qwest sending digital certificates to only one group in each company. Johnson-Eschelon stated that this process would need to be different for each company. Isaacs-Eschelon stated that other ILECs (SBC) allowed the IT departments of the CLECs to have administrative privileges for the ILEC digital certificate system. This allowed the CLEC to control who in their company had digital certificates. Johnson-Eschelon and Zulevic-Covad suggested that Qwest service managers provide the CLECs with a list of digital certificate holders at some time interval. The other attendees agreed that this would be good because most digital certificate requests are provided to the service managers.

=========================================== Clarification Meeting 10:00 AM (Mountain Time) / Tuesday, May 13, 2003

1-877-550-8686 2213337#

Attendees Matt White – Qwest Kathy McBride – Qwest Jeanne Whisenant - Qwest Liz Balvin – MCI Jan Stys – MCI

Introduction of Attendees White-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Stys-MCI reviewed the CR. She stated that in mid-April Qwest made change to the CEMR password and user-id process. She explained that MCI attempted to notify its internal employees of these changes and discovered that there were 300 MCI employees with digital certificates who the MCI IT group was not aware of. She stated that MCI employees were going directly to Qwest rather than going through the MCI IT group. She stated that MCI asked Qwest if their IT group could be copied on the e-mail that Qwest sent to the requestor when it issued the digital certificate. She stated that MCI needs a way to monitor and control the number of MCI employees who have digital certificates. She stated that MCI was trying to process all requests through their IT group. She stated that the internal MCI policy was for employees to go through the MCI IT group to get CEMR access and they were attempting to enforce the policy. White-Qwest asked how MCI employees are requesting digital certificates, if they are not going through the MCI IT group. Stys-MCI stated that she did not know. She stated that they may be using the wsst@qwest.com address. Balvin-MCI stated that she had requested CEMR access but was rejected, so there is some process for Qwest to control the access. White-Qwest asked how Balvin requested access. Balvin-MCI stated that she sent the form to wsst@qwest.com.

Confirm Areas and Products Impacted White-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted. Confirm Right Personnel Involved White-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation White-Qwest reviewed the request to confirm MCI’s expectation.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for MCI to present the CR at the May Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

July 9, 2003

REVISED RESPONSE For Review by CLEC Community and Discussion at the July 16, 2003, CMP Product/Process Meeting

Liz Balvin MCI

SUBJECT: Qwest’s Change Request Response - CR #PC050503-3

This is a revised response regarding MCI CR PC050503-3 (CEMR requests processed via the proper channels).

Qwest accepts this CR and proposes the following changes. Qwest will implement an internal process that will allow Service Managers to obtain a comprehensive list of all individuals within a CLEC company who currently possess a digital certificate. This list will also include the associated application access enjoyed by each certificate. This process will allow CLECs visibility of those individuals within each company who possess such access. Qwest proposes that this list be available beginning October 6, 2003.

In addition, Qwest will further define the process by which CLECs submit certificate requests. Qwest will develop a process wherein all CLECs may designate a single submission entity within each company.

Qwest will provide an update of the progress of this change at the August CMP Meeting.

Sincerely,

Kathy McBride Qwest

===================================================== June 11, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the June 18, 2003, CMP Product/Process Meeting

Liz Balvin MCI

SUBJECT: Qwest’s Change Request Response - CR #PC050503-3

This is a preliminary response regarding MCI CR PC050503-3 (CEMR requests processed via the proper channels).

Because of the number of complex issues involved in developing a solution to this request, Qwest would like to move this CR into Evaluation Status in order to provide a complete answer. Qwest will provide a status update at the July CMP meeting and will outline their response at that time.

Sincerely,

Kathy McBride Qwest


Open Product/Process CR PC030503-2 Detail

 
Title: Enhance Qwest MDS/MDSI/MWI Document
CR Number Current Status
Date
Area Impacted Products Impacted

PC030503-2 Withdrawn
4/16/2003
Resale, UNE-P
Originator: Balvin, Liz
Originator Company Name: MCI
Owner: Paxton, Mallory
Director:
CR PM: Harlan, Cindy

Description Of Change

WCom requests that Qwest enhance its document which identifies Qwest Central Offices equipped with Message Delivery Service Intraoffice (MDS) / Message Delivery Service Interoffice (MDSI) / Message Waiting Indicator (MWI) by adding the NPA values.

The document is currently available within Qwest’s SMDI Network Disclosure website (http://www.qwest.com/disclosures/netdisclosure366.html). The document does provide the NXX / Prefix value(s) associated with each listed Central Office and switch location, but does not include NPA data. This request is being submitted to have the NPA value(s) associated with the NXX / Prefix codes added.

Expected Deliverable:

None listed


Status History

03/05/03 - CR Submitted by World Com

03/06/03 - CR acknowledged by P/P CMP Manager

3/11/03 - Contacted World Comm to schedule Clarification Meeting

3/12/03 - Clarification Meeting scheduled for 3/17/03 11:00 - 12:00 am

3/17/03 - Clarification Meeting held

3/19/03 - March CMP Meeting minutes will be posted to the database

4/04/03 - Liz World Com advise she will withdraw this CR as they do not need NPA information on the report. They have determined they need CLLI code and that is already on the report. Changed status in database to pending withdraw.

4/16/03 - April CMP Meeting minutes will be posted to the database


Project Meetings

4/16/03 April CMP Meeting Minutes Liz Balvin agreed to withdraw this CR. Changed status to withdraw and closed 4/16/03.

3/19/03 March CMP Meeting Minutes Liz Balvin – World Comm reviewed and clarified the CR with the CLEC Community. Liz explained they would like NPA added to the document. ATT also supports this CR. This CR will move to Presented status.

Clarification Meeting March 17, 2003 11:30 –12:30 1-877-572-8687

CR PC030503-2 MDS/MDSI/MWI Update document with NPA Attendees Liz Balvin – World Com Becki Oliver – World Com Maureen Callan – Qwest Kelly Trachsel – Qwest Connee Moffatt – Qwest Mallory Paxton – Qwest Cindy Macy – Qwest Bill Woodworth – Qwest

Meeting Agenda 1.0 Introduction of Attendees Attendees Introduced

2.0 Review Requested (Description of) Change Becki Oliver and Liz Balvin reviewed and clarified the CR. World Comm explained they would like NPA added to the document. Having a column showing NPA would make the document more complete and helpful. WC uses this information to determine if MWI is a feature for their end user customers. WC is currently adding this information themselves by getting the data from the LERG and adding it to their own document.

Qwest asked if WC could determine this information as part of Pre-Order. WC advised this is a manual step before pre-order. Cindy Macy Qwest explained MWI feature is a CLEC feature. The MDS/MDSI is an ESP product offering, not a CLEC product offering. Liz Balvin advised they are also issuing a CR to ask for this document in Excel format, in addition to the PDF format.

3.0 Confirm Areas & Products Impacted MWI CLEC product offering

4.0 Confirm Right Personnel Involved Yes

5.0 Identify/Confirm CLEC’s Expectation Add NPA to the document

6.0 Identify any Dependent Systems Change Requests Liz advised she has a systems CR SCR021403-01 that is asking for an update to IMA to have MWI reject up front and jep notification if order submitted but cannot provision MWI features. If MWI were not available the LSR would be rejected.

7.0 Establish Action Plan (Resolution Time Frame) Liz Balvin will present and clarify at the March 19 CMP Meeting Qwest will meet to determine our response


Open Product/Process CR PC031703-1 Detail

 
Title: Make MDS/MDSI/MWI Document Available in Excel Format
CR Number Current Status
Date
Area Impacted Products Impacted

PC031703-1 Completed
4/15/2009
Resale, UNE P
Originator: Balvin, Liz
Originator Company Name: MCI
Owner: Paxton, Mallory
Director:
CR PM: Harlan, Cindy

Description Of Change

WCom requests that Qwest make its document which identifies Qwest Central Offices equipped with Message Delivery Service Intraoffice (MDS) / Message Delivery Service Interoffice (MDSI) / Message Waiting Indicator (MWI) available in Microsoft Excel format --in addition to the PDF format currently provided.

The document is currently provided within Qwest’s SMDI Network Disclosure website (http://www.qwest.com/disclosures/netdisclosure366.html) as a PDF download. The document in the PDF format permits a read-only use of the document, and therefore prohibits users from selecting and copying/pasting specific data elements for adding into another spreadsheet.

WCom needs the ability to select and copy/paste specific content of the document so that the data elements can be added to a WCom internal spreadsheet being created for determining MWI availability. Therefore receiving the Qwest document in an excel format will provide a copy of the document in a format that can be manipulated by CLECs for their own use.

This request asks Qwest to offer the document to CLECs in an excel format each time the document is updated; such that when notification is distributed that the PDF version on the website has been updated, an excel version (of the current document) could be provided to CLECs.


Status History

03/17/03 - CR Submitted by WorldCom

03/18/03 - CR acknowledged by P/P CMP Manager

03/21/03 - Contacted Customer to arrange for Clarification Meeting

03/25/03 - Clarification meeting scheduled for 3/28 Friday. OK per WorldComm.

03/28/03 - Held Clarification Meeting

04/03/03 - Sent Clarification Meeting notes to CLEC

4/16/03 - April CMP Meeting minutes will be posted to the database

5/9/03 - Notification will be send out 5-12 advising the document will be provided in excel format on the web site. Sent email to Liz Balvin to advise in advance.

5/13/03 - Document is available via web site

5/21/03 - May CMP Meeting Minutes will be posted to the database

6/18/03 - June CMP Meeting Minutes will be posted to the database. Agreed to close this CR at the June CMP Meeting.


Project Meetings

June 18, 2003 CMP Meeting Minutes - Liz Balvin agreed to close this CR. The report was provided in May.

May 21, 2003 CMP Meeting Minutes - Mallory Paxton – Qwest advised we have provided this document in Excel format and it is already available on the website. Notification was sent out and this CR was completed ahead of schedule. Liz Balvin thanked Mallory for her fast response. This CR will move to CLEC Test.

April 16, 2003 CMP Meeting - PC031703-1 Make MDS/MDSI/MWI Document available in Excel Format

Liz Balvin – MCI presented the CR to the CLEC Community. Liz advised they would like this report available in excel format. Liz advised she is hoping to get a response prior to the May CMP meeting. Qwest advised we will provide the response as soon as it is completed. This CR will move to presented status.

Clarification Meeting Friday March 28, 2003 1:00 – 2:00 p.m. MDT 1-877-572-8687 PC031703-1 MDS/MDSI/MWI Document in Excel format

Attendees Liz Balvin – World Com Lei Lani Heines – World Com Jeff Simons – World Com Mark Pollen – World Com Mallory Paxton – Qwest Connie Moffatt – Qwest Cindy Macy – Qwest

Meeting Agenda: 1.0 Introduction of Attendees Attendees Introduced

2.0 Review Requested (Description of) Change Liz and Lei Lani – World Com reviewed the CR. They advised the format is not very user friendly. They would like it available in Excel format also so they can manipulate and the use the data for their purposes.

Mark – World Com said the underlying document to the PDF file is an Excel spreadsheet. World Com would like to use the CLLI Code data on the spreadsheet. They thought they needed the NPA/NXX data but have determined they need the CLLI data. World Com will need to re-key all the data if they can’t get it in an excel spreadsheet. They are currently using the LERG to compare against this document and determine availability.

Qwest clarified there is another World Com CR that requests to have NPA data added to this document. Qwest asked if WC no longer needs the NPA data? Mark advised he is not aware if anyone else at World Com needs the NPA data. He can only speak to his part of this request and he does not need NPA data any longer. Liz agreed she would check to see if they could withdraw CR030503-2.

World Com advised they went to their Service Manager Pam O’Connell for this request and was advised to submit a CR.

Cindy Macy – Qwest asked if it is possible to provide this request where would World Com like the spreadsheet to be located? World Com advised their preference would be on the same web site location as the current PDF file.

3.0 Confirm Areas & Products Impacted Cindy Macy – Qwest explained that MDS/MDSI is an ESP product offering and MWI is a CLEC product offering.

4.0 Confirm Right Personnel Involved Yes

5.0 Identify/Confirm CLEC’s Expectation To have this document in an Excel and PDF format

6.0 Identify any Dependent Systems Change Requests CR PC030503-2

7.0 Establish Action Plan (Resolution Time Frame) Liz will present this CR to the CLEC Community at the April CMP Meeting Qwest will provide a response at the May CMP Meeting Liz said she would like us to provide our response at the April CMP Meeting. Cindy – Qwest advised the CMP Process does not support the response being required at the April Meeting. Liz asked if she requested an ad hoc meeting would Qwest be able to provide the response sooner? Cindy replied she was not sure the requirement of the ad hoc meeting, but she offered to check and see if Qwest can complete our response sooner, can we also provide the response before the May CMP meeting. Cindy did send Liz an email on 4-1-2003 advising her that if Qwest is able to complete the response sooner we will provide that to World Com, and not wait until the May meeting.


CenturyLink Response

May 14, 2003

For Review by CLEC Community and Discussion at the May 21, 2003, CMP Product/Process Meeting

Liz Balvin Carrier Management WorldCom

SUBJECT: Qwest’s Change Request Response - CR #PC031703-1

This is Qwest’s Response to WorldCom’s request to have Qwest provide its disclosure document Simplified Message Desk Interface (SMDI), located at http://www.qwest.com/disclosures/netdisclosure366.html, in Excel format.

This request is accepted. Effective the week of May 12, 2003, Qwest will provide this document on the web site referenced above in both PDF and Excel formats.

Because the Excel document can be updated by users, the PDF document will remain the primary source for Qwest data. Qwest respectively calls the attention of the CLEC community to the following disclaimer, which will be added to the web site:

“Please see the PDF download for switch detail in regards to this service. An Excel version containing the switch detail is also available, but Qwest will not be held responsible for any alteration of the Excel version and will refer to the PDF download as the primary source of data.”

Sincerely,

Mallory Paxton Senior Process Analyst Qwest Services Corporation


Open Product/Process CR PC041503-1CM Detail

 
Title: Add to section 4.0 TYPES OF CHANGE CLEC impacting defect
CR Number Current Status
Date
Area Impacted Products Impacted

PC041503-1CM Completed
8/29/2003
Pre Ordering, Ordering, Billing, Maintenance Rep
Originator: Balvin, Liz
Originator Company Name: MCI
Owner: White, Matt
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Proposed language update to CMP document as follows:

Defect requests would be changes that correct problems discovered in production versions of an interface. These problems are where the interface is not working in accordance to the user requirements or the business rules published by Qwest. In addition, if functional requirements agreed upon by Qwest and the CLECs, results in inoperable functionality, even though software user requirements and business rules match; this will be addressed as a defect.

These problems typically affect the CLEC’s ability to exchange transactions with Qwest and may include documentation that is in error, has missing information or is unclear in nature. Defined severity levels and time frames for corrective action would be as follows:

o Severity 1 – Critical – Problem results in a complete system outage and/or is detrimental to the majority of the development and/or testing efforts. Correction of Severity 1 defects will occur within 3 days.

o Severity 2 – Serious – System functionality is degraded with serious adverse impact to the users and there is not an effective work-around. Correction of Severity 2 defects will occur within 10 business days following the date upon which Qwest’s defect validation process is scheduled to complete.

o Severity 3 – Moderate – System functionality is degraded with a moderate adverse impact to the users but there is an effective workaround. Correction of Severity 3 defects will occur within 30 business days following the date upon which Qwest’s defect validation process is scheduled to complete.

o Severity 4 – Cosmetic – There is no immediate adverse impact to the users. Correction of Severity 4 defects will occur within 45 business days following the date upon which BellSouth’s defect validation process is scheduled to complete. The CLEC and/or Qwest may initiate these types of changes affecting interfaces between the CLEC’s and Qwest’s operational support systems.

Detailed steps, accountable individuals, tasks, inputs/outputs and cycle times of each sub-process in the CLEC impacting defect type CR must be negotiated. This process will be used to validate defects, provide status notification(s), workarounds and final resolution to the CLEC community.

Expected Deliverable:

That the CMP document support language to address clec impacting defects (system and/or documentation) with corrective action timelines imposed.


Status History

04/15/03 - CR Received

04/17/03 - CR Acknowledged

05/21/03 - Presented at CMP Meeting

06/10/03 - Ad Hoc Meeting

07/08/03 - Held Ad Hoc Meeting

07/16/03 - CR Discussed at CMP Monthly Meeting

07/29/03 - Held Ad Hoc Meeting

08/01/03 - Qwest sent e-mail to John Berard, Phyllis Burt, Stephanie Prull, Jennifer Arnold, Bonnie Johnson

08/04/03 - Qwest sent notification CMPR.08.04.03.F.01540.RequestforResponse, written response to MCI proposed language

08/20/03 - CR discussed at August CMP Meeting

08/29/03 - Held Ad Hoc Meeting

09/04/03 - Qwest sent vote disposition, meeting minutes, and voting tally form, CMPR.09.04.03.F.01561.Vote_Disposition


Project Meetings

Ad Hoc Meeting Minutes PC041503-1CM Add to section 4.0 TYPES OF CHANGE CLEC impacting defect CMP Product & Process August 29, 2003 1-877-550-8686, Conference ID 2213337# 11:30 a.m. - 11:45 a.m. Mountain Time

PURPOSE

At the August CMP Meeting, participants agreed to hold a conference call to conduct voting on the proposed changes to Section 4.0 of the CMP. The following is the write-up of the discussion.

List of Attendees: Julie Pikar - U S Link Jen Arnold - U S Link Liz Balvin - MCI Bonnie Johnson - Eschelon Kim Issaacs - Eschelon Byron Dowding - Alltel Matt White - Qwest Steve Kast - Qwest

MEETING MINUTES

The meeting began with Qwest making introductions and welcoming all attendees.

Matt White with Qwest explained that the purpose of the meeting was to vote on CMP CR PC041503-1CM. Matt explained that quorum is 6 and we have established quorum with 7 attendees. Matt asked if everyone was clear on what we were voting on and asked if anyone is uncomfortable voting out loud that they could e-mail their vote and he would arrange for cmpcr@qwest.com to be monitored to receive the vote.

The following votes were provided by meeting participants: MCI voted yes Eschelon voted yes U S Link voted yes Alltel voted yes

Matt read the e-mail votes: Allegiance voted yes McLeod voted yes Qwest voted no

Matt said the result of the vote is 6 - yes and 1 - no and said the standard for a vote on changing the CMP document is a unanimous vote, and because this vote was not unanimous, the changes will not be incorporated into the CMP. Matt said that he would provide notification of the vote disposition. Matt asked if there were any questions. No questions were asked.

CMP Meeting 08-20-03

White-Qwest provided an overview of the CR.

Notarianni-Qwest stated that the CLECs had provided redlining by inserting comments into the Qwest proposed language, rather than actually redlining the language. She stated that Qwest could adopt that style of inserting comments if the CLECs liked. She continued that the original MCI proposal contained four severity levels and associated timeframes for remedy. She stated that Qwest felt that the fixed timeframes were not workable and did not account for the fact that each different problem required a different level and length of effort to evaluate and solve. She stated that Qwest was committed to working expeditiously to meet the timeframes as much as is possible, but she could not commit Qwest to working too quickly in an effort to meet an arbitrary timeframe unrelated to the complexity of the issue. She explained that this course could too easily lead to errors. She continued by stating that the CLEC response contained no flexibility that would allow Qwest to adequately meet problems with varying scope and complexity. She stated that Qwest was willing to readdress the validation timeframe as long as the CLECs were willing to grant Qwest some flexibility and outline what that flexibility would look like. If this was the case, she recommended another ad hoc meeting. She explained that if the CLECs were unwilling to incorporate more flexibility into the language then Qwest was prepared to vote on the change as MCI had submitted it.

Balvin-MCI stated that the CLECs are 100% impacted by interface flaws. She stated that the CLECs worked hard to propose timeframes that attempted to accommodate Qwest’s needs but, without constraints, Qwest is not guaranteeing anything in its software.

Johnson-Eschelon discussed the LR form issue. She stated that this was a good illustration of why this defect language was needed. She stated that Qwest had done a very poor job of keeping her informed of the status of this fix. She stated that if Qwest was going to deny this request, she wanted it to deny it soon, so the CLECs could escalate.

Balvin-MCI stated that she was prepared to vote. She stated that the situation was at an impasse. She stated that Qwest wanted an out at every level. To illustrate her point, she read from the Qwest proposed language:

Severity Level 2 Production Defect

Qwest will either:

? Fix this trouble within 10 business days, or ? Issue an event notification, within 10 business days, announcing a date by which the trouble is scheduled to be fixed, or ? Issue an event notification, within 10 business days, announcing a date by which Qwest will announce a date by which the trouble is scheduled to be fixed.

Balvin-MCI stated that this language allows Qwest 30 business days, which is unacceptable.

Osborne-Miller-AT&T stated that she concurred.

Notarianni-Qwest stated that Qwest was prepared to vote. She stated that Qwest did not want an out at every level; instead, Qwest took severity levels seriously and scheduled fixes as expeditiously as possible. She stated that Qwest has provided updates to the LR form issue in the form of Event Notifications with patch dates. She stated that the current production support process is working as it was designed. She explained that Qwest had proposed language that afforded it an opportunity to address problems of various complexity and scope. She stated that Qwest does not want to be in a position to throw software out just to meet a date; instead, Qwest wants to fix problems the right way.

Balvin-MCI stated that she would like Qwest’s position in writing. She stated that the CLECs would seek arbitration.

Notarianni-Qwest stated that she had already provided her position both in writing and in the minutes of this call.

Johnson-Eschelon asked that the team just vote on a document so the CLECs could escalate.

Balvin-MCI suggested that the team vote on the original MCI proposal.

White-Qwest pointed out that the original proposal was missing discussion of the validation period, that was central to the Bellsouth process, and the proposed language still contained a reference to Bellsouth.

Balvin-MCI asked that White replace all occurrences of “Bellsouth” with “Qwest.”

White-Qwest stated that the vote would probably be on 8/29.

=========================================================

August 4, 2003

Announcement Date: August 4, 2003 Effective Date: Immediately Notification Number: CMPR.08.04.03.F.01540.RequestforResponse Notification Category: Change Management Notification Target Audience: CLECs, Resellers Subject: CMP - REQUEST FOR QWEST WRITTEN RESPONSE PC041503-1CM Associated CR # or System Name and Number: MCI CR# PC041503-1CM The purpose of this notification is to provide additional information on MCI CR# PC041503-1CM. A call was held July 29, 2003 to discuss the MCI originated request to add Defect Language to the CMP Document. Several participants at the July 29, 2003, ad hoc meeting requested that Qwest provide the written position on the proposed language. Per MCI's request during the meeting, below is Qwest written response indicating our concern with the CLEC request for 'Defect' language requiring resolution of all severity levels by certain timeframes. As was stated in the ad hoc meeting, Qwest does not believe that a fixed timeframe commitment for the severity levels, particularity the timeframes proposed by the joint CLEC community is practicable. Not all software issues are of the same magnitude and level of complexity. While a particular issue may involve a simple software fix, there are times when the production support team must go through an extensive development cycle to get a fix implemented, and/or may require that fixes be coordinated between multiple systems. In such cases and possibly for other reasons, Qwest would not necessarily be able to meet the fixed timeframe. Qwest's initial proposal back to the CLECs achieves not only flexibility to handle difficult issues in a responsible way, but also will make Qwest accountable to set forth timeframes. Qwest understands that some CLECs disagree with this language. Qwest would continue to ask that the joint CLEC community provide a red-line version of the language that they believe would accomplish their objectives and provide Qwest the flexibility necessary to adequately address problems when they arise. CR PC041503-1CM is contained in the Product Process Interactive Report posted to the Qwest Web site at http://www.qwest.com/wholesale/cmp/changerequest.html. If you have any questions or comments about this notification, please contact Linda Sanchez-Steinke, Qwest CRPM Manager, at linda.sanchez-steinke@qwest.com or 303-965-0972. Sincerely,

Qwest

Fri 8/1/03 5:02 PM From: Linda Sanchez-Steinke To: jberard@covad.com, phyllis.burt@att.com, stephanie.prull@mcleodusa.com,jennifer.arnold@uslink.com; bjjohnson@eschelon.com All,

The following is Qwest's response to MCI’s Defect Language:

A call was held July 29, 2003 to discuss the MCI originated request to add Defect Language to the CMP Document. Per MCI’s request during the meeting, below is Qwest written response indicating our concern with the CLEC request for ‘Defect’ language requiring resolution of all severity levels by certain timeframes.

As was stated in the ad hoc meeting, Qwest does not believe that a fixed timeframe commitment for the severity levels, particularity the timeframes proposed by the joint CLEC community is practicable.

Not all software issues are of the same magnitude and level of complexity. While a particular issue may involve a simple software fix, there are times when the production support team must go through an extensive development cycle to get a fix implemented, and/or may require that fixes be coordinated between multiple systems. In such cases and possibly for other reasons, Qwest would not necessarily be able to meet the fixed timeframe.

Qwest’s initial proposal back to the CLECs achieves not only flexibility to handle difficult issues in a responsible way, but also will make Qwest accountable to set forth timeframes.

Qwest understands that some CLECs disagree with this language. Qwest would continue to ask that the joint CLEC community provide a red-line version of the language that they believe would accomplish their objectives and provide Qwest the flexibility necessary to adequately address problems when they arise.

If you have any questions, please call me.

Thank you

Linda Sanchez-Steinke CRPM Qwest 303-965-0972

Ad Hoc Meeting Minutes PC041503-1CM July 29, 2003 1-877-550-8686, Conference ID 221337# 10:00 a.m. - 10:30 a.m. Mountain Time

PURPOSE

At the July 8, 2003 Ad Hoc CMP Meeting for PC041503-1CM, participants agreed to collectively red-line the Qwest proposed language to Section 12 Production Support and hold a subsequent ad hoc conference call to discuss MCI comments to the Qwest proposed language.

The following is the write-up of the discussions, action items, and decisions made in the working session.

List of Attendees: Liz Balvin - MCI John Berard - Covad Phyllis Burt - AT&T Stephanie Prull - McLeod Jen Arnold - U S Link Kim Isaacs - Eschelon Bonnie Johnson - Eschelon Lynn Notarianni - Qwest Connie Winston - Qwest Beth Foster - Qwest Linda Sanchez-Steinke - Qwest

MEETING MINUTES

Lynn Notarianni with Qwest said that we have received comments back on the Qwest proposed language changes to Section 12 and have reviewed the comments the CLECs included. She noted that if there was no movement in some areas, then she proposes that we have language finalized and move to the vote. She indicated that the first CLEC Comment around addressing "inoperable functionality" was discussed on the first meeting to review this CR. Lynn read from the original language of the MCI proposal and recapped: even though software user requirements and business rules match; this will be addressed as a defect. Lynn said that Qwest’s original position on this is the same, that Qwest would not consider this a defect, as it would be functionality working as designed.

Liz Balvin with MCI said these types of inoperable functionality can happen and the CLECs need to have them addressed.

Lynn Notarianni with Qwest asked for further definition of "inoperable functionality". She asked the CLECs to provide proposed language to specify what the CLECs were talking about as the language provided in the original CR is too broad.

Liz Balvin with MCI said "inoperable functionality" means CLECs can’t submit an LSR and can’t pass orders.

Bonnie Johnson with Eschelon said it’s when the CLECs can’t submit an order because of an error on Qwest’s side. We are talking about Eschelon not being able to submit an electronic LSR, we are talking about others can’t submit electronic LSRs, and MCI can’t submit an electronic LSR.

Lynn Notarianni with Qwest said that maybe Qwest didn’t understand inoperable functionality as it was written in the Bell South Documentation. She reviewed the Bell South language that was originally submitted by MCI: "These problems are where the interface is not working in accordance to the user requirements or the business rules published by Qwest. In addition, if functional requirements agreed upon by Qwest and the CLECs, results in inoperable functionality, even though software user requirements and business rules match". Lynn Notarianni with Qwest noted that what she is hearing the CLECs talking about was when CLECs are unable to get an LSR into Qwest’s system.

Liz Balvin with MCI and Bonnie Johnson with Eschelon agreed with Lynn Notarianni’s statement.

Lynn Notarianni with Qwest said that Qwest will take a look at that.

Lynn Notarianni with Qwest noted that the second area that needs to be addressed is the timeframe for fixing ‘defects’ based on the severity levels. Qwest has proposed language to commit as best we could to the proposed timeframes the CLECs provided, and the proposed language also allowed for flexibility for fixing those trouble tickets that are larger in scope. The CLECs had agreed to review the language and come back with proposed changes of their own, and what the CLECs provided was their original language with no changes at all.

Liz Balvin with MCI said that the intent of the comment is that CLECs need specific timeframes for resolution and felt that Qwest didn’t provide any resolution timeframes at all.

Lynn Notarianni with Qwest said that we did come back with a proposal, for example, with a Severity 2 ticket where the issue is simply an edit change, then Qwest can fix within 10 days. However, often times a ticket may involve other downstream systems and could take more than 10 days. Lynn said that she is hearing the CLECs think Qwest did not come far enough, but asked if the CLECs can move off the timeframes for resolution in the Severity Levels; 3 business days Severity Level 1, 10 business days Severity Level 2, 30 business days Severity Level 3 and 45 business days. Lynn asked if the CLECs could provide back language indicating where they would be willing to budge on proposed timeframes.

Liz Balvin with MCI said that the CLECs want proposed timeframes for fixing defects and Qwest has proposed nothing, what Qwest has proposed is a way out of every situation. Liz asked what Qwest thinks ‘immediately’ means. By Qwest not giving a timeframe for a fix for a system outage, CLECs are out of the water if Qwest has done something wrong.

Lynn Notarianni with Qwest said that immediately means as soon as possible. Lynn said that Severity 1 issues are not where we should be focusing this discussion. She noted that Qwest is covered with the System availability PID and asked if it would be more appropriate to have the real focus on Severity Level 2 and Severity Level 3.

Liz Balvin with MCI asked if Qwest was agreeing to a timeframe for Severity Level 1.

Lynn Notatrianni with Qwest replied that she was not agreeing to a time frame, she said that Qwest is on top of Severity Level 1 and are meeting PIDS for availability of systems and it really seems like the Severity Level 2 is where impacts are.

Liz Balvin with MCI asked if Qwest will impose a time frame on Severity Level 1.

Lynn Notarianni with Qwest said that availability for systems makes Severity Level 1 a non-issue.

Liz Balvin with MCI said that if Qwest is meeting the PIDs, then it wouldn’t be an issue, but she would still like Qwest to impose timeframes on the other Severity Levels.

Lynn Notarianni with Qwest said that Qwest proposed what we thought we could do and now need to know how far the CLECs can go other than the 10 days they have proposed for Severity Level 2’s, allowing Qwest flexibility to determine the problem and negotiate the timeframe. Lynn noted that Qwest has provided what we truly believe can be done. She noted that Qwest is looking for language from the CLECs that proposes an alternative that they can live with.

Liz Balvin with MCI said that in situations where there is defect, it is not working as intended, Qwest built the interface and won’t guarantee anything as far as a fix time. Leaving the wording open-ended leaves the CLECs out of the water.

Lynn Notarianni with Qwest said that while she was not involved in the Re-Design process, it was her understanding that the current language was put together and all parties agreed to it at that time. Now you are saying that you want tighter language. If CLECs are able to move off the fixed timeframe of days currently proposed then Qwest would be interested in seeing their proposed language. If the CLECs are not willing to move away from their originally proposed language, then it is time to finalize the language and take a vote.

Bonnie Johnson from Eschelon asked if Qwest would vote no to the originally proposed language.

Lynn Notarianni with Qwest responded that a vote of no would likely be the result if there was no change to the original language proposed by MCI.

Bonnie Johnson from Eschelon said there are significant impacts and Qwest is saying they don’t care about the impact on the CLECs company.

Lynn Notarianni with Qwest stated that she would not try to dismiss Bonnie’s comment as she knows that Qwest can see our internal process and we know how hard the teams work to push through the changes to get fixed. She said that she knows the CLECs cannot see our internal process and have no way of knowing how hard Qwest works internally on issues to get them to resolution.

Liz Balvin with MCI re-read the Severity Level 2 wording "will occur within 10 business days following the date upon which Qwest’s defect validation process is scheduled to complete." She noted that this is talking about the time period after validation of a defect.

Lynn said that sometimes we have to go through the lifecycle and re-write and validate in the business rules and it is likely that the process will take more than 10 days. She noted that there are times when the production support team must go through an entire development cycle to get a fix implemented, impacting and coordinating multiple systems, and in cases like that there would be no way for Qwest to meet the timeframes put forth by the CLECs in their original proposal.

Connie Winston said that when problems impact the front end systems like IMA, it could be due to day to day impacts and be easy to quickly back out the problem and always focus on the front end. If the problem is in the billing systems sometimes we have to dig deeper and determine a good time to make changes and that is where we struggle with the 10 business days.

Bonnie Johnson with Eschelon said the CLECs need to discuss this further as a community.

Liz Balvin with MCI said that she doesn’t see Qwest making any movement toward the CLEC proposal.

Bonnie Johnson with Eschelon agreed with Liz Balvin and mentioned the problems with hunting, needing to submit another CR, and having to wait for 2 releases in order to get a fix for it.

Liz Balvin with MCI said Qwest is proposing no guarantees to CLECs on the software they provide to the CLECs but instead is providing themselves a way out.

Lynn Notarianni with Qwest said that Qwest did make a proposal back to CLECs and if there is a different way to meet the CLECs needs, Qwest would be happy to review it. If the CLECS could come with a proposal that you think you can live with, Qwest would review it. Lynn also said there are other areas in the proposed language that Qwest would like to discuss, but unless we can get past the larger issues then there seems to be no need to discuss those areas.

Liz Balvin with MCI asked that Qwest provide their written position to the CLEC comments as discussed on this call. She noted that the CLECs position is that Qwest needs to commit that they will guarantee the software they provide and right now Qwest is guaranteeing nothing.

Lynn Notarianni with Qwest said Qwest would provide their response to the CLEC comments by the end of the week.

Linda Sanchez-Steinke with Qwest asked if there were any additional comments. No comments were made.

July 8, 2003 - CMP Ad Hoc Meeting PC041503-1CM

Attendees Matt White - Qwest Lynn Notarianni - Qwest Beth Foster - Qwest Kit Thomte - Qwest Connie Winston - Qwest Liz Balvin - MCI Kim Isaacs - Eschelon Bonnie Johnson - Eschelon Donna Osborne-Miller - AT&T Sharon Van Meter - AT&T Carla Pardee - AT&T Mike Zulevic - Covad Lori Mendoza - Allegiance

Balvin-MCI asked Qwest to describe the proposed language. White-Qwest described the process Qwest used to create the proposed language. Notarianni-Qwest stated that Qwest tried to maintain the intent of the existing Production Support language while outlining these additional activities. She stated that this language also addresses the unpredictability of defects. She stated that Qwest focused on Severity 2 and Severity 3 troubles because Severity 1 troubles already have an effective process and Severity 4 troubles are essentially enhancements.

Balvin-MCI stated that the proposed warrantee period was too short for both GUI and EDI migrations. Notarianni-Qwest stated that the most efficient manner of conveying the CLEC’s issues might be to redline the Qwest proposed language. Balvin-MCI agreed.

Balvin-MCI stated that Qwest’s language did not address documentation flaws. She stated that these occur when Qwest changes language to more accurately reflect the way a system is really working. She also explained that she felt the proposed language was appropriately placed in Section 12.0, but that it placed too much burden on the CLECs to identify problems and validate that the trouble was a defect. She continued that she was not satisfied that the Qwest internal validation period was not bounded by a time constraint and that there is no discussion of how soon Qwest must request additional information from the CLECs.

Johnson-Eschelon stated that the warrantee period was too short for EDI and GUI users. She stated that the language also did not address issues like those faced in Hunting discussion. She explained that this was when the documentation agreed with the system, but that the system was not changed in such a manner that addressed the accepted CR. Notarianni-Qwest stated that there would be an edit for alpha and the system was working as written, but it broke the business. The issue is if it’s documented a certain way, and it’s acting the way it’s been documented, but it is not functional. Balvin-MCI added that it is also an issue if the change request was not implemented as requested, and provided Migrate as Specified as an example. Notarianni-Qwest asked if this was an issue for a defect discussion, or a question of how explicit CR descriptions and clarification calls must be. She asked if we need to get into more detail in clarification calls to make sure everyone is on the same page. She noted that there seems to be more of an issue of being more specific in the detail of the CRs. She stated that this are would be more difficult to get agreement on as far as getting the language written and agreed to. She indicated again that it would be most beneficial if the CLECs would take the language and provide their red-lines to provide their thoughts on how to make this work.

Balvin-MCI stated that each of the severity level descriptions in the proposed language gave Qwest an “out.” She stated that this language did not require an appropriate level of urgency. She stated that CLECs wanted immediate results and dates that Qwest would repair the defect. Notarianni-Qwest stated that this language was proposed because not all trouble tickets are similar; some require extensive checking through downstream systems, checking that cannot be done in such a short period of time. She added that Qwest would not want to agree to a timeline and then not be able to meet it. Osbourne-Miller-AT&T agreed with Balvin that the CELCs need definitive dates for fixing defects. Balvin-MCI stated that Bellsouth’s language did not include escape language like Qwest’s. She stated that this language needed to focus more on identifying the root cause of the trouble. She noted that longer timeframes for analysis could be looked at, but once the cause is identified, the CLECs should get an implementation date immediately. Notarianni-Qwest stated that she was not aware of how Bellsouth structured their efforts to comply with their obligations. Balvin-MCI stated that the language was too open-ended. She stated that the second to the last paragraph was also inappropriate because it inferred that Qwest would punish the CLECs for Qwest’s mistake. Notarianni-Qwest stated that Qwest added that paragraph because there could be situations where Qwest had to divert specialized resources to meet defect obligations. She added that this was also part of the reason that Qwest included the warrantee language, in order to assure that we don’t impact later cycle development efforts for the next version of the release

Balvin-MCI stated that she would like to provide redline comments. She stated that this language provided Qwest too many outs. She stated that she appreciated Qwest’s effort to prepare this language and that it was far more than she had expected. Notarianni-Qwest stated that she wanted to address Balvin’s point about the CLECs having to prove that the issue was a defect. She stated that Qwest’s intent was not to force the CLECs to prove defect status, but to ensure that Qwest had all possible information on what was being impacted to make the determination during the internal validation.

The group discussed how to proceed and agreed that the CLECs would collectively redline the proposed language and send it to White-Qwest. He would then issue a notification for a subsequent Ad Hoc Meeting. The meeting was adjourned.

================================================= CMP Meeting 06-18-03

White-Qwest gave a status of the CR. He stated that the Ad Hoc meeting would be held on 7/8. ================================================== Ad Hoc Meeting - 06-10-03

Attendees Matt White - Qwest Beth Foster - Qwest Lynn Notarianni - Qwest Sharon Van Meter - AT&T Donna Osborne Miller - AT&T Carla Pardee - AT&T Liz Balvin - MCI Lori Mendoza - Allegiance Kim Isaacs - Eschelon Bonnie Johnson - Eschelon

White-Qwest reviewed the purpose of the meeting and asked Balvin-MCI to review the purpose of the CR. Balvin-MCI reviewed the CR. She stated that it was an attempt to refine the process for what happens when something doesn’t work. She stated that if there is an identified problem, then Qwest should have to fix in a certain period of time. She stated that the Bellsouth process was more clearly defined that the Qwest CMP. White-Qwest asked how Bellsouth handled the “internal validation” process described in their CCP document and how they interpreted the “inoperable functionality” description. Balvin-MCI stated that this constitutes a system that is so flawed that there is no functionality. Notarianni-Qwest asked if that was similar to a Qwest CMP Production Support Level 1. Balvin-MCI stated that was correct. She continued that when a CLEC submits a CR to Bellsouth, Bellsouth validates that it is a defect. She stated that if Bellsouth does not agree that the CR is a defect, there is some give and take. She stated that there needs to be language in the Qwest CMP outlining a process to quickly fix defects.

Johnson-Eschelon stated that she had examples of what constituted defects. She described a situation involving hunting problems waiting to be fixed until the next release and a blocking work around that was a temporary fix to a system defect. She stated that there needs to be a clearer definition of when something is system defect vs. not. Notarianni-Qwest asked if these would be Level 2’s in Bellsouth’s language. Johnson-Eschelon stated that they would. Notarianni-Qwest asked how the CLECs would approach changes that occurred as a result of defects and that also caused development changes. She stated that these could constitute code impacting changes and that they could impact other CLECs as well as disrupt the development cycle. Balvin-MCI stated that there were really two kinds of defects. (1) When the system was not operating the way the business rules stated it should be and (2) when the system was operating in the way Qwest designed it, but the business rules were written in a way that caused the CLECs to code differently. She stated that the latter instance would be the one that caused CLECs development difficulty. Notarianni-Qwest asked if CLECs would want a short resolution timeframe for the former and a longer timeframe for the latter. Balvin-MCI agreed. Notarianni-Qwest asked if the CLECs could provide Qwest with examples of each defect severity from the other ILECs. She stated that Qwest’s attempts to get this information from Bellsouth had not been very successful. She stated that Qwest would like to understand how Bellsouth is implementing this and managing it without upending the current processes and lifecycles of development. Balvin-MCI agreed to look at providing some examples. Johnson-Eschelon stated that she would like Qwest to propose language that would work using the two examples she provided. Notarianni-Qwest stated that she was not familiar with the Hunting issue. She stated that the bottom line is that these types of changes will drain development resources and pull resources away from the development work required for major releases. She continued that the conclusion the team needed to arrive at was when these changes should impact other CLECs and when they should not. She asked if it was more important to the CLECs to establish a consistent timeframe for each problem, or that Qwest issue a negotiable commitment after uncovering the root of a problem. She stated that she was trying to avoid situations where there could be disagreements about an issue’s treatment. Balvin-MCI stated that she would be amenable to a range of days. She stated that the CLECs would want a ‘no later than’ date for fixes. She asked Qwest to propose language. Notarianni-Qwest stated that she would take that request back internally and discuss it further with the team. She reiterated that Qwest would like the CLECS to send some examples (of both Qwest issues and ILEC issues). She stated that Qwest must also consider a number of parts of the CMP document that such changes may impact. She stated that she would ask internally if Qwest was willing to commit to timeframes for fixing production issues and, if so, what timeframes Qwest could commit to. The team agreed that Qwest would issue proposed language with an Ad Hoc Meeting Notification on July 1, and that the Ad Hoc Meeting would occur on July 8. Balvin-MCI asked that if Qwest was ultimately going to deny this request, they indicate that intent as soon as possible. Notarianni-Qwest stated that would be her expectation, should that be the case.

=====================================================

05-21-03 CMP Meeting

Balvin-MCI presented the CR. White-Qwest stated that he would schedule an Ad Hoc Meeting. Balvin-MCI stated that the CLECs would like to see the Qwest proposed language before the meeting. She asked that the meeting be on 6/9 or 6/10.


Open Product/Process CR PC111303-1 Detail

 
Title: Allow multiple Billing Account Numbers Per Product Per State
CR Number Current Status
Date
Area Impacted Products Impacted

PC111303-1 Denied
1/21/2004
UNE - P
Originator: Balvin, Liz
Originator Company Name: MCI
Owner: Kriebel, Sue
Director:
CR PM: Andreen, Doug

Description Of Change

Qwest currently only supports a single BAN per product per state. MCI requests the ability to designate multiple BANs per product, per state. In doing so, the CLECs would have the ability to track orders submitted by different divisions of their company.

Expected Deliverable:

Determine whether a process change only is necessary whereby the CLECs would be required to populate differing BANs on each order. Otherwise, what system enhancements would need to be made to support.


Status History

11/13/03: CR Received

11/14/03: CR Acknowledged

11/25/03 - Held Clarification Meeting

11/25/03: Status Changed to Clarification

12/17/03 -December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - Status changed to Presented

01/14/04 - Response posted

1/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

1/21/04 - Status changed to Development

2/2/04 - Qwest generated notice CMPR.02.02.04.F.01317.AdHocBillingMtg

2/18/04 -February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

3/17/04 -March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

03/17/04 March CMP Meeting Randy Owen, Qwest reported on the two open action items for this CR. First he reported that the edits will be removed from the alternate BAN field on March 19 and that CLECs could use this field as they see fit. On the second action item concerning providing more information on denial responses Randy reported that they are moving forward with examples and would provide an opportunity to discuss once the examples are available. The CR will remain in Denied status.

-- 2/18/04 CMP Meeting

Sue Kriebel reviewed the action item concerning the examples from Cbeyond that carried non-active BAN numbers. Sue clarified the issue by stating that not all orders are assigned BANs automatically but only those that go through flow through. It was uncovered that orders manually typed were having BANs assigned incorrectly in some cases. She is working with the centers to correct. Stephen Calhoun, Cbeyond asked about the issue of the CLECs being able to use the alternate BAN field as they wished. Doug Andreen, Qwest said that was still being researched. Connie Winston, Qwest is looking into dropping existing edits of a formatting nature that now exist in the system. The CR will remain in development.

Ad Hoc Meeting Minutes PC111303-1 Allow multiple Billing Account Numbers Per Product Per State CMP Product & Process February 12, 2004 1-877-521-8688, Conference ID 1456160 9 a.m. – 10a.m. Mountain Time

PURPOSE This meeting was to discuss action items from the January CMP Product and Process meeting, specifically: 1. Cbeyond examples were old BANs have been populated 2. Cost backup to the denial so CLECs can pursue other avenues 3. Can CLECs use optional BAN field as they wish

List of Attendees: Kathy Stichter, Eschelon T.J. Koller, Priority 1 Liz Balvin, MCI Bonnie Johnson, Eschelon Kim Isaacs, Eschelon Jan Arnold, U S Link Carla Pardee, AT&T Stephan Calhoun, Cbeyond John Gallegos, Qwest Connie Winston, Qwest Lydell Peterson, Qwest Sue Kriebel, Qwest

MEETING MINUTES The meeting began with Qwest making introductions and welcoming all attendees.

The meeting was called to discuss three outstanding items from the last CMP meeting: 1. Cbeyond examples where old BANs have been populated (Sue Kriebel) 2. Cost backup to the denial so CLEC can pursue other avenues (John Gallegos) 3. Can CLECs use optional BAN field as they wish (Connie Winston)

Issue 1.

Sue Kriebel, Qwest stated that on the list from Cbeyond that not all products go through the FTS (flow through system) and have BANs automatically assigned. On the Cbeyond list several orders had been marked for manual handling and it was found that the control point not in place was to ensure that the person manually handling the order assigned the correct – active BAN.

Stephan Calhoun, Cbeyond said that this more clearly explained why some orders were assigned BANs that were not expected. He feels that responses should initially carry this level of detail and thanked Qwest for the research

Liz Balvin, MCI asked what audits were in place to ensure manually handled orders carry the correct BAN. Sue said the process organization had sent a reminder to the order typists reminding them that they need to look up the correct BAN in CPS. She also said that Qwest is looking for other methods to tighten this up.

Issue 2:

John Gallegos, Qwest explained the impacts of the LOE. He stated that numerous systems (7) were affected downstream.

Connie Winston, Qwest added that CPS would have to be re-architect and then several changes to other impacted systems.

Liz asked how the functionality had existed before when the burden for entering BANs fell to the CLECs. Connie answered that even then only one active BAN per product per state was permitted. Liz asked for more detail since the CLECs need to truly understand what is impacted rather than just saying multiple systems. Bonnie Johnson, Eschelon agreed saying that CLECs did not necessarily have to know the system names but need the hours breakdown. Connie suggested this be taken off line and thought through to determine the format and structure this might take. She added specific to this CR that the min impact was to CPS and other highly impacted systems would be IMA and CRM. Bonnie stated that this was more information than the CLECs have had before and Stephan added that it truly helps to understand the reasons behind the denial. Connie said she would take an action item to see what kind of language can be appended to the denial.

Issue 3

Connie said she was still checking if the CLECs could use the optional BAN field. Qwest does some formatting validation but is looking at what it would take to remove these edits. Liz asked if the editing was limited to things like A/N characters and not if the BAN was a “good BAN”. Connie said yes that it is formatting only. Liz asked what the timeframe was and Connie answered hopefully by the CMP meeting.

1/21/04 CMP Meeting Sue Kriebel, Qwest reviewed the response denying the request based on it being economically not feasible. Sue stated to allow multiple BANs per product per state would remove some automation and would require several front and back end system changes. Liz Balvin, MCI stated she had sent Cbeyond examples where old BANs had been populated and would like these to be investigated. Sue agreed to do so and also stated that when BANs are closed orders in queue will flow to the old BAN. Bonnie Johnson, Eschelon stated that it was also possible that the Cbeyond orders were handled on a manual basis. Steven Calhoun, Cbeyond said that the examples were new orders so this should not have been the case. Liz also wanted some cost backup to the denial citing that if it was important enough to the CLEC that they can pursue other avenues. Judy Schultz, Qwest said that a meeting was held a week ago explaining that detail needs to be provided on an economically not feasible denial. Bonnie Johnson, Eschelon did verify that if an incorrect BAN is placed on an order that it will be corrected automatically by Qwest. Bonnie added that the denial is based on “we can’t do this” when that very thing is happening today. Liz stated that the main thrust of the three multiple BAN CRs is to give the CLECs the ability to control the billing of their customers. She stated she didn’t know the trigger for changing BANs. Connie Winston, Qwest said the process is managed by the CPS system and is handled by specific centers. Connie verified that a CLEC could be notified when a BAN is at 6,000 and potentially could not be exhausted until 9,000 because of orders during the interim and that Qwest is trying to keep the BANs at an acceptable level to avoid processing problems. Connie mentioned that the process is the same for all CLECs. Liz asked if the CLECs could use the optional BAN field as they wished. Connie said she would check. It was verified that the FOC would provide the same information as it does today but CLECs could track to the outbound order. Kathy Stichter, Eschelon asked about BAN consolidation. Sue explained the process and that this was done manually with the center. It was agreed that there are multiple action items to research and that a conference call would be held when new information is available. The CR will remain open in Development status. (Comment from Stephanie Prull) Stephanie Prull – Eschelon stated she is interested in the economic breakdown as well due to the economic price discrepancies quoted between her CR and the MCI CR. (end comment).

12/17/03 December CMP Meeting Liz Balvin of MCI presented the CR and stated that a clarification meeting had already been held. Doug said that per the clarification call that two BANs per product per state would solve the MCI specific situation since they are trying to separate divisions. Sue Kriebel, Qwest clarified that today there is one active BAN and possibly many inactive. This CR calls for multiple active BANs. Liz said they were willing to assign BANs from MCI’s end if this would help although at the present time both Liz and Bonnie Johnson of Eschelon were sure that any BAN assigned by the CLEC was overrode when passing through Qwest systems. Bonnie pointed out that Eschelon has well over 100 bills to look at for disputes and discrepancies and that this presents an administrative nightmare. The CR was changed to Presented status.

Clarification Meeting 11:00 a.m. (MDT) / Tuesday November 25, 2003 1-877-521-8688 1456160# PC111303-1 Allow multiple Billing Account Numbers Per Product Per State Attendees: Name/Company: Liz Balvin, MCI Sue Kriebel, Qwest John Gallegos, Qwest Doug Andreen, Qwest Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed. Review Requested (Description of) Change Doug Andreen -Qwest read the description of the CR: Qwest currently only supports a single BAN per product per state. MCI requests the ability to designate multiple BANs per product, per state. In doing so, the CLECs would have the ability to track orders submitted by different divisions of their company. Doug also covered the expected deliverables of the CR: Determine whether a process change only is necessary whereby the CLECs would be required to populate differing BANs on each order. Otherwise, what system enhancements would need to be made to support. Liz Balvin MCI stated that she has confirmed with her service manager that MCI is only allowed one BAN per product per state. She said that there is a field on the LSR to populate the BAN and she was hoping this would be able to be used to solve the request. Sue Kriebel Qwest said that there are numerous customers that do not populate this field and that it is populated when it hits Qwest. She also clarified that there may be multiple BANs per product per state but only one is live. Liz said what she is trying to do is enable segregation of the two divisions in MCI that handle the same products. Two BANs per state per product would be sufficient for MCI. She also thought there was another CR in existence that was similar. John agreed. John gave some historical perspective on population of the BAN field on the LSR. While it was done by the CLECs for some time this became a problem and now this field is populated by Qwest. John stated that implementing this CR would possibly put the responsibility back on the CLECs for ensuring the right BAN was on the order. Liz said MCI would be willing to do this and is open to any way to support implementation of the CR. Liz found the CR that is very similar. SCR100903-02. Sue questioned if this CR could still be worked as only a process change. John said no that there would have to be changes to internal systems to accommodate the change. Liz mentioned that she thought the customer profile drove BAN assignment. John answered yes, but only in part Liz expressed the concern that if this requires systems changes especially to IMA that a time line of presenting the CR at the December Product and Process meeting and having a response in January would conflict with the prioritization of 16.0 CRs in IMA for system changes. John responded that he would consider the expectations of her CR along with SCR100903-02 to ensure that the timeframes did not adversely impact prioritization. It was agreed to leave the CR in Product and Process for now. Doug agreed to relate to two CRs. Confirm Areas & Products Impacted Billing and Wholesale Billing Interface Confirm Right Personnel Involved Correct personnel were involved in the meeting. Identify/Confirm CLEC’s Expectation The following expectations were identified/confirmed: 1. Determine whether a process change only is necessary whereby the CLECs would be required to populate differing BANs on each order. 2. Otherwise, what system enhancements would need to be made to support 3. Relate this CR and SCR100903-02 in order to accelerate possible resolution of the CR. Identify any Dependent Systems Change Requests Related system change SCR100903-02 is related but not dependent Establish Action Plan (Resolution Time Frame) As it now stands, Liz will present the CR at the December 17 CMP Meeting. Response will be made during the January cycle.


CenturyLink Response

January 5, 2004

DRAFT RESPONSE For Review by the CLEC Community and Discussion at the January 2004 CMP Meeting

Liz Balvin MCI Carrier Management - Qwest Region MCI

SUBJECT: Qwest Change Request Response – CR PC111303-1 Allow Multiple Billing Account Numbers Per Product Per State

Qwest currently supports a single BAN per product per state. MCI requests the ability to designate multiple BANs per product, per state. In doing so, the CLECs would have the ability to track orders submitted by different divisions of their company.

A clarification meeting was held on November 25, 2003 with MCI and Qwest representation. At this meeting, Qwest clarified with MCI there may be multiple BANs per state but only one is ‘live/active.’ MCI explained they would like the ability to segregate the two divisions of MCI that handle the same products and therefore would only need two active BANs per state.

Qwest has completed an analysis for PC111303-1, Allow Multiple Billing Account Numbers, per Product, per State, and has determined that this change is economically not feasible. Qwest currently provides active BANs on a state by state basis. Qwest auto-populates these BANs to ensure ordering and billing accuracy. This change would require Qwest to remove this automation, which would require Qwest and CLEC manual intervention likely leading to additional errors or an increase in rejects. Additionally, several of Qwest’s front and back end systems would require changes in order to remove automation, modify existing accounts to allow the manipulation of BANs. Through Qwest’s analysis it was determined that the estimate for the initial implementation of this change would be at least $1 million. Qwest believes that to implement such a change to Qwest systems would be cost prohibitive.

Therefore, Qwest respectfully denies your request for PC111303-01, Allow Multiple Bans per Product, per State, due to economic infeasibility.

Sincerely,

Sue Kriebel Manager Process Management Qwest

CC: Connie Winston Lynn Notarianni Loretta Huff Beth Foster Kit Thomte Judy Schultz


Open Product/Process CR PC092503-1 Detail

 
Title: Provide PREMIS zip code extensions, delineate fields and exclude unnecessary information for the states of MT and WY as a means to obtain rate zone information.
CR Number Current Status
Date
Area Impacted Products Impacted

PC092503-1 Denied
12/17/2003
PREMIS Information
Originator: Balvin, Liz
Originator Company Name: MCI
Owner: Winston, Connie
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

MCI requests that Qwest populate the 4 digit zip codes extensions per address.

In addition that the PREMIS data dump, located at the following URLs, be provided in a loadable format (delineated):

ftp://199.168.32.150/incoming/ima/MTA.SAGA (Montana)

ftp://199.168.32.150/incoming/ima/CHY.SAGA (Cheyenne and SW WY)

ftp://199.168.32.150/incoming/ima/CPR.SAGA (Casper and Northern WY)

There is information currently in the files that doesn’t seem relevant. MCI provides the following as examples and if Qwest determines the information is not relevant, then strip from the files prior to providing to CLECs in a delineated format:

002D ***PO BOX REQ FOR DDA AND BL MLG ADDR ONLY***

0014 ***PO BOX REQ FOR DDA AND BL MLG ADDR ONLY**

THIS IS AN ALTERNATE. STREET NAME IS 1 STREET WEST

001D ***PO BOX REQ FOR DDA AND BL MLG ADDR ONLY**

002T THIS WIRE CENTER HS BEEN CONVERTED TO POSTAL STANDARDS

002T THIS WIRE CENTER HS BEEN CONVERTED TO POSTAL STANDARDS

@ I 3318 ASSIGN ONLY TO BIG SKY BEEPER


Status History

09/25/03 - CR Submitted

09/29/03 - CR Acknowledged

10/03/03 - Held Clarification Meeting

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

12/17/03 December CMP Meeting Liz Balvin with MCI said that the denial seemed based on the zip code extension only and MCI also asked for uploadable information as well. Connie Winston said that comma delimitated and stripping the file was denied also and felt that the file is readable the way it is and the zip code information is available to all of us. The mapping may not meet MCI’s the end goal of determining the rate zone and recognize that rate zones in Montana and Wyoming are difficult to breakdown. This CR will be moved to Denied status.

11/19/03 November CMP Meeting Linda Sanchez-Steinke with Qwest said that IT is working on a solution for the CR and will provide an update at the December CMP meeting. This CR will be moved to Evaluation status.

10/15/03 October CMP Meeting Liz Balvin with MCI presented this new CR. Liz said that at the Systems meeting the rate zone CR was closed and this CR was opened. A clarification meeting was held and Qwest did not want to delete any information and would like to let CLECs determine what is needed and not needed. This CR will be moved to Presented status.

CLEC Change Request Clarification Meeting

2:30 p.m. (MDT) / Friday October 3, 2003

1-877-572-8687 3393947# PC092503-1 Provide PREMIS zip code extensions delineate fields and exclude unnecessary information for the states of MT and WY as a means to obtain rate zone information

Name/Company: Liz Balvin, MCI Connie Winston, Qwest John Gallegos, Qwest Shon Higer, Qwest Jim Recker, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change Linda read the description of change; MCI requests that Qwest populate the 4 digit zip codes extensions per address. In addition that the PREMIS data dump, located at the following URLs, be provided in a loadable format (delineated). The urls are listed in the body of the CR. There is information currently in the files that doesn’t seem relevant. MCI provides the following as examples and if Qwest determines the information is not relevant, then strip from the files prior to providing to CLECs in a delineated format. The examples are listed in the body of the CR.

Liz Balvin with MCI said that at Systems CMP meeting Connie Winston and she had discussed opening a systems change request. Connie explained that generally when putting information out on a URL that the CR would be considered Product/Process. Connie explained that the 4 digit zip code happens in the backend of the billing systems. Connie suggested that the postal zip code guide may have the information requested in this CR. Liz said that it had been determined there is no unique identification that would determine the rate zone. Connie said that the 4 digit zip code may not help determine the rate zone.

Connie said that it may be possible to delineate the PREMIS data. However, there is a risk for Qwest to determine if the information is or is not relevant because the CLECS may have a different perspective. The data in the SAG is simply a download of PREMIS. Liz said she was ok with that.

Shon Higer asked if what MCI is looking for is to drive or obtain the rate zone. Liz said yes, MCI has been told to do this through pre-order and they are actually trying to determine if they have a market entry in a particular area. Liz said that the 5 digit zip code wouldn’t give a breakdown as to rate zone, but hope that the 4 digit zip code would get to a higher summarization of data rather than getting to the unique addresses.

Connie said that the rate zone could cross the 9 digit zip code area. Shon said Rate zone information is loaded by individual address.

Confirm Areas & Products Impacted PREMIS, URLs : ftp://199.168.32.150/incoming/ima/MTA.SAGA (Montana) ftp://199.168.32.150/incoming/ima/CHY.SAGA (Cheyenne and SW WY) ftp://199.168.32.150/incoming/ima/CPR.SAGA (Casper and Northern WY)

Confirm Right Personnel Involved Correct personnel were involved in the meeting.

Identify/Confirm CLEC’s Expectation Qwest provide 4 digit zip code extensions and a downloadable format (delineated) for Montana SAGA, Cheyenne & SW WY SAGA, and Casper & Northern WY SAGA

Identify any Dependent Systems Change Requests No systems change requests.

Establish Action Plan (Resolution Time Frame) Liz will present this CR at the October CMP Meeting. Qwest will provide a response at the November CMP meeting.


CenturyLink Response

December 9, 2003

Liz Balvin MCI

CC: Connie Winston Lynn Notarianni Sue Stott Beth Foster Christy Turton Kit Thomte Judy Schultz

This letter is in response to CLEC Change Request number PC092503-1, dated 09/25/03, titled: Provide PREMIS zip code extensions, delineate fields and exclude unnecessary information for the states of MT and WY as a means to obtain rate zone.

CR Description: MCI requests that Qwest populate the 4 digit zip codes extensions per address. In addition that the PREMIS data dump, located at the following URLs, be provided in a loadable format (delineated): ftp://199.168.32.150/incoming/ima/MTA.SAGA (Montana) ftp://199.168.32.150/incoming/ima/CHY.SAGA (Cheyenne and SW WY) ftp://199.168.32.150/incoming/ima/CPR.SAGA (Casper and Northern WY)

There is information currently in the files that doesn’t seem relevant. MCI provides the following as examples and if Qwest determines the information is not relevant, then strip from the files prior to providing to CLECs in a delineated format: 002D PO BOX REQ FOR DDA AND BL MLG ADDR ONLY

0014 PO BOX REQ FOR DDA AND BL MLG ADDR ONLY**

THIS IS AN ALTERNATE. STREET NAME IS 1 STREET WEST 001D PO BOX REQ FOR DDA AND BL MLG ADDR ONLY**

002T THIS WIRE CENTER HS BEEN CONVERTED TO POSTAL STANDARDS

002T THIS WIRE CENTER HS BEEN CONVERTED TO POSTAL STANDARDS @ I 3318 ASSIGN ONLY TO BIG SKY BEEPER

Expected Deliverables/Proposed Implementation Date (if applicable): None

History: A clarification meeting was held on October 03, 2003 with MCI and Qwest representation. At this meeting, MCI stated that they would like to have the ability to determine if they have a market entry in a particular area. MCI went on to say that the 5 digit zip code doesn’t give a breakdown per rate zone, but feel that the 4 digit zip code would provide this type of data rather than receiving unique addresses. Qwest suggested that the postal zip code guide may have the information requested in this CR. MCI stated that it has been determined that there is no unique identification that would determine the rate zone. Qwest responded that the 4 digit zip code requested in this CR may not help either in determining the rate zone and that the rate zone information is loaded by individual addresses.

Qwest Response: Qwest has completed an analysis for PC092503-1, Provide PREMIS zip code extensions, delineate fields and exclude unnecessary information for the states of MT and WY as a means to obtain rate zone, and has determined that this change does not provide a reasonable demonstrable business benefit. As previously stated, Qwest does not believe that the 4 digit zip code extension requested in this CR will meet MCI’s business need for obtaining the rate zone because the rate zone is distance based for both Montana and Wyoming and has no relation to the five or nine digit zip extension.

Qwest is denying your request for PC092503-1, Provide PREMIS zip code extensions, delineate fields and exclude unnecessary information for the states of MT and WY as a means to obtain rate zone, due to no reasonable demonstrable business benefit.

Sincerely,

Connie Winston Qwest

November 11, 2003

For Review by the CLEC Community and Discussion at the November 19, 2003 CMP Meeting

Name: Liz Balvin Title: MCI Carrier Management Qwest Region Company: MCI

SUBJECT:CLEC Change Request Response - CR #PC092503-1 PREMIS Zip Code Extensions

This is a preliminary response regarding the MCI CR PC072203-1.

Qwest Information Technologies is currently working internally to identify if a solution or a different option to this request can be implemented. Because there are a number of complex issues associated with the CR, Qwest proposes moving this Change Request into Evaluation Status while Qwest prepares a complete answer to this request in the December meeting.

Qwest will provide a status update at the December CMP meeting.

Sincerely,

Connie Winston Director Information Technologies Qwest


Open Product/Process CR PC121302-1 Detail

 
Title: Call Forwarding Simplification POTS resale and UNE P Pots
CR Number Current Status
Date
Area Impacted Products Impacted

PC121302-1 Denied
12/13/2002
Ordering, Billing, Maintenance/Repair, Billing UNE-P POTS, Resale POTS
Originator: Prull, Stephanie
Originator Company Name: McLeodUSA
Owner: Paxton, Mallory
Director:
CR PM: Harlan, Cindy

Description Of Change

McLeodUSA proposes the simplification of the Call Forward Busy and Don’t Answer USOC’s available for POTS resale and UNE-P Pots. McLeod would like to have one Call Forwarding USOC for Call Forward Busy, one for Call Forward Don’t Answer, and one for Call Forward Busy/Don’t Answer combo.

Currently there are multiple call forwarding USOC’s in each case. This causes confusion for order writers, line repair representatives, and causes end user pain if not ordered correctly as it can cause a loss of call forwarding service

Expected Deliverable:

McLeodUSA is expecting one call forwarding USOC in each instance labeled above that can work in any call forwarding situation (I.E intra-office, inter-office, overflow). This will eliminate training issues on both the CLEC and Qwest’s side by providing simplified training for order writing representatives for both companies. This will be more consistent with other products Qwest offers. And will allow for more accurate billing and data integrity.


Status History

12/13/02 - CR Submitted

12/13/02 - CR Acknowledged

01/06/03 - Conducted Clarification Meeting

01/15/03 - CR Presented at CMP Meeting

02/12/03 - Qwest response e-mailed to originator

02/19/03 - Qwest response presented at CMP Meeting

03/19/03 - Qwest update presented at CMP Meeting

04/09/03 - Qwest response sent

04/16/03 - Qwest response presented at CMP Meeting - CR Denied and Closed


Project Meetings

04-16-03 - CMP Meeting

Paxton-Qwest presented the denial response. Pardee-AT&T stated that AT&T was disappointed. She stated that the process was error prone and cumbersome. Powers-Tel West stated that Qwest is using “economically not feasible” as a reason for denial very frequently. She stated that CLECs submitted CRs because current Qwest processes were costing them money. She stated that she would begin submitting CRs with an estimate of how much the process was costing the CLEC. Johnson-Eschelon stated that Eschelon was disappointed by the denial of this CR. Balvin-WorldCom stated that the number of denials of economically infeasible also disappointed her. The CR was moved to Denied status.

======================================================

03-19-03 - CMP Meeting

Paxton-Qwest stated that Qwest was continuing to investigate this CR and would present a formal response at the April CMP Meeting. Pardee-AT&T stated that she supported this request as well. Johnson-Eschelon stated that Eschelon was also interested in this CR.

===================================================

02-19-03 - CMP Meeting

Paxton-Qwest presented the Qwest response. Prull-McLeod stated that she understood the response. White-Qwest stated that the CR would be moved to evaluation status.

==================================================

01-15-03 - CMP Meeting

Prull-McLeod presented the CR. Pardee-AT&T and Johnson-Eschelon stated that their companies were very interested in this change as well. The CR moves to Presented.

=================================================================

Clarification Meeting 2:00 PM (Mountain Time) / Monday, January 6, 2003

1-877-550-8686 2213337#

Attendees Matt White – CRPM Mallory Paxton – Qwest Stephanie Prull - McLeod

Introduction of Attendees White-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Prull-McLeod reviewed the CR. Paxton-Qwest stated that Qwest should grandfather interoffice and intraoffice call forwarding since they are priced the same way. This is important for repair and process clarity. Qwest recommended that McLeod submit this CR. Prull-McLeod stated that several other CLECs support this CR. Paxton-Qwest stated that this request is for all CLECs.

Confirm Areas and Products Impacted White-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted. Confirm Right Personnel Involved White-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved. Paxton-Qwest stated that the retail (Catherine Thompson) and wholesale (Janean Van Dusen and Michael Whitt) Product Managers need to be involved. Paxton-Qwest stated that this would be a lengthy CR. Prull-McLeod stated that she did not expect it to be a quick CR.

Identify/Confirm CLEC’s Expectation White-Qwest reviewed the request to confirm Allegiance’s expectation.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for Allegiance to present the CR at the January Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

April 9, 2003

REVISED RESPONSE For Review by CLEC Community and Discussion at the April 16th, 2003, CMP Product/Process Meeting Stephanie Prull OSS Manager McLeod Communications

SUBJECT: Qwest’s Change Request Response - CR #PC121302-1

This is Qwest’s Revised Response to McLeod’s request that Qwest reduce its number of call forwarding USOCs to three.

There are several applications for the many call forwarding USOCs Qwest uses today. These applications depend on the type of call forwarding requested, the product it will work with, and the state where the customer’s line is located.

This request is to make changes for POTS services. Since making these changes for POTS would impact other products, such as Voice Messaging and Centrex, which utilize call forwarding features and which use the same systems to provision them, Qwest’s evaluation of the request included the impact on those products.

Accommodating McLeod’s request would involve changes to Qwest’s ordering, provisioning, and billing processes and systems, including the Qwest Voice Messaging/Business Voice Messaging platform. These process changes would involve a very large financial commitment by Qwest. High level resource implications are outlined below:

- Addition of the following resources for a period of 12 months: - Five product management resources - Three process management resources (Centrex, Features and VMS/BVMS) - One Network Engineering resource - One Network Translations resource.

The economic magnitude of adding the indicated resources is too large for Qwest to implement this change. This request is denied because it is economically not feasible.

Qwest’s Product Management and Process Management, with our Network advisors, respectfully recommend that McLeod and other CLECs with questions concerning the use of these USOCs review the USOCs with their Qwest Service Management team to clarify the ordering process for these features. Ordering documentation, including the Resale and UNE-P feature PCATs and the USOC/FID Finder, is available on the Qwest Wholesale web site at http://www.qwest.com/wholesale/.

Sincerely,

Mallory Paxton Senior Process Analyst Qwest Services Corporation

Attachment 1 Call Forwarding USOCs

Call Forward Busy, Call Forward Don’t Answer, & Call Forward Busy/Don’t Answer are all features that utilize several USOCs and are ordered depending on the Call Forwarding Number (CFN) used on the order.

The options offered are:

Inter-office (Expanded): these USOCs are used to forward calls to a number outside of a customer’s Central Office switch in the various conditions described. FDJ – Call Forward Don’t Answer FBJ – Call Forward Busy Line FVJ – Call Forward Busy Line/Don’t Answer

Intra-office: These USOCs are used to forward calls to a number within the same Central Office switch in the various conditions described. For Residence customers: EVD – Call Forward Don’t Answer EVO – Call Forward Busy Line EVK – Call Forward Busy Line/Don’t Answer – All Qwest states except OR & WA EV2 – Call Forward Busy Line/Don’t Answer – OR & WA only

For Business customers: EVD - Call Forwarding Don't Answer EVB - Call Forwarding Busy Line External Intra-office - (Business Customers only USOC) EVO - Call Forwarding Busy Line Overflow - (Not available in NM to Bus Customers). EVF - Call Forwarding Busy Line External/Don'tAnswer - (Business Customers only USOC) EVK - Call Forwarding Busy Line Overflow/Don't Answer - ALL STATES EXCEPT OR, WA: (Not available in NM to Bus Customers) EV2 - Call Forwarding Busy Line Overflow/Don’t Answer Intraoffice - OR, WA ONLY.

Centrex 21 USOCs 69J – Call Forward Busy Line – Exceptions: In a DMS10 office the capability of forwarding outside the common block is not available. DMS-100 - Use 69J USOC followed by an 'HG' suffix, i.e. 69JHG 69H – Call Forward Don’t Answer – Exceptions: In a DMS-10 office the capability of forwarding outside the common block is not available. DMS-100 - Use 69H USOC followed by an 'HG' suffix, i.e. 69HHG. 69J & 69H – Call Forward Busy Line/Don’t Answer.

=====================================================

February 12, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the February 19, 2003, CMP Product/Process Meeting

Stephanie Prull OSS Manager McLeod Communications

SUBJECT: Qwest’s Change Request Response - CR #PC121302-1

This is Qwest’s Initial Response to McLeod’s request that Qwest reduce its many call forwarding USOCs to a total of three. Because of the complexity and effort necessary to appropriately evaluate this request, Qwest recommends moving this Change Request into Evaluation Status. Qwest will provide a status of Qwest’s research into a solution to the requested change in the March CMP meeting.

Sincerely,

Mallory Paxton Senior Process Analyst Qwest Services Corporation


Open Product/Process CR PC042103-1 Detail

 
Title: Tracking process for FBDL order issues.
CR Number Current Status
Date
Area Impacted Products Impacted

PC042103-1 Completed
8/18/2004
Escalations, Customer Service LNP, Unbundled Loop
Originator: Prull, Stephanie
Originator Company Name: McLeodUSA
Owner:
Director:
CR PM: Harlan, Cindy

Description Of Change

McLeod requests a process established for the listing operations center that is consistent with the CSIE center.

Expected Deliverable:

McLeod expects that a ticket be opened with the Directory Listing Operation center as is the process with the CSIE center today. Mcleod expects that these are tracked and available to any reporting that is available to the CSIE center tickets. Mcleod would accept a process where the ticket is initiated with the CSIE center then a warm transfer to the Directory Listing Operations Center is given. Again the ticket would need to be maintained and tracked as all other customer service tickets are today.


Status History

4/21/03 CR Received

4/22/03 CR Acknowledged

5/8/03 Clarification Meeting

05/21/03 - Presented at CMP Meeting

06/11/03 - Qwest response posted and distributed

06/18/03 - Discussed at CMP Meeting

07/09/03 - Revised response posted and distributed

07/16/03 - CR Discussed at CMP Monthly Meeting

08/21/03 - Discussed at CMP Meeting

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/09/04 - Qwest sent CMPR.01.09.04.F.01241.Ad_Hoc_Mtg_SchldRESEND for ad hoc meeting scheduled 1/19/04

01/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

02/18/04 - February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

03/05/04 - Qwest sent PROD.03.05.04.F.01446.WPDL_V23_DL_UserGuide Level 4 proposed effective date 4/19/04

03/17/04 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

03/25/04 - Qwest sent PROD.03.25.04.F.01510.FNL_WPDL_V23_DL_UserGuide, effective date 4/19/04

04/21/04 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

05/19/04 - May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

06/16/04 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

07/21/04 - Project meeting minutes will be posted to the database

8/16/04 - August CMP meeting mintues will be posted to the database


Project Meetings

8/16/04 CMP Meeting Mintues Cindy Macy – Qwest advised that she contacted Eschelon to verify if the report format was correct. Cindy advised that Qwest was reviewing the report internally to make sure it was accurate. Kim Isaacs – Eschelon advised that she did get a copy of the report and it looked accurate to her. It was sent as an attachment to the email. Kim advised the attachment was a much better way to deliver the report. Kim advised it was okay to close this CR. This CR will move to Completed Status.

07/21/04 July CMP Meeting Cindy Macy – Qwest provided status and advised that the format should be corrected with the July report that will be available August 5. This CR will remain in CLEC Test status.

06/16/04 June CMP Meeting Lee Gomez with Qwest said CLECs will continue to receive the report as originally formatted until formatting changes can be made. Stephanie Prull with Eschelon said they received the June report in the same format as the May report. Lee said that if anyone needs the report in the format that Lee views, they can request through their Listing Account Manager. This CR will remain in CLEC Test status.

Date: 5/24/04 12:08 p.m. From: Isaacs, Kimberly D. [kdisaacs@eschelon.com] To: Sanchez Steinke, Linda cc: Bonnie Johnson Subject: Report for PC042103-1

Linda, here is the FBDL Listing Help Ticket Report, Eschelon received on 5-5-04. Please let us know if you have any other questions. Thank you and have a wonderful day.

Kim Isaacs ILEC Relations Process Analyst kdisaacs@eschelon.com Eschelon Telcom Inc Ph: 612-436-6038 Fax: 612-436-1519

Date: 5/24/04 10:21 a.m. From: Sanchez Steinke, Linda To: 'bjjohnson@eschelon.com' Subject: Report for PC042103-1

Hi Bonnie -

Would you send me the e-mail report that you received for CMP CR PC042103-1 "Tracking process for FBDL order issues".

Thank you

Linda Sanchez-Steinke CRPM Qwest 303-382-5768

05/19/04 May CMP Meeting Linda Sanchez-Steinke with Qwest said that the reports were provided to the CLECs on 5/5/04. Bonnie Johnson with Eschelon said they received the report and expected it to provide additional details but was high level similar to the escalation ticket report. Stephanie Prull with Eschelon said there were issues with the report format and that it was just an e-mail with dates and the columns were shifted left and right. Stephanie suggested this be corrected by re-formatting the report and providing search capability. Bonnie also said the report should be in a table format with sorting capability. Lee Gomez with Qwest joined the call later and the formatting concerns were reiterated. Lee will check into these. Bonnie suggested putting the data into a table in a word document. This CR will move to CLEC Test status.

04/21/04 April CMP Meeting Lee Gomez with Qwest said that everything is ready and in place and any CLECs that would like to get the report should contact the Listing Account Manager to receive the report. Stephanie Prull with Eschelon said thank you for providing the report. This CR will move to CLEC Test status.

03/17/04 March CMP Meeting Linda Sanchez-Steinke gave an update the product notice for the White Page Directory Listings Version 23 User Guides was sent on 3/5 with a proposed effective date of 4/19. CLECs should contact the Listing Account Manager to receive the report. This CR will remain in Development status.

02/18/04 February CMP Meeting Lee Gomez with Qwest gave the update and advised that the CR is on track for implementation in April and will be sending a notification updating the listing document. The first report will be available in May and the CLECs should contact the Listing Account Manager to receive the report.

Stephanie Prull with Eschelon asked if multiple ACNAs will all be on the same report. Lee Gomez said there would be a separate report for each ACNA. This CR will remain Development status.

Fri 2/13/04 8:29 AM From; Sanchez Steinke, Linda To: bjjohnson@eschelon.com Subject: FW: Action Items Ad Hoc 1/19/04 PC042103-1 Tracking process for FBDL order issues

Bonnie - As a follow up to your request in the January CMP meeting minutes, attached are the take back items that Lee Gomez had for PC042103-1. I also posted to the body of the CR under Project Meetings.

Thank you Linda Sanchez-Steinke 303-382-5768

--Original Message-- From: Sanchez Steinke, Linda Sent: Monday, January 26, 2004 12:43 PM To: 'bjjohnson@eschelon.com' Subject: FW: Action Items Ad Hoc 1/19/04 PC042103-1 Tracking process for FBDL order issues

Bonnie - Forwarding to you -- I have your e-mail address incorrect in the first e-mail.

Linda Sanchez-Steinke CRPM Qwest 303-382-5768

--Original Message-- From: Sanchez Steinke, Linda Sent: Monday, January 26, 2004 12:41 PM To: 'bjjohnson@escehlon.com'; 'kdisaacs@eschelon.com'; 'saprull@eschelon.com'; 'dosborne@att.com'; 'cdickinson@att.com' Subject: Action Items Ad Hoc 1/19/04 PC042103-1 Tracking process for FBDL order issues All,

As a follow up to the ad hoc meeting held 1/19/04, regarding PC042103-1, the following are answers to questions asked during the meeting that Lee Gomez took as action items:

Q) Bonnie said there are time when calls are referred to directory listings by CSIE and would like to know which report those would show on.

A) CSIE opens a ticket for every call received. If they determine that a call should be referred to the LOC, CSIE will close that ticket. With the implementation of this report, when a call is referred from the CSIE, the LOC will open a Help Ticket and follow the new process.

Q) Stephanie asked if tickets can be broken down by what tier closed.

A) FBDL does not have tiers. The LOC representative is the primary point of contact for listing related questions and they will be responsible for opening the Tickets. If the CLEC is not satisfied with the status of a ticket, they may chose to escalate the issue to their Listing Resource Services (LRS) Account Manager (AM). The LRS AM will investigate the situation and may work with the LOC regarding a Ticket, but the LOC representative is responsible for opening, updating and closing Tickets.

Thank you

Linda Sanchez-Steinke CRPM Qwest 303-382-5768

Mon 1/26/04 12:41 PM From; Sanchez Steinke, Linda To: 'bjjohnson@escehlon.com', 'kdisaacs@eschelon.com' 'saprull@eschelon.com' 'dosborne@att.com' 'cdickinson@att.com' Subject: Action Items Ad Hoc 1/19/04 PC042103-1 Tracking process for FBDL order issues All,

As a follow up to the ad hoc meeting held 1/19/04, regarding PC042103-1, the following are answers to questions asked during the meeting that Lee Gomez took as action items:

Q) Bonnie said there are time when calls are referred to directory listings by CSIE and would like to know which report those would show on.

A) CSIE opens a ticket for every call received. If they determine that a call should be referred to the LOC, CSIE will close that ticket. With the implementation of this report, when a call is referred from the CSIE, the LOC will open a Help Ticket and follow the new process.

Q) Stephanie asked if tickets can be broken down by what tier closed.

A) FBDL does not have tiers. The LOC representative is the primary point of contact for listing related questions and they will be responsible for opening the Tickets. If the CLEC is not satisfied with the status of a ticket, they may chose to escalate the issue to their Listing Resource Services (LRS) Account Manager (AM). The LRS AM will investigate the situation and may work with the LOC regarding a Ticket, but the LOC representative is responsible for opening, updating and closing Tickets.

Thank you

Linda Sanchez-Steinke CRPM Qwest 303-382-5768

01/21/04 January CMP Meeting Lee Gomez with Qwest gave an update that an ad hoc meeting was held to present the prototype report for FBDL tickets and that the targeted implementation is April. Stephanie Prull with Eschelon asked for the implementation date. Lee said it would be coincident with IMA 15.0. This CR will remain in Development status. (Begin comment from Bonnie Johnson - Eschelon) (Can you provide the answers to the take backs that Lee Gomez provided at the meeting?) (end comment).

Ad Hoc Meeting Minutes PC042103-1 January 19, 2004 1-877-572-8687, Conference ID 3393947# 10:00 a.m. - 10:30 a.m. Mountain Time

List of Attendees: Carla Pardee - AT&T Donna Osborne-Miller - AT&T Kim Isaacs - Eschelon Stephanie Prull - Eschelon Bonnie Johnson - Eschelon Lee Gomez - Qwest Linda Sanchez-Steinke - Qwest

The meeting began with Qwest making introductions and welcoming all attendees. Linda Sanchez-Steinke with Qwest explained that the purpose of the meeting was to gain input on the draft format of the report providing information on FBDL tickets opened by CLECs.

Lee Gomez with Qwest explained that the reports would be similar to the CSIE reports provided monthly. The data will be reported for the entire month and will include calls made to the Listing Operations Center (LOC) regarding FBDL. The report will give the total number of calls per month, broken down by day and 8 categories of the tickets opened. Lee explained how the categories are defined:

Account Ownership - account does not belong to Provider DLIS - question regarding information displayed in DLIS Ordering - question regarding how to complete an order. DSRED - question regarding data returned on a DSRED. Migration - question related to migration/conversion orders Missing Listing - question regarding listing not found Other - miscellaneous question.

These categories will be defined in the Facility-Based CLECs and Reseller/Unbundled Network CLECS Directory Listing User Document.

Stephanie Prull with Eschelon asked what category a ticket would go into when getting ready to do a conversion and DLIS is not correct. Lee said that it would fit into the account ownership if the order has already been issued.

Stephanie asked where a ticket would be categorized if Eschelon has a customer and the information on CSR doesn’t match DLIS. Lee said that would be under DLIS because of what is being displayed in DLIS, however, the Provider may request a specific reason code if necessary.

Stephanie asked if there is a trouble ticket opened with DLIS where would that be classified. Lee said that is would go under DLIS. The reason code can be negotiated between the CLEC and the Qwest LOC representative whenever the CLEC feels it is necessary.

Bonnie Johnson with Eschelon asked if the FBDL report would be separate from the CSIE report. Lee answered yes. Bonnie said there are time when calls are referred to directory listings by CSIE and would like to know which report those would show on. Lee will get back with Bonnie after checking. Bonnie stated that the preference would be that CSIE would close their ticket and it would appear on the FBDL report. Lee will verify.

Donna Osborne-Miller asked the if the number associated with the category is the total number. Lee said that was correct.

Stephanie asked if tickets can be broken down by what tier closed. Lee will find out the answer.

Linda will e-mail answers out to the group and will put the minutes in the body of this change request. There were no additional questions.

12/17/03 December CMP Meeting Linda Sanchez-Steinke gave status that this CR is targeted for the April timeframe and will arrange an ad hoc meeting to review draft format with Stephanie Prull. This CR will remain in Development status.

11/19/03 November CMP Meeting Lee Gomez with Qwest gave the update on this CR. Qwest is planning to provide a report prototype at the next meeting. There is a help ticket generated today and there will be updates made in the applicable PCAT. This CR will remain in Development Status.

10/15/03 October CMP Meeting Linda Sanchez-Steinke with Qwest gave the update on this CR. Qwest is planning to provide a report in the April 2004 timeframe. Linda will contact Stephanie Prull to arrange a meeting to discuss the report format. This CR will remain in Development Status.

09/17/03 September CMP Meeting Lee Gomez provided an update on this CR. Lee said that Qwest is actively working on providing a report in the April timeframe. This CR will remain in Development Status.

CMP Meeting 08-20-03

White-Qwest stated that the proposed implementation date for the change was April 2004. The CR was left in Development status.

=======================================

CMP Meeting 07-16-03

White-Qwest presented the Qwest acceptance and recommended the CR be moved in to Development.

==================================== CMP Meeting 06-18-03

White-Qwest presented the Qwest response. He stated that Qwest is currently working internally to identify a solution to this request. Because this request involves the creation of a complex and wide-reaching process, there are a large number of issues Qwest must analyze. He asked that the change move to Evaluation. ========================================================== CMP Meeting 05-21-03

Prull-McLeod presented the CR. Johnson-Eschelon stated that Eschelon was interested in this CR as well. ========================================== Clarification Meeting Wednesday, May 07, 2003

1-877-550-8686 2213337#

Attendees Matt White – Qwest Lee Gomez – Qwest Michelle Thacker – Qwest Stephanie Prull – McLeod Jennifer Arnold – USLink

Introduction of Attendees White-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Prull-McLeod reviewed the CR. She stated that McLeod has a hard time keeping track of their FBDL issues because they go to a different center once the order has been processed. Gomez-Qwest stated that the CLECs are now calling into the CSIE center for system related issues. She explained that they should be able to take calls and open tickets for DLIS issues. She asked McLeod what the wanted to track. Prull-McLeod stated that McLeod wanted visibility on ordering issues. Gomez-Qwest asked if McLeod was currently experiencing problems with the center. Prull-McLeod stated that they weren’t but that McLeod is doing more internal reporting. She stated that this is a gap in this reporting because they don’t have a good way to track it. Gomez-Qwest asked if this CR was related to DLIS issues. Prull-McLeod stated that it was not. She stated that McLeod wanted to have a ticket number and tracking capabilities. Thacker-Qwest asked if USLink had the same concern. Arnold-USLink stated that USLink did not have the same issue and needed to submit a separate CR

Confirm Areas and Products Impacted White-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted.

Confirm Right Personnel Involved White-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation White-Qwest reviewed the request to confirm McLeod’s expectation.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for McLeod to present the CR at the May Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

July 9, 2003

REVISED RESPONSE For Review by CLEC Community and Discussion at the July 16, 2003, CMP Product/Process Meeting

Stephanie Prull McLeod USA

SUBJECT: Qwest’s Change Request Response - CR #PC042103-1

This is a revised response regarding McLeod CR PC042103-2. This CR requests a process be established for the listing operations center that is consistent with the CSIE center.

Qwest accepts this CR. Qwest will create a system to track each incoming CLEC call to the Listing Operations Center. Similarly, this system will allow Qwest to provide the CLEC with a ticket number and reports that identify all CLEC calls/help tickets/status. These systems and processes will be completely separate from those within the CSIE.

Qwest will provide a status update of the work to implement this CR at the August CMP meeting.

Sincerely,

Lee Gomez Lead Process Analyst Qwest Communications

=========================================== June 11, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the June 18, 2003, CMP Product/Process Meeting

Stephanie Prull McLeod USA

SUBJECT: Qwest’s Change Request Response - CR #PC042103-1

This is a preliminary response regarding McLeod CR PC042103-2. This CR requests a process be established for the listing operations center that is consistent with the CSIE center.

Qwest is currently working internally to identify a solution to this request. Because this request involves the creation of a complex and wide-reaching process, there are a large number of issues Qwest must analyze. Qwest proposes moving this Change Request into Evaluation Status while Qwest prepares a complete answer to this request.

Qwest will provide a status update at the July CMP meeting.

Sincerely,

Lee Gomez Lead Process Analyst Qwest Communications


Open Product/Process CR PC042103-2 Detail

 
Title: Escalation Ticket Reporting
CR Number Current Status
Date
Area Impacted Products Impacted

PC042103-2 Completed
3/2/2004
Originator: Prull, Stephanie
Originator Company Name: McLeodUSA
Owner: Thacker, Michelle
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

McleodUSA requests a process where CLECs can receive on a monthly basis statistics regarding the escalation tickets opened by the CLECs with Qwest.

Expected Deliverable:

McleodUSA expects to be able to be provided a process where we can receive a monthly report outlining the escalation ticket activity for that CLEC.

McleodUSA would like to see the following information available.

How many escalation tickets we opened.

How many were closed and by what tier. (By Tier 1, Tier 2, or Tier 3.)

What resolution the ticket was closed with.

How long the ticket was open for. (Or open date and time, close date and time.)

What platform the ticket was in regards to.

McleodUSA expects this process to be implemented as soon as possible.


Status History

4/21/03: CR Received

4/22/03: CR Acknowledged

5/8/03 Clarification Meeting

05/21/03 - Presented at CMP Meeting

06/11/03 - Qwest response posted and distributed

06/18/03 - Discussed at CMP Meeting

07/09/03 - Revised response posted and distributed

07/16/03 - CR Discussed at CMP Monthly Meeting

8/21/03 - Discussed at CMP Meeting

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/07/03 - Held Ad Hoc meeting - minutes will be posted to this CR's Project Meetings section.

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/10/03 - Qwest issued PROS11.10.03.F.01013.OrderingV39 proposed effective date 12/19/03

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/01/03 - Qwest issued Final Notice PROS.12.01.03.F.01116.FNL_OrderingV39, effective date 12/16/03

12/17/03 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

02/18/04 - February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

03/02/04 - CR moved to completed status per e-mail from Tracey Koffran at McLeod USA


Project Meetings

Linda:

Thanks for checking. McLeodUSA also agrees that this can be closed.

Thanks! TSK

--Original Message-- From: Sanchez Steinke, Linda [mailto:Linda.SanchezSteinke@qwest.com] Sent: Monday, March 01, 2004 12:32 PM To: Kramer, Shawna L.; Koffron, Tracey S. Subject: FW: CMP CR PC042103-2 Escalation Ticket Reporting

Shawna & Tracey -

CR PC042103-2 can be viewed at http://www.qwest.com/wholesale/cmp/changerequest.html

We discussed the CR at CMP last Wednesday and it was ok to close from other CLECs standpoint, and I just want to verify that McLeod is ok to close. Please e-mail me back and if you have questions call me.

Thank you

Linda Sanchez-Steinke CRPM Qwest 303-382-5768

From: Sanchez Steinke, Linda To: 'skramer@mcleodusa.com'; 'tkoffron@mcleodusa.com' cc: Subject: FW: CMP CR PC042103-2 Escalation Ticket Reporting

Shawna & Tracey -

CR PC042103-2 can be viewed at http://www.qwest.com/wholesale/cmp/changerequest.html

We discussed the CR at CMP last Wednesday and it was ok to close from other CLECs standpoint, and I just want to verify that McLeod is ok to close. Please e-mail me back and if you have questions call me.

Thank you

Linda Sanchez-Steinke CRPM Qwest 303-382-5768

Thu 2/19/04 10:51 AM From; Sanchez Steinke, Linda To; 'msprague@mcleodusa.com' Subject: CMP CR PC042103-2 Escalation Ticket Reporting

Hi Michelle -

This CMP CR was discussed at the Product/Process meeting yesterday. It was agreed that the CR could be moved to Completed status, and that Qwest could e-mail McLeod and make sure it is ok to close it.

Would you please let me know.

Thank you

Linda Sanchez-Steinke CRPM Qwest 303-382-5768

02/18/04 February CMP Meeting Michelle Thacker with Qwest gave an update that the January reports were sent on 2/16/04 and asked if the CR could be closed. Stephanie Prull with Eschelon said that Eschelon agrees to close this CR and suggested that Qwest also contact Michelle Sprague at McLeod to close. Qwest will e-mail McLeod to confirm closing this CR. This CR will move to Completed status if McLeod agrees.

01/21/04 January CMP Meeting Michelle Thacker with Qwest gave an update that CLECs who requested the data received their November data in December and December data in January. This CR will move to CLEC Test status.

12/17/03 December CMP Meeting Michelle Thacker with Qwest gave an update that Qwest has received requests for reports and expect they will be delivered by 12/19. Bonnie Johnson with Eschelon provided her e-mail address to Michelle and asked if they would receive their report on 12/18. Michelle said that the report should be received 12/18. This CR will remain in Development status.

11/19/03 November CMP Meeting Michelle Thacker with Qwest provided an update on this CR. Michelle said that external documentation has been posted for review and comments. This CR will remain in Development status.

10/15/03 October CMP Meeting Michelle Thacker with Qwest provided an update on this CR. Michelle said that we held an ad hoc meeting on 10/7/03 and gained input from the CLECs on the report format. The outcome was two action items; request from CLECs for one e-mail and after research one e-mail is not possible. Each report will be e-mailed separately. Qwest can suppress pages from the report per CLEC request, for example CLECs can request to receive pages 1 and 5 and not to receive pages 2 and 4. Further information on how reports will be ordered will be included in a PCAT update. The other action item was to provide progress on documentation. Currently the external documentation is being worked on and will be deployed according to CMP guidelines. This CR will remain in Development status.

Ad Hoc Meeting Minutes PC042103-2 October 7, 2003 1-877-572-8687, Conference ID 3393947# 10:30 a.m. - 11:00 a.m. Mountain Time

List of Attendees: Carla Pardee - AT&T Stephanie Prull - McLeod Liz Balvin - MCI Kim Isaacs - Eschelon Bonnie Johnson - Eschelon Lydell Peterson - Qwest Jeff Tietz - Qwest Jen Arnold - U S Link Michelle Thacker - Qwest Dennis Van Der Vieren - Qwest Linda Sanchez-Steinke - Qwest

The meeting began with Qwest making introductions and welcoming all attendees. Linda Sanchez-Steinke with Qwest explained that the purpose of the meeting was to gain input on the draft format of the report providing statistics of call center tickets.

Michelle Thacker explained that Qwest has sent the reports individually to each CLEC and are looking for feedback on the format of the reports. Bonnie Johnson said that she received the e-mails and got pages 1, 3, 4, and 5 with no page 2. Michelle explained that the page numbers will be corrected.

Michelle explained that page 1 is the total call center tickets for the reporting timeframe and the total number of call center tickets for the call handling centers.

Page 2 are the call center tickets received and the tier that assisted with the ticket. Bonnie Johnson asked if this is the tier the ticket is closed at and Michelle said no this is the tier that assisted with the ticket.

Page 3 is the total number of tickets resolved by tier.

Page 4 is the total tickets resolved by reason code. Michelle explained that the CLEC facing documentation will provide further definition of the reason codes.

Account Ownership reason code would be requests to find out if the CLEC owns the account or to find out when the account was lost.

LSR reason code would be calls about rejects and jeopardy after FOC. Bonnie asked if there was more information about LSR reject definition. Michelle said that at any time the CLEC can ask how the ticket was closed. Bonnie explained Eschelon has been working on a project for LSR quality providing Qwest rejects in error and asked Qwest Service Management Team to identify rejects in error and the Service Management Team has said that they don’t have the data to pull a report.

Michelle explained that Listings are requests for assistance with listing, change listing on service orders, and complex listings. Stephanie Prull asked if the listing requests are from CSIE rather than the DL center. Michelle said yes the statistics are from CSIE.

Michelle explained that ordering tickets include resent FOC, resend PSON, supp’d LSRs, demarc, and expedites. Bonnie asked where a call about PSON id mistakes would fall. Michelle said that would be under pre-order.

Michelle explained that pre-order tickets would be addresses, loop qualification, CFA validation, facilities, IMA functionality.

Provisioning tickets are requests for assistance with out of service, complete service order in error, reschedule of tech visit.

Referral tickets would be making referrals to repair and warm transfers to repair and other Qwest departments..

Stephanie asked if there was a problem with address validation within Premis system, would the ticket be opened in pre-order. Michelle said yes those tickets would fall under pre-order.

Liz Balvin with MCI had not received the reports and Dennis Van Der Vieren will e-mail to her.

Carla Pardee with AT&T asked how they can get the reports and Michelle said that the reports would be ordered through the customer questionnaire as an interim process.

Stephanie Prull with McLeod asked if it would be possible to get all 4 pages of the report into one e-mail. Dennis will investigate if one e-mail can be sent.

Bonnie Johnson said that she was hoping to receive more data.

Stephanie Prull asked when the interface document will be available. Michelle said the external document is under development.

Jen Arnold with U S Link mentioned that on pages 3 and 4 the number of reports resolved in September must include carryovers from the prior month. Michelle said yes.

Linda asked if there were any additional questions. No questions were asked and Linda said that we would discuss this CR at the October CMP meeting.

09/17/03 September CMP Meeting Michelle Thacker with Qwest provided an update on this CR. Michelle would like to meet with Stephanie Prull with McLeod next week and provide the report in draft format. Eschelon, MCI, VarTec and AT&T would like to be included in the meeting. Qwest will arrange an ad hoc meeting on 9/25 and send notification. This CR will remain in Development status.

CMP Meeting 08-20-03

White-Qwest stated that Qwest would like to conduct a test of the new process with McLeod in September. Prull-McLeod stated that she should be the POC for that test. White-Qwest stated that Qwest estimated that the first report would come out in December with data collected in November.

==========================================

CMP Meeting 07-16-03

Thacker-Qwest presented the Qwest acceptance. Johnson-Eschelon asked if tickets escalated higher than Tier 2 will be included in the report. She stated that if it is escalated then it probably remains in the database as a Tier 2. Thacker-Qwest stated that in most cases this would be true. Johnson-Eschelon asked if the report will include notes. Thacker-Qwest stated that it would include only numbers; not notes. The CR was moved into Development.

========================================== CMP Meeting 06-18-03

Thacker-Qwest presented the Qwest response. She asked that the CR be moved to Evaluation status. Prull-McLeod asked that they be shown samples of the report format when Qwest developed them. Thacker-Qwest stated that if Qwest was able to accept this CR they would share samples with McLeod. Johnson-Eschelon stated that Eschelon’s Service Manager had provided them a report like this one requested in the CR. ========================================================== CMP Meeting 05-21-03

Prull-McLeod presented the CR. Johnson-Eschelon stated that Eschelon was interested in this CR as well. ========================================== Clarification Meeting Wednesday, May 07, 2003

1-877-550-8686 2213337#

Attendees Matt White – Qwest Michelle Thacker – Qwest Stephanie Prull – McLeod

Introduction of Attendees White-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Prull-McLeod reviewed the CR. Thacker-Qwest asked what the data would be used for. Prull-McLeod stated that it would be used primarily for reporting metrics and training issues. Thacker-Qwest asked if McLeod currently contacted their service manager thwne they want to know about their tickets. Prull-McLeod stated that they did contact their service manager. She stated that they used to receive a report from their service manager but that they haven’t received it recently. She explained that McLeod has made the same request of their service manager but was told that there was not a way to get the information. She stated that was why she submitted the CR. Thacker-Qwest stated that there is no current process, but that McLeod may be able to get this info from their service manager. Prull-McLeod stated that McLeod used to get the report, but had to ask for it. She stated that they would like to get it every month without requesting

Confirm Areas and Products Impacted White-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted.

Confirm Right Personnel Involved White-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation White-Qwest reviewed the request to confirm McLeod’s expectation.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for McLeod to present the CR at the May Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

July 9, 2003

REVISED RESPONSE For Review by CLEC Community and Discussion at the July 16, 2003, CMP Product/Process Meeting

Stephanie Prull McLeod

SUBJECT: Qwest’s Change Request Response - CR # PC042103-2 (Escalation Ticket Reporting)

This letter is in response to CLEC Change Request (CR) PC042103-2. This CR is a request by McLeod to establish a process where CLECs can receive, on a monthly basis, statistics regarding the escalation tickets opened by the CLECs with Qwest. During the clarification call, McLeod stated that it would use the data primarily for reporting metrics and training issues within McLeod.

In evaluating this request, Qwest accepts this CR to provide a monthly statistical report of all Call Center Database tickets opened and resolved in our Call Handling Centers. This report will be available upon request and contain such statistical ticket detail as:

- Product Type (Total number of tickets opened for each product) - Sub Product Type (Total number of tickets for sub product) - Reason Code/Sub Reason Code (Total number of tickets closed)

Ticket detail will be summarized including total number of tickets opened during the month, total number tickets closed at Tier 0, 1, 2, etc. External documentation will be available including instructions on how to order, where to call if questions about the report arise and if the report is not received.

Further details regarding implementation (dates, contact information, etc.) will be available at the August CMP meeting.

Sincerely,

Michelle Thacker Sr. Process Analyst Qwest Communications

=========================================== June 11, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the June 18, 2003, CMP Product/Process Meeting

Stephanie Prull McLeod USA

SUBJECT: Qwest’s Change Request Response - CR #PC042103-2

This is a preliminary response regarding McLeod CR PC042103-2. This CR requests a process where CLECs can receive on a monthly basis statistics regarding the escalation tickets opened by the CLECs with Qwest.

Qwest is currently working internally to identify a solution to this request. Because there are a large number of issues Qwest must analyze, Qwest proposes moving this Change Request into Evaluation Status while Qwest prepares a complete answer to this request.

Qwest will provide a status update at the July CMP meeting.

Sincerely,

Michelle Thacker Sr. Process Analyst Qwest Communications


Open Product/Process CR PC051203-1 Detail

 
Title: Versioning Process Change
CR Number Current Status
Date
Area Impacted Products Impacted

PC051203-1 Crossover
7/27/2009
Originator: Prull, Stephanie
Originator Company Name: McLeodUSA
Owner: Manning, Monica
Director:
CR PM: Harlan, Cindy

Description Of Change

Currently if the Service Center receives 2 versions of an order back to back they will respond to the newest version only. This is inconsistent with the way the system works today if an order goes auto-flow. Today by the service centers not responding to all versions this does not allow the CLECs to sync up their responses or makes it look like they are not receiving responses from Qwest for some of their orders.

Expected Deliverable:

McleodUSA expects that for every transaction we send we will receive some sort of response whether it’s via the system or the Service Centers. We expect this process to be changes acrossed all centers and all platforms. We expect this to be implemented ASAP.


Status History

5/12/03 CR Received

5/14/03 CR Acknowledged

5/16/03: Contacted customer

5/23/03: Held Clarification Call - agreed this CR should be crossed over to systems CR as CLEC is requesting change to EDI interface transaction set

5/28/03: Crossed over this CR to systems. We will get confirmation at the June CMP meeting that this is a cross over CR


Project Meetings

This CR was crossed over to SCR051203-01X. This CR will be closed.

Clarification Meeting

May 23, 2003 1-877-572-8687 3393947# PC051203-1 Versioning Process Change

Attendees Stephanie Prull – McLeod Monica Manning – Qwest Wendy Green – Qwest Woldey Assefa - Qwest Cindy Macy – Qwest

1.0 Introduction of Attendees Attendees introduced

2.0 Review Requested (Description of) Change Stephanie Prull – McLeod reviewed the CR. Stephanie explained that Qwest does not respond with an EDI transaction to the older version of an LSR when a newer version comes in when the LSR goes to manual. A response is sent when the LSRs are flowthrough. Cindy Macy – Qwest asked Stephanie why she didn’t identify the CR as a system CR with EDI impacts. Stephanie advised she wasn’t sure how to submit the CR as the process to have the SDC respond is a manual process but the response she needs is an EDI transaction. Monica – Qwest confirmed that Stephanie is looking for a mechanized EDI notification, but the generation of the notification does not have to be automated. Woldy, Wendy and Stephanie discussed possible EDI transaction sets that could be sent. The group discussed FOC or Rejct or Cancel but felt that these would impact the most current version of the LSR and that would not work. Possibly a new transaction set that makes that version of the LSR Inactive, but doesn’t affect measurements and the most current version of the LSR. Stephanie explained that not receiving a response on older versions causes problems with their tracking and complicates their trouble investigations. Monica confirmed that it is a documented process that Qwest does not respond to older versions when a new version is received. Stephanie agreed but is requesting it to be changed.

3.0 Confirm Areas & Products Impacted Ordering, Provisioning, EDI transactions

4.0 Confirm Right Personnel Involved The team discussed that this should be a systems CR and Cindy will discuss with the systems team and cross over. The systems team may want to have another clarification / adhoc meeting with the team.

5.0 Identify/Confirm CLEC’s Expectation McLeod advised they would like to receive an EDI transaction response of some kind on older versions of LSR when they submit a newer version and it is handled manually.

6.0 Identify any Dependent Systems Change Requests none

7.0 Establish Action Plan (Resolution Time Frame) McLeod will present the CR at the June CMP Meeting Qwest will cross over to systems


Open Product/Process CR PC112901-2 Detail

 
Title: TIC Charge Credit Process
CR Number Current Status
Date
Area Impacted Products Impacted

PC112901-2 Denied
2/20/2002
Billing, Maintenance/Repair Centrex, Private Line, Resale, Unbundled Loop, UNE,
Originator: Bowers, Diane
Originator Company Name: McLeodUSA
Owner: Suellentrop, Craig
Director:
CR PM:

Description Of Change

Qwest has begun charging for trouble isolation charges. In numerous instances, the Qwest tech is dispatched and finds no trouble found when test to the dmarc. The trouble still exists and we will request the tech to be dispatched again. This time the tech finds the trouble on Qwest's network. The original trouble isolation charge should not be charged since the trouble was isolated to Qwest. Qwest is currently unable to stop the billing of the TIC charge or issue on the spot a credit to cover the charge issued the day before. It requires McLeod to research every TIC charge and determine if it was a valid charge. This is very time consuming and requires resources that we do not have. McLeod would like to request a process be developed to design services. They are calling the CLEC before closing a ticket if there is a charge generated from that ticket. Another suggestion is to provide the ability to the Qwest repair screeners to initiate the credit when McLeod communicates the event of a previous ticket being opened and closed with no trouble found. This would need to apply to resale and UNE trouble tickets.


Status History

11/28/01 - CR Received from McLeodUSA.

11/29/01 - E-Mail Acknowledgement issued to McLeodUSA.

11/30/01 - Contacted McLeodUSA via voice mail messages and confirmed availability any time between 12/4 - 12/7.

12/04/01 - Conducted Clarification Meeting with McLeodUSA.

12/06/01 - Issued Clarification Meeting Minutes to McLeodUSA.

12/12/01 - CMP Meeting - McLeod was not on the call to present its CR. Qwest reviewed what was discussed at the Clarification meeting. CR Status to change to Clarification.

12/27/01 - Christine Mohrfeld is out of the office through 1/2/02. Sent e-mail request for example.

01/03/02 - Telecon with Christine Mohrfeld - she is transitioning the responsibilities for this CR to Diane Bowers and she is working on providing the examples.

01/04/02 - Sent Dian Bowers e-mail for additional clarification meeting on Tuesday 1/8/02.

01/08/02 - Additional clarification meeting scheduled with McLeodUSA for 01/11/02.

01/11/02 - Conducted additional Clarification Meeting with McLeodUSA.

01/16/02 - CMP Meeting - the CR was discussed with the CLEC participants and Qwest provided various options. It was agreed that the CR could move to Evaluation.

01/18/02 - Issued Clarification Meeting Minutes to McLeodUSA.

02/12/02 - Issued Qwest's Draft Response dated 2/6/02 to McLeodUSA.

02/20/02 - CMP Meeting - Qwest presented its Draft Response. It was agreed that the status of the CR would be Denied. It was agreed that the aspects of this CR would be rolled into a Global Action Item on Test Charges. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02.

02/22/02 - Qwest's formal response dated 2/6/02 issued to CLEC Community.

03/20/02 - CR Open/Closed Status changed to Closed per agreement at 03/20/02 Monthly CMP Meeting that CRs having Denied status should also reflect Closed Status


Project Meetings

CLEC Change Request Clarification Meeting

Date: January 11, 2002, 2:00 p.m. (MT) Place: Conference Call 877-564-8688 Subject: PC112901-2, TIC Charge Credit Process

Attendees: Ric Martin, Qwest Alice Matthews, Qwest Craig Suellentrop, Qwest Cheryl McMahon, Qwest Dennis Pappas, Qwest Joann Garramone, Qwest Bud Witte, Qwest Don Tolman, Qwest Diane Bowers, McLeodUSA Rod Cox, McLeodUSA Sue Sedrow, McLeodUSA Carol Whitson, McLeodUSA Chad Sharp, McLeodUSA Todd McNally, McLeodUSA

Introduction of Attendees Introductions of the participants on the Conference Call were made and the purpose of the call discussed.

Review Requested (Description of) Change Ric explained that the direction from the previous Clarification meeting with McLeodUSA was for Qwest to investigate a process for Qwest to initiate a credit on a TIC when it was determined that the TIC was applied in error. Ric further explained that internal discussions brought on additional questions that necessitated the additional clarification call. On the CR, several products were identified and Trouble Isolation Charge (TIC) applies to non-designed services and Maintenance & Service Charge (MSC) applies to Designed Services. Diane indicated that McLeod was not able to identify the end user of the TIC and MSC charges. She indicated that she was aware of a release in March that would put the ANI for MSC, but still couldn’t identify TIC end users. Sue asked how Qwest identifies the charge. Dennis indicated that a charge is applied when repair finds a trouble or when repairs are performed. Typically an E0135 is applied. Dennis indicated that he thought that the TIC was a flat charge and there was also a Dispatch charge. Bud clarified that for MSC, billing starts when tech is dispatched to the trouble, proves the trouble is not in Qwest network, gets customer approval to perform repair and the work is billed on a T&M basis and billed to the end user. Bud indicated that the Dispatch charge was for Designed Services. Ric advised that at the last Clarification meeting McLeodUSA wanted the ability to have the field tech or repair center issue a credit when it has been determined that the charge was in error. Ric explained that the system currently does not have the ability for either person to enter a credit. A system change would be required to add the coding. Ric further explained that once a TIC is issued and another Ticket is issued it is difficult to determine if the problems were the same. This was the reason Qwest requested an example of where they have determined that the TIC was applied and later determined that it was incorrect. Diane indicated that they were working on this. Craig confirmed that there were two items we should be trying to respond to. The first is the TIC and the second is McLeodUSA’s requirement to identify end user. Diane indicated that she thought that the determination of the incorrect TIC was identified before the ticket was closed. Craig advised that the charges were applied when the ticket was closed. He advised that, for Resale POTS tickets are closed by the Tech in the filed and POTS wouldn’t have the same ticket. Bud advised that for Designed Services there is a Dispatch Charge and the Tech’s travel time. McLeodUSA felt that this was a duplicate charge. Bud explained that the Dispatch charge is for the truck roll and the travel charge (30-min increments) is the Tech’s time. It was agreed that we could keep the TIC and MSC separate on focus on TIC. Qwest confirmed that the TIC only gets applied when the Tech uses a combination of Codes.

Establish Action Plan McLeodUSA will try to provide the examples. Qwest will identify options and suggestions at the 1/16/02 CMP.

-

Subject: CR PC112901-2 Date: Thu, 27 Dec 2001 14:23:30 -0700 From: Richard Martin Organization: Qwest Communications International, Inc. To: Christine Mohrfeld

Christine,

We have had a couple of internal meetings on the CR. A question has come up whether you have a specific instance when a TIC was applied incorrectly (i.e. the trouble was later determined to be in Qwest's Network). If you could provide an example, this would help us with isolating the issue and determining the appropriate resolution.

Thanks

Ric

CLEC Change Request Clarification Meeting

December 4, 2001, 2:00 p.m. (MT) Conference Call 877-564-8688 PC112901-2, TIC Charge Credit Process

Attendees: Ric Martin, Qwest Alice Matthews, Qwest Christine Mohrfeld, McLeodUSA

Introduction of Attendees Introductions of the participants on the Conference Call were made and the purpose of the call discussed.

Review Requested (Description of) Change Christine advised that when Qwest’s screener gets a trouble ticket and if the technician didn’t find any trouble, the screener then initiate a Trouble Isolation Charge (TIC). The problem is when the trouble persists and it is subsequently determined that the trouble was Qwest related, there is no process for the screener or any other person to stop the TIC charge. McLeodUSA’s only avenue to reverse the TIC charge is at the back end in the billing cycle. They have to physically research, identify the incorrect TIC charge and call Qwest to get an adjustment. Qwest confirmed that this is the situation to date.

Confirm Areas & Products Impacted Christine confirmed that the products set forth in the CR are correct. She indicated that this issue was for all products. . Confirm Right Personnel Involved Alice Matthews confirmed she was the SME for this process. She advised that we would also need to get a network person involved in any solutions.

Identify/Confirm CLEC’s Expectation Christine confirmed that McLeodUSA is looking for a manual process that would allow the screener to initiate a credit for an incorrect TIC Charge. Ideally, once a manual process is developed, a mechanized solution would be required.

Identify any Dependent Systems Change Requests Christine indicated that they submitted a Systems CR that provides better definition on the billing charges. Qwest will look into the CR to see if there is any relation. Christine advised that they would like to have the TN identified. As a minimum they would like this for Resale and UBL would require the Circuit ID.

Establish Action Plan (Resolution Time Frame) Qwest advised that the path forward would be as follows: ? Since this CR was received after the 3 weeks prior to the CMP, McLeodUSA will present this CR at the December CMP Meeting. ? The CR will have the collective CLEC clarification at the January CMP Meeting. ? Qwest will begin to identify solutions that can be offered at the January CMP Meeting. ? Qwest will develop its response for the February’s CMP Meeting Qwest will identify a Network SME that will be involved in this CR.

Subject: Acknowledgement of Submitted Change Request Date: Thu, 29 Nov 2001 10:00:23 -0700 From: "Jim Beers" Organization: Qwest Communications International, Inc. To: cmohrfeld@mcleodusa.com CC: Richard Martin , Todd Mead , Michael Keegan , Peter Wirth

Dear Christine Mohrfeld:

Thank you for participating in the Qwest Change Management Process (CMP). We have received your Change Request (CR) submission titled "TIC Charge Credit Process". The information contained in the submitted CR appears to be complete and valid at this time.

Please note, we have applied a tracking number to this CR, #PC112901-2, for your use in following the progress of your submission through CMP. You may view your submitted CR via the Product & Process Interactive Report located on the Qwest web page at URL - http://www.qwest.com/wholesale/cmp/changerequest.html

We have assigned a CR Project Manager (CRPM) to facilitate the Qwest Response to your request. The assigned CRPM, Ric Martin, will be contacting you in the near future to schedule a Clarification Meeting.

Sincerely, Jim Beers Product & Process CMP Manager 303.965.2930

-


CenturyLink Response

February 6, 2002

Diane Bowers McLeod USA Cedar Rapids, IA 52404

SUBJECT: Qwest’s Change Request Response - CR PC112901-2 TIC Charge Credit Process

McLeod is requesting that Qwest issue a credit for incorrectly applied Trouble Isolation Charges (TIC) either at the time a trouble ticket is closed or when a new ticket at the same location is opened. The CR addressed both resale and UNE products. During clarification meetings with McLeod and other CLLEC’s it was agreed to focus on the TIC charge, which applies to POTS and CENTREX resale or UNE-P only.

The repair process for POTS requires the CLEC to submit a trouble report, either electronically through MEDIACC or CEMR, or by calling the Repair Call Handling Center (RCHC). During trouble reporting process the CLEC must either authorize the TIC or not authorize the TIC.

If the TIC is authorized, a Qwest technician may be dispatched to the end-user’s premise to isolate trouble. If a technician is dispatched and trouble is isolated to the end-user’s equipment or wiring (beyond the Network Interface Device (NID) the technician will attempt to contact the CLEC, and the ticket will be closed. The technician will enter disposition codes into Qwest’s system indicating trouble beyond the NID. These disposition codes are routed to billing and a TIC is applied.

If the TIC is not authorized, no dispatch will take place, although Qwest may perform a remote test. If the remote test indicates no trouble or trouble beyond the NID, the ticket will be closed Test OK (TOK) and no TIC will apply. A CLEC may also use CEMR to perform the remote test (MLT) itself.

Currently, billing disputes are handled through the CLEC’s Service Manager. The Service Manger will contact the appropriate Qwest employees to research the dispute and will work with the CLEC until resolution.

This Change Request would require resolution of billing disputes by Qwest’s network technicians or repair attendants. To determine if a TIC is inappropriately applied, investigation of each trouble ticket is necessary. Neither the repair attendant taking the trouble report nor the technician isolating the trouble at the end-user’s premise have the resources to adequately research the appropriateness of waiving a TIC charge in each situation. Such research, if assigned to network technicians or repair attendants, would result in slower repair intervals for the CLEC. This work function is appropriately assigned in Qwest to the Service Manager. Therefore, Qwest respectfully denies this Change request.

Sincerely,

Craig Suellentrop Interconnection Planner Qwest

Cc: Alice Matthews Cheryl McMahon Terrance Meehan Mary Retka Jamal Boudhaouia


Open Product/Process CR 5343715 Detail

 
Title: Legacy CR Suspending T1 (DSS) service for collection purposes.
CR Number Current Status
Date
Area Impacted Products Impacted

5343715 Withdrawn
4/16/2001
Billing Resale T1/DSS
Originator: Mohrfeld, Christine
Originator Company Name: McLeodUSA
Owner:
Director:
CR PM:

Description Of Change

McLeod would like the ability to suspend a T1 (DSS) line for collection purposes, either electronically or manually. Currently, we are required to disconnect the service and then reconnect the service following payment. The timeframe for disconnect and reconnect is extensive. Average 15 days for each process. Currently, Centrex suspension is realtime through CMS or 48 hours through IMA.


Status History

1/16/01 - CR Received from Christine Mohrfeld of McLeod

1/16/01 - Status changed to New-to be reviewed and sent to Christine

2/05/01 - Status changed to Reviewed - Under Consideration

2/06/01 - Updated CR sent to Christine Mohrfeld of McLeod

4/16/01 - Status changed to Cancelled - Co-Provider - Qwest

4/23/01 - Updated CR sent to Christine Mohrfeld of McLeod

3/28/02 - Posted this legacy CR to CMP Database. Completed CR Form had been posted to the Web as part of the "Change Request (CR) Archive - Change Requests statused as Inactive before August 1, 2001"


Project Meetings


Open Product/Process CR PC121101-1 Detail

 
Title: Add design contact's name to the CNR
CR Number Current Status
Date
Area Impacted Products Impacted

PC121101-1 Completed
2/20/2002
Provisioning Unbundled Loop, UNE
Originator: Whitson, Carol
Originator Company Name: McLeodUSA
Owner: Martain, Jill
Director:
CR PM:

Description Of Change

McLeod is requesting Qwest to make modification to the "customer not ready" spreadsheet and add the CLECs design contact's name as a column on the spreadsheet. When McLeod receives the spreadsheet, we have to manually look up every order to determine who the original order writer was. Once the order writer is identified, we forward the notification to them so they can follow up appropriately with Qwest.


Status History

12/11/01 - CR Submitted by Christine Mohrfeld, McLeod

12/11/01 - Acknowledgement of Submitted Change Request sent to McLeod

12/12/01 - CR posted to the web

12/18/01 - Held clarification call with McLeod, status changed to 'Clarification'

12/19/01 - Draft clarification meeting minutes issued to McLeod

12/19/01 - Qwest CR owner changed to Jill Martain

01/02/02 - Talked to Christine Mohrfeld about Mcleod's action from the clarification call, she will research.

01/04/02 - E-mail from Qwest asking Luanne to follow up on McLeod action

01/04/02 - E-mail from McLeod requesting jeopardy notifications via EDI

01/07/02 - The centers begin to send all McLeod jeopardy notices via EDI today

01/16/02 - January CMP meeting. Qwest presented a verbal response stating that McLeod is now receiving jeopardy notifications via EDI; therefore, this CR is no longer required. CLECs agreed to close if Qwest obtains an e-mail from Michelle Sprague (McLeod) concurring with Qwest.

01/17/02 - Qwest sent e-mail to McLeod requesting that they concur with closing CR

02/01/02 - Qwest sent response dated 02/01/02 to McLeod

02/20/02 - February CMP meeting: Qwest response dated 02/01/02 presented to CLECs. Qwest received voice mail from McLeod confirming request had been met. CLECs agreed to close CR. CR status changed to "Completed" Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

02/21/02 - E-mail from McLeod confirming closure of this CR

02/22/02 - Formal response dated 02/01/02 issued to CLECs - Document Number: CMPR.02.22.02.F.01229.CR_Responses

03/20/02 - CR Open/Closed status changed to closed and inactive and checked for Archive 2002


Project Meetings

2/21/02 - E-mail from McLeod confirming closure of this CR

Subject: Re: PC121101-1 "Add design contact's name to the CNR" Date: Thu, 21 Feb 2002 10:27:42 -0600 From: "Whitson, Carol" To: Todd Mead Todd, Please close out the CMP PC121101-1. We no longer need this change. Thanks Carol

2/21/02 - E-mail from Qwest asking for written confirmation of CR closure

From: Todd Mead on 02/21/2002 09:18 AM To: Carol Whitson/MCLEOD@MCLEOD cc: "Martain, Jill" Subject: PC121101-1 "Add design contact's name to the CNR" Carol, I received your voice mail yesterday confirming McLeod's request detailed in PC121101-1 has been met - thanks. I passed this message onto the general CLEC community at yesterday's CMP Product & Process meeting. They are happy to close this CR as long I receive written confirmation from you. So could you please reply to this e-mail confirming McLeod are happy to close this CR. Thanks

01/17/02 E-mail from Qwest asking for McLeod to concur with closing CR

Subject: PC121101-1 Add Design Contact's Name to the CNR Date: Thu, 17 Jan 2002 08:25:53 -0700 From: Todd Mead Organization: Qwest Communications International, Inc. To: msprague@mcleodusa.com CC "Martain, Jill" , dmbowers@mcleodusa.com Michelle, At yesterday's P&P CMP meeting, Qwest presented their verbal response to PC121101-1. Qwest believes that now McLeod are receiving Jep notifications via EDI, you no longer need the extra column on the CNR spreadsheet displaying the order writer (as was requested in your CR). Diane was not familiar with this issue and asked that I get your concurrence before we close this CR. Can you please respond and let us know if we can close this CR. If you don't agree with this approach please let us know which direction this CR should take. If you have any questions, please don't hesitate to call me. I have attached the CR and relevant documentation for your information. Thanks Todd Mead

01/04/02 E-mail from McLeod requesting jeopardy notifications via EDI

Subject: Jeopardy Notices Date: Fri, 4 Jan 2002 12:07:35 -0600 From: "Mohrfeld, Christine A." To: jvilks@uswest.com CC: jmartai@uswest.com, tmead@uswest.com, "Sprague, Michelle L." , "Whitson, Carol" McLeod would like to make it a requirement of Qwest to provide all jeopardy notifications to McLeod via EDI. These jeopardy notices should include facility held orders, customer not ready issues, etc. I would also like to request the Customer not ready letters be faxed directly to the original order writer. McLeod would provide the fax number on our orders. Please let me know when this can be implemented. Thanks Christine

01/04/02 E-mail from Qwest asking Luanne to follow up on McLeod action

Subject: PC121101-1 Add Design Contact's Name to the CNR Date: Fri, 04 Jan 2002 07:56:31 -0700 From: Todd Mead Organization: Qwest Communications International, Inc. To: lhazen@mcleodusa.com CC: "Martain, Jill" Luanne Hazen, I understand you have taken over from Christine Mohrfeld as the McLeod representative for CRs? When we had the clarification call for this CR on the 18th of December, Christine accepted an action to investigate why McLeod are not requesting Jep Notifications via EDI? Could you please follow up on this action. Thanks Todd

Clarification Call 3:00 p.m. (MDT) / Tuesday 18th December 2001

Attendees: Jill Martain / Qwest Vivian Vigil / Qwest Todd Mead / Qwest Christine Mohrfeld / McLeod Lou-Ann Hazen / MeLeod

Review Description of Change: Qwest asked for clarification on the order writer, is this order writer the same as the LSR originator? McLeod confirmed that it was. Qwest asked why McLeod dos’nt request Jep notification via EDI which will solve this problem? McLeod is currently receiving FOC notifications via EDI. McLeod will investigate and report back to Qwest.

Products: Unbundled Loop, UNE Areas: Provisioning

Identify/Confirm CLEC’s Expectation: McLeod would like to replace the current manual process for identifying the LSR originator on the CNR spreadsheet.

Establish Action Plan: Christine will investigate why McLeod are not requesting Jep notification via EDI and will report back by this Friday (12/21/01).


CenturyLink Response

FORMAL RESPONSE

February 1, 2002

Carol Whitson ILEC Relation Account Manger McLeod USA

CC: Sue Burson

This letter is in response to your CLEC Change Request Form, number PC121101-1 - Add Design Contact's Name to the CNR.

REQUEST: McLeod is requesting Qwest to make modification to the "customer not ready" spreadsheet and add the CLECs design contact's name as a column on the spreadsheet. When McLeod receives the spreadsheet, we have to manually look up every order to determine who the original order writer was. Once the order writer is identified, we forward the notification to them so they can follow up appropriately with Qwest.

RESPONSE: Qwest held a clarification meeting with McLeod on the 18th December 2001. During this meeting, it was confirmed the ‘order writer’ McLeod was referring to is the same person as the ‘LSR Originator’. Qwest subsequently had discussions with McLeod questioning the reasons that they are not currently receiving jeopardy notices via EDI. As a result of the discussion, McLeod advised Qwest that they would prefer receiving their jeopardy notifications via EDI and submitted an e-mail requesting the change. Qwest believes that when McLeod receives this information via EDI they will no longer require an additional column on the CNR spreadsheet displaying the order writer.

McLeod began to receive jeopardy notifications via EDI on the 1st January 2002. Qwest believes the intent of this CR has now been met.

Sincerely,

Jill Martain Manager of Process Management


Open Product/Process CR PC030102-1 Detail

 
Title: Trouble tickets for resale worked liked unbundled trouble tickets
CR Number Current Status
Date
Area Impacted Products Impacted

PC030102-1 Completed
6/19/2002
Maintenance/Repair Resale
Originator: Whitson, Carol
Originator Company Name: McLeodUSA
Owner: Suellentrop, Craig
Director:
CR PM: Thomte, Kit

Description Of Change

Work the trouble tickets for resale with a screener so they can schedule the tech and the tech calls the screener. After the tech has called the screener, they would call McLeod with the resolution of what was done and then close out the ticket.


Status History

03/01/02 - CR Submitted by McLeodUSA (03/01/02 reflects the date notification was sent advising the receipt of this CR at cmpcr@qwest.com and not the 02/27/02 submitted date shown on the CR.)

03/01/02 - CR acknowledged by P/P CMP Manager

03/01/02 - CR posted to the web in the Product & Process Interactive Report (http://qwest.com/wholesale/cmp/changerequest.html)

03/04/02 - McLeod contacted (by e-mail) to organize clarification meeting

03/05/02 - Clarification meeting conducted with McLeodUSA

03/06/02 - Clarification minutes issued to McLeodUSA and posted to CMP database

03/20/02 - March CMP Meeting: CR Status changed to "Clarification." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

04/17/02 - April CMP Meeting: CLECs agreed to change CR status to "Evaluation". Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

05/08/02 - Issued Qwest's Draft Response dated April 29, 2002 to McLeodUSA.

05/15/02 - May CMP Meeting: Qwest presented its draft response dated April 29, 2002. McLeod identified examples where they were not getting call backs. Qwest agreed to open an action item. It was agreed that the CR would remain in a Presented status. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

06/19/02 - June CMP Product and Process meeting this CR was changed "Completed" Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site


Project Meetings

03/05/02 Clarification meeting conducted with McLeodUSA

Clarification Meeting 9:00 a.m. (MDT) / Tuesday 5th March 2002 1-877-564-8688 ID 626-5401 # PC030102-1 Trouble tickets for resale worked liked unbundled trouble tickets

Attendees: Carol Whitson / McLeod Mike Larson / McLeod Adam Schug / McLeod Scott Kendall / McLeod Jim Christner / McLeod Craig Suellentrop / Qwest Todd Mead / Qwest

Review Requested (Description of) Change: Carol read the Description of Change from the CR: "Work the trouble tickets for resale with a screener so they can schedule the tech and the tech calls the screener. After the tech has called the screener, they would call McLeod with the resolution of what was done and then close out the ticket." Craig asked for clarification that this request only covered resold POTs, not design services as design services already followed the same process as UBL. McLeod confirmed this request was for POTs. McLeod stated that with UBL there is a hold and then a call back to prevent multiple trouble tickets being opened. This is want they want with POTs. Craig reiterated that this request was clear. Currently Qwest Retail does not have this either, so this would be a completely new process. McLeod stated want they are really after here is to have a call back before the trouble ticket is closed. They have tried using 800 numbers etc to ensure this happens, but as yet they have not been successful in getting Qwest to call back prior to the ticket closing. This results in McLeod having to reopen multiple tickets for the same issue, which consequently results in escalation problems as the newly opened tickets do not qualify for the appropriate escalation. Qwest asked whether McLeod use CEMR or manual call in or both. McLeod replied they use a combination.

Confirm Areas & Products Impacted: Area: Maintenance/Repair Product: Resale Confirm Right Personnel Involved: Craig confirmed he is the right person within Qwest to take the lead on this CR. He will coordinate input from others within Qwest to develop the response to this CR.

Identify/Confirm CLEC’s Expectation: - Qwest would use screener to work trouble tickets and call McLeod instead of the tech. - McLeod want to have a process in place that will ensure they will receive a call from Qwest before the trouble ticket is closed

Identify any Dependent Systems Change Requests: None identified

Establish Action Plan: The General CLEC Clarification will be at the April CMP meeting (4/17/02). Qwest’s draft response to this will be presented at the May CMP meeting (5/15/02). The current CR status and respective documentation can be viewed in the Product & Process Interactive Report at: http://qwest.com/wholesale/cmp/changerequest.html


CenturyLink Response

“ April 29, 2002

Carol Whitson ILEC Relation Account Manager McLeod USA

SUBJECT: Qwest’s Change Request Response - CR PC030102-1 “Trouble tickets for resale worked like unbundled trouble tickets.”

This CR requests that Qwest “Work trouble tickets for resale with a screener so they can schedule the tech and the tech would call the screener when the trouble is resolved. After the tech has called the screener, they would call McLeod with the resolution and what was done and then close the ticket.” During the clarification call with McLeod and at the General Clarification at the April CMP meeting, McLeod indicated the primary concern is to receive a call before the ticket is closed.

As the title of this CR indicates, Qwest uses a Maintenance Control Organization (MCO) to manage all designed service trouble tickets (both wholesale and retail), including trouble tickets for unbundled network elements (excluding UNE-P POTS). The MCO technician manages the closure of these trouble tickets, including calling back the customer and waiting up to 24 hours to receive a call back to coordinate closure. The trouble ticket is placed in a “No Access” status while Qwest is waiting for a response from the customer. After 24 hours, the trouble ticket is closed if no response is received.

Because non-designed trouble tickets (both wholesale and retail) are generally less complex and have much larger volumes, Qwest doesn’t use an MCO technician to manage their closure. For non-designed trouble tickets (resale and UNE-P POTS) the technician that resolves the trouble closes the ticket. The technician attempts to contact the customer when closing the ticket. If the customer cannot be reached, the ticket is closed. In addition, for trouble tickets opened through the electronic interface (CEMR), notification is automatically sent (either through e-mail or fax) when the ticket is closed.

Qwest’s systems are unable to status non-designed trouble tickets as “No Access.” Waiting for a customer to clear voice mail and reply back to Qwest before closing a non-designed trouble ticket may result in increased trouble resolution time, missed appointments, and technician idle time. Therefore, Qwest respectfully denies this Change Request.

Sincerely,

Craig Suellentrop Staff Advocate, Policy & Law Qwest

Cc: Mary Retka, Director-Legal Issues, Qwest Catherine R. Garcia, Senior Process Analyst, Qwest Catherine Augustson, Senior Process Analyst, Qwest


Open Product/Process CR PC020602-1 Detail

 
Title: CLEC Trouble Ticket cross reference (Ref SCR030702 1)
CR Number Current Status
Date
Area Impacted Products Impacted

PC020602-1 Completed
3/20/2002
Maintenance/Repair Other: All products supported under the Repair platform.
Originator: Sprague, Michelle
Originator Company Name: McLeodUSA
Owner: McMahon, Cheryl
Director:
CR PM:

Description Of Change

McLeod would like to request that the CLEC repair trouble ticket number be added to the Qwest trouble ticket, each time a ticket is initiated with Qwest. This would allow for an efficient cross-reference for both McLeod and Qwest. The field chosen to house the CLEC trouble ticket number must be a searchable field, to allow for query capability. This change would save a great deal of time in locating tickets, assisting both McLeod and Qwest in efficiency.


Status History

02/06/02 - CR Submitted by McLeodUSA

02/06/02 - CR acknowledged by P/P CMP Manager.

02/12/02 - Submitting CLEC contacted to schedule clarificatiion meeting.

02/15/02 - Clarification Meeting conducted with McLeodUSA. Minutes transmitted to McLeodUSA and posted to CMP data base.

02/28/02 - Draft response dated 02/28/02 issued to McLeodUSA and posted to CMP database. CR status changed to "Presented"

03/01/02 - Draft response dated 02/28/02 posted to the web in the Product & Process Interactive report URL: http://qwest.com/wholesale/cmp/changerequest.html

03/01/02 - Notification issued to CLECs informing them draft response has been posted to the web

03/07/02 - Systems CR SCR030702-1 "CLEC Trouble Ticket Cross-Reference" opened to address this request

03/19/02 - E-mail from McLeod confirming closure of this CR - issue to be handled in Systems CMP

03/20/02 - March CMP Meeting: CLECs agreed to close CR. CR Status changed to "Completed." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

03/21/02 - Formal response dated 02/28/02 posted to CMP database

03/22/02 - Formal response dated 02/28/02 issued to CLECs. Notification CMPR.03.22.02.F.01240.CR_Responses

04/17/02 - CR Open/Closed status changed to closed and inactive and checked for Archive 2002


Project Meetings

03/19/02 E-mail from McLeod confirming closure of this CR - issue to be handled in Systems CMP

Subject: CR PC020602-1 Date: Tue, 19 Mar 2002 14:12:11 -0600 From: "Sprague, Michelle L." To: tmead@qwest.com, jxbeer2@qwest.com

I am OK with closing the CR McLeod has opened on the Product/Process side (PC020602-1) CLEC Trouble Ticket Cross-Reference and moving it to the system side. It defently has system impacts. I will be attending the Thursday meeting, to discuss the CR. Thanks for your help

--

9:30 a.m. (MDT) / Friday 15th February 2002 Conference Call TEL: 877.554.8688 CODE: 3269208 PC020602-1 "CLEC Trouble Ticket cross-reference"

Michelle Sprauge, McLeodUSA Cheryl McMahon, Qwest Craig Suellentrop, Qwest Dan Busetti, Qwest Catherine R. Garcia, Qwest Lynn Stecklein, Qwest Kerri L. Waldner, Qwest Peter Wirth, Qwest

1.0 Introduction of Attendees Attendees introduced.

2.0 Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Description: McLeod would like to request that the CLEC repair trouble ticket number be added to the Qwest trouble ticket, each time a ticket is initiated with Qwest. This would allow for an efficient cross-reference for both McLeod and Qwest. The field chosen to house the CLEC trouble ticket number must be a searchable field, to allow for query capability. This change would save a great deal of time in locating tickets, assisting both McLeod and Qwest in efficiency.

Expected Deliverables: For Qwest to communicate this new process to their service center and ensure that an applicable field for this new data to be stored, to allow for it to be searchable.

Michelle Sprauge discussed the CR. Additional clarification was provided regarding the following: 1) McLeodUSA format for trouble ticket number [McLeodUSA to provide] 2) Search capability for all Qwest trouble tickets requested by McLeodUSA 3) Electronic bonding may provide cross-referencing for electronic tickets. McLeodUSA to confirm. Manual ticketing will still require cross-referencing. 4) McLeodUSA ticket numbers are auto generated; thus preventing McLeodUSA from using the Qwest ticket number as their number.

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} Confirmed. Optional section: delete "SATE" reference.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Qwest & McLeodUSA confirmed appropriate personnel were in attendance.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC " what does Qwest have to do in order to close this CR? (in measureable terms ie provide a documented process, change a process to include training etc)"} Qwest to evaluate CR. During the March 2002 Monthly P&P CMP Meeting, Qwest will solicit input from CLEC community.


CenturyLink Response

February 28, 2002

Michelle Sprague OSS Manager McLeodUSA

SUBJECT: Change Request Response - CR # PC020602-1 "CLEC Trouble Ticket Cross-reference"

Qwest has reviewed the subject Change Request (CR) and has determined that the request should be re-classified as a 'Systems' CR. A process change would not satisfy the request for the trouble ticket cross-reference between Qwest and McLeodUSA. Qwest proposes to open a 'Systems' CR on behalf of McLeodUSA and process the request.

Sincerely,

Catherine Garcia Lead Process Analyst - Wholesale Repair Qwest Communications

Cc: Cheryl McMahon, Process Analyst Wholesale Repair, Qwest Sara Mendivil, Director Program/Project Management, Qwest


Open Product/Process CR PC063005-1 Detail

 
Title: Cease completion verification calls
CR Number Current Status
Date
Area Impacted Products Impacted

PC063005-1 Denied
10/11/2005
Provisioning Unbundled Loop
Originator: Sprague, Michelle
Originator Company Name: McLeodUSA
Owner: Rehm, Peggy
Director:
CR PM: Stecklein, Lynn

Description Of Change

McLeod would like Qwest to provide the option to CLECs to bypass the process of calling Qwest back following the completion of an all day basic cut. In today’s process, Qwest contacts the CLEC to notify them that the cut is complete, the CLEC then completes their testing and verification, the CLEC then contacts Qwest back to let them know that the cut is accepted. Future process, we would like Qwest to automatically assume the cut is accepted if the CLEC does not contact them back within 2 hours.


Status History

6/30/05 - CR submitted

6/30/05 - CR acknowledged

7/7/05 - Clarification Meeting Scheduled

7/12/05 - Clarification Meeting Held

7/20/05 - Discussed at the June Product/Process CMP Meeting

7/20/05 - Status changed to Presented Status

7/20/05 - Discussed in the July CMP Product/Process Meeting

8/17/05 - Status changed to Evaluation

8/17/05 - Discussed in the August CMP Product/Process Meeting

9/12/05 - Draft Response Issued

9/17/05 - Discussed in the September CMP Product/Process Meeting

10/11/05 - Final Response Issued

10/11/05 - Status changed to Denied

10/19/05 - Discussed at the October Product/Process CMP Meeting - See Attachment C in the Distribution Package


Project Meetings

E-mail from Covad 11/2/05

Thanks Lynn. Please note in the CR the following on behalf of Covad:

Qwest’s response does not provide sufficient information to question the dollars assessed that resulted in the denial of this CR. Qwest houses the information requested and it is not required to access the Inventory Systems to extract and send to the billing systems which contains this information.

Thanks,

Liz

--Original Message-- From: Stecklein, Lynn [mailto:Lynn.Stecklein@qwest.com] Sent: Wednesday, October 26, 2005 9:55 AM To: Balvin, Elizabeth Cc: Hankins, Lynn Subject: RE: PC060105-01 Update Lines in Service Report

Liz,

I have attached a revision of the denial on PC060105-01 Update Lines in Service Report that includes a breakdown of the estimated costs. Let me know if you have further questions.

Thanks,

Lynn Stecklein Qwest Wholesale CRPM 303 382-5770

--Original Message-- From: Balvin, Elizabeth [mailto:ebalvin@covad.com] Sent: Monday, October 17, 2005 1:31 PM To: Stecklein, Lynn Subject: RE: PC060105-01 Update Lines in Service Report

Lynn,

Covad requests a breakdown of the estimated costs = $726, 730.

Thanks,

Liz

--Original Message-- From: Stecklein, Lynn [mailto:Lynn.Stecklein@qwest.com] Sent: Monday, October 17, 2005 10:31 AM To: Balvin, Elizabeth Subject: RE: PC060105-01 Update Lines in Service Report

Hi Liz,

This is in response to your e-mail below regarding PC060105-1 Update Lines in Service Report. We did research your request asking Qwest to merge the data from two systems – 1 Billing and 1 Lines in Service. The second denial that was sent to you (attached) covers the cost for doing that merge. In order to do the merging correctly, Qwest would have to invest in hardware and development time to create the rules associated with the merge and which data is used, etc. As stated in the denial – ‘It is possible for Qwest to combine the two systems so that the billing information requested is included in the Lines In Service Report, however the cost to complete the systems work to do this merge and implement business rules for the merging process would be $726, 730. Therefore, Qwest denies this CR as being economically infeasible’

Let me know if you have additional questions or concerns.

Thanks,

Lynn Stecklein Qwest Wholesale CRPM

303 382-5770

--Original Message-- From: Balvin, Elizabeth [mailto:ebalvin@covad.com] Sent: Friday, October 07, 2005 4:22 PM To: Stecklein, Lynn Subject: RE: PC060105-01 Update Lines in Service Report

Lynn,

I believe Qwest mis-understood my “clarifying” request…as identified in the updated response:

Qwest’s Lines in Service report was built as a response to a CMP request and currently is created from data contained in Qwest’s Network back-end systems, which inventory the circuits and lines by the circuit ID/working telephone number. These systems are not used for billing or account maintenance; rather, they are used for inventory and trouble reporting only. For this reason, the source system does not contain the SBN or billing address, nor are the fields available to contain this information. The billing systems, which contain this information, don’t communicate with the inventory and trouble reporting systems.

I understood that the back-end systems used to generate the “lines in service” report did not house the SBN or billing address but the fact is that Qwest does “house” this information. Thus, I continue to request that the “existing” information be extracted “from whatever source” and provided for on the “Line In Service Report”. The original request did not ask that the back-end systems be expanded to house this information, thus I don’t believe an updated request is needed.

Thanks,

Liz

--Original Message-- From: Stecklein, Lynn [mailto:Lynn.Stecklein@qwest.com] Sent: Friday, September 30, 2005 11:54 AM To: Balvin, Elizabeth Subject: PC060105-01 Update Lines in Service Report

Hi Liz,

This is a follow up to the discussion we had in the August CMP Meeting regarding the denial on PC060105-01 Update Lines in Service Report. (See Meeting Minutes below) We have determined that the cost to combine the two systems so that the billing information you are requesting is included in the Lines in Service Report is economically not feasible. The denial attached has been revised to reflect the new project description and costs. Let me know if you have any questions.

Thanks,

Lynn Stecklein Qwest Wholesale CRPM 303 382-5770

8/17/05 CMP Meeting

PC060105-1 Update Lines In Service Report

Liz Balvin – Covad stated that she had questions regarding the denial. She said that Qwest refers to backend systems to generate the reports and wants to understand what the system has. Liz said that she wants the SBN at a minimum and would like a call to further discuss.

Laura McGhghy – Qwest stated that the data we are currently providing is existing data. {Comment received from Eschelon: from the MR-8 report]. She said that she was not sure what other systems would be needed for additional data and what that level of effort would be. [Comment received from Eschelon: Laura said they don’t have the fields in LMOS and TIRKS.]

Liz Balvin – Covad said that they would like to expand the report. She said that the report is an extract from LMOS and Tirks [Comment received from Eschelon: and she did not ask that Qwest get the data from those systems.] Liz said that she needs to expand the line and service report to create fields there and extract data elsewhere.

Laura McGhghy – Qwest said that she would take back to determine if possible.

Liz Balvin – Covad asked if the $500K to expand was because of LMOS and Tirks.

Laura McGhghy – Qwest said yes.

Liz Balvin – Covad said that Qwest already has the information and that they are just asking for the information on the report. [Comment received from Eschelon: Liz said wherever Qwest extracts the data from works for her.]

Laura McGhghy – Qwest said that we will look at that possibility.

Jill Martain – Qwest stated that we will talk offline with Covad.

10/19/05 Product/Process CMP Meeting

Jim Recker/Qwest stated that after multiple internal and external meetings, Qwest has determined that to implement this request would require a very manual intensive process. He said that this process would require that the status be checked multiple times and that we were unable to find a way to mechanize that process. Jim said that input was requested from other CLECs regarding this request. He said that Eschelon provided input on specific products. He said that based on the changes required for this request, Qwest is denying this CR because there is no demonstrable benefit to Qwest. Bonnie Johnson/Eschelon said that when Eschelon looked at this request they determined that they had no problem with the all or nothing regarding (Comments to minutes received from Eschelon 10/27/05) the specific products and request types McLeod listed in the CR. Bonnie also thanked Qwest for saying that there was no demonstrable benefit to only Qwest because Qwest cannot determine what business benefit a CR has for a CLEC.

9/21/05 Product/Process CMP Meeting

Jim Recker/Qwest stated that this CR is requesting that Qwest provide the option to CLECs to bypass the process of calling Qwest back following the completion of an all day basic cut. Jim stated that Qwest did research the feasibility of making this optional. Jim said that we have determined that we would not be able to make this as an option due to the fact that we would not know who would call and who would not. He said that this would have to be done for all CLECs. He said that we continue to evaluate this CR to determine the feasibility of other options. Bonnie Johnson/Eschelon asked if this is applicable on basic installs only. Jim Recker/Qwest said yes, for basic cuts. Jim asked if the CLECs wanted Qwest to move forward with this request. Bonnie Johnson/Eschelon said that she would like to take this back and determine if (Comment to minutes received from Eschelon 9/30/05) moving forward with this request would have a negative impact to Eschelon since this would not be optional. Bonnie said Eschelon had not reviewed internally because they thought this could be optional. Bob Eggert/SBC asked if this was for basic services and not special access. Jim Recker/Qwest said that this was applicable if LX-- was on the order. Jill Martain/Qwest stated that this applied to 2 wire, 4 wire UBL. Jill Martain /Qwest asked if the CLECs had comments on whether they want to have Qwest pursue this request to send their comments to the CMP mailbox. Jim Recker/Qwest stated that we would provide a readout in the October meeting

8/17/05 Product/Process CMP Meeting

Jim Recker - Qwest stated that Qwest has been meeting internally to discuss this request and that we are in the evaluation stage. [Comment received from Eschelon: Jim said that Qwest has not identified all of the impacts.] Jim said that the status of this CR will move to be Evaluation.

8/3/05 E-mail from McLeod

Thanks for your help Lynn!!!

--Original Message-- From: Stecklein, Lynn [mailto:Lynn.Stecklein@qwest.com] Sent: Wednesday, August 03, 2005 1:22 PM To: Schug, Adam C. Subject: RE: CR = PC063005-1

Hi Adam,

I am including (see below) the meeting minutes from the July CMP Meeting where this CR was discussed. In that meeting, the CR moved to a presented status. Qwest is currently reviewing this request to determine options, feasibility, etc. and will provide a response either in the August or September CMP Meeting. Let me know if you have further questions.

Thanks,

Lynn Stecklein

Qwest Wholesale CRPM

303 382-5770

--Original Message-- From: Schug, Adam C. [mailto:Adam.Schug@mcleodusa.com] Sent: Wednesday, August 03, 2005 12:13 PM To: Stecklein, Lynn Subject: CR = PC063005-1

Lynn, I was wondering where we are at with the above change request and what happens next. Can you please provide me with an update.

Thanks

Adam C. Schug McLeodUSA Star Quality Certified Center of Excellence Customer Fulfillment Technical Team Lead Mountain & Central Region (319) 790-6332

7/20/05 Product/Process Meeting

Michelle Sprague - Mcleod reviewed the description of this CR. She said that McLeod would like Qwest to provide the option to CLECs to bypass the process of calling Qwest back following the completion of an all day basic cut. She said that in today’s process, Qwest contacts the CLEC to notify them that the cut is complete, the CLEC then completes their testing and verification, the CLEC then contacts Qwest back to let them know that the cut is accepted. Michelle said that in the future process, they would like Qwest to automatically assume the cut is accepted if the CLEC does not contact them back within 2 hours. Bonnie Johnson - Eschelon asked if this would include basic or coordinated cuts. Michelle Sprague - McLeod said that this request would not include new loops (Comments to minutes from Eschelon 7/27/05) and coordinated cuts because those are managed but does include basic conversions. She said that on the CR she requested a two hour time frame but was open to changing the timeframe if two hours wouldn’t work. Jeff Sonnier - Sprint asked if there was a possibility that Qwest could complete the circuit and then later find out the circuit didn’t complete and that there is a problem. Michelle Sprague - Mcleod said that if the CLECs are doing adequate testing this is unlikely. Jeff Sonnier - Sprint asked what the proposed suggested interval. Michelle Sprague - Mcleod said that they are suggesting 90 minutes because 2 hours may be too long. Bonnie Johnson - Eschelon said that there must be a standard interval now. She said that if Qwest doesn’t get a call it goes into a jeopardy status. Bonnie asked if Qwest has researched the optional aspect of this change. (Comments to minutes from Eschelon 7/27/05) Qwest said that they had not but did discuss it on the clarification call. Liz Balvin - Covad said that they may want McLeod to revise the CR to include specifications on these two items. Jill Martain - Qwest stated that this CR will move to a presented status.

7/12/05 Clarification Meeting

Attendees: Michelle Sprague - Mcleod, Steph Prull - Eschelon, Kim Isaacs - Eschelon, Ev Montez - Qwest, Kathy Ocken - Qwest, Deb Smith - Qwest, Lori Langston - Qwest, Lynn Stecklein - Qwest

Review Descripion of Change

Lynn Stecklein - Qwest reviewed the description of change. McLeod would like Qwest to provide the option to CLECs to bypass the process of calling Qwest back following the completion of an all day basic cut. In today’s process, Qwest contacts the CLEC to notify them that the cut is complete, the CLEC then completes their testing and verification, the CLEC then contacts Qwest back to let them know that the cut is accepted. Future process, we would like Qwest to automatically assume the cut is accepted if the CLEC does not contact them back within 2 hours.

Discussion: Michelle Sprague - Mcleod stated that they are open to any timeframe and said that they started with the 2 hour timeframe as an example. She said that Mcleod has been working with the Qwest Account Team and they suggested that Mcleod submit a CMP CR. She said that they are submitting a large volume of UNE-P to UNE-L orders and by eliminating the completion call they could save on resources. Lynn Stecklein - Qwest asked Mcleod what products would be impacted by this request. Michelle Sprague - Mcleod said that the request was submitted for the Unbundled Loop Product but she did not want to limit the scope. She said that other CLECs may have other recommendations. Michelle said that this would not impact coordinated hot cuts. Lori Langston - Qwest asked what Mcleod had in mind if the orders were completed late in the day. Michelle Sprague - Mcleod said that they would consider decreasing the timeframe to one hour to accommodate the 5:00 close. Kathy Ocken - Qwest stated that changing it to 60 minutes to could frame due time issues. Deb Smith - Qwest said that eliminating the call would pose a risk on brand new loop orders because of the testing and complexity involved. She said that we would need to limit to reuse situations. Steph Prull - Eschelon said that she would like to keep this process optional due to the impact this could have on smaller CLECs. Michelle Sprague - Mcleod said that she agreed and that the CLEC could request this option when they sign their Interconnection agreement. Lori Langston - Qwest asked what happens today when we don't receive a call from the customer to close. Kathy Ocken - Qwest stated that the order is place in a jeopardy status and follows the CNR process. The customer has to supp the order with a new due date. Ev Montez - Qwest said that she had a concern if this process included DS1 due to the testing and complexity involved. Kim Isaacs - Eschelon said that they agreed that DS1 should not be included because they wanted to test to make sure they have a good loop.

Confirm Products Impacted Michelle Sprague - Mcleod stated that this CR was requesting this process on Unbundled Loop but said that she wanted to keep the option open for products

Establish Action Plan Lynn Stecklein - Qwest stated that Mcleod requested that this CR be included as a Walkon in the July 20th Product/Process CMP Meeting.


CenturyLink Response

October 11, 2005

Final Response

For Review by the CLEC Community and Discussion at the October 19, 2005 CMP Meeting

TO: Chelsea Payne McLeodUSA

SUBJECT: CLEC CR PC063005-1 Cease completion verification calls

Description of Change: McLeod would like Qwest to provide the option to CLECs to bypass the process of calling Qwest back following the completion of an all day basic cut. In today’s process, Qwest contacts the CLEC to notify them that the cut is complete, the CLEC then completes their testing and verification, the CLEC then contacts Qwest back to let them know that the cut is accepted. Future process, we would like Qwest to automatically assume the cut is accepted if the CLEC does not contact them back within 2 hours.

Qwest Response:

During the ad hoc call, McLeod indicated that this request is for products associated with basic cuts (existing unbundled analog loops). In addition, during the CMP meeting McLeod stated that the 2 hour interval in the CR should be 90 minutes and to make this function optional.

Qwest has researched and analyzed how to meet the expected deliverable to provide the option to CLECs to bypass the process of calling Qwest back following the completion of an all day basic cut. Qwest has determined that it would require the following changes:

A new manual process for tracking and/or monitoring the interval of the order after completion of the lift and lay would be required, as well as reviewing the order multiple times to check status. Since this would involve only basic reuse (lift and lay) orders, it would require Qwest to sort the orders that need to be tracked which would include reassigning orders that would be completed late in the day. Making this process optional would be manually intensive since it would require CLEC by CLEC tracking. Qwest has previously implemented process changes that have removed manual intervention and monitoring and included steps to ensure quality, where the requested process change would be a regression of current processes and would reinstitute a manual process.

Qwest is denying this request because the requested change does not result in a demonstrable business benefit.

Sincerely, Qwest

For Review by the CLEC Community and Discussion at the September 21, 2005 CMP Meeting

September 21, 2005

Mcleod

SUBJECT: CR # PC063005- Cease completion verification calls

This letter is in response to Mcleod's Change Request (PC063005-1 Cease completion verification calls). This CR requests that Qwest McLeod would like Qwest to provide the option to CLECs to bypass the process of calling Qwest back following the completion of an all day basic cut. In today’s process, Qwest contacts the CLEC to notify them that the cut is complete, the CLEC then completes their testing and verification, the CLEC then contacts Qwest back to let them know that the cut is accepted. McLeod would like Qwest to automatically assume the cut is accepted if the CLEC does not contact them back within 2 hours.

Qwest would like to keep this CR in evaluation status in order to continue with analysis of the existing process and look at potential solutions for this change request. Qwest will provide an updated response at the October CMP meeting.

Sincerely,

Qwest Communications


Open Product/Process CR PC072009-1 Detail

 
Title: Deconsolidating Process for Resale, UNE P CSRs
CR Number Current Status
Date
Area Impacted Products Impacted

PC072009-1 Completed
11/18/2009
Ordering Resale, UNE-P
Originator: Bilow, Joyce
Originator Company Name: McLeodUSA
Owner: Wells, Susie
Director:
CR PM: Stecklein, Lynn

Description Of Change

McLeod d/b/a Pataec Business Services is requesting a Deconsolidating Matrix Process for submit LSRs. The qwest documentation (PCAT) matrix is based on consolidating CSRs versus deconsolidating CSRs.

Qwest (PCAT) documentation states:

The process to deconsolidate a single account into two accounts (the end result being the current account plus one new one) using one LSR is only available if the end result involves like products and services and the end-user address is not changing. If deconsolidation of an account involves splitting an existing account into more than two accounts, there must be a separate LSR issued for each additional new accoun

established. The LSRs should be related via a Related Purchase Order Number (RPON) and the Manual Indicator field must be populated with “Y”.

The One paragraph is not clear on the activity and the process for deconsolidating an already migrated account.

Qwest CSIE center has requested McLeod to follow the consolidated Matrix. ACT =C, LNA = C, Recap features = N and Directory Listing of ‘O’ and ‘I’.

The PCAT Process documentation needs to be updated to include a Deconsolidating Matrix to assist in the LSR ordering process.


Status History


Project Meetings

11/18/09 Product/Process CMP Meeting

Mark Coyne-Qwest said this change was effective on 10/1/09 and asked if there were any objections to closure. Julia Redman-Carter-PAETEC said this CR could be closed.

10/21/09 Product/Process CMP Meeting

Mark Coyne-Qwest said this change was effective on 10/1/09 and asked if there were any objections to closure. Joyce Bilow-PAETEC asked if this could be kept open until they can use the process. Mark Coyne-Qwest said that we will leave this open and revisit in the November CMP Meeting.

9/16/09 Product/Process CMP Meeting

Mark Coyne-Qwest said a clarification meeting was held on 7/28/09 and as a result Qwest will be making updates to the PCAT. He said the level 2 notice was sent out on 9/10/09 and is currently in review to become effective 10/1/09.

8/19/09 Product/Process CMP Meeting

Joyce Bilow-PAETEC said they were requesting a process for submitting orders when they try to deconsolidate CSRs. She said when the customer has migrated and they want to break up their CSR into separate CSRs, they are finding that when they submit the CSR, Qwest is requesting they submit as consolidated. She said they are having systems issues with fatals on the backend side and orders are in limbo. They are requesting that Qwest create a matrix for the deconsolidated so these orders can be processed in XML. Susan Lorence-Qwest said a clarification meeting was held on 7/28/09 and asked if there were any other questions. Susan said that we will be being doing further investigation on this CR.

PC072009-1 Deconsolidating Process for Resale, UNE-P CSRs Clarification Meeting – July 28, 2009

Attendees: Joyce Bilow-PAETEC, Kim Isaacs-Integra, Bonnie Johnson-Integra, Susie Wells-Qwest, Denise Martinez-Qwest, Sandie Tekavec-Qwest, Lynn Stecklein-Qwest

Lynn Stecklein-Qwest said the purpose of this meeting is to clarify the CR submitted by PAETEC (Deconsolidating Process for Resale, UNE-P CSRs). She reviewed the following description:

PAETEC is requesting a Deconsolidating Matrix Process for submit LSRs. The Qwest documentation (PCAT) matrix is based on consolidating CSRs versus deconsolidating CSRs. Qwest (PCAT) documentation states: The process to deconsolidate a single account into two accounts (the end result being the current account plus one new one) using one LSR is only available if the end result involves like products and services and the end-user address is not changing. If deconsolidation of an account involves splitting an existing account into more than two accounts, there must be a separate LSR issued for each additional new account established. The LSRs should be related via a Related Purchase Order Number (RPON) and the Manual Indicator field must be populated with “Y”. The One paragraph is not clear on the activity and the process for deconsolidating an already migrated account. Qwest CSIE center has requested McLeod to follow the consolidated Matrix. ACT =C, LNA = C, Recap features = N and Directory Listing of ‘O’ and ‘I’. The PCAT Process documentation needs to be updated to include a deconsolidating Matrix to assist in the LSR ordering process.

Joyce Bilow-PAETEC said they have been able to get one order through with the activity of ‘C’ and had to change the line level to a new with a listing of an In and Out. She said with the LNA of N, they have to include an appointment time. This is not a new line but is a change to the line. She said if they submit the order with the “C’activity, recapped the features (8/4/09 - Comments to minutes received from PAETEC in CAPS) IMA WILL RETURN A FATAL RESPONSE “FEATURES ARE ALREADY ON THE LINE A LSR ACTIVITY OF AN “C” REQUIRES AN In and Out listing AND ONLY ONE LML PER LOCATION IS ALLOWED. They recapped the current listing on the CSR as the Out and put the new listing for this customer on the CSR. She said in the past, they have done this as New. Joyce said their concern is the LNA of N is not really an N but a change. She said the users have contacted the CSIE and everyone they talk to tells them to do something different. She said it has been very frustrating to only get 1 order through. She said they have submitted as an N and documenting everything in the LSR notes and now they are being told they have to use the activity of a C. JOYCE STATED SHE WOULD LIKE A matrix TO ASSIST IN THE LSR ORDERING PROCESS. Bonnie Johnson-Integra said in the ordering overview there is a section called deconsolidating and consolidating but it says the N state has to be the same product.

Joyce Bilow-PAETEC said she referenced the same thing by product but everything is geared toward consolidating MATRIX vs. deconsolidating.

Susie Wells-Qwest asked if at one time PAETEC was doing the activity type of N.

Joyce Bilow-PAETEC said the (8/4/09 - Comments to minutes received from PAETEC in CAPS) LSR overall activity, the line activity and the listing was an N. They would note this was a deconsolidation with no dispatch AND IN THE LAST 3 MONTHS the orders HAVE BEEN were getting rejected saying they had to use a C activity.

Susie Wells-Qwest said with the ACT of C, we run into issues with IMA.

Joyce Bilow-PAETEC said yes, if you use the activity of a C. She said the Line level can’t be a C because it recaps the features for the line and it will say the features are at that location. She said that if you use a C you have to do the In & Out and if that line doesn’t have a listing, they have been utilizing the listing at that location. Joyce said they were successful in processing 1 LSR. She said used the activity of C with the LNA of N for an active line. They recapped the feature because there was an additional line level USOC that was changed to a main line level USOC but they still put in the listing of an In and Out

Denise Martinez-Qwest asked if PAETEC could provide the examples.

Joyce Bilow-PAETEC said the LSR ID is 28626085. She said that the order that has been in limbo for 6 weeks is 28709993. Joyce said the users want to make sure the out listing doesn’t get taken out.

Denise Martinez-Qwest asked if they were issuing these orders on specific types of products vs. others.

Joyce Bilow-PAETEC said mostly on the QPP Resale, UNE-P side.

Denise Martinez-Qwest asked if anyone else on the call was having these issues or had any other comments.

Kim Isaacs-Integra said it is always difficult to do these types of orders and the more documentation they have the better.

Denise Martinez-Qwest said she agreed and wanted to make sure there were no other issues they need to look at when they take this offline.

Joyce Bilow-PAETEC said they need to know exactly what is required on the LSR. She said that if they have to use an activity of N they are going to have to set an appointment time. They don’t want to take the customer down and if you dispatch, that could happen. (8/4/09 - Comments to minutes received from PAETEC in CAPS) JOYCE ALSO REQUESTED EXACTLY WHAT NEEDS TO BE NOTED IN THE LSR NOTES FOR A DECONSOLIDATION OF A CSR.

Lynn Stecklein-Qwest said that PAETEC will be presenting this CR in the August CMP Meeting


Open Product/Process CR PC013003-1 Detail

 
Title: Email FOC's to CLEC's
CR Number Current Status
Date
Area Impacted Products Impacted

PC013003-1 Withdrawn
2/19/2003
Provisioning Directory Listings
Originator: Listerud, Paula
Originator Company Name: North Star Access
Owner: To Be Determined
Director:
CR PM: Andreen, Doug

Description Of Change

Email the FOC's to CLEC's instead of faxing them.

Expected Deliverable:

Save paper and time.


Status History

01/30/03 - CR Submitted

02/03/03 - CR acknowledged by P/P CMP Manager.

02/04/03 - Contacted customer. Rec'd e-mail from Paula Listerud at NorthStar Access they have decided to withdraw change request as it is duplicate of SCR020602-1 submitted by AT&T and do not need to schedule a Clarification Meeting.

02/05/03 - CR Posted to Web. Status of CR changed to pending withdrawal.

02/19/03 - February CMP Meeting - Status of CR was discussed. Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

02/19/03 February CMP Meeting Linda Sanchez-Steinke with Qwest said that NorthStar Access submitted the change request and there was already a Systems Change Request, SCR020602-1, asking for Directory Listing FOCs to be e-mailed. NorthStar Access has decided to withdraw Product and Process CR PC013003-1. Qwest will update the project meetings section of this change request with the e-mail from Paula Listerud with NorthStar Access stating they wish to withdraw. The CLEC community agreed to change the status of this CR to Withdrawn.

2/4/03 2:24 p.m. From: Paula Listrud To: "'Linda Sanchez-Steinke'" cc:

Subject: RE: Change Request PC013003-1, Email FOC's to CLEC's

Linda:

NorthStar wants to withdraw this request as it is a duplicate request. Additionally, we do not need to schedule a Clarification meeting on PC013003-1.

Thank you,

Paula Listerud Process Analyst NorthStar Access

2/4/03 2:04 p.m. From: Linda Sanchez-Steinke To: paulal@nsatel.com cc:

Subject:Change Request PC013003-1, Email FOC's to CLEC's

Hi Paula -

As a follow up to our discussion this afternoon regarding the pending withdrawal status of Change Request PC013003-1, would you please send me an e-mail stating that NorthStar wants to withdraw the CR because it is a duplicate of the AT&T change request, SCR020602-1. Would you also confirm in your e-mail that NorthStar does not want to schedule a Clarification Meeting on PC013003-1.

Also, the Pending withdrawal change request, PC013003-1, will be on the agenda for the Product & Process CMP Meeting on 2/19/03.

Please call me if you have any questions.

Thank you

Linda Sanchez-Steinke Change Request Project Manager Qwest 303-965-0972


Open Product/Process CR PC022403-5 Detail

 
Title: Perform Line Moves for Line Shared orders at no charge to the CLEC/DLEC.
CR Number Current Status
Date
Area Impacted Products Impacted

PC022403-5 Completed
2/24/2003
Pre-Ordering, Ordering, Provisioning Line Sharing
Originator: Boudhaouia, Jamal
Originator Company Name: Qwest Corporation
Owner: Boudhaouia, Jamal
Director:
CR PM: White, Matt

Description Of Change

Qwest is offering the CLEC/DLEC Community the opportunity to request Line Moves in certain circumstances for a voice customer whose existing line does not currently qualify for ADSL service. This Line Move will be provided to the CLEC/DLEC at no charge.

Line Move is defined as moving the existing customer loop that did not qualify for ADSL service to an existing available spare copper facility that qualifies for ADSL service.

This offering is being made for Line Sharing family of products (defined as Other below) only.

This CR may be subject to the Condition described under Change of Law provisions of the SGAT (Section 2.2).

Proposed Implementation Date: 4/15/03


Status History

02/24/03 - Ad Hoc Meeting Notification Distributed

02/24/03 - Clacrification Meeting

03/03/03 - Ad Hoc Meeting

03/11/03 - CLEC input meeting 1

03/14/03 - Initial Level 4 Notification distributed

03/19/03 - Discussed at CMP Meeting

03/14/03 - Final Level 4 Notification distributed

04/15/03 - Change Implemented

04/16/03 - Discussed at CMP Monthly Meeting

05/21/03 - Closed at CMP Monthly Meeting


Project Meetings

========================================================== CMP Meeting 05-21-03

Buckmaster-Qwest stated that the changes were implemented on 4/15 and Qwest would like to close the CRs. Zulevic-Covad stated that he would like to leave PC022403-3 open for another month. Johnson-Eschelon stated that she wanted to leave PC022403-2 open for another month. Zulevic-Covad stated that there was an issue that he had expected Buckmaster to contact him on. Buckmaster-Qwest stated that she would send Zulevic an e-mail after the meeting. ==========================================

04-16-03 - CMP Meeting

Buckmaster-Qwest stated that the new process was implemented on 4/15. Zulevic-Covad asked if the change included line splitting. Buckmaster-Qwest stated that it did. Zulevic-Covad asked if Qwest would publish a process document outlining this process. Buckmaster-Qwest stated that the Assignments Process Document on the Web describes the process. She stated that she would check to see if it included a description of the conditioning process. Zulevic-Covad asked if a line move was a 5 day interval. Buckmaster-Qwest stated that it was. Zulevic-Covad asked what happened if a CLEC placed an ‘N’ in the SCA field. Buckmaster-Qwest stated that she did not know, but that she would find out. Johnson-Eschelon asked that Qwest document this in the process document. Zulevic-Covad asked if CLECs provided Qwest with conditioning standards. Boudhaouia-Qwest stated that Qwest would condition lines to the most current industry standards. Boudhaouia, Berard and Zulevic conducted a lengthy discussion about various conditioning standards. Zulevic-Covad asked if the Qwest conditioning standards for retail were the same as wholesale. Boudhaouia-Qwest stated that they were. Buckmaster-Qwest stated that the only change these CRs were implementing was a cessation of charges. Powers-Tel West asked if the conditioning interval was different for retail and wholesale. Buckmaster-Qwest stated that it was 5 days longer for retail.

===============================================

03-19-03 - CMP Meeting

Bucmaster-Qwest reviewed where the CRs were in the process. Zulevic-Covad asked if Qwest had analyzed the potential to allow CLECs to grant blanket approval. Buckmaster-Qwest stated that Qwest is still evaluating that option, but would not implement it until after the first set of changes were implemented on 4/15. Van Meter-AT&T asked that AT&T be added to the attendee list for the Ad Hoc Meeting.

================================================

CLEC Input Meetings March 11, 2003 March 12, 2003 March 13, 2003

Attendees – March 11, 2003 Sharon Van Meter – AT&T Liz Balvin – WorldCom John Berard – Covad Mike Zulevic – Covad Jennifer Arnold – US Link Jamal Boudhaouia – Qwest Cindy Schwartze – Qwest Crystal Soderlund – Qwest Linda Miles – Qwest Eric Yohe – Qwest Kit Thomte – Qwest Dave Hahn – Qwest Barry Orrel – Qwest Cindy Buckmaster – Qwest Denny Graham – Qwest Joy McConnel-Couch – Qwest Laurel Neher – Qwest Bob Mohr – Qwest Ray Wilson – Qwest Deb Smith – Qwest Matt White - Qwest Heidi Moreland – Qwest

Attendees – March 12, 2003 Liz Balvin – WorldCom John Berard – Covad Donna Dix – US Link Bonnie Johnson – Eschelon Lori Mendoza – Allegiance Chris Connor - Qwest Jamal Boudhaouia – Qwest Cindy Schwartze – Qwest Crystal Soderlund – Qwest Linda Miles – Qwest Eric Yohe – Qwest Kit Thomte – Qwest Barry Orrel – Qwest Cindy Buckmaster – Qwest Denny Graham – Qwest Joy McConnel-Couch – Qwest Bob Mohr – Qwest Ray Wilson – Qwest Matt White - Qwest Heidi Moreland – Qwest

Attendees – March 13, 2003 Jamal Boudhaouia – Qwest Cindy Schwartze – Qwest Crystal Soderlund – Qwest Linda Miles – Qwest Eric Yohe – Qwest Barry Orrel – Qwest Cindy Buckmaster – Qwest Denny Graham – Qwest Joy McConnel-Couch – Qwest Bob Mohr – Qwest Ray Wilson – Qwest Matt White - Qwest Heidi Moreland – Qwest

Meeting Minutes March 11, 2003

White-Qwest introduced the attendees and described the purpose of the meeting. He asked Buckmaster-Qwest to present the first three CRs (PC022403-2, -3, -4) for discussion. Buckmaster-Qwest presented CRs –2 and -4. Soderlund-Qwest described that process for requesting conditioning. She stated that process was unchanged from today. Zulevic-Covad asked if Qwest first checked for alternate facilities before it conditioned the line. Buckmaster-Qwest stated that was true. Zulevic-Covad asked what would happen if there was not a Y in the SCA field and the line had load coils on it. Buckmaster-Qwest stated that Qwest would reject the order and tell the CLEC to authorize conditioning. Zulevic-Covad asked if the CLECs could give Qwest a blanket authorization to condition, if necessary, on every order. Buckmaster-Qwest stated that she would check on that option, but believed that it was outside the scope of this CR. Zulevic-Covad stated that he was interested because Covad had orders previously delayed, unnecessarily, for this. Buckmaster-Qwest described –3. Schwartze-Qwest described the process to request conditioning. She stated that the process included noting that conditioning was authorized in the remarks field. Zulevic-Covad asked what the process was for Qwest retail requests. Buckmaster-Qwest stated that she was not aware of the process, but would find out.

Boudhaouia-Qwest briefed CRs –5 and -7. Soderlund-Qwest described the process to request line move and UDC removal. She stated that Qwest always looks to do a line move or UDC removal. If these options are not available, Qwest looks for a Y in the SCA field before it conditions a line. Zulevic-Covad asked how the intervals would work. Soderlund-Qwest stated that the line move was a 5-day interval, and that conditioning is a 15-day interval. Boudhaouia-Qwest stated that Qwest will always attempt to try a line move, then perform UDC removal, and finally to condition the line. Zulevic-Covad asked when he would get a notification that a line needed to be conditioned. Soderlund-Qwest stated that the notification would go out as soon as the assignments group knew the line needed to be conditioned. Berard-Covad asked if a CLEC should always check the RLDT before placing a request. Buckmaster-Qwest stated that the CLEC should check in the RLDT for spare copper facilities, but that Qwest would check automatically once the request came in. Berard-Covad asked if the CLECs needed to provide some proof that they had accessed the RLDT when they submitted their request. Boudhaouia-Qwest stated that they did not.

Boudhaouia-Qwest presented CR –6. Schwartze-Qwest stated that the process for UNE-P and resale would mirror the line move and UDC removal process.

Boudhaouia-Qwest presented CR –8. Berard-Covad asked if a CLEC, for planning purposes, could look up the presence of a single line UDC in the ICONN database. Boudhaouia-Qwest stated that when CLECs issue a line share request with a Y in the SCA field, Qwest will attempt to move the line first and them to remove the UDC. He stated that the lack of a Y in the SCA field would cause a FOC back requesting authorization for conditioning.

White-Qwest stated that Qwest had three “take-aways” that they would address at the next meeting. Zulevic-Covad stated that Covad appreciated Qwest initiating these CRs.

March 12, 2003 White-Qwest introduced the attendees and described the purpose of the meeting. Johnson-Eschelon stated that she had missed the previous day’s meeting and would like an overview of what was discussed.

Buckmaster-Qwest reviewed CRs –2 and –4. Johnson-Eschelon confirmed that there was no change to the existing process. Buckmaster-Qwest reviewed –3. Schwartze-Qwest reviewed the process. Johnson-Eschelon asked if the CLECs should mark for manual handling. Schwartze-Qwest stated that was not necessary. Johnson-Eschelon asked if this information would be posted to the Web site. Buckmaster-Qwest stated that this information would be included in the PCAT.

Boudhaouia-Qwest reviewed –5 and –7. Soderlund-Qwest briefed the process to request the conditioning. Johnson-Eschelon asked if there needed to be any special markings on the request. Buckmaster-Qwest stated that if the CLEC puts a Y in the SCA field in every instance, Qwest will have authorization to condition the line for each request. Johnson-Eschelon asked if this process removed the decision making responsibility from the CLEC. Boudhaouia-Qwest stated that Qwest would first try to do a line move, the UDC removal, then bridge tap/load coil removal. He summarized that it does remove the decision responsibility from the CLEC.

Boudhaouia-Qwest reviewed –6. Schwartze-Qwest stated that the only change from the line sharing was that for resale and UNE-P the remarks section must have “conditioning authorized.”

Boudhaouia-Qwest reviewed –8.

White-Qwest stated that Qwest had three action items from the last meeting. He asked Buckmaster to review the first. Buckmaster-Qwest stated that the first action item was to describe the retail process. Connor-Qwest described the retail request process. Berard-Covad asked if retail accessed the RLDT. Buckmaster-Qwest stated that retail did not use the RLDT.

White-Qwest stated that the next action item was an investigation of the possibility of CLECs granting blanket conditioning approval. Buckmaster-Qwest stated that she would like the CLECs to give Qwest an opportunity to get the process running and then to request the blanked authorization. Johnson-Eschelon stated that Eschelon would be interested in giving Qwest the same authorization.

White-Qwest stated that the final action item was related to putting a Y in the SCA field. Boudhaouia-Qwest stated that the CLEC must have a Y in the SCA field to give Qwest authorization to condition the line. Berard-Covad asked what the process was if there was not a Y in the SCA field and the line needed conditioning. Soderlund-Qwest stated that the process was to follow the IMA jeopardy-back process.

Johnson-Eschelon asked if the CLECs needed to put the conditioning authorized on the LSR with which they requested the add DSL. Soderlund-Qwest stated that Johnson was correct.

White-Qwest thanked the attendees and adjourned the meeting.

March 13, 2003 There were no CLEC attendees at the meeting. White-Qwest adjourned the meeting at 2:15 PM MT.

==================================================

Ad Hoc CMP Meeting March 3, 2003

Attendees: Matt White – Qwest Janean Van Dusen – Qwest Michael Whitt – Qwest Denny Grahm – Qwest Barry Orrel – Qwest Laurel Neher – Qwest Joy McConnel-Couch – Qwest Joan Pfeffer – Qwest Craig Suellentrop - Qwest Ray Wilson – Qwest Cindy Schwartze – Qwest Deb Smith – Qwest Bob Mohr – Qwest Eric Yohe – Qwest Cindy Buckmaster – Qwest John Berard – Covad Julie Pickar – US Link Donna Dix – US Link Erica Beamus - WorldCom Chris Robish - Contact Monica Avila – Veritech Wayne Hart – Idaho PUC Kirk Hundertmark – Twin Rivers Valley Telecom Bonnie Johnson – Eschelon

White-Qwest began the meeting by welcoming all attendees and explaining the purpose of the Ad Hoc CMP Meeting.

Buckmaster-Qwest defined line conditioning and presented CRs PC022403-2, -3, and –4. She also proposed that the input cycle for the CRs consist of three 2-hour meetings on 3/11, 3/12, and 3/13. There were no objections to the proposed input cycle.

Zulevic-Covad asked if CLECs would be required to submit an LSR with a Y in the SCA field. Buckmaster-Qwest stated that they would.

Johnson-Eschelon stated that she was glad to see these CRs. She stated that currently when a CLEC orders Qwest DSL they must order it as a feature after a line install. She asked if these CRs would change that process. Buckmaster-Qwest stated that they did not. Johnson-Eschelon asked what these CRs did to loop qual. Buckmaster-Qwest stated that CLECs would continue to use the Raw Loop Data Tool to ascertain interval information.

Berard-Covad asked if putting a Y in the SCA field would automatically generate a 15 day interval. Buckmaster-Qwest stated that it would not. Zulevic-Covad asked if CLECs put a Y in the SCA field on all LSRs would the work be accomplished to industry specifications or would the work include a removal of all encumbrances. Buckmaster-Qwest stated that Qwest would condition to the CLEC’s DSL specifications but would not condition automatically to the tech pub standard. Zulevic-Covad asked if Qwest would provide a summary of the CR dependencies. Buckmaster-Qwest stated that she would. Robish-Contact stated that bridge taps do not affect his product. He asked if they would be required to remove bridge taps. Buckmaster-Qwest stated that they would not. Hundertmark-Twin Rivers asked if any of these CRs addressed CLEC DSL on a resold circuit because he had several issues with CRs of that variety. Buckmaster-Qwest stated that that issue was not addressed by any of these CRs. Schultz-Qwest stated that Qwest could set up another ad hoc meeting to discuss Twin River’s issues or add an item to the agenda of the next CMP Monthly Meeting. Hundertmark-Twin Rivers stated that he would prefer to discuss it at a monthly meeting.

Retka-Qwest presented CRs PC022403-5, -6, -7, and –8. Johnson-Eschelon stated that it sounded like there were several processes the CLECs would use for the various product varieties. Retka-Qwest stated that the CLECs should always consult the Raw Loop Data Tool first. Buckmaster-Qwest stated that this was an issue the team could work out during the input sessions on the 11th, 12th and 13th. Zulevic-Covad asked if there was a way to determine if the same customer has two lines on an UDC. Retka-Qwest stated that the only posting would be for customers with only one line on a UDC. Dix-US Link stated that there were errors in the RLDT. Schultz-Qwest asked Dix-US Link to contact her service manager. Dix-US Link stated that she did not know who that was. Schultz-Qwest stated that she would contact the US Link service manager and ask him/her to contact Dix. Zulevic-Covad asked if line moves were included in PC022403-5. Retka-Qwest stated that they were only included in situations where there was a spare copper loop. Buckmaster-Qwest stated that the intent was to giver the CLECs the facility to provision data on. She stated that a line move would be accomplished to accommodate data. Berard-Covad asked Retka to clarify what a UDC was. Retka-Qwest stated that a UDC was a two line pair gain at a customer premise or a cross box near a customer premise. Zulevic-Covad asked if CLECs were expected to use the RLDT before they place an order. Buckmaster-Qwest stated that was Qwest’s intent. Retka-Qwest recommended that the input process for the four latter CRs be conducted during the previously proposed meetings on the 11th, 12th, and 13th. There were no objections. There were no further questions.

The meeting was adjourned.


Open Product/Process CR PC022403-6 Detail

 
Title: Perform Line Moves and UDC Removal for Qwest DSL Resale and Qwest DSL on UNE P orders at no charge to the CLEC/DLEC.
CR Number Current Status
Date
Area Impacted Products Impacted

PC022403-6 Completed
2/24/2003
Pre-Ordering, Ordering, Provisioning Resale UNE-P
Originator: Boudhaouia, Jamal
Originator Company Name: Qwest Corporation
Owner: Boudhaouia, Jamal
Director:
CR PM: White, Matt

Description Of Change

Qwest is offering the CLEC/DLEC Community the opportunity to request Line Moves and UDC Removal in certain circumstances for a voice customer whose existing line does not currently qualify for Qwest DSL service. This Line Move and UDC Removal will be provided to the CLEC/DLEC at no charge.

Line Move is defined as moving the existing customer loop that did not qualify for Qwest DSL service to an existing available spare copper facility that qualifies for Qwest DSL service.

UDC removal will performed under the following conditions:

- The UDC is serving the target customer

- The UDC is a two line system

- Only one channel is working on the UDC System

This offering is being made for Qwest DSL Resale and Qwest DSL on UNE-P only.

Proposed Implementation Date: 4/15/03

This CR may be subject to the Condition described under Change of Law provisions of the SGAT (Section 2.2).


Status History

02/24/03 - Ad Hoc Meeting Notification Distributed

02/24/03 - Clacrification Meeting

03/03/03 - Ad Hoc Meeting

03/11/03 - CLEC input meeting 1

03/14/03 - Initial Level 4 Notification distributed

03/19/03 - Discussed at CMP Meeting

03/14/03 - Final Level 4 Notification distributed

04/15/03 - Change Implemented

04/16/03 - Discussed at CMP Monthly Meeting

05/21/03 - Closed at CMP Monthly Meeting


Project Meetings

========================================================== CMP Meeting 05-21-03

Buckmaster-Qwest stated that the changes were implemented on 4/15 and Qwest would like to close the CRs. Zulevic-Covad stated that he would like to leave PC022403-3 open for another month. Johnson-Eschelon stated that she wanted to leave PC022403-2 open for another month. Zulevic-Covad stated that there was an issue that he had expected Buckmaster to contact him on. Buckmaster-Qwest stated that she would send Zulevic an e-mail after the meeting. ==========================================

04-16-03 - CMP Meeting

Buckmaster-Qwest stated that the new process was implemented on 4/15. Zulevic-Covad asked if the change included line splitting. Buckmaster-Qwest stated that it did. Zulevic-Covad asked if Qwest would publish a process document outlining this process. Buckmaster-Qwest stated that the Assignments Process Document on the Web describes the process. She stated that she would check to see if it included a description of the conditioning process. Zulevic-Covad asked if a line move was a 5 day interval. Buckmaster-Qwest stated that it was. Zulevic-Covad asked what happened if a CLEC placed an ‘N’ in the SCA field. Buckmaster-Qwest stated that she did not know, but that she would find out. Johnson-Eschelon asked that Qwest document this in the process document. Zulevic-Covad asked if CLECs provided Qwest with conditioning standards. Boudhaouia-Qwest stated that Qwest would condition lines to the most current industry standards. Boudhaouia, Berard and Zulevic conducted a lengthy discussion about various conditioning standards. Zulevic-Covad asked if the Qwest conditioning standards for retail were the same as wholesale. Boudhaouia-Qwest stated that they were. Buckmaster-Qwest stated that the only change these CRs were implementing was a cessation of charges. Powers-Tel West asked if the conditioning interval was different for retail and wholesale. Buckmaster-Qwest stated that it was 5 days longer for retail.

===============================================

03-19-03 - CMP Meeting

Bucmaster-Qwest reviewed where the CRs were in the process. Zulevic-Covad asked if Qwest had analyzed the potential to allow CLECs to grant blanket approval. Buckmaster-Qwest stated that Qwest is still evaluating that option, but would not implement it until after the first set of changes were implemented on 4/15. Van Meter-AT&T asked that AT&T be added to the attendee list for the Ad Hoc Meeting.

================================================

CLEC Input Meetings March 11, 2003 March 12, 2003 March 13, 2003

Attendees – March 11, 2003 Sharon Van Meter – AT&T Liz Balvin – WorldCom John Berard – Covad Mike Zulevic – Covad Jennifer Arnold – US Link Jamal Boudhaouia – Qwest Cindy Schwartze – Qwest Crystal Soderlund – Qwest Linda Miles – Qwest Eric Yohe – Qwest Kit Thomte – Qwest Dave Hahn – Qwest Barry Orrel – Qwest Cindy Buckmaster – Qwest Denny Graham – Qwest Joy McConnel-Couch – Qwest Laurel Neher – Qwest Bob Mohr – Qwest Ray Wilson – Qwest Deb Smith – Qwest Matt White - Qwest Heidi Moreland – Qwest

Attendees – March 12, 2003 Liz Balvin – WorldCom John Berard – Covad Donna Dix – US Link Bonnie Johnson – Eschelon Lori Mendoza – Allegiance Chris Connor - Qwest Jamal Boudhaouia – Qwest Cindy Schwartze – Qwest Crystal Soderlund – Qwest Linda Miles – Qwest Eric Yohe – Qwest Kit Thomte – Qwest Barry Orrel – Qwest Cindy Buckmaster – Qwest Denny Graham – Qwest Joy McConnel-Couch – Qwest Bob Mohr – Qwest Ray Wilson – Qwest Matt White - Qwest Heidi Moreland – Qwest

Attendees – March 13, 2003 Jamal Boudhaouia – Qwest Cindy Schwartze – Qwest Crystal Soderlund – Qwest Linda Miles – Qwest Eric Yohe – Qwest Barry Orrel – Qwest Cindy Buckmaster – Qwest Denny Graham – Qwest Joy McConnel-Couch – Qwest Bob Mohr – Qwest Ray Wilson – Qwest Matt White - Qwest Heidi Moreland – Qwest

Meeting Minutes March 11, 2003

White-Qwest introduced the attendees and described the purpose of the meeting. He asked Buckmaster-Qwest to present the first three CRs (PC022403-2, -3, -4) for discussion. Buckmaster-Qwest presented CRs –2 and -4. Soderlund-Qwest described that process for requesting conditioning. She stated that process was unchanged from today. Zulevic-Covad asked if Qwest first checked for alternate facilities before it conditioned the line. Buckmaster-Qwest stated that was true. Zulevic-Covad asked what would happen if there was not a Y in the SCA field and the line had load coils on it. Buckmaster-Qwest stated that Qwest would reject the order and tell the CLEC to authorize conditioning. Zulevic-Covad asked if the CLECs could give Qwest a blanket authorization to condition, if necessary, on every order. Buckmaster-Qwest stated that she would check on that option, but believed that it was outside the scope of this CR. Zulevic-Covad stated that he was interested because Covad had orders previously delayed, unnecessarily, for this. Buckmaster-Qwest described –3. Schwartze-Qwest described the process to request conditioning. She stated that the process included noting that conditioning was authorized in the remarks field. Zulevic-Covad asked what the process was for Qwest retail requests. Buckmaster-Qwest stated that she was not aware of the process, but would find out.

Boudhaouia-Qwest briefed CRs –5 and -7. Soderlund-Qwest described the process to request line move and UDC removal. She stated that Qwest always looks to do a line move or UDC removal. If these options are not available, Qwest looks for a Y in the SCA field before it conditions a line. Zulevic-Covad asked how the intervals would work. Soderlund-Qwest stated that the line move was a 5-day interval, and that conditioning is a 15-day interval. Boudhaouia-Qwest stated that Qwest will always attempt to try a line move, then perform UDC removal, and finally to condition the line. Zulevic-Covad asked when he would get a notification that a line needed to be conditioned. Soderlund-Qwest stated that the notification would go out as soon as the assignments group knew the line needed to be conditioned. Berard-Covad asked if a CLEC should always check the RLDT before placing a request. Buckmaster-Qwest stated that the CLEC should check in the RLDT for spare copper facilities, but that Qwest would check automatically once the request came in. Berard-Covad asked if the CLECs needed to provide some proof that they had accessed the RLDT when they submitted their request. Boudhaouia-Qwest stated that they did not.

Boudhaouia-Qwest presented CR –6. Schwartze-Qwest stated that the process for UNE-P and resale would mirror the line move and UDC removal process.

Boudhaouia-Qwest presented CR –8. Berard-Covad asked if a CLEC, for planning purposes, could look up the presence of a single line UDC in the ICONN database. Boudhaouia-Qwest stated that when CLECs issue a line share request with a Y in the SCA field, Qwest will attempt to move the line first and them to remove the UDC. He stated that the lack of a Y in the SCA field would cause a FOC back requesting authorization for conditioning.

White-Qwest stated that Qwest had three “take-aways” that they would address at the next meeting. Zulevic-Covad stated that Covad appreciated Qwest initiating these CRs.

March 12, 2003 White-Qwest introduced the attendees and described the purpose of the meeting. Johnson-Eschelon stated that she had missed the previous day’s meeting and would like an overview of what was discussed.

Buckmaster-Qwest reviewed CRs –2 and –4. Johnson-Eschelon confirmed that there was no change to the existing process. Buckmaster-Qwest reviewed –3. Schwartze-Qwest reviewed the process. Johnson-Eschelon asked if the CLECs should mark for manual handling. Schwartze-Qwest stated that was not necessary. Johnson-Eschelon asked if this information would be posted to the Web site. Buckmaster-Qwest stated that this information would be included in the PCAT.

Boudhaouia-Qwest reviewed –5 and –7. Soderlund-Qwest briefed the process to request the conditioning. Johnson-Eschelon asked if there needed to be any special markings on the request. Buckmaster-Qwest stated that if the CLEC puts a Y in the SCA field in every instance, Qwest will have authorization to condition the line for each request. Johnson-Eschelon asked if this process removed the decision making responsibility from the CLEC. Boudhaouia-Qwest stated that Qwest would first try to do a line move, the UDC removal, then bridge tap/load coil removal. He summarized that it does remove the decision responsibility from the CLEC.

Boudhaouia-Qwest reviewed –6. Schwartze-Qwest stated that the only change from the line sharing was that for resale and UNE-P the remarks section must have “conditioning authorized.”

Boudhaouia-Qwest reviewed –8.

White-Qwest stated that Qwest had three action items from the last meeting. He asked Buckmaster to review the first. Buckmaster-Qwest stated that the first action item was to describe the retail process. Connor-Qwest described the retail request process. Berard-Covad asked if retail accessed the RLDT. Buckmaster-Qwest stated that retail did not use the RLDT.

White-Qwest stated that the next action item was an investigation of the possibility of CLECs granting blanket conditioning approval. Buckmaster-Qwest stated that she would like the CLECs to give Qwest an opportunity to get the process running and then to request the blanked authorization. Johnson-Eschelon stated that Eschelon would be interested in giving Qwest the same authorization.

White-Qwest stated that the final action item was related to putting a Y in the SCA field. Boudhaouia-Qwest stated that the CLEC must have a Y in the SCA field to give Qwest authorization to condition the line. Berard-Covad asked what the process was if there was not a Y in the SCA field and the line needed conditioning. Soderlund-Qwest stated that the process was to follow the IMA jeopardy-back process.

Johnson-Eschelon asked if the CLECs needed to put the conditioning authorized on the LSR with which they requested the add DSL. Soderlund-Qwest stated that Johnson was correct.

White-Qwest thanked the attendees and adjourned the meeting.

March 13, 2003 There were no CLEC attendees at the meeting. White-Qwest adjourned the meeting at 2:15 PM MT.

==================================================

Ad Hoc CMP Meeting March 3, 2003

Attendees: Matt White – Qwest Janean Van Dusen – Qwest Michael Whitt – Qwest Denny Grahm – Qwest Barry Orrel – Qwest Laurel Neher – Qwest Joy McConnel-Couch – Qwest Joan Pfeffer – Qwest Craig Suellentrop - Qwest Ray Wilson – Qwest Cindy Schwartze – Qwest Deb Smith – Qwest Bob Mohr – Qwest Eric Yohe – Qwest Cindy Buckmaster – Qwest John Berard – Covad Julie Pickar – US Link Donna Dix – US Link Erica Beamus - WorldCom Chris Robish - Contact Monica Avila – Veritech Wayne Hart – Idaho PUC Kirk Hundertmark – Twin Rivers Valley Telecom Bonnie Johnson – Eschelon

White-Qwest began the meeting by welcoming all attendees and explaining the purpose of the Ad Hoc CMP Meeting.

Buckmaster-Qwest defined line conditioning and presented CRs PC022403-2, -3, and –4. She also proposed that the input cycle for the CRs consist of three 2-hour meetings on 3/11, 3/12, and 3/13. There were no objections to the proposed input cycle.

Zulevic-Covad asked if CLECs would be required to submit an LSR with a Y in the SCA field. Buckmaster-Qwest stated that they would.

Johnson-Eschelon stated that she was glad to see these CRs. She stated that currently when a CLEC orders Qwest DSL they must order it as a feature after a line install. She asked if these CRs would change that process. Buckmaster-Qwest stated that they did not. Johnson-Eschelon asked what these CRs did to loop qual. Buckmaster-Qwest stated that CLECs would continue to use the Raw Loop Data Tool to ascertain interval information.

Berard-Covad asked if putting a Y in the SCA field would automatically generate a 15 day interval. Buckmaster-Qwest stated that it would not. Zulevic-Covad asked if CLECs put a Y in the SCA field on all LSRs would the work be accomplished to industry specifications or would the work include a removal of all encumbrances. Buckmaster-Qwest stated that Qwest would condition to the CLEC’s DSL specifications but would not condition automatically to the tech pub standard. Zulevic-Covad asked if Qwest would provide a summary of the CR dependencies. Buckmaster-Qwest stated that she would. Robish-Contact stated that bridge taps do not affect his product. He asked if they would be required to remove bridge taps. Buckmaster-Qwest stated that they would not. Hundertmark-Twin Rivers asked if any of these CRs addressed CLEC DSL on a resold circuit because he had several issues with CRs of that variety. Buckmaster-Qwest stated that that issue was not addressed by any of these CRs. Schultz-Qwest stated that Qwest could set up another ad hoc meeting to discuss Twin River’s issues or add an item to the agenda of the next CMP Monthly Meeting. Hundertmark-Twin Rivers stated that he would prefer to discuss it at a monthly meeting.

Retka-Qwest presented CRs PC022403-5, -6, -7, and –8. Johnson-Eschelon stated that it sounded like there were several processes the CLECs would use for the various product varieties. Retka-Qwest stated that the CLECs should always consult the Raw Loop Data Tool first. Buckmaster-Qwest stated that this was an issue the team could work out during the input sessions on the 11th, 12th and 13th. Zulevic-Covad asked if there was a way to determine if the same customer has two lines on an UDC. Retka-Qwest stated that the only posting would be for customers with only one line on a UDC. Dix-US Link stated that there were errors in the RLDT. Schultz-Qwest asked Dix-US Link to contact her service manager. Dix-US Link stated that she did not know who that was. Schultz-Qwest stated that she would contact the US Link service manager and ask him/her to contact Dix. Zulevic-Covad asked if line moves were included in PC022403-5. Retka-Qwest stated that they were only included in situations where there was a spare copper loop. Buckmaster-Qwest stated that the intent was to giver the CLECs the facility to provision data on. She stated that a line move would be accomplished to accommodate data. Berard-Covad asked Retka to clarify what a UDC was. Retka-Qwest stated that a UDC was a two line pair gain at a customer premise or a cross box near a customer premise. Zulevic-Covad asked if CLECs were expected to use the RLDT before they place an order. Buckmaster-Qwest stated that was Qwest’s intent. Retka-Qwest recommended that the input process for the four latter CRs be conducted during the previously proposed meetings on the 11th, 12th, and 13th. There were no objections. There were no further questions.

The meeting was adjourned.


Open Product/Process CR PC022403-7 Detail

 
Title: Perform UDC Removal for Line Shared orders at no charge to the CLEC/DLEC.
CR Number Current Status
Date
Area Impacted Products Impacted

PC022403-7 Completed
2/24/2003
Pre-Ordering, Ordering, Provisioning Line Sharing
Originator: Boudhaouia, Jamal
Originator Company Name: Qwest Corporation
Owner: Boudhaouia, Jamal
Director:
CR PM: White, Matt

Description Of Change

Qwest is offering the CLEC/DLEC Community the opportunity to request UDC Removal in certain circumstances for a voice customer whose existing line does not currently qualify for ADSL service. This UDC Removalwill be provided to the CLEC/DLEC at no charge.

UDC removal will performed under the following conditions:

- The UDC is serving the target customer

- The UDC is a two line system

- Only one channel is working on the UDC System

This offering is being made for Line Sharing family of products (defined as Other below) only.

This CR may be subject to the Condition described under Change of Law provisions of the SGAT (Section 2.2).

Proposed Implementation Date: 4/15/03


Status History

02/24/03 - Ad Hoc Meeting Notification Distributed

02/24/03 - Clacrification Meeting

03/03/03 - Ad Hoc Meeting

03/11/03 - CLEC input meeting 1

03/14/03 - Initial Level 4 Notification distributed

03/19/03 - Discussed at CMP Meeting

03/14/03 - Final Level 4 Notification distributed

04/15/03 - Change Implemented

04/16/03 - Discussed at CMP Monthly Meeting

05/21/03 - Closed at CMP Monthly Meeting


Project Meetings

========================================================== CMP Meeting 05-21-03

Buckmaster-Qwest stated that the changes were implemented on 4/15 and Qwest would like to close the CRs. Zulevic-Covad stated that he would like to leave PC022403-3 open for another month. Johnson-Eschelon stated that she wanted to leave PC022403-2 open for another month. Zulevic-Covad stated that there was an issue that he had expected Buckmaster to contact him on. Buckmaster-Qwest stated that she would send Zulevic an e-mail after the meeting. ==========================================

04-16-03 - CMP Meeting

Buckmaster-Qwest stated that the new process was implemented on 4/15. Zulevic-Covad asked if the change included line splitting. Buckmaster-Qwest stated that it did. Zulevic-Covad asked if Qwest would publish a process document outlining this process. Buckmaster-Qwest stated that the Assignments Process Document on the Web describes the process. She stated that she would check to see if it included a description of the conditioning process. Zulevic-Covad asked if a line move was a 5 day interval. Buckmaster-Qwest stated that it was. Zulevic-Covad asked what happened if a CLEC placed an ‘N’ in the SCA field. Buckmaster-Qwest stated that she did not know, but that she would find out. Johnson-Eschelon asked that Qwest document this in the process document. Zulevic-Covad asked if CLECs provided Qwest with conditioning standards. Boudhaouia-Qwest stated that Qwest would condition lines to the most current industry standards. Boudhaouia, Berard and Zulevic conducted a lengthy discussion about various conditioning standards. Zulevic-Covad asked if the Qwest conditioning standards for retail were the same as wholesale. Boudhaouia-Qwest stated that they were. Buckmaster-Qwest stated that the only change these CRs were implementing was a cessation of charges. Powers-Tel West asked if the conditioning interval was different for retail and wholesale. Buckmaster-Qwest stated that it was 5 days longer for retail.

===============================================

03-19-03 - CMP Meeting

Bucmaster-Qwest reviewed where the CRs were in the process. Zulevic-Covad asked if Qwest had analyzed the potential to allow CLECs to grant blanket approval. Buckmaster-Qwest stated that Qwest is still evaluating that option, but would not implement it until after the first set of changes were implemented on 4/15. Van Meter-AT&T asked that AT&T be added to the attendee list for the Ad Hoc Meeting.

================================================

CLEC Input Meetings March 11, 2003 March 12, 2003 March 13, 2003

Attendees – March 11, 2003 Sharon Van Meter – AT&T Liz Balvin – WorldCom John Berard – Covad Mike Zulevic – Covad Jennifer Arnold – US Link Jamal Boudhaouia – Qwest Cindy Schwartze – Qwest Crystal Soderlund – Qwest Linda Miles – Qwest Eric Yohe – Qwest Kit Thomte – Qwest Dave Hahn – Qwest Barry Orrel – Qwest Cindy Buckmaster – Qwest Denny Graham – Qwest Joy McConnel-Couch – Qwest Laurel Neher – Qwest Bob Mohr – Qwest Ray Wilson – Qwest Deb Smith – Qwest Matt White - Qwest Heidi Moreland – Qwest

Attendees – March 12, 2003 Liz Balvin – WorldCom John Berard – Covad Donna Dix – US Link Bonnie Johnson – Eschelon Lori Mendoza – Allegiance Chris Connor - Qwest Jamal Boudhaouia – Qwest Cindy Schwartze – Qwest Crystal Soderlund – Qwest Linda Miles – Qwest Eric Yohe – Qwest Kit Thomte – Qwest Barry Orrel – Qwest Cindy Buckmaster – Qwest Denny Graham – Qwest Joy McConnel-Couch – Qwest Bob Mohr – Qwest Ray Wilson – Qwest Matt White - Qwest Heidi Moreland – Qwest

Attendees – March 13, 2003 Jamal Boudhaouia – Qwest Cindy Schwartze – Qwest Crystal Soderlund – Qwest Linda Miles – Qwest Eric Yohe – Qwest Barry Orrel – Qwest Cindy Buckmaster – Qwest Denny Graham – Qwest Joy McConnel-Couch – Qwest Bob Mohr – Qwest Ray Wilson – Qwest Matt White - Qwest Heidi Moreland – Qwest

Meeting Minutes March 11, 2003

White-Qwest introduced the attendees and described the purpose of the meeting. He asked Buckmaster-Qwest to present the first three CRs (PC022403-2, -3, -4) for discussion. Buckmaster-Qwest presented CRs –2 and -4. Soderlund-Qwest described that process for requesting conditioning. She stated that process was unchanged from today. Zulevic-Covad asked if Qwest first checked for alternate facilities before it conditioned the line. Buckmaster-Qwest stated that was true. Zulevic-Covad asked what would happen if there was not a Y in the SCA field and the line had load coils on it. Buckmaster-Qwest stated that Qwest would reject the order and tell the CLEC to authorize conditioning. Zulevic-Covad asked if the CLECs could give Qwest a blanket authorization to condition, if necessary, on every order. Buckmaster-Qwest stated that she would check on that option, but believed that it was outside the scope of this CR. Zulevic-Covad stated that he was interested because Covad had orders previously delayed, unnecessarily, for this. Buckmaster-Qwest described –3. Schwartze-Qwest described the process to request conditioning. She stated that the process included noting that conditioning was authorized in the remarks field. Zulevic-Covad asked what the process was for Qwest retail requests. Buckmaster-Qwest stated that she was not aware of the process, but would find out.

Boudhaouia-Qwest briefed CRs –5 and -7. Soderlund-Qwest described the process to request line move and UDC removal. She stated that Qwest always looks to do a line move or UDC removal. If these options are not available, Qwest looks for a Y in the SCA field before it conditions a line. Zulevic-Covad asked how the intervals would work. Soderlund-Qwest stated that the line move was a 5-day interval, and that conditioning is a 15-day interval. Boudhaouia-Qwest stated that Qwest will always attempt to try a line move, then perform UDC removal, and finally to condition the line. Zulevic-Covad asked when he would get a notification that a line needed to be conditioned. Soderlund-Qwest stated that the notification would go out as soon as the assignments group knew the line needed to be conditioned. Berard-Covad asked if a CLEC should always check the RLDT before placing a request. Buckmaster-Qwest stated that the CLEC should check in the RLDT for spare copper facilities, but that Qwest would check automatically once the request came in. Berard-Covad asked if the CLECs needed to provide some proof that they had accessed the RLDT when they submitted their request. Boudhaouia-Qwest stated that they did not.

Boudhaouia-Qwest presented CR –6. Schwartze-Qwest stated that the process for UNE-P and resale would mirror the line move and UDC removal process.

Boudhaouia-Qwest presented CR –8. Berard-Covad asked if a CLEC, for planning purposes, could look up the presence of a single line UDC in the ICONN database. Boudhaouia-Qwest stated that when CLECs issue a line share request with a Y in the SCA field, Qwest will attempt to move the line first and them to remove the UDC. He stated that the lack of a Y in the SCA field would cause a FOC back requesting authorization for conditioning.

White-Qwest stated that Qwest had three “take-aways” that they would address at the next meeting. Zulevic-Covad stated that Covad appreciated Qwest initiating these CRs.

March 12, 2003 White-Qwest introduced the attendees and described the purpose of the meeting. Johnson-Eschelon stated that she had missed the previous day’s meeting and would like an overview of what was discussed.

Buckmaster-Qwest reviewed CRs –2 and –4. Johnson-Eschelon confirmed that there was no change to the existing process. Buckmaster-Qwest reviewed –3. Schwartze-Qwest reviewed the process. Johnson-Eschelon asked if the CLECs should mark for manual handling. Schwartze-Qwest stated that was not necessary. Johnson-Eschelon asked if this information would be posted to the Web site. Buckmaster-Qwest stated that this information would be included in the PCAT.

Boudhaouia-Qwest reviewed –5 and –7. Soderlund-Qwest briefed the process to request the conditioning. Johnson-Eschelon asked if there needed to be any special markings on the request. Buckmaster-Qwest stated that if the CLEC puts a Y in the SCA field in every instance, Qwest will have authorization to condition the line for each request. Johnson-Eschelon asked if this process removed the decision making responsibility from the CLEC. Boudhaouia-Qwest stated that Qwest would first try to do a line move, the UDC removal, then bridge tap/load coil removal. He summarized that it does remove the decision responsibility from the CLEC.

Boudhaouia-Qwest reviewed –6. Schwartze-Qwest stated that the only change from the line sharing was that for resale and UNE-P the remarks section must have “conditioning authorized.”

Boudhaouia-Qwest reviewed –8.

White-Qwest stated that Qwest had three action items from the last meeting. He asked Buckmaster to review the first. Buckmaster-Qwest stated that the first action item was to describe the retail process. Connor-Qwest described the retail request process. Berard-Covad asked if retail accessed the RLDT. Buckmaster-Qwest stated that retail did not use the RLDT.

White-Qwest stated that the next action item was an investigation of the possibility of CLECs granting blanket conditioning approval. Buckmaster-Qwest stated that she would like the CLECs to give Qwest an opportunity to get the process running and then to request the blanked authorization. Johnson-Eschelon stated that Eschelon would be interested in giving Qwest the same authorization.

White-Qwest stated that the final action item was related to putting a Y in the SCA field. Boudhaouia-Qwest stated that the CLEC must have a Y in the SCA field to give Qwest authorization to condition the line. Berard-Covad asked what the process was if there was not a Y in the SCA field and the line needed conditioning. Soderlund-Qwest stated that the process was to follow the IMA jeopardy-back process.

Johnson-Eschelon asked if the CLECs needed to put the conditioning authorized on the LSR with which they requested the add DSL. Soderlund-Qwest stated that Johnson was correct.

White-Qwest thanked the attendees and adjourned the meeting.

March 13, 2003 There were no CLEC attendees at the meeting. White-Qwest adjourned the meeting at 2:15 PM MT.

==================================================

Ad Hoc CMP Meeting March 3, 2003

Attendees: Matt White – Qwest Janean Van Dusen – Qwest Michael Whitt – Qwest Denny Grahm – Qwest Barry Orrel – Qwest Laurel Neher – Qwest Joy McConnel-Couch – Qwest Joan Pfeffer – Qwest Craig Suellentrop - Qwest Ray Wilson – Qwest Cindy Schwartze – Qwest Deb Smith – Qwest Bob Mohr – Qwest Eric Yohe – Qwest Cindy Buckmaster – Qwest John Berard – Covad Julie Pickar – US Link Donna Dix – US Link Erica Beamus - WorldCom Chris Robish - Contact Monica Avila – Veritech Wayne Hart – Idaho PUC Kirk Hundertmark – Twin Rivers Valley Telecom Bonnie Johnson – Eschelon

White-Qwest began the meeting by welcoming all attendees and explaining the purpose of the Ad Hoc CMP Meeting.

Buckmaster-Qwest defined line conditioning and presented CRs PC022403-2, -3, and –4. She also proposed that the input cycle for the CRs consist of three 2-hour meetings on 3/11, 3/12, and 3/13. There were no objections to the proposed input cycle.

Zulevic-Covad asked if CLECs would be required to submit an LSR with a Y in the SCA field. Buckmaster-Qwest stated that they would.

Johnson-Eschelon stated that she was glad to see these CRs. She stated that currently when a CLEC orders Qwest DSL they must order it as a feature after a line install. She asked if these CRs would change that process. Buckmaster-Qwest stated that they did not. Johnson-Eschelon asked what these CRs did to loop qual. Buckmaster-Qwest stated that CLECs would continue to use the Raw Loop Data Tool to ascertain interval information.

Berard-Covad asked if putting a Y in the SCA field would automatically generate a 15 day interval. Buckmaster-Qwest stated that it would not. Zulevic-Covad asked if CLECs put a Y in the SCA field on all LSRs would the work be accomplished to industry specifications or would the work include a removal of all encumbrances. Buckmaster-Qwest stated that Qwest would condition to the CLEC’s DSL specifications but would not condition automatically to the tech pub standard. Zulevic-Covad asked if Qwest would provide a summary of the CR dependencies. Buckmaster-Qwest stated that she would. Robish-Contact stated that bridge taps do not affect his product. He asked if they would be required to remove bridge taps. Buckmaster-Qwest stated that they would not. Hundertmark-Twin Rivers asked if any of these CRs addressed CLEC DSL on a resold circuit because he had several issues with CRs of that variety. Buckmaster-Qwest stated that that issue was not addressed by any of these CRs. Schultz-Qwest stated that Qwest could set up another ad hoc meeting to discuss Twin River’s issues or add an item to the agenda of the next CMP Monthly Meeting. Hundertmark-Twin Rivers stated that he would prefer to discuss it at a monthly meeting.

Retka-Qwest presented CRs PC022403-5, -6, -7, and –8. Johnson-Eschelon stated that it sounded like there were several processes the CLECs would use for the various product varieties. Retka-Qwest stated that the CLECs should always consult the Raw Loop Data Tool first. Buckmaster-Qwest stated that this was an issue the team could work out during the input sessions on the 11th, 12th and 13th. Zulevic-Covad asked if there was a way to determine if the same customer has two lines on an UDC. Retka-Qwest stated that the only posting would be for customers with only one line on a UDC. Dix-US Link stated that there were errors in the RLDT. Schultz-Qwest asked Dix-US Link to contact her service manager. Dix-US Link stated that she did not know who that was. Schultz-Qwest stated that she would contact the US Link service manager and ask him/her to contact Dix. Zulevic-Covad asked if line moves were included in PC022403-5. Retka-Qwest stated that they were only included in situations where there was a spare copper loop. Buckmaster-Qwest stated that the intent was to giver the CLECs the facility to provision data on. She stated that a line move would be accomplished to accommodate data. Berard-Covad asked Retka to clarify what a UDC was. Retka-Qwest stated that a UDC was a two line pair gain at a customer premise or a cross box near a customer premise. Zulevic-Covad asked if CLECs were expected to use the RLDT before they place an order. Buckmaster-Qwest stated that was Qwest’s intent. Retka-Qwest recommended that the input process for the four latter CRs be conducted during the previously proposed meetings on the 11th, 12th, and 13th. There were no objections. There were no further questions.

The meeting was adjourned.


Open Product/Process CR PC022403-8 Detail

 
Title: Perform UDC Removal for ADSL Capable Unbundled Loop orders at no charge to the CLEC/DLEC.
CR Number Current Status
Date
Area Impacted Products Impacted

PC022403-8 Completed
2/24/2003
Pre-Ordering, Ordering, Provisioning, Billing Unbundled Loop (ADSL Capable)
Originator: Boudhaouia, Jamal
Originator Company Name: Qwest Corporation
Owner: Boudhaouia, Jamal
Director:
CR PM: White, Matt

Description Of Change

Qwest is offering the CLEC/DLEC Community the opportunity to request UDC Removal in certain circumstances for a voice customer whose existing line does not currently qualify for ADSL service. This UDC Removal will be provided to the CLEC/DLEC at no charge.

UDC removal will performed under the following conditions:

- The UDC is serving the target customer

- The UDC is a two line system

- Only one channel is working on the UDC System

This offering is being made for ADSL Capable unbundled Loops only.

This CR may be subject to the Condition described under Change of Law provisions of the SGAT (Section 2.2).

Proposed Implementation Date: 4/15/03


Status History

02/24/03 - Ad Hoc Meeting Notification Distributed

02/24/03 - Clacrification Meeting

03/03/03 - Ad Hoc Meeting

03/11/03 - CLEC input meeting 1

03/14/03 - Initial Level 4 Notification distributed

03/19/03 - Discussed at CMP Meeting

03/14/03 - Final Level 4 Notification distributed

04/15/03 - Change Implemented

04/16/03 - Discussed at CMP Monthly Meeting

05/21/03 - Closed at CMP Monthly Meeting


Project Meetings

========================================================== CMP Meeting 05-21-03

Buckmaster-Qwest stated that the changes were implemented on 4/15 and Qwest would like to close the CRs. Zulevic-Covad stated that he would like to leave PC022403-3 open for another month. Johnson-Eschelon stated that she wanted to leave PC022403-2 open for another month. Zulevic-Covad stated that there was an issue that he had expected Buckmaster to contact him on. Buckmaster-Qwest stated that she would send Zulevic an e-mail after the meeting. ==========================================

04-16-03 - CMP Meeting

Buckmaster-Qwest stated that the new process was implemented on 4/15. Zulevic-Covad asked if the change included line splitting. Buckmaster-Qwest stated that it did. Zulevic-Covad asked if Qwest would publish a process document outlining this process. Buckmaster-Qwest stated that the Assignments Process Document on the Web describes the process. She stated that she would check to see if it included a description of the conditioning process. Zulevic-Covad asked if a line move was a 5 day interval. Buckmaster-Qwest stated that it was. Zulevic-Covad asked what happened if a CLEC placed an ‘N’ in the SCA field. Buckmaster-Qwest stated that she did not know, but that she would find out. Johnson-Eschelon asked that Qwest document this in the process document. Zulevic-Covad asked if CLECs provided Qwest with conditioning standards. Boudhaouia-Qwest stated that Qwest would condition lines to the most current industry standards. Boudhaouia, Berard and Zulevic conducted a lengthy discussion about various conditioning standards. Zulevic-Covad asked if the Qwest conditioning standards for retail were the same as wholesale. Boudhaouia-Qwest stated that they were. Buckmaster-Qwest stated that the only change these CRs were implementing was a cessation of charges. Powers-Tel West asked if the conditioning interval was different for retail and wholesale. Buckmaster-Qwest stated that it was 5 days longer for retail.

===============================================

03-19-03 - CMP Meeting

Bucmaster-Qwest reviewed where the CRs were in the process. Zulevic-Covad asked if Qwest had analyzed the potential to allow CLECs to grant blanket approval. Buckmaster-Qwest stated that Qwest is still evaluating that option, but would not implement it until after the first set of changes were implemented on 4/15. Van Meter-AT&T asked that AT&T be added to the attendee list for the Ad Hoc Meeting.

================================================

CLEC Input Meetings March 11, 2003 March 12, 2003 March 13, 2003

Attendees – March 11, 2003 Sharon Van Meter – AT&T Liz Balvin – WorldCom John Berard – Covad Mike Zulevic – Covad Jennifer Arnold – US Link Jamal Boudhaouia – Qwest Cindy Schwartze – Qwest Crystal Soderlund – Qwest Linda Miles – Qwest Eric Yohe – Qwest Kit Thomte – Qwest Dave Hahn – Qwest Barry Orrel – Qwest Cindy Buckmaster – Qwest Denny Graham – Qwest Joy McConnel-Couch – Qwest Laurel Neher – Qwest Bob Mohr – Qwest Ray Wilson – Qwest Deb Smith – Qwest Matt White - Qwest Heidi Moreland – Qwest

Attendees – March 12, 2003 Liz Balvin – WorldCom John Berard – Covad Donna Dix – US Link Bonnie Johnson – Eschelon Lori Mendoza – Allegiance Chris Connor - Qwest Jamal Boudhaouia – Qwest Cindy Schwartze – Qwest Crystal Soderlund – Qwest Linda Miles – Qwest Eric Yohe – Qwest Kit Thomte – Qwest Barry Orrel – Qwest Cindy Buckmaster – Qwest Denny Graham – Qwest Joy McConnel-Couch – Qwest Bob Mohr – Qwest Ray Wilson – Qwest Matt White - Qwest Heidi Moreland – Qwest

Attendees – March 13, 2003 Jamal Boudhaouia – Qwest Cindy Schwartze – Qwest Crystal Soderlund – Qwest Linda Miles – Qwest Eric Yohe – Qwest Barry Orrel – Qwest Cindy Buckmaster – Qwest Denny Graham – Qwest Joy McConnel-Couch – Qwest Bob Mohr – Qwest Ray Wilson – Qwest Matt White - Qwest Heidi Moreland – Qwest

Meeting Minutes March 11, 2003

White-Qwest introduced the attendees and described the purpose of the meeting. He asked Buckmaster-Qwest to present the first three CRs (PC022403-2, -3, -4) for discussion. Buckmaster-Qwest presented CRs –2 and -4. Soderlund-Qwest described that process for requesting conditioning. She stated that process was unchanged from today. Zulevic-Covad asked if Qwest first checked for alternate facilities before it conditioned the line. Buckmaster-Qwest stated that was true. Zulevic-Covad asked what would happen if there was not a Y in the SCA field and the line had load coils on it. Buckmaster-Qwest stated that Qwest would reject the order and tell the CLEC to authorize conditioning. Zulevic-Covad asked if the CLECs could give Qwest a blanket authorization to condition, if necessary, on every order. Buckmaster-Qwest stated that she would check on that option, but believed that it was outside the scope of this CR. Zulevic-Covad stated that he was interested because Covad had orders previously delayed, unnecessarily, for this. Buckmaster-Qwest described –3. Schwartze-Qwest described the process to request conditioning. She stated that the process included noting that conditioning was authorized in the remarks field. Zulevic-Covad asked what the process was for Qwest retail requests. Buckmaster-Qwest stated that she was not aware of the process, but would find out.

Boudhaouia-Qwest briefed CRs –5 and -7. Soderlund-Qwest described the process to request line move and UDC removal. She stated that Qwest always looks to do a line move or UDC removal. If these options are not available, Qwest looks for a Y in the SCA field before it conditions a line. Zulevic-Covad asked how the intervals would work. Soderlund-Qwest stated that the line move was a 5-day interval, and that conditioning is a 15-day interval. Boudhaouia-Qwest stated that Qwest will always attempt to try a line move, then perform UDC removal, and finally to condition the line. Zulevic-Covad asked when he would get a notification that a line needed to be conditioned. Soderlund-Qwest stated that the notification would go out as soon as the assignments group knew the line needed to be conditioned. Berard-Covad asked if a CLEC should always check the RLDT before placing a request. Buckmaster-Qwest stated that the CLEC should check in the RLDT for spare copper facilities, but that Qwest would check automatically once the request came in. Berard-Covad asked if the CLECs needed to provide some proof that they had accessed the RLDT when they submitted their request. Boudhaouia-Qwest stated that they did not.

Boudhaouia-Qwest presented CR –6. Schwartze-Qwest stated that the process for UNE-P and resale would mirror the line move and UDC removal process.

Boudhaouia-Qwest presented CR –8. Berard-Covad asked if a CLEC, for planning purposes, could look up the presence of a single line UDC in the ICONN database. Boudhaouia-Qwest stated that when CLECs issue a line share request with a Y in the SCA field, Qwest will attempt to move the line first and them to remove the UDC. He stated that the lack of a Y in the SCA field would cause a FOC back requesting authorization for conditioning.

White-Qwest stated that Qwest had three “take-aways” that they would address at the next meeting. Zulevic-Covad stated that Covad appreciated Qwest initiating these CRs.

March 12, 2003 White-Qwest introduced the attendees and described the purpose of the meeting. Johnson-Eschelon stated that she had missed the previous day’s meeting and would like an overview of what was discussed.

Buckmaster-Qwest reviewed CRs –2 and –4. Johnson-Eschelon confirmed that there was no change to the existing process. Buckmaster-Qwest reviewed –3. Schwartze-Qwest reviewed the process. Johnson-Eschelon asked if the CLECs should mark for manual handling. Schwartze-Qwest stated that was not necessary. Johnson-Eschelon asked if this information would be posted to the Web site. Buckmaster-Qwest stated that this information would be included in the PCAT.

Boudhaouia-Qwest reviewed –5 and –7. Soderlund-Qwest briefed the process to request the conditioning. Johnson-Eschelon asked if there needed to be any special markings on the request. Buckmaster-Qwest stated that if the CLEC puts a Y in the SCA field in every instance, Qwest will have authorization to condition the line for each request. Johnson-Eschelon asked if this process removed the decision making responsibility from the CLEC. Boudhaouia-Qwest stated that Qwest would first try to do a line move, the UDC removal, then bridge tap/load coil removal. He summarized that it does remove the decision responsibility from the CLEC.

Boudhaouia-Qwest reviewed –6. Schwartze-Qwest stated that the only change from the line sharing was that for resale and UNE-P the remarks section must have “conditioning authorized.”

Boudhaouia-Qwest reviewed –8.

White-Qwest stated that Qwest had three action items from the last meeting. He asked Buckmaster to review the first. Buckmaster-Qwest stated that the first action item was to describe the retail process. Connor-Qwest described the retail request process. Berard-Covad asked if retail accessed the RLDT. Buckmaster-Qwest stated that retail did not use the RLDT.

White-Qwest stated that the next action item was an investigation of the possibility of CLECs granting blanket conditioning approval. Buckmaster-Qwest stated that she would like the CLECs to give Qwest an opportunity to get the process running and then to request the blanked authorization. Johnson-Eschelon stated that Eschelon would be interested in giving Qwest the same authorization.

White-Qwest stated that the final action item was related to putting a Y in the SCA field. Boudhaouia-Qwest stated that the CLEC must have a Y in the SCA field to give Qwest authorization to condition the line. Berard-Covad asked what the process was if there was not a Y in the SCA field and the line needed conditioning. Soderlund-Qwest stated that the process was to follow the IMA jeopardy-back process.

Johnson-Eschelon asked if the CLECs needed to put the conditioning authorized on the LSR with which they requested the add DSL. Soderlund-Qwest stated that Johnson was correct.

White-Qwest thanked the attendees and adjourned the meeting.

March 13, 2003 There were no CLEC attendees at the meeting. White-Qwest adjourned the meeting at 2:15 PM MT.

==================================================

Ad Hoc CMP Meeting March 3, 2003

Attendees: Matt White – Qwest Janean Van Dusen – Qwest Michael Whitt – Qwest Denny Grahm – Qwest Barry Orrel – Qwest Laurel Neher – Qwest Joy McConnel-Couch – Qwest Joan Pfeffer – Qwest Craig Suellentrop - Qwest Ray Wilson – Qwest Cindy Schwartze – Qwest Deb Smith – Qwest Bob Mohr – Qwest Eric Yohe – Qwest Cindy Buckmaster – Qwest John Berard – Covad Julie Pickar – US Link Donna Dix – US Link Erica Beamus - WorldCom Chris Robish - Contact Monica Avila – Veritech Wayne Hart – Idaho PUC Kirk Hundertmark – Twin Rivers Valley Telecom Bonnie Johnson – Eschelon

White-Qwest began the meeting by welcoming all attendees and explaining the purpose of the Ad Hoc CMP Meeting.

Buckmaster-Qwest defined line conditioning and presented CRs PC022403-2, -3, and –4. She also proposed that the input cycle for the CRs consist of three 2-hour meetings on 3/11, 3/12, and 3/13. There were no objections to the proposed input cycle.

Zulevic-Covad asked if CLECs would be required to submit an LSR with a Y in the SCA field. Buckmaster-Qwest stated that they would.

Johnson-Eschelon stated that she was glad to see these CRs. She stated that currently when a CLEC orders Qwest DSL they must order it as a feature after a line install. She asked if these CRs would change that process. Buckmaster-Qwest stated that they did not. Johnson-Eschelon asked what these CRs did to loop qual. Buckmaster-Qwest stated that CLECs would continue to use the Raw Loop Data Tool to ascertain interval information.

Berard-Covad asked if putting a Y in the SCA field would automatically generate a 15 day interval. Buckmaster-Qwest stated that it would not. Zulevic-Covad asked if CLECs put a Y in the SCA field on all LSRs would the work be accomplished to industry specifications or would the work include a removal of all encumbrances. Buckmaster-Qwest stated that Qwest would condition to the CLEC’s DSL specifications but would not condition automatically to the tech pub standard. Zulevic-Covad asked if Qwest would provide a summary of the CR dependencies. Buckmaster-Qwest stated that she would. Robish-Contact stated that bridge taps do not affect his product. He asked if they would be required to remove bridge taps. Buckmaster-Qwest stated that they would not. Hundertmark-Twin Rivers asked if any of these CRs addressed CLEC DSL on a resold circuit because he had several issues with CRs of that variety. Buckmaster-Qwest stated that that issue was not addressed by any of these CRs. Schultz-Qwest stated that Qwest could set up another ad hoc meeting to discuss Twin River’s issues or add an item to the agenda of the next CMP Monthly Meeting. Hundertmark-Twin Rivers stated that he would prefer to discuss it at a monthly meeting.

Retka-Qwest presented CRs PC022403-5, -6, -7, and –8. Johnson-Eschelon stated that it sounded like there were several processes the CLECs would use for the various product varieties. Retka-Qwest stated that the CLECs should always consult the Raw Loop Data Tool first. Buckmaster-Qwest stated that this was an issue the team could work out during the input sessions on the 11th, 12th and 13th. Zulevic-Covad asked if there was a way to determine if the same customer has two lines on an UDC. Retka-Qwest stated that the only posting would be for customers with only one line on a UDC. Dix-US Link stated that there were errors in the RLDT. Schultz-Qwest asked Dix-US Link to contact her service manager. Dix-US Link stated that she did not know who that was. Schultz-Qwest stated that she would contact the US Link service manager and ask him/her to contact Dix. Zulevic-Covad asked if line moves were included in PC022403-5. Retka-Qwest stated that they were only included in situations where there was a spare copper loop. Buckmaster-Qwest stated that the intent was to giver the CLECs the facility to provision data on. She stated that a line move would be accomplished to accommodate data. Berard-Covad asked Retka to clarify what a UDC was. Retka-Qwest stated that a UDC was a two line pair gain at a customer premise or a cross box near a customer premise. Zulevic-Covad asked if CLECs were expected to use the RLDT before they place an order. Buckmaster-Qwest stated that was Qwest’s intent. Retka-Qwest recommended that the input process for the four latter CRs be conducted during the previously proposed meetings on the 11th, 12th, and 13th. There were no objections. There were no further questions.

The meeting was adjourned.


Open Product/Process CR PC022403-4 Detail

 
Title: Conditioning for DSL Services in UBL Product at no charge to the CLEC/DLEC
CR Number Current Status
Date
Area Impacted Products Impacted

PC022403-4 Completed
2/24/2003
Pre-Ordering, Ordering, Provisioning, Billing Unbundled Loop, Loop
Originator: Buckmaster, Cindy
Originator Company Name: Qwest Corporation
Owner: Buckmaster, Cindy
Director:
CR PM: White, Matt

Description Of Change

Qwest is offering the CLEC/DLEC/Reseller Community the opportunity to request Conditioning (Load Coil and Excessive Bridged Tap Removal) from any UBL copper facility for which the CLEC has ordered Data capability and has requested Conditioning according to the LSOG / ASOG requirements. This Conditioning will be provided to the CLEC/DLEC/Reseller at no charge. All Conditioning parameters will be defined by Qwest in applicable external documentation. Once CLEC/DLEC/Reseller Conditioning has been requested and performed, if the end-user’s Voice Grade service is degraded beyond Voice capability, the necessary Load Coils will be restored and the CLEC who requested the Conditioning will be billed for this restoral.

This offering is being made for the Non-Loaded, ADSL Compatible, ISDN and x-DSL-I Capable Unbundled Loop (defined as UBL or Loop below).

The effective date of this CR will be determined following the discussion a CMP adhoc meeting. Prior to an effective date, current processes remain in effect.

Proposed Implementation Date: 4/15/03


Status History

02/24/03 - Ad Hoc Meeting Notification Distributed

02/24/03 - Clacrification Meeting

03/03/03 - Ad Hoc Meeting

03/11/03 - CLEC input meeting 1

03/14/03 - Initial Level 4 Notification distributed

03/19/03 - Discussed at CMP Meeting

03/14/03 - Final Level 4 Notification distributed

04/15/03 - Change Implemented

04/16/03 - Discussed at CMP Monthly Meeting

05/21/03 - Closed at CMP Monthly Meeting


Project Meetings

========================================================== CMP Meeting 05-21-03

Buckmaster-Qwest stated that the changes were implemented on 4/15 and Qwest would like to close the CRs. Zulevic-Covad stated that he would like to leave PC022403-3 open for another month. Johnson-Eschelon stated that she wanted to leave PC022403-2 open for another month. Zulevic-Covad stated that there was an issue that he had expected Buckmaster to contact him on. Buckmaster-Qwest stated that she would send Zulevic an e-mail after the meeting. ==========================================

04-16-03 - CMP Meeting

Buckmaster-Qwest stated that the new process was implemented on 4/15. Zulevic-Covad asked if the change included line splitting. Buckmaster-Qwest stated that it did. Zulevic-Covad asked if Qwest would publish a process document outlining this process. Buckmaster-Qwest stated that the Assignments Process Document on the Web describes the process. She stated that she would check to see if it included a description of the conditioning process. Zulevic-Covad asked if a line move was a 5 day interval. Buckmaster-Qwest stated that it was. Zulevic-Covad asked what happened if a CLEC placed an ‘N’ in the SCA field. Buckmaster-Qwest stated that she did not know, but that she would find out. Johnson-Eschelon asked that Qwest document this in the process document. Zulevic-Covad asked if CLECs provided Qwest with conditioning standards. Boudhaouia-Qwest stated that Qwest would condition lines to the most current industry standards. Boudhaouia, Berard and Zulevic conducted a lengthy discussion about various conditioning standards. Zulevic-Covad asked if the Qwest conditioning standards for retail were the same as wholesale. Boudhaouia-Qwest stated that they were. Buckmaster-Qwest stated that the only change these CRs were implementing was a cessation of charges. Powers-Tel West asked if the conditioning interval was different for retail and wholesale. Buckmaster-Qwest stated that it was 5 days longer for retail.

===============================================

03-19-03 - CMP Meeting

Bucmaster-Qwest reviewed where the CRs were in the process. Zulevic-Covad asked if Qwest had analyzed the potential to allow CLECs to grant blanket approval. Buckmaster-Qwest stated that Qwest is still evaluating that option, but would not implement it until after the first set of changes were implemented on 4/15. Van Meter-AT&T asked that AT&T be added to the attendee list for the Ad Hoc Meeting.

================================================

CLEC Input Meetings March 11, 2003 March 12, 2003 March 13, 2003

Attendees – March 11, 2003 Sharon Van Meter – AT&T Liz Balvin – WorldCom John Berard – Covad Mike Zulevic – Covad Jennifer Arnold – US Link Jamal Boudhaouia – Qwest Cindy Schwartze – Qwest Crystal Soderlund – Qwest Linda Miles – Qwest Eric Yohe – Qwest Kit Thomte – Qwest Dave Hahn – Qwest Barry Orrel – Qwest Cindy Buckmaster – Qwest Denny Graham – Qwest Joy McConnel-Couch – Qwest Laurel Neher – Qwest Bob Mohr – Qwest Ray Wilson – Qwest Deb Smith – Qwest Matt White - Qwest Heidi Moreland – Qwest

Attendees – March 12, 2003 Liz Balvin – WorldCom John Berard – Covad Donna Dix – US Link Bonnie Johnson – Eschelon Lori Mendoza – Allegiance Chris Connor - Qwest Jamal Boudhaouia – Qwest Cindy Schwartze – Qwest Crystal Soderlund – Qwest Linda Miles – Qwest Eric Yohe – Qwest Kit Thomte – Qwest Barry Orrel – Qwest Cindy Buckmaster – Qwest Denny Graham – Qwest Joy McConnel-Couch – Qwest Bob Mohr – Qwest Ray Wilson – Qwest Matt White - Qwest Heidi Moreland – Qwest

Attendees – March 13, 2003 Jamal Boudhaouia – Qwest Cindy Schwartze – Qwest Crystal Soderlund – Qwest Linda Miles – Qwest Eric Yohe – Qwest Barry Orrel – Qwest Cindy Buckmaster – Qwest Denny Graham – Qwest Joy McConnel-Couch – Qwest Bob Mohr – Qwest Ray Wilson – Qwest Matt White - Qwest Heidi Moreland – Qwest

Meeting Minutes March 11, 2003

White-Qwest introduced the attendees and described the purpose of the meeting. He asked Buckmaster-Qwest to present the first three CRs (PC022403-2, -3, -4) for discussion. Buckmaster-Qwest presented CRs –2 and -4. Soderlund-Qwest described that process for requesting conditioning. She stated that process was unchanged from today. Zulevic-Covad asked if Qwest first checked for alternate facilities before it conditioned the line. Buckmaster-Qwest stated that was true. Zulevic-Covad asked what would happen if there was not a Y in the SCA field and the line had load coils on it. Buckmaster-Qwest stated that Qwest would reject the order and tell the CLEC to authorize conditioning. Zulevic-Covad asked if the CLECs could give Qwest a blanket authorization to condition, if necessary, on every order. Buckmaster-Qwest stated that she would check on that option, but believed that it was outside the scope of this CR. Zulevic-Covad stated that he was interested because Covad had orders previously delayed, unnecessarily, for this. Buckmaster-Qwest described –3. Schwartze-Qwest described the process to request conditioning. She stated that the process included noting that conditioning was authorized in the remarks field. Zulevic-Covad asked what the process was for Qwest retail requests. Buckmaster-Qwest stated that she was not aware of the process, but would find out.

Boudhaouia-Qwest briefed CRs –5 and -7. Soderlund-Qwest described the process to request line move and UDC removal. She stated that Qwest always looks to do a line move or UDC removal. If these options are not available, Qwest looks for a Y in the SCA field before it conditions a line. Zulevic-Covad asked how the intervals would work. Soderlund-Qwest stated that the line move was a 5-day interval, and that conditioning is a 15-day interval. Boudhaouia-Qwest stated that Qwest will always attempt to try a line move, then perform UDC removal, and finally to condition the line. Zulevic-Covad asked when he would get a notification that a line needed to be conditioned. Soderlund-Qwest stated that the notification would go out as soon as the assignments group knew the line needed to be conditioned. Berard-Covad asked if a CLEC should always check the RLDT before placing a request. Buckmaster-Qwest stated that the CLEC should check in the RLDT for spare copper facilities, but that Qwest would check automatically once the request came in. Berard-Covad asked if the CLECs needed to provide some proof that they had accessed the RLDT when they submitted their request. Boudhaouia-Qwest stated that they did not.

Boudhaouia-Qwest presented CR –6. Schwartze-Qwest stated that the process for UNE-P and resale would mirror the line move and UDC removal process.

Boudhaouia-Qwest presented CR –8. Berard-Covad asked if a CLEC, for planning purposes, could look up the presence of a single line UDC in the ICONN database. Boudhaouia-Qwest stated that when CLECs issue a line share request with a Y in the SCA field, Qwest will attempt to move the line first and them to remove the UDC. He stated that the lack of a Y in the SCA field would cause a FOC back requesting authorization for conditioning.

White-Qwest stated that Qwest had three “take-aways” that they would address at the next meeting. Zulevic-Covad stated that Covad appreciated Qwest initiating these CRs.

March 12, 2003 White-Qwest introduced the attendees and described the purpose of the meeting. Johnson-Eschelon stated that she had missed the previous day’s meeting and would like an overview of what was discussed.

Buckmaster-Qwest reviewed CRs –2 and –4. Johnson-Eschelon confirmed that there was no change to the existing process. Buckmaster-Qwest reviewed –3. Schwartze-Qwest reviewed the process. Johnson-Eschelon asked if the CLECs should mark for manual handling. Schwartze-Qwest stated that was not necessary. Johnson-Eschelon asked if this information would be posted to the Web site. Buckmaster-Qwest stated that this information would be included in the PCAT.

Boudhaouia-Qwest reviewed –5 and –7. Soderlund-Qwest briefed the process to request the conditioning. Johnson-Eschelon asked if there needed to be any special markings on the request. Buckmaster-Qwest stated that if the CLEC puts a Y in the SCA field in every instance, Qwest will have authorization to condition the line for each request. Johnson-Eschelon asked if this process removed the decision making responsibility from the CLEC. Boudhaouia-Qwest stated that Qwest would first try to do a line move, the UDC removal, then bridge tap/load coil removal. He summarized that it does remove the decision responsibility from the CLEC.

Boudhaouia-Qwest reviewed –6. Schwartze-Qwest stated that the only change from the line sharing was that for resale and UNE-P the remarks section must have “conditioning authorized.”

Boudhaouia-Qwest reviewed –8.

White-Qwest stated that Qwest had three action items from the last meeting. He asked Buckmaster to review the first. Buckmaster-Qwest stated that the first action item was to describe the retail process. Connor-Qwest described the retail request process. Berard-Covad asked if retail accessed the RLDT. Buckmaster-Qwest stated that retail did not use the RLDT.

White-Qwest stated that the next action item was an investigation of the possibility of CLECs granting blanket conditioning approval. Buckmaster-Qwest stated that she would like the CLECs to give Qwest an opportunity to get the process running and then to request the blanked authorization. Johnson-Eschelon stated that Eschelon would be interested in giving Qwest the same authorization.

White-Qwest stated that the final action item was related to putting a Y in the SCA field. Boudhaouia-Qwest stated that the CLEC must have a Y in the SCA field to give Qwest authorization to condition the line. Berard-Covad asked what the process was if there was not a Y in the SCA field and the line needed conditioning. Soderlund-Qwest stated that the process was to follow the IMA jeopardy-back process.

Johnson-Eschelon asked if the CLECs needed to put the conditioning authorized on the LSR with which they requested the add DSL. Soderlund-Qwest stated that Johnson was correct.

White-Qwest thanked the attendees and adjourned the meeting.

March 13, 2003 There were no CLEC attendees at the meeting. White-Qwest adjourned the meeting at 2:15 PM MT.

==================================================

Ad Hoc CMP Meeting March 3, 2003

Attendees: Matt White – Qwest Janean Van Dusen – Qwest Michael Whitt – Qwest Denny Grahm – Qwest Barry Orrel – Qwest Laurel Neher – Qwest Joy McConnel-Couch – Qwest Joan Pfeffer – Qwest Craig Suellentrop - Qwest Ray Wilson – Qwest Cindy Schwartze – Qwest Deb Smith – Qwest Bob Mohr – Qwest Eric Yohe – Qwest Cindy Buckmaster – Qwest John Berard – Covad Julie Pickar – US Link Donna Dix – US Link Erica Beamus - WorldCom Chris Robish - Contact Monica Avila – Veritech Wayne Hart – Idaho PUC Kirk Hundertmark – Twin Rivers Valley Telecom Bonnie Johnson – Eschelon

White-Qwest began the meeting by welcoming all attendees and explaining the purpose of the Ad Hoc CMP Meeting.

Buckmaster-Qwest defined line conditioning and presented CRs PC022403-2, -3, and –4. She also proposed that the input cycle for the CRs consist of three 2-hour meetings on 3/11, 3/12, and 3/13. There were no objections to the proposed input cycle.

Zulevic-Covad asked if CLECs would be required to submit an LSR with a Y in the SCA field. Buckmaster-Qwest stated that they would.

Johnson-Eschelon stated that she was glad to see these CRs. She stated that currently when a CLEC orders Qwest DSL they must order it as a feature after a line install. She asked if these CRs would change that process. Buckmaster-Qwest stated that they did not. Johnson-Eschelon asked what these CRs did to loop qual. Buckmaster-Qwest stated that CLECs would continue to use the Raw Loop Data Tool to ascertain interval information.

Berard-Covad asked if putting a Y in the SCA field would automatically generate a 15 day interval. Buckmaster-Qwest stated that it would not. Zulevic-Covad asked if CLECs put a Y in the SCA field on all LSRs would the work be accomplished to industry specifications or would the work include a removal of all encumbrances. Buckmaster-Qwest stated that Qwest would condition to the CLEC’s DSL specifications but would not condition automatically to the tech pub standard. Zulevic-Covad asked if Qwest would provide a summary of the CR dependencies. Buckmaster-Qwest stated that she would. Robish-Contact stated that bridge taps do not affect his product. He asked if they would be required to remove bridge taps. Buckmaster-Qwest stated that they would not. Hundertmark-Twin Rivers asked if any of these CRs addressed CLEC DSL on a resold circuit because he had several issues with CRs of that variety. Buckmaster-Qwest stated that that issue was not addressed by any of these CRs. Schultz-Qwest stated that Qwest could set up another ad hoc meeting to discuss Twin River’s issues or add an item to the agenda of the next CMP Monthly Meeting. Hundertmark-Twin Rivers stated that he would prefer to discuss it at a monthly meeting.

Retka-Qwest presented CRs PC022403-5, -6, -7, and –8. Johnson-Eschelon stated that it sounded like there were several processes the CLECs would use for the various product varieties. Retka-Qwest stated that the CLECs should always consult the Raw Loop Data Tool first. Buckmaster-Qwest stated that this was an issue the team could work out during the input sessions on the 11th, 12th and 13th. Zulevic-Covad asked if there was a way to determine if the same customer has two lines on an UDC. Retka-Qwest stated that the only posting would be for customers with only one line on a UDC. Dix-US Link stated that there were errors in the RLDT. Schultz-Qwest asked Dix-US Link to contact her service manager. Dix-US Link stated that she did not know who that was. Schultz-Qwest stated that she would contact the US Link service manager and ask him/her to contact Dix. Zulevic-Covad asked if line moves were included in PC022403-5. Retka-Qwest stated that they were only included in situations where there was a spare copper loop. Buckmaster-Qwest stated that the intent was to giver the CLECs the facility to provision data on. She stated that a line move would be accomplished to accommodate data. Berard-Covad asked Retka to clarify what a UDC was. Retka-Qwest stated that a UDC was a two line pair gain at a customer premise or a cross box near a customer premise. Zulevic-Covad asked if CLECs were expected to use the RLDT before they place an order. Buckmaster-Qwest stated that was Qwest’s intent. Retka-Qwest recommended that the input process for the four latter CRs be conducted during the previously proposed meetings on the 11th, 12th, and 13th. There were no objections. There were no further questions.

The meeting was adjourned.


Open Product/Process CR PC022403-1EX Detail

 
Title: “Microsoft Network (MSN) Internet Access Powered by Qwest” narrowband (dial up) billing arrangements unavailable with UNE P, Resale, and UBS services
CR Number Current Status
Date
Area Impacted Products Impacted

PC022403-1EX Completed
2/24/2003
Provisioning, Billing Resale, UNE Switching, UNE-P
Originator: Whitt, Michael
Originator Company Name: Qwest Corporation
Owner: Whitt, Michael
Director:
CR PM: White, Matt

Description Of Change

This CR requests that Qwest implement the following change with a Level 1 Product/Process Notification instead of a Level 3 Product/Process Notification. The proposed documentation changes are associated with language to be added to UNE-P General, Resale General, and UBS PCATs regarding the following process change: “Microsoft Network (MSN) Internet Access Powered by Qwest.” As part of this change, Qwest will remove narrowband (dial-up) billing arrangements from Retail accounts converting to UNE-P, Resale, or UBS.

Qwest is requesting this exception to the Level 3 timeline to allow earlier implementation of a process which will enable retail accounts with “MSN Internet Access Powered by Qwest” narrowband billing arrangements to convert to UNE-P/Resale/UBS without requiring prior USOC/FID removal. This change will discontinue conversion LSR rejects based solely on the presence of the “MSN Internet Access Powered by Qwest” narrowband billing arrangement USOCs/FID.

Qwest requests that this change be implemented with a Level 1 Notification.


Status History

02-25-03 - Pre-Meeting Notification Distributed

02-27-03 - Pre-Meeting conducted

02-28-03 - Exception Notification distributed

03-06-03 - Exception Meeting conducted (No vote - quorum not established)

03-07-03 - Second Exception Meeting Notification distributed

03-11-03 - Second Exception Meeting conducted

03-12-03 - Level 1 Notification distributed


Project Meetings

Exception Meeting March 11, 2003 Meeting Start Time: 3:30 p.m.

Attendees

Michael Whitt – Qwest Janean Van Dusen - Qwest Matt White – Qwest Anthony Washington – Qwest Susan Lorence – Qwest Laurel Neher – Qwest Mike Zulevic – Covad Matt Myers – TelWest Communications Donna Osborne-Miller – AT&T Carla Pardee – AT&T

Meeting Minutes

White-Qwest described the Exception Process and the voting standard. He stated that because quorum was not met at the original Exception Meeting, quorum was not required at this meeting.

White-Qwest asked if there were any questions before he administered the vote.

White-Qwest asked the carriers present to cast their ballots aloud or by e-mail. He stated that there had been three e-mail votes prior to the meeting. He stated that these votes were Eschelon-Yes, US Link-Yes, and Qwest-Yes. The remainder of the votes are reflected on the voting tally. He stated that the exception was passed by a unanimous decision.

The meeting was adjourned.

===========================================================

Exception Meeting March 6, 2003

Attendees

Michael Whitt – Qwest Janean Van Dusen - Qwest Laurel Neher – Qwest Matt White - Qwest Bonnie Johnson – Eschelon Jennifer Arnold – US Link Doug Lacy (douglas.lacy@wcom.com) – WorldCom

Meeting Minutes

White-Qwest described the Exception Process and the voting standard. He stated that the required number of carriers to establish quorum at this meeting was six. He stated that there were not a sufficient number of carriers at this meeting to establish quorum. He stated that, in such circumstances, the CMP Document called for Qwest to hold a second Exception Meeting at which quorum was not required. He proposed that this meeting be help at 3:30 p.m. MT on Tuesday, March 11, 2003. There were no objections. White-Qwest stated that he would prepare and distribute a notification announcing the second Exception Meeting. The meeting was adjourned.

==========================================================

Exception Pre-Meeting February 27, 2003

Attendees: Matt White – Qwest Janean Van Dusen – Qwest Michael Whitt – Qwest Susan Lorence – Qwest Kim Isaacs – Eschelon Bonnie Johnson – Eschelon Kathy Murray – Eschelon Jen Arnold – US Link

White-Qwest began the meeting by welcoming all attendees and explaining the purpose of the pre-meeting.

Whitt-Qwest presented the exception CR and asked the attendees for questions. Jonhson-Eschelon asked if an account with only the DVDP FID will be rejected. Whitt-Qwest stated that currently it would. Johnson-Eschelon asked how Qwest could reject any orders. Whitt-Qwest stated that this call was not an appropriate forum to discuss that issue. He stated that this change was made to avoid as many rejects as possible. There were no further questions.

White-Qwest stated that the remainder of the meeting would be dedicated to determining the logistics for the vote, what ‘Yes’ and ‘No’ votes would mean, and what course of action the parties would follow if the request was granted.

White-Qwest proposed 1 PM MT on 3/6 for the vote. Johnson-Eschelon stated that 3 PM MT worked better for her. White-Qwest asked if there were any other conflicts. There were none. The meeting was set for 3 PM MT, 3/6.

White-Qwest proposed the following language for the meanings of ‘Yes’ and ‘No:’

A vote of ‘Yes’ will indicate a preference to allow Qwest to implement the change described in PC022403-1EX with a Level 1 Notification.

A vote of ‘No’ will indicate a preference that Qwest NOT implement the change described in PC022403-1EX with a Level 1 Notification.

There were no concerns or questions.

White-Qwest proposed the following language for the course of action the parties would follow if the request were granted:

If Exception Request PC022403-1EX is granted, Qwest will implement a process which will enable retail accounts with “MSN Internet Access Powered by Qwest” narrowband billing arrangements to convert to UNE-P/Resale/UBS without requiring prior USOC/FID removal with a Level 1 Notification. This change will discontinue conversion LSR rejects based solely on the presence of the “MSN Internet Access Powered by Qwest” narrowband billing arrangement USOCs/FID.

Johnson-Eschelon asked why there was a product limitation. Whitt-Qwest stated that he could not answer that question, but could research it and respond through White-Qwest. Arnold-Qwest stated that she was also interested in seeing the response to Johnson’s question. (On 3/3/03, White-Qwest sent Whitt’s response to Johnson-Eschelon and Arnold-USLink by e-mail.) White-Qwest asked if there were any concerns with the course of action language. There were none.

White-Qwest thanked the attendees and adjourned the meeting.


Open Product/Process CR PC031203-1 Detail

 
Title: CLEC access to MLT information in WFA
CR Number Current Status
Date
Area Impacted Products Impacted

PC031203-1 Completed
4/21/2009
PreOrdering Unbundled Loop
Originator: Suellentrop, Craig
Originator Company Name: Qwest Corporation
Owner: Suellentrop, Craig
Director:
CR PM: White, Matt

Description Of Change

Currently, Qwest performs a Mechanized Loop Test (MLT) when converting a voice grade service served by a Qwest switch to an unbundled loop (LX--, re-use only) and places the results of the MLT into the WFA notes screen. Qwest is proposing a manual process whereby it would provide the MLT results that were placed in the WFA notes screen, upon request by any CLEC, when available.

Expected Deliverable:

May 15, 2003


Status History

03/12/03 - Received CR from Qwest

03/12/03 - Received updated/revised CR from Qwest

03/13/03 - Acknowledged CR by CMP P/P Manager

03/27/03 - Distributed Input Cycle Notification - CMPR.03.27.03.F.01451.MtgToSolicitCLECInput

04/08/03 - Input Meeting held

04/16/03 - Discussed at CMP Meeting

04/21/03 - Input Meeting held

04/22/03 - Input Meeting held

05/21/03 - Discussed at CMP Meeting

06/18/03 - Discussed at CMP Meeting

07/16/03 - CR Discussed at CMP Monthly Meeting

8/21/03 - Discussed at CMP Meeting


Project Meetings

CMP Meeting 08-20-03

Suellentrop-Qwest stated that the CR had been implemented in June and recommended a close. The group agreed and the CR was Closed.

===========================================

CMP Meeting 07-16-03

Suellentrop-Qwest stated that the change had been implemented on 6/30 and asked that the CR be moved to CLEC Test status. There were no objections.

================================================ CMP Meeting 06-18-03

Suellentrop-Qwest stated that implementation was scheduled for 6/30.

========================================================== CMP Meeting 05-21-03

Suellentrop-Qwest stated that the initial notification was distributed on 5/15. He stated that there had not been any comments and that he wanted to move the CR to development. ==========================================

04-16-03 - CMP Meeting

Suellentrop-Qwest presented the CR and described the input meetings that had already taken place. Van Meter-AT&T stated that at the earlier input meeting Qwest had resolved all CLEC questions, but that she had wanted to have another input meeting to ensure that all CLECs had an opportunity to ask questions. Suellentrop-Qwest stated that this CR was to implement a pre-order option. Berard-Covad asked how long the MLT results were stored in WFA. Suellentrop-Qwest stated that they were stored as long as the circuit was in use. He stated that and CLEC can request the MLT info. Johnson-Eschelon asked how long a Qwest employee would have to wait to get the MLT results. She asked if the employee would have to call the CSIE center and wait 48 hours. Suellentrop-Qwest stated that he would find out. Johnson-Eschelon stated that the team needed to meet again to discuss this CR.

================================================

Input meeting April 22, 2003

Matt White - Qwest Craig Suellentrop - Qwest Don McKay – ATG Communications Mary Roberts – ATG Communications

White–Qwest reviewed the purpose of the meeting.

McKay-ATG asked that Suellentrop-Qwest walk him through the tests Qwest performs before delivery of a loop. He stated that he was interested in qualifying DSL loops from an Unbundled xDSL-I and and Unbundled ADSL Compatible perspective. He asked how Qwest would know that a loop will work for DSL and clarified he was talking about ADSL and SDSL. Suellentrop-Qwest stated that the question is outside the scope of this CR. However, he explained that there is a set of core tests that Qwest performs when a loop is provisioned. Suellentrop-Qwest described the Core tests and stated that the technical parameters of unbundled loops are discussed in the interconnection unbundled loop tech pub - 77384. He concluded that the only additional test for ADSL compatible loops is a load coil test. McKay-ATG stated that he had no other questions. Roberts-ATG stated that she did not have any additional questions about this CR. There was no input regarding the manual process proposed in this CR. White-Qwest thanked the attendees and adjourned the meeting.

==================================================

Input Meeting April 21, 2003

Attendees Matt White – Qwest Craig Suellentrop – Qwest Michael Derleth – ATG Communications Sharon Van Meter – AT&T Liz Balvin – MCI Bonnie Johnson – Eschelon Mike Reith - ZTel

White-Qwest described the purpose of the meeting. Suellentrop-Qwest described the CR and the proposed process.

Johnson-Eschelon asked if Qwest internal personnel and retail have to follow this same process. Suellentrop-Qwest stated that all retail employees would have to follow the same process. He stated that Wholesale SDCs, who handle CLEC orders, have access to WFA. Johnson-Eschelon stated that she was not sure if retail sales would need this information. She asked if retail maintenance would have access to this information. Suellentrop-Qwest stated that network personnel have access to WFA. He stated that if retail wanted this information, they would need to go through this new process. He stated that retail hasn’t requested this information at this time. Johnson-Eschelon asked if there were any other methods that this information will be communicated. Suellentrop-Qwest stated that there was not.

Johnson-Eschelon asked why the CLECs would need this information. Suellentrop-Qwest stated that Qwest uses this information to validate that an unbundled loop is in good working condition when it is provisioned. He explained that CLECs could use this information if the CLEC is interested in marketing services to the end-user served by that loop. He continued that some CLECs have stated that this info is useful to them in qualifying loops for DSL service.

Johnson-Eschelon asked if the MLT testing process was documented in the PCAT. Suellentrop-Qwest stated that he did not think so. Johnson-Eschelon asked if it would be added to the PCAT. Suellentrop-Qwest stated that Qwest will document that the testing process is happening when it documents the new process in the Loop Qualification and Raw Loop Data Job Aid. White-Qwest asked if there were any additional questions. Van Meter-AT&T stated that all of her questions were answered in the 1st input call and in the CMP meeting. There were no additional questions. White-Qwest stated that there would be another input meeting on Tuesday at the same time, thanked the attendees and adjourned the call.

====================================================

=====================================================

Input Meeting Minutes Tuesday, April 8, 2003

Attendees Craig Suellentrop - Qwest Michelle Thacker – Qwest Deni Toye – Qwest Matt White - Qwest Sharon Van-Meter – AT&T Stephanie Prull - McLeod

White-Qwest described the purpose of the meeting and asked Suellentrop the present the CR. Van Meter-AT&T stated that she may need another input call to satisfy her internal users’ needs.

Suellentrop-Qwest presented the change and proposed implementation method and asked for questions. Van Meter-AT&T Asked when Qwest would respond if AT&T submitted a request. Thacker-Qwest stated the answer would be provided within 48 hours. Prull-Allegiance asked if Qwest would look into circuits without MLT. Suellentrop-Qwest stated that Qwest would not. He explained that if a CLEC gives Qwest a circuit ID, Qwest cannot determine what the circuit was before. Similarly, Qwest cannot perform an MLT test if a CLEC is provisioning a circuit that was not a voice grade circuit served by a Qwest switch before the request or if the circuit was provisioned before the MLT test process was in place. Prull-Allegiance asked if there was anywhere that denotes if an MLT test was done. Toye–Qwest stated that Qwest runs a test on all reuse circuits today and put results in WFA. She explained that if there is nothing in WFA, the circuit was not tested for MLT. Van Meter-AT&T asked if calling the center during business hours would ever result in being connected to a voice mailbox. Thacker-Qwest stated that it would not. Van Meter–AT&T asked if she cloud submit a request via e-mail. Thacker-Qwest stated that Qwest could not provide the same level of care for a request submitted by e-mail. She stated that the 48 hour timer for e-mail requests would start when the e-mail was read. She stated this could add several hours to the process. Van Meter-AT&T asked if she would be issued a ticket number when she called in. Thacker-Qwest stated that she would. Prull–McLeod asked if the 48 hour timeline was escalatable. Thacker-Qwest stated that it was. Van Meter-AT&T asked if this was the only format that Qwest could give the CLECs this information. Van Meter–AT&T stated that Mary Pat Cheshire made a declaration to the FCC that stated that Qwest created hard copies from the WFA. Toye–Qwest stated that the current process is not to print WFA information. White-Qwest asked if AT&T needed hard copies. Van Meter-AT&T stated that AT&T wanted all the info available. Toye–Qwest stated that if Qwest were to print the information, it would show the same information that Qwest was sending to the CLECs via e-mail. She stated that AT&T could print the e-mail for a hard copy identical to what Qwest would produce if Qwest’s process were to print hard copies. Prull–McLeod asked which test would WFA refelct if two MLT tests were run. Toye–Qwest stated that the system would display the most recent test results. Van Meter-AT&T asked that Qwest schedule an additional input call. She also requested a draft of the output from Qwest. Thacker-Qwest stated that the output would consist of a cut-and-paste from WFA. Suellentrop-Qwest stated that today CLECs perform MLT tests on their own circuits. He stated that this process would yield the same information. Prull-McLeod stated that she was familiar with this process and the McLeod was currently using it. Van Meter-AT&T asked what the subject line of the e-mail would contain. She asked that it contain the requester’s name. Prull-McLeod stated that having this sorting capability is important. She suggested including the first initial and last name of requester. Thacker-Qwest stated that Qwest would have to check to ensure there is adequate space in the subject line for the circuit number, requesting company, and name information. Van Meter-AT&T asked if the response e-mail from Qwest would be at or within 48 hours of the request. Thacker-Qwest stated that the response would be within 48 hours, if possible.

White-Qwest suggested that the next input meetings be scheduled for April 21 and 22. Van Meter-AT&T stated that Qwest should send the notification scheduling these meetings, but that the team should discuss this issue at the CMP Meeting. She stated that Qwest should cancel the input meetings if the CMP attendees agreed that they were not necessary. Prull-McLeod and Suellentrop-Qwest agreed. White-Qwest stated that he would issue the notification, thanked the attendees, and adjourned the call.

======================================== 03-19-03 CMP Meeting

Suellentrop-Qwest presented the CR as a walk-on. He proposed an input cycle. There were no questions. CR moved to presented.


Open Product/Process CR PC021103-1 Detail

 
Title: Conditioning for DSL level Data Services in all Products at no charge to the CLEC/DLEC
CR Number Current Status
Date
Area Impacted Products Impacted

PC021103-1 Withdrawn
2/11/2003
pre-ordering, ordering, provisioning, billing resale, unbundled loop, loop, UNE-P
Originator: Buckmaster, Cindy
Originator Company Name: Qwest Corporation
Owner: Buckmaster, Cindy
Director:
CR PM: White, Matt

Description Of Change

Qwest is offering the CLEC/DLEC/Reseller Community the opportunity to request Conditioning (Load Coil and Excessive Bridged Tap Removal) from any copper facility for which the CLEC has ordered Data capability and has requested Conditioning according to the LSOG / ASOG requirements. This Conditioning will be provided to the CLEC/DLEC/Reseller at no charge. All Conditioning parameters will be defined by Qwest in applicable external documentation. Once CLEC/DLEC/Reseller Conditioning has been requested and performed, if the end-user’s Voice Grade service is degraded beyond Voice capability, the necessary Load Coils will be restored and the CLEC who requested the Conditioning will be billed for this restoral. This offering is being made for the Non-Loaded, ADSL Compatible, ISDN and x-DSL-I Capable Unbundled Loop (defined as UBL or Loop below), the Line Sharing family of products (defined as Other below), and for UNE-P and Resale when the provisioning of Qwest DSL is requested.

The effective date of this CR will be determined following the discussion at the February CMP meeting. Prior to an effective date, current processes remain in effect.

This CR may be subject to the conditions described under Change in Law Provisions of the SGAT (Section 2.2).


Status History

02/11/03 - CR submitted

02/11/03 - Clarification meeting held

03/19/03 - Withdrawn at CMP Meeting


Project Meetings

03-19-03 - CMP Meeting

Buckmaster-Qwest presented the reason for withdrawal. There were no questions. The CR moved to Withdrawn.


CenturyLink Response

March 12, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the March 19, 2003, CMP Product/Process Meeting

CMP Community

SUBJECT: Qwest’s Change Request Withdrawal - CR #PC021103-1

Qwest wishes to withdraw CMP CR PC021103-1 CR because the changes it requests are more fully presented and detailed in CMP CRs PC022403-2, PC022403-3, PC022403-4, PC022403-5, PC022403-6, PC022403-7, and PC022403-8. Qwest presented these CRs at the Ad Hoc CMP Meeting on March 3, 2003.

Sincerely, Cindy Buckmaster Qwest Product Manager


Open Product/Process CR PC030503-1 Detail

 
Title: Grandfathering of Consumer Packages
CR Number Current Status
Date
Area Impacted Products Impacted

PC030503-1 Completed
6/18/2003
Ordering Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Harlan, Cindy

Description Of Change

Consumer Packages to be grandparented on May 5, 2003:

Package Name: USOC:

PopularChoice w/ VMS PGOP7

PopularChoice w/o VMS PGOPX

2-Line PopularChoice w/ VMS PGOP8

2-Line PopularChoice w/o VMS PGOPY

CustomChoice PGOCC

2-Line CustomChoice PGOCG

CustomChoice ADL PGOCA

CustomChoice-Complete w/ VMS PGOC7

CustomChoice-Complete w/o VMS PGOCX

2-Line CustomChoice-Complete w/ VMS PGOC8

2-Line CustomChoice-Complete w/o VMS PGOCY

SelectPak with Call Waiting PGOVC

SelectPak grandparented PGOVA

SelectPak with Caller ID PGOVP


Status History

03/05/03 - CR Submitted by Qwest

03/06/03 - CR acknowledged by P/P CMP Manager

3/11/03 - Contacted Qwest - Janean and scheduled Clarification Meeting for 3/17/03 3:30 - 4:30

3/17/03 - Held Clarification Meeting with Qwest

3/19/03 - March CMP Meeting minutes will be posted to the database

4/16/03 - April CMP Meeting minutes will be posted to the database

5/21/03 - May CMP Meeting minutes will be posted to the database

6/18/03 - June CMP Meeting minutes will be posted to the database. The CLECs agreed to close this item as it was implemented May 5, 2003.


Project Meetings

06/21/03 June CMP Meeting Minutes Janean VanDusen –Qwest advised this CR implemented in May and the CLECs agreed ot is okay to close.

5/21/03 May CMP Meeting Minutes Janean VanDusen Qwest advised this CR was implemented May 5, 2003. The notification went out March 18, 2003 effective May 5, 2003. This CR will move to CLEC Test.

4/16/03 April CMP Meeting Minutes PC030503-1 Grandfathering of Consumer Packages

Janean VanDusen Qwest advised this CR is scheduled for implementation May 5, 2003. The notification went out March 18, 2003 effective May 5, 2003.

3/19/03 March CMP Meeting Minutes Janean VanDusen Qwest reviewed and clarified the CR. Janean explained Retail is Grandfathering the packages identified on May 5, 2003.


Open Product/Process CR PC032803-3 Detail

 
Title: Grandfather Centrex , Centrex Plus and Centron service in Colorado, New Mexico, North Dakota and South Dakota
CR Number Current Status
Date
Area Impacted Products Impacted

PC032803-3 Completed
1/21/2004
Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Harlan, Cindy

Description Of Change

Grandfather Centrex, Centrex Plus and Centron service in Colorado, New Mexico, North Dakota and South Dakota on August 1, 2003 and sunset February 1, 2004.

Expected Deliverable:

August 1, 2003


Status History

03-28-03 - CR Received

03-31-03 - CR Acknowledged

04-03-03 - Clarification Meeting

04-16-03 - Presented at CMP Meeting

04-24-03 - Input Meeting

05/21/03 - Discussed at CMP Meeting

06/18/03 - Discussed at CMP Meeting

07/16/03 - CR Discussed at CMP Monthly Meeting

8/21/03 - Discussed at CMP Meeting

9/17/03 - Sep CMP meeting minutes will be posted to the database

10/15/03 - Oct CMP meeting minutes will be posted to the database

10/17/03 - Notification distributed PROD.10.17.03.F.03587.ResaleCentrexPlusCentron_V16

11/3/03 - No comment notificaiton PROD.10.17.03.F.03587.ResaleCentrexPlusCentron_V16

11/14/03 - PROD.11.14.03.F.0103 8.FNL_RESCENTREXCENTRONV16

11/19/03 - Nov CMP meeting minutes will be posted to the database

12/17/03 - Dec CMP meeting minutes will be posted to the database

1/21/03 - Jan CMP meeting minutes will be posted to the database


Project Meetings

CMP Meeting 1/21/04 Janean VanDusen – Qwest advised that this CR was implemented December 1, 2003. The CLECs agreed to change this CR to Completed Status.

CMP Meeting 12/17/03 - Janean VanDusen – Qwest advised that this product is effective December 1, 2003. This CR will remain in CLEC Test status.

CMP Meeting 11/19/03 Janean VanDusen – Qwest advised that this product is effective December 1, 2003. This CR will remain in Development status, until December 1 and then the CLECs agreed that Qwest could change the status to CLEC Test.

CMP Meeting 10-15-03 Janean VanDusen – Qwest advised this project is on track for implementation 12-1-03. This CR will remain in Development Status.

CMP Meeting 9-17-03 Janean Vandusen-Qwest advised that in the last meeting notes the implementation date was captured incorrectly. The correct date is 12/01/03. We are currently still in development.

CMP Meeting 08-20-03

Van Dusen-Qwest stated that implementation had been delayed until 10/1.

============================================

CMP Meeting 07-16-03

White-Qwest stated that there was no change in status.

============================================ CMP Meeting 06-18-03

Van Dusen-Qwest stated that the implementation was scheduled for August 1. ========================================================== CMP Meeting 05-21-03

Van Dusen-Qwest presented the CRs. She suggested moving them to development. ========================================== Input Meeting - 04-24-03

Attendees Janean Van Dusen – Qwest Matt White – Qwest Susan Thompson – Qwest Susie Wells – Qwest Jim Hegarty – Qwest John Steagal – Qwest Lelani Hines - MCI Bonnie Johnson – Eschelon Lori Mendoza – Allegiance

White-Qwest described the purpose of the meeting that and asked Van Dusen-Qwest to present the CRs.

PC040103-1 Van Dusen-Qwest stated that she would be withdrawing PC040103-1 at the May CMP meeting. There were no questions.

PC040103-2 Van Dusen-Qwest presented the CR. Johnson-Eschelon asked if the flat rate would apply to retail. Steagal-Qwest stated that there would be one measured service plan available. He explained that Qwest is going from three measured service plans to one.

PC032803-3 Van Dusen-Qwest presented the CR. Johnson-Eschelon asked if this CR meant that Qwest would not offer Centrex service in the states indicated in the CR. Hegarty-Qwest stated that Johnson’s assumption was correct. He explained that Qwest will not offer Centrex plus in those stated but that Centrex prime will be available. Johnson-Eschelon asked if Eschelon would be able to order anything new that relates Centrex plus. Hegarty-Qwest stated that a CLEC could not add any new common blocks or systems. Johnson-Eschelon asked if this change only applied to new common blocks. Hegarty-Qwest stated that Qwest would file the tariff with the commission and ask for an August implementation date. He explained that, after the August effective date of tariff, month to month arrangements and contracts that expire during 6 month window must be migrated to another product. He stated that customers with contracts that expire after February 2004 will remain in service and will be able to add lines and feature functionality within existing common blocks and systems; however, no new common blocks and systems may be added. Johnson-Eschelon asked about UNE-P Centrex plus. Van Dusen-Qwest read a statement from Michael Whitt “Because the existing UNE-P Centrex product offering is functionally equivalent to the Retail/Resale Centrex Prime offering (which will continue to be available in Retail/Resale), the UNE-P Centrex offering is not being grandparented or changed in conjunction with the Retail/Resale grandparenting activity. This continuation of availability will minimize transition difficulties, while maintaining an equivalent UNE-P product.” Van Dusen-Qwest explained that what is currently offered for UNE-P Centrex is really Centrex Prime. Johnson-Eschelon stated that Eschelon has converted all resale Centrex plus to UNE-P Centrex plus. She asked if the changes would impact Eschelon in this respect. Van Dusen-Qwest explained that the current UNE-P Centrex plus offering is, in reality, Centrex prime. Hegarty-Qwest confirmed Van Dusen’s statement. Johnson-Eschelon stated that she had no further questions.

White-Qwest confirmed that there were no further questions or comments, thanked the attendees, and adjourned the meeting.

==========================================

04-16-03 - CMP Meeting

Van Dusen-Qwest presented the CR and suggested the input meeting be held for two hours on April 24. The CR was moved into Presented status.


Open Product/Process CR PC040103-1 Detail

 
Title: Grandfather of Integrated T 1 in Denver and Seattle.
CR Number Current Status
Date
Area Impacted Products Impacted

PC040103-1 Withdrawn
4/1/2003
Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: White, Matt

Description Of Change

The Integrated T-1 offer in Denver and Seattle (state tariff section 15.4) will be grandfathered on 6/15/03.

Expected Deliverable:

not identified


Status History

04/01/03 - CR Received

04/02/03 - CR Acknowledged

04/02/03 - Clarification Meeting

04/16/03 - Presented at CMP Meeting

05/21/03 - Discussed at CMP Meeting

06/18/03 - Discussed at CMP Meeting


Project Meetings

05-21-03 - CMP Meeting

Van Dusen-Qwest presented the withdrawal.

========================================== Input Meeting - 04-24-03

Attendees Janean Van Dusen – Qwest Matt White – Qwest Susan Thompson – Qwest Susie Wells – Qwest Jim Hegarty – Qwest John Steagal – Qwest Lelani Hines - MCI Bonnie Johnson – Eschelon Lori Mendoza – Allegiance

White-Qwest described the purpose of the meeting that and asked Van Dusen-Qwest to present the CRs.

PC040103-1 Van Dusen-Qwest stated that she would be withdrawing PC040103-1 at the May CMP meeting. There were no questions.

PC040103-2 Van Dusen-Qwest presented the CR. Johnson-Eschelon asked if the flat rate would apply to retail. Steagal-Qwest stated that there would be one measured service plan available. He explained that Qwest is going from three measured service plans to one.

PC032803-3 Van Dusen-Qwest presented the CR. Johnson-Eschelon asked if this CR meant that Qwest would not offer Centrex service in the states indicated in the CR. Hegarty-Qwest stated that Johnson’s assumption was correct. He explained that Qwest will not offer Centrex plus in those stated but that Centrex prime will be available. Johnson-Eschelon asked if Eschelon would be able to order anything new that relates Centrex plus. Hegarty-Qwest stated that a CLEC could not add any new common blocks or systems. Johnson-Eschelon asked if this change only applied to new common blocks. Hegarty-Qwest stated that Qwest would file the tariff with the commission and ask for an August implementation date. He explained that, after the August effective date of tariff, month to month arrangements and contracts that expire during 6 month window must be migrated to another product. He stated that customers with contracts that expire after February 2004 will remain in service and will be able to add lines and feature functionality within existing common blocks and systems; however, no new common blocks and systems may be added. Johnson-Eschelon asked about UNE-P Centrex plus. Van Dusen-Qwest read a statement from Michael Whitt “Because the existing UNE-P Centrex product offering is functionally equivalent to the Retail/Resale Centrex Prime offering (which will continue to be available in Retail/Resale), the UNE-P Centrex offering is not being grandparented or changed in conjunction with the Retail/Resale grandparenting activity. This continuation of availability will minimize transition difficulties, while maintaining an equivalent UNE-P product.” Van Dusen-Qwest explained that what is currently offered for UNE-P Centrex is really Centrex Prime. Johnson-Eschelon stated that Eschelon has converted all resale Centrex plus to UNE-P Centrex plus. She asked if the changes would impact Eschelon in this respect. Van Dusen-Qwest explained that the current UNE-P Centrex plus offering is, in reality, Centrex prime. Hegarty-Qwest confirmed Van Dusen’s statement. Johnson-Eschelon stated that she had no further questions.

White-Qwest confirmed that there were no further questions or comments, thanked the attendees, and adjourned the meeting.

==========================================

04-16-03 - CMP Meeting

Van Dusen-Qwest presented the CR and suggested the input meeting be held for two hours on April 24. The CR was moved into Presented status.


Open Product/Process CR PC040103-2 Detail

 
Title: Grandfather Nebraska and Iowa Measured Service offerings.
CR Number Current Status
Date
Area Impacted Products Impacted

PC040103-2 Completed
4/15/2009
Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: White, Matt

Description Of Change

Measured Service offerings in Iowa and Nebraska will be grandfathered June 15, 2003. The following are the USOCs/ descriptions involved:

IA:

RVM – basic Package $.02 per minute on calls placed

AQG – additional line for Basic Package

RWG – Main Line Value package – includes 6 hr. allowance period in the monthly rate.

AWJ – Additional line for Value Package

NE:

RVE – 1 hr. measured package

RWG – 6 hr. measured package

Expected Deliverable:

not identified


Status History

04/01/03 - CR Received

04/02/03 - CR Acknowledged

04/02/03 - Clarification Meeting

04/16/03 - Presented at CMP Meeting

05/21/03 - Discussed at CMP Meeting

06/18/03 - Discussed at CMP Meeting

07/16/03 - CR Discussed at CMP Monthly Meeting

8/21/03 - Discussed at CMP Meeting

11/17/03 - PROD.11.17.03.F.01071.GrandparentMS_NE_IA

12/8/03 - Final Notice for CR PROD.12.08.F01129.FNL_grandparentMS_ne_IA


Project Meetings

CMP Meeting 08-20-03

Van Dusen-Qwest stated that the CR had been implemented in early July and asked to close it. The group agreed and the CR was Closed.

=============================================

CMP Meeting 07-16-03

Van Dusen-Qwest stated that the implementation was on 6/15. She stated that CR could move to CLEC test.

============================================ CMP Meeting 06-18-03

Van Dusen-Qwest stated that the implementation was scheduled for June 15 and recommended that that CR stay in Development. ========================================================== CMP Meeting 05-21-03

Van Dusen-Qwest presented the CRs. She suggested moving them to development. ========================================== Input Meeting - 04-24-03

Attendees Janean Van Dusen – Qwest Matt White – Qwest Susan Thompson – Qwest Susie Wells – Qwest Jim Hegarty – Qwest John Steagal – Qwest Lelani Hines - MCI Bonnie Johnson – Eschelon Lori Mendoza – Allegiance

White-Qwest described the purpose of the meeting that and asked Van Dusen-Qwest to present the CRs.

PC040103-1 Van Dusen-Qwest stated that she would be withdrawing PC040103-1 at the May CMP meeting. There were no questions.

PC040103-2 Van Dusen-Qwest presented the CR. Johnson-Eschelon asked if the flat rate would apply to retail. Steagal-Qwest stated that there would be one measured service plan available. He explained that Qwest is going from three measured service plans to one.

PC032803-3 Van Dusen-Qwest presented the CR. Johnson-Eschelon asked if this CR meant that Qwest would not offer Centrex service in the states indicated in the CR. Hegarty-Qwest stated that Johnson’s assumption was correct. He explained that Qwest will not offer Centrex plus in those stated but that Centrex prime will be available. Johnson-Eschelon asked if Eschelon would be able to order anything new that relates Centrex plus. Hegarty-Qwest stated that a CLEC could not add any new common blocks or systems. Johnson-Eschelon asked if this change only applied to new common blocks. Hegarty-Qwest stated that Qwest would file the tariff with the commission and ask for an August implementation date. He explained that, after the August effective date of tariff, month to month arrangements and contracts that expire during 6 month window must be migrated to another product. He stated that customers with contracts that expire after February 2004 will remain in service and will be able to add lines and feature functionality within existing common blocks and systems; however, no new common blocks and systems may be added. Johnson-Eschelon asked about UNE-P Centrex plus. Van Dusen-Qwest read a statement from Michael Whitt “Because the existing UNE-P Centrex product offering is functionally equivalent to the Retail/Resale Centrex Prime offering (which will continue to be available in Retail/Resale), the UNE-P Centrex offering is not being grandparented or changed in conjunction with the Retail/Resale grandparenting activity. This continuation of availability will minimize transition difficulties, while maintaining an equivalent UNE-P product.” Van Dusen-Qwest explained that what is currently offered for UNE-P Centrex is really Centrex Prime. Johnson-Eschelon stated that Eschelon has converted all resale Centrex plus to UNE-P Centrex plus. She asked if the changes would impact Eschelon in this respect. Van Dusen-Qwest explained that the current UNE-P Centrex plus offering is, in reality, Centrex prime. Hegarty-Qwest confirmed Van Dusen’s statement. Johnson-Eschelon stated that she had no further questions.

White-Qwest confirmed that there were no further questions or comments, thanked the attendees, and adjourned the meeting.

==========================================

04-16-03 - CMP Meeting

Van Dusen-Qwest presented the CR and suggested the input meeting be held for two hours on April 24. The CR was moved into Presented status.


Open Product/Process CR PC042303-4 Detail

 
Title: Implement New USOC PGO2N
CR Number Current Status
Date
Area Impacted Products Impacted

PC042303-4 Completed
6/5/2003
Preordering, Ordering, Billing Resale (PGOC-, PGOP-, PGOF-)
Originator: Paxton, Mallory
Originator Company Name: Qwest Corporation
Owner: Paxton, Mallory
Director:
CR PM: Harlan, Cindy

Description Of Change

Qwest is implementing a new USOC to identify the second line in a 2-line POTS package. The USOC will not be used for billing or provisioning the line; it will enable us to correctly identify and bill for the elements in the 2-line package account overall.. The impacted packages are identified in the table below.

Expected Deliverable:

Effective 8/9/2003 (or as otherwise determined as part of the Level 4 notification process), CLECs will be required to provide this USOC when ordering a 2-line package.

Fyi: Effective 6/12/03, CLECs will see this USOC on CSRs and Qwest will addd the USOC to orders issued in response to a request to add an impacted package. CLECs will be advised of this change in a Level 1 notification.


Status History

4/23/03: CR Received

4/24/03: CR Acknowledged

4/29/03: Contacted Mallory and scheduled Clarification Call for 5/2/03

5/02/03: Held Clarification Call

5/13/03: Agreed to change the CR# to match the systems SCR# for IMA BPL change and to cross this over after the May CMP meeting as a Manual CR related to a systems CR

5/21/03: May CMP Meeting minutes are posted to the database. This CR will cross over to systems to be handled as a manual workaround to a systems CR.

6/5/03: Changed CR to closed as this was crossed over to systems per May CMP meeting.


Project Meetings

May 21, 2003 CMP Meeting Minutes This CR is notifying the CLECs that effective August 9 this usoc will be required to be put on the LSR. Effective June 12 this usoc will be seen on the CSR, but not be required until August 9. This CR has a related Systems CR that is requesting an IMA BPL edit to require the CLECs to use this usoc. Because this CR is a manual process to the systems CR it will be crossed over to the system team.

CLEC Change Request Clarification Meeting 11:00 a.m. (MDT) / 5/2/03 1-877-561-8688 7385723 PC042303-4 Implement New USOC PGO2N

Mallory Paxton, Qwest Senior Process Analyst Shon Higer, Qwest Senior Process Analyst Janean Van Dusen, Qwest Product Manager Joy McConnell Couch, Qwest Staff Advocate Policy & Law Linda Sanchez-Steinke, Qwest Change Request Project Manager

Introduction of Attendees Introductions of the participants on the Conference Call were made and the purpose of the call discussed.

Review Requested (Description of) Change The description of change requested in the CR was reviewed. Mallory Paxton explained that the USOC is being introduced to identify the second line in a two-line package. The new USOC will be used with the package USOCs PGO2N, PGOCY, PGOC8, PGOPY, PGOP8, PGOFA, PGOFB, PGOVB. CLECs will see the new USOC on service orders, FOCs and CSRs starting in June and will need to provide the USOC when ordering 2 line packages in August. This USOC will not have a charge of its own.

Confirm Areas & Products Impacted Products impacted are Resale POTS, pre-ordering, provisioning and billing.

Confirm Right Personnel Involved Qwest confirmed that the right personnel were involved in the conference call.

Identify/Confirm CLEC’s Expectation CLECs will start seeing this USOC on service orders, FOCs and CSRs starting in June and will need to provide the USOC when ordering 2 line packages starting in August. Identify any Dependent Systems Change Requests

Establish Action Plan (Resolution Time Frame) CLECs will see this USOC on service orders, FOCs and CSRs starting in June and will need to provide the USOC when ordering 2 line packages starting in August.


Open Product/Process CR PC050503-1 Detail

 
Title: Grandparent Switchnet 56.
CR Number Current Status
Date
Area Impacted Products Impacted

PC050503-1 Completed
1/21/2004
Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Harlan, Cindy

Description Of Change

Switchnet 56 will be grandfathered in all 14 Qwest in-region states on 15/2003 with a sunset date of 12/31/2004.

Expected Deliverable:

Grandfathered in all 14 Qwest in-region states on 8/15/2003 with a sunset date of 12/31/2004


Status History

05/05/03 - CR Received

05/05/03- CR Acknowledged

05/05/03 - Clarification Meeting

05/21/03 - Presented at CMP Meeting

06/03/03 - Input Meeting

06/18/03 - Discussed at CMP Meeting

07/16/03 - CR Discussed at CMP Monthly Meeting

8/21/03 - Discussed at CMP Meeting

9/17/03 - Sep CMP meeting minutes will be posted to the database

10/15/03 - Oct CMP meeting minutes will be posted to the database

11/10/03 - PROD.11.10.03.F.xxxxx.ResaleGeneral_V35

11/19/03 - Nov CMP meeting minutes will be posted to the database

12/8/03 - PROD.12.08.03.F.01130.FNL_RESALEGENERALV35

12/17/03 - Dec CMP meeting minutes will be posted to the database

1/21/03 - Jan CMP meeting minutes will be posted to the database


Project Meetings

CMP Meeting 1/21/04 - Janean VanDusen – Qwest advised that this CR was implemented December 15, 2003. The CLECs agreed to change this CR to Completed Status.

CMP Meeting 12/17/03 - Janean VanDusen – Qwest advised Wyoming has been implemented. All other states have an implementation date of December 15, 2003. The CR will move to CLEC Test status.

CMP Meeting 11-19-03 Janean VanDusen – Qwest advised Wyoming has been implemented. All other states have an implementation date of December 15, 2003. The CR will remain in Development status.

CMP Meeting 10-15-03 Janean VanDusen – Qwest advised Wyoming was implemented 8-15-03. All other states are planned for 12-15-03. This CR will remain in Development Status.

CMP Meeting 9-17-03 Janean VanDusen advised this is applicable for all states. Wyoming was implemented 8-15-03 and all other states are targeted for 12/15/03.

CMP Meeting 08-20-03

Van Dusen-Qwest stated that Wyoming had implemented on 8/15 and the other states would implement in 10/15.

===========================================

CMP Meeting 07-16-03

Van Dusen-Qwest stated that Wyoming would implement on 8/15 and the other states would implement in October.

=========================================== CMP Meeting 06-18-03

Van Dusen-Qwest stated that the implementation for Wyoming was on schedule and the other states were on track for October. She recommended that that CR move to Development. ================================================ 05-21-03 - CMP Meeting

Van Dusen-Qwest presented the CR and stated that she was modifying the description of change to add all 14 Qwest in-region states. She suggested an input meeting on June 3 at 11 AM MT.

=================================================

Input Meeting – 06-03-03

Attendees Matt White – Qwest Janean Van Dusen – Qwest Skip Olson – Qwest Barb Newton – Qwest Richard Journey – Qwest Mallory Paxton – Qwest Dalene Fuqua – Qwest Bonnie Johnson – Eschelon

White-Qwest welcomed the attendees, described the purpose of the meeting and asked Van Dusen-Qwest to describe the CRs. Van Dusen-Qwest described the CRs.

050703-6

Johnson-Eschelon asked if this CR would follow the same format as the previous grandfathering CRs. Fuqua-Qwest and Newton-Qwest stated that it would.

050503-2

Johnson-Eschelon asked if grandfathering and grandparenting the same and if they were different from retiring. Van Dusen-Qwest stated that grandfathering and grandparenting were synonymous and that they did not mean the same thing as retiring. Johnson-Eschelon asked if only new customers would be impacted. Van Dusen-Qwest stated that was correct.

050503-1

Johnson-Eschelon asked what switchnet 56 was. Olson-Qwest stated that it was digital data just like ISDN. He explained that switchnet can only run at 58 kbps and that there is a lack of demand for this product.

========================================================== CMP Meeting 05-21-03


Open Product/Process CR PC050503-2 Detail

 
Title: Grandfather SVDS in all state tariffs including FCC tariff.
CR Number Current Status
Date
Area Impacted Products Impacted

PC050503-2 Withdrawn
11/14/2012
Provisioning Resale, UNE-P
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Brummett , Lee
Director:
CR PM: Lorence, Susan

Description Of Change

SVDS will be grandfathered in all states effective 8/15/03.

Expected Deliverable:

Grandfather SVDS effective 8/15/03


Status History

05/05/03 - CR Submitted

05/05/03 - Acknowledged CR

05/13/03 - Claification Meeting

05/21/03 - Presented at CMP Meeting

06/03/03 - Input Meeting

06/18/03 - Discussed at CMP Meeting

07/16/03 - CR Discussed at CMP Monthly Meeting

8/21/03 - Discussed at CMP Meeting

9/17/03 - Sep CMP meeting minutes will be posted to the database

10/17/03 - Oct CMP meeting minutes will be posted to the database

11/19/03 - Nov CMP meeting minutes will be posted to the database

12/17/03 - Dec CMP meeting minutes will be posted to the database

1/21/03 - Jan CMP meeting minutes will be posted to the database

2/18/04 -Feb CMP Meeting notes will be posted to the project meeting section

3/17/04 - March CMP meeting notes will be posted to the project meeting section

4/21/04 - April CMP meeting notes will be posted to the project meeting section

5/19/04 - May CMP Meeting notes will be posted to the project meeting section

6/16/04 - June CMP Meeting notes will be posted to the project meeting section

7/21/04 - July CMP Meeting notes will be posted to the project meeting section

8/16/04 - August CMP meeting mintues will be posted to the database

9/15/04 - September CMP Meeting minutes will be posted to the database


Project Meetings

11/14/12 Product/Process CMP Meeting Mark Coyne - CenturyLink said this CR was also on the Deferred list and was moved to Pending Withdrawal status. Mark said CenturyLink will like to move the CR to Withdrawn. There were no objections.

10/17/12 Product/Process CMP Meeting Mark Coyne - CenturyLink said this was also a CR that was on the Deferred list from several months ago and that CenturyLink will be moving this CR to Pending Withdrawal for November.

08/15/12 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed that in the July meeting, CenturyLink had asked the owner of each Deferred CR to determine if it should remain in Deferred status, is it should be Withdrawn, or whether it should be re- evaluated. Mark then reviewed the status of each CR as listed on the Attachment:

PC050503-2 Grandfather SVDS in all state tariffs including FCC tariff - CenturyLink is checking to see if there are any current customers for this product and will determine if the CR can be withdrawn.

9/15/04 CMP Meeting Minutes Cindy Macy- Qwest advised that this CR has been pending FCC approval for quite some time. Qwest would like to move this CR to deferred status. Our SME will continue to monitor the CR and when the FCC approval occurs we will put this CR back on the agenda in Development Status. This CR will move to Deferred Status.

8/16/04 CMP Meeting Mintues Cindy Macy – Qwest advised this CR is pending FCC tariff approval. This CR will remain in Development Status.

July 21, 2004 Janean Van Dusen – Qwest advised that the effective date for this CR is still pending. This CR will remain in Development status.

June 16, 2004 Janean Van Dusen – Qwest reported that this CR is still pending. The FCC tariff is still waiting for an effective date. This CR will remain in Development Status.

May 19, 2004 CMP Meeting notes: Janean Van Dusen – Qwest advised that this CR remains on hold pending FCC approval. This CR will remain in Development Status.

April 21, 2004 CMP Meeting notes: Janean VanDusen – Qwest advised there is not an implementation date as of yet for this CR. This CR will remain in Development Status.

March 17, 2004 CMP Meeting notes: Janean Van Dusen – Qwest advised that the implementation date is still pending. This CR will remain in Development Status.

February 18, 2004 CMP Meeting Janean Van Dusen – Qwest provided status. This CR is still pending FCC approval. This CR will remain in Development Status.

CMP Meeting 1/21/04 Janean Van Dusen – Qwest advised this CR is still waiting for a date. It is in front of the FCC pending approval. This CR will remain in Development Status.

CMP Meeting 12/17/03 - Janean VanDusen – Qwest advised there is not an effective date for this CR as of yet. The CR will remain in Development status.

CMP Meeting 11/19/03 Janean VanDusen – Qwest advised there is not an effective date for this CR as of yet. The CR will remain in Development status.

CMP Meeting 10-15-03 Janean VanDusen – Qwest advised there is not an effective date for this project as of yet. This CR will remain in Development Status.

CMP Meeting 9-17-03 Janean advised the FCC tariff does not have an effective date as of yet. This CR will stay in Development status.

CMP Meeting 08-20-03

Van Dusen-Qwest stated that no precise implementation date was available.

============================================

CMP Meeting 07-16-03

Van Dusen-Qwest stated that the implementation date would be pushed back from 8/15.

=========================================== CMP Meeting 06-18-03

Van Dusen-Qwest stated that the implementation was scheduled for August although it may slip. She recommended that that CR move to Development. ========================================================== Input Meeting – 06-03-03

Attendees Matt White – Qwest Janean Van Dusen – Qwest Skip Olson – Qwest Barb Newton – Qwest Richard Journey – Qwest Mallory Paxton – Qwest Dalene Fuqua – Qwest Bonnie Johnson – Eschelon

White-Qwest welcomed the attendees, described the purpose of the meeting and asked Van Dusen-Qwest to describe the CRs. Van Dusen-Qwest described the CRs.

050703-6

Johnson-Eschelon asked if this CR would follow the same format as the previous grandfathering CRs. Fuqua-Qwest and Newton-Qwest stated that it would.

050503-2

Johnson-Eschelon asked if grandfathering and grandparenting the same and if they were different from retiring. Van Dusen-Qwest stated that grandfathering and grandparenting were synonymous and that they did not mean the same thing as retiring. Johnson-Eschelon asked if only new customers would be impacted. Van Dusen-Qwest stated that was correct.

050503-1

Johnson-Eschelon asked what switchnet 56 was. Olson-Qwest stated that it was digital data just like ISDN. He explained that switchnet can only run at 58 kbps and that there is a lack of demand for this product.

========================================================== CMP Meeting 05-21-03


Open Product/Process CR PC032703-2 Detail

 
Title: Modifications to existing requirement to have Voice Circuit in place before DSL can be added on Line Sharing Product Family
CR Number Current Status
Date
Area Impacted Products Impacted

PC032703-2 Completed
1/21/2004
Line Sharing
Originator: Buckmaster, Cindy
Originator Company Name: Qwest Corporation
Owner: Buckmaster, Cindy
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Qwest is offering a change to the existing process of delivering CLEC requested splitter capability only on an existing Voice service. Qwest is extending the opportunity for the CLEC/DLEC Community to request the provisioning of the splitter prior to completion of the Voice service order. This change will be provided to the CLEC/DLEC at no additional charge. All parameters will be defined by Qwest in applicable external documentation.

This offering is being made for requests that include Line Sharing, Line Splitting and Loop Splitting (identified as Other below).

The proposed effective date of this CR is 08-04-03. Prior to an effective date, current processes remain in effect.

This CR may be subject to the conditions described under Change in Law Provisions of the SGAT (Section 2.2).


Status History

03-27-03 - CR Recieved

03-27-03 - CR Acknowledged

03-28-03 - Clarification Meeting held

04-16-03 - Presented at CMP Meeting

04-25-03 - Input meeting

05/21/03 - Discussed at CMP Meeting

06/18/03 - Discussed at CMP Meeting

07/16/03 - CR Discussed at CMP Monthly Meeting

08/07/03 - Qwest issued PROD.08.07.03.F.03493.Line_Sharing_V13 effective date 8/8/03

08/21/03 - Discussed at CMP Meeting

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

1/21/04 January CMP Meeting Linda Sanchez-Steinke with Qwest said this CR was opened last March on Product and Process and has remained open for system changes. When this CR was opened, there apparently was confusion with Qwest employees because there was a Systems CR, SCR030603-01EXSC, that was opened for the same reason, to enable CLECs to submit a single LSR for voice & data. PC032703-2 has stayed open because Line & Loop Splitting programming is scheduled for April 04. Qwest would like to close this CR and track the open system work on the Systems CR. Mike Zulevic with Covad said that since this CR has been open for so long, he is concerned that the changes be implemented and the open System CR be cross-referenced with the information in the Product Process CR. It was agree that this CR would be moved to Completed status.

12/17/03 December CMP Meeting Cindy Buckmaster with Qwest said the CR is in the same status; Line Sharing and Loop Splitting for N and T orders will be implemented in April 2004. This CR will remain in Development status.

11/19/03 November CMP Meeting Cindy Buckmaster with Qwest said that the CR status is the same as last month. The capability to place one request for voice and data was implemented in August. Line Splitting and Loop Splitting will be implemented in April 2004. Liz Balvin with MCI said she has a walk-on for the Systems meeting to discuss single LSR for Loop Splitting and has a question if they can submit a single LSR for conversion of non-digitally capable loop. Cindy said that Qwest is working on that process. By telling the voice customer, as you ask Qwest to relate the orders, then we will have the voice delayed and the orders will go in together. There is sometimes a problem making sure to get the orders related. Steve Kast with Qwest had questions about submitting 1 LSR for Loop Splitting on analog loops to convert to digital capable loop and submission of line splitting customers migrating to Loop Splitting. Cindy said that the purpose of this CR was to submit 1 order for new voice service with the ability to accommodate new data service. Because the discussion was not clearly related to this CR there will be a separate call scheduled. This CR will remain in Development Status.

10/15/03 October CMP Meeting Cindy Buckmaster with Qwest provided an update that Line sharing and Loop Splitting programming has not been completed and is scheduled for April 2004 and the CR should be left open until then. Cindy said this is also tied to the AI071603-1, Will Qwest offer CLECs a process to grant blanket approval for DSL Conditioning, which will addressed when the programming is completed. At that time we will arrange an ad hoc CLEC meeting. This CR will remain in Development Status.

09/17/03 September CMP Meeting Linda Sanchez-Steinke provided an update on this CR for Cindy Buckmaster who was unable to attend the CMP meeting. This CR has been delayed for an additional release, IMA 14.0 in December. John Berard with Covad had a question that he will e-mail to Linda.

CMP Meeting 08-20-03

White-Qwest stated that the implementation was still in progress and recommended that the CR remain in Development.

==========================================

CMP Meeting 07-16-03

Buckmaster-Qwest stated that this CR was scheduled for an August 4 implementation. She stated that training was ongoing and that CLECs should try to participate. She explained that CLECs could sign up on the Qwest web site.

============================================ CMP Meeting 06-18-03

Buckmaster-Qwest stated that Qwest was on track for an August 2003 implementation. Berard-Covad asked if he could submit a single resale LSR for voice and data. Buckmaster-Qwest stated that she was not sure and would get back to Berard. Berard-Coavd asked if this change had any impact on the Twin Rivers CR. Buckmaster-Qwest stated that Qwest was doing no additional work on that product line. Zulevic-Covad asked if Qwest was not doing this work because of the systems prioritization. Buckmaster-Qwest stated that the primary reason was because of line sharing program questions. She stated that she was not sure how Qwest will address these products; partly because of the order on the triennial review. Zulevic-Covad stated that he thought the product had already been developed. Buckmaster-Qwest stated that the software has not been developed. Zulevic-Covad stated that he had talked to Twin Rivers and thought that they would request a re-evaluation of the LOE on their CR. He stated that they would probably wait until the triennial review was released.

========================================================== CMP Meeting 05-21-03

Bockmaster-Qwest described the CRs and suggested the be put into development. Zulevic-Covad asked of Qwest had looked into line sharing. Buckmaster-Qwest stated that she would send Zulevic an e-mail. (On 5/22, White-Qwest forwarded Zulevic and e-mail from Buckmaster.) ========================================== Input Meeting 04-25-03

Attendees Matt White – Qwest Cindy Buckmaster – Qwest Sharon Van Meter – AT&T Caren Schaffner – MCI Chad Werner – WorldCom Kim Isaacs – Eschelon Bonnie Johnson - Eschelon Mike Zulavic – Covad Lisa McNabola – Multiband Communications

White-Qwest described the purpose of the meeting and asked Buckmaster to describe the CRs. Buckmaster-Qwest described the CRs. She stated that implementation was scheduled for August 2003. She explained that there were two CRs in order to distinguish between the line sharing product family from the resale and UNE-P product family. She went on to explain the current ordering process and stated that the capability of resale and UNE-P customers to identify whether their customer will qualify is limited to a search of working telephone numbers. She explained that currently, CLECs must have a working number to determine if DSL is available. She stated that recently, however, a Qwest initiated Systems CR that was introduced to give CLECs ability to search by address. She noted that this CR would be implemented on August 4.

Buckmaster-Qwest explained that currently the process in Resale is for CLECs to provide Resold Qwest Voice and DSL (in other words, one customer of record). She stated that the voice order must be completed before a CLEC can order data and the CLEC must search by the working telephone number to determine if there is DSL capability. In the future, CLECs will be able to request voice and data on the same order for the same customer. Qwest will tie those requests for the two types of services together and Qwest assignments will look for DSL capable facilities. She stated that this process would exist under the DSL interval. CLECs will be able to check for DSL capability ahead of time using the new tool that can now check for DSL capability based on address. There were no questions about resale.

Buckmaster-Qwest stated that for Line Sharing (Qwest provided Voice/CLEC provided Data) there are two customers of record. Today, the Qwest voice order must be complete before a CLEC data order can be processed. However, after august 4th, the process is different; the end user will place an order for voice, and once the telephone number is assigned, the CLEC can add the number to the DSL request to link it to the voice order. She explained that there is one complication that she wanted the CLECs to be aware of: When the end user places a voice order, they receive a voice interval, however, when the data order is placed, it receives a data interval. This situation creates the possibility of having analog facilities assigned to the voice order when digital facilities will be required to carry the data. That could result in a longer interval to install the data (i.e., if the assigned facility requires line conditioning).

Zulevic-Covad asked what the normal voice interval was. Buckmaster-Qwest stated that she though it was 2 days. Zulevic-Covad asked if the end user states that they will be ordering DSL from another provider, could Qwest look for DSL capable facilities. Buckmaster-Qwest stated that although Qwest is looking for a way to ensure data capable facilities could be assigned on the voice request in this situation, there is not currently a way to do that without unnecessarily assigning data capable facilities to all voice requests. Therefore, at this time, Qwest could not accommodate that request. Zulevic-Covad asked if Qwest had looked into ways of identifying it as a potential data order. Buckmaster-Qwest stated that Qwest was still trying to work through that issue. She explained that, thus far, Qwest had not found a solution but were still working on it. Zulevic-Covad stated that the line sharing products currently have a 3-day interval and Qwest is saying that could be pushed out to 5 (due to Line Move or UDC Removal) or 15 days (due to Conditioning – Load Coil and/or Bridged Tap Removal). Buckmaster-Qwest stated that Zulevic was correct. She stated that if the customer asked for the retail and line share order to be due at the same time, Qwest could link the orders and minimize the occurrences of delay to times when conditioning is required.

Buckmaster-Qwest stated that one Qwest concern is that CLECs will not check for data capability before placing linked orders. She stated that if CLECs do check for data capability, it would help Qwest avoid rejecting orders when facilities are not DSL capable. Zulevic-Covad asked if the voice service had to be in place for line shared services. Buckmaster-Qwest stated that the voice service must only be ordered.

Zulevic-Covad asked if Qwest has looked at migration of services. He stated that he had I submitted a CR for this. Buckmaster-Qwest stated that she was not familiar with the particular CR. White-Qwest stated that he would send Buckmaster the CR in question.

Buckmaster-Qwest stated that for Line Splitting, as there is one customer of record, Qwest and can accept simultaneous orders if data capable facilities are available. Zulevic-Covad asked if only one FOC will be returned. Buckmaster-Qwest stated that she thought that Line Splitting orders got a FOC at 24 hours. She explained that data capable facilities do not have FOC in 24 hours. She stated that she could not commit that the CLECs will receive only one. She stated that they will receive one in the first 24 hours and the Qwest will send another FOC if there is a need to modify the delivery date (ex. line conditioning).

Buckmaster-Qwest stated that Loop Splitting was handled just like Line Splitting.

Buckmaster-Qwest stated that Qwest did not want to force the end user into a longer interval for voice while they wait for data, so Qwest leaves that decision up to the CLEC.

Zulevic-Covad asked where the process was for resold Qwest voice with a second party DSL. He stated that there is currently an unprioritized systems CR for this product. Buckmaster-Qwest stated that the changes discussed on this call are only for existing products. Zulevic-Covad stated that the implementation of these changes requires OSS work. Buckmaster-Qwest stated that there was currently a Qwest originated systems CR, slated for implementation in 13.0, that is intended to provide the CLEC the ability to qualify a circuit at an address level. She stated that there are also other minor systems changes to allow CLECs to pass voice orders with a data requirement. There were no further questions. White and Buckmaster thanked the attendees and adjourned the meeting.

=============================

04-16-03 - CMP Meeting

Buckmaster-Qwest presented the CRs and suggested that the input meeting be held April 25th. Balvin-WorldCom asked if there was a systems CR associated with this. Buckmaster-Qwest stated that there was but that she did not know the number. (The CR number is SCR030603-01.) Zulevic-Covad asked if this would impact line sharing with resale voice. Buckmaster-Qwest stated that it would only impact existing products. Johnson-Eschelon asked if a CLEC could qualify by address under the new process. Buckmaster-Qwest stated that a CLEC could. CR moved to presented.


Open Product/Process CR PC032703-3 Detail

 
Title: Modifications to existing requirement to have Voice Circuit in place before Qwest DSL can be added on Resale and UNE P Services
CR Number Current Status
Date
Area Impacted Products Impacted

PC032703-3 Completed
10/15/2003
Resale, UNE-P
Originator: Buckmaster, Cindy
Originator Company Name: Qwest Corporation
Owner: Buckmaster, Cindy
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Qwest is offering a change to the existing process of delivering Qwest Data only on an existing Qwest POTS (Voice) service. Qwest is extending the opportunity for the CLEC/ Reseller Community to request both the Qwest Voice and Qwest Data services at the same time on one request. This change will be provided to the CLEC/ Reseller at no additional charge. All parameters will be defined by Qwest in applicable external documentation.

This offering is being made for requests that include Resale of both Qwest Voice and Qwest DSL Services. Products affected include UNE-P and Resale (identified as UNE-P and Resale below).

The proposed effective date of this CR is 08-04-03. Prior to an effective date, current processes remain in effect.


Status History

03-27-03 - CR Recieved

03-27-03 - CR Acknowledged

03-28-03 - Clarification Meeting held

04-16-03 - Presented at CMP Meeting

04-25-03 - Input meeting

05/21/03 - Discussed at CMP Meeting

06/18/03 - Discussed at CMP Meeting

07/16/03 - CR Discussed at CMP Monthly Meeting

08/01/03 - Qwest sent CMP notification PROD.08.01.03.F.03491.DSL_PreOrdering, effective 8/4/03

8/20/03 - Discussed at CMP Meeting

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

10/15/03 October CMP Meeting Cindy Buckmaster with Qwest gave an update on this CR. Resale and UNE-P with data and voice can be ordered at the same time. Bonnie Johnson with Eschelon said she submitted an external document request asking for further clarification to the PCAT because it did not tie the Loop Qualification and the PCAT clearly. Cindy said that she appreciates the feedback and encouraged request for clarification anytime documentation is unclear. It was agree this CR should be moved to Completed Status.

09/17/03 September CMP Meeting Linda Sanchez-Steinke provided an update on this CR for Cindy Buckmaster who was unable to attend the CMP meeting. This CR was implemented with IMA release 8/4. John Berard with Covad had a question that he will e-mail to Linda. This CR will remain in CLEC Test.

CMP Meeting 08-20-03

White-Qwest stated that change was implemented on 8/4 and recommended it move into CLEC Test. Zulevic-Covad asked if a process has been developed to ensure a voice service is provisioned on a DSL capable loop when the customer indicates they will be adding CLEC data (Line Sharing). White-Qwest stated that he would take the question back.

=============================================

CMP Meeting 07-16-03

Buckmaster-Qwest stated that this CR was scheduled for an August 4 implementation. She stated that training was ongoing and that CLECs should try to participate. She explained that CLECs could sign up on the Qwest web site.

============================================ CMP Meeting 06-18-03

Buckmaster-Qwest stated that Qwest was on track for an August 2003 implementation. Berard-Covad asked if he could submit a single resale LSR for voice and data. Buckmaster-Qwest stated that she was not sure and would get back to Berard. Berard-Coavd asked if this change had any impact on the Twin Rivers CR. Buckmaster-Qwest stated that Qwest was doing no additional work on that product line. Zulevic-Covad asked if Qwest was not doing this work because of the systems prioritization. Buckmaster-Qwest stated that the primary reason was because of line sharing program questions. She stated that she was not sure how Qwest will address these products; partly because of the order on the triennial review. Zulevic-Covad stated that he thought the product had already been developed. Buckmaster-Qwest stated that the software has not been developed. Zulevic-Covad stated that he had talked to Twin Rivers and thought that they would request a re-evaluation of the LOE on their CR. He stated that they would probably wait until the triennial review was released.

========================================================== CMP Meeting 05-21-03

Bockmaster-Qwest described the CRs and suggested the be put into development. Zulevic-Covad asked of Qwest had looked into line sharing. Buckmaster-Qwest stated that she would send Zulevic an e-mail. (On 5/22, White-Qwest forwarded Zulevic and e-mail from Buckmaster.) ========================================== Input Meeting 04-25-03

Attendees Matt White – Qwest Cindy Buckmaster – Qwest Sharon Van Meter – AT&T Caren Schaffner – MCI Chad Werner – WorldCom Kim Isaacs – Eschelon Bonnie Johnson - Eschelon Mike Zulavic – Covad Lisa McNabola – Multiband Communications

White-Qwest described the purpose of the meeting and asked Buckmaster to describe the CRs. Buckmaster-Qwest described the CRs. She stated that implementation was scheduled for August 2003. She explained that there were two CRs in order to distinguish between the line sharing product family from the resale and UNE-P product family. She went on to explain the current ordering process and stated that the capability of resale and UNE-P customers to identify whether their customer will qualify is limited to a search of working telephone numbers. She explained that currently, CLECs must have a working number to determine if DSL is available. She stated that recently, however, a Qwest initiated Systems CR that was introduced to give CLECs ability to search by address. She noted that this CR would be implemented on August 4.

Buckmaster-Qwest explained that currently the process in Resale is for CLECs to provide Resold Qwest Voice and DSL (in other words, one customer of record). She stated that the voice order must be completed before a CLEC can order data and the CLEC must search by the working telephone number to determine if there is DSL capability. In the future, CLECs will be able to request voice and data on the same order for the same customer. Qwest will tie those requests for the two types of services together and Qwest assignments will look for DSL capable facilities. She stated that this process would exist under the DSL interval. CLECs will be able to check for DSL capability ahead of time using the new tool that can now check for DSL capability based on address. There were no questions about resale.

Buckmaster-Qwest stated that for Line Sharing (Qwest provided Voice/CLEC provided Data) there are two customers of record. Today, the Qwest voice order must be complete before a CLEC data order can be processed. However, after august 4th, the process is different; the end user will place an order for voice, and once the telephone number is assigned, the CLEC can add the number to the DSL request to link it to the voice order. She explained that there is one complication that she wanted the CLECs to be aware of: When the end user places a voice order, they receive a voice interval, however, when the data order is placed, it receives a data interval. This situation creates the possibility of having analog facilities assigned to the voice order when digital facilities will be required to carry the data. That could result in a longer interval to install the data (i.e., if the assigned facility requires line conditioning).

Zulevic-Covad asked what the normal voice interval was. Buckmaster-Qwest stated that she though it was 2 days. Zulevic-Covad asked if the end user states that they will be ordering DSL from another provider, could Qwest look for DSL capable facilities. Buckmaster-Qwest stated that although Qwest is looking for a way to ensure data capable facilities could be assigned on the voice request in this situation, there is not currently a way to do that without unnecessarily assigning data capable facilities to all voice requests. Therefore, at this time, Qwest could not accommodate that request. Zulevic-Covad asked if Qwest had looked into ways of identifying it as a potential data order. Buckmaster-Qwest stated that Qwest was still trying to work through that issue. She explained that, thus far, Qwest had not found a solution but were still working on it. Zulevic-Covad stated that the line sharing products currently have a 3-day interval and Qwest is saying that could be pushed out to 5 (due to Line Move or UDC Removal) or 15 days (due to Conditioning – Load Coil and/or Bridged Tap Removal). Buckmaster-Qwest stated that Zulevic was correct. She stated that if the customer asked for the retail and line share order to be due at the same time, Qwest could link the orders and minimize the occurrences of delay to times when conditioning is required.

Buckmaster-Qwest stated that one Qwest concern is that CLECs will not check for data capability before placing linked orders. She stated that if CLECs do check for data capability, it would help Qwest avoid rejecting orders when facilities are not DSL capable. Zulevic-Covad asked if the voice service had to be in place for line shared services. Buckmaster-Qwest stated that the voice service must only be ordered.

Zulevic-Covad asked if Qwest has looked at migration of services. He stated that he had I submitted a CR for this. Buckmaster-Qwest stated that she was not familiar with the particular CR. White-Qwest stated that he would send Buckmaster the CR in question.

Buckmaster-Qwest stated that for Line Splitting, as there is one customer of record, Qwest and can accept simultaneous orders if data capable facilities are available. Zulevic-Covad asked if only one FOC will be returned. Buckmaster-Qwest stated that she thought that Line Splitting orders got a FOC at 24 hours. She explained that data capable facilities do not have FOC in 24 hours. She stated that she could not commit that the CLECs will receive only one. She stated that they will receive one in the first 24 hours and the Qwest will send another FOC if there is a need to modify the delivery date (ex. line conditioning).

Buckmaster-Qwest stated that Loop Splitting was handled just like Line Splitting.

Buckmaster-Qwest stated that Qwest did not want to force the end user into a longer interval for voice while they wait for data, so Qwest leaves that decision up to the CLEC.

Zulevic-Covad asked where the process was for resold Qwest voice with a second party DSL. He stated that there is currently an unprioritized systems CR for this product. Buckmaster-Qwest stated that the changes discussed on this call are only for existing products. Zulevic-Covad stated that the implementation of these changes requires OSS work. Buckmaster-Qwest stated that there was currently a Qwest originated systems CR, slated for implementation in 13.0, that is intended to provide the CLEC the ability to qualify a circuit at an address level. She stated that there are also other minor systems changes to allow CLECs to pass voice orders with a data requirement. There were no further questions. White and Buckmaster thanked the attendees and adjourned the meeting.

=============================

04-16-03 - CMP Meeting

Buckmaster-Qwest presented the CRs and suggested that the input meeting be held April 25th. Balvin-WorldCom asked if there was a systems CR associated with this. Buckmaster-Qwest stated that there was but that she did not know the number. (The CR number is SCR030603-01.) Zulevic-Covad asked if this would impact line sharing with resale voice. Buckmaster-Qwest stated that it would only impact existing products. Johnson-Eschelon asked if a CLEC could qualify by address under the new process. Buckmaster-Qwest stated that a CLEC could. CR moved to presented.


Open Product/Process CR PC061203-1 Detail

 
Title: Soft Coding of Value Choice Features
CR Number Current Status
Date
Area Impacted Products Impacted

PC061203-1 Completed
11/19/2003
Ordering, Provisioning Resale POTS
Originator: Paxton, Mallory
Originator Company Name: Qwest Corporation
Owner: Paxton, Mallory
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Level 4 Notification of Change in Value Choice Packages

Change Call Waiting (USOCs ESX or N2W), Long Distance Alert (USOC LWE), and Caller ID (USOC NNK) to optional features included in the Value Choice package prices but not automatically ordered as part of the packages. This means the package USOCs PCV6X (Value Choice) and PGOVB (2-Line Value Choice) will no longer automatically include these features. If desired, these features must be ordered separately by the CLEC. If not ordered, they will not be provisioned. If ordered, they will continue to be included in the package rate and will not incur additional charges.


Status History

06/12/03 - CR Received

06/12/03 - CR Acknowledged

06/23/03 - Held Clarification Meeting

07/16/03 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

08/20/03 - August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/20/03 - Qwest sent notification PROD.10.20.03.F.03589.ValueChoice_V11 effective 10/21/03

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

11/19/03 November CMP Meeting Linda Sanchez-Steinke with Qwest gave an update on this CR. The changes were effective on 10/21/03 and Mallory Paxton has received no questions and had suggested that the CR be moved to completed status. It was agreed this CR will move to Completed.

10/15/03 October CMP Meeting Mallory Paxton with Qwest gave an update on this CR. The changes are scheduled to go into release 13.01. Mallory suggested that the CR move to CLEC test. It was agreed this CR will move to CLEC test.

09/17/03 September CMP Meeting Mallory Paxton with Qwest gave an update on this CR. The PCAT will be updated and targeted implementation is 10/22/03. This CR will remain in Development status.

08/20/03 August CMP Meeting Mallory Paxton with Qwest provided an update. Changes will be effective 10/20/03 and a level 4 notification will be provided to CLECs. This CR will be moved to Development status.

07/16/03 July CMP Meeting Terri Kilker with Qwest presented this CR With the implementation of this CR, Call Waiting, Long Distance Alert and Caller ID will be soft coded in the Value Choice Features so the customer can chose the features if they want them. If the end user wants these features, the CLEC should identify them on the LSR. Bonnie Johnson asked if ordering the features would be a manual process and Terri answered no, that CLECs will need to order the three optional services by USOC separately. Targeted implementation is 10/20/03.

CLEC Change Request Clarification Meeting 2:30 p.m. (MT) / Monday, June 23, 2003

1-877-554-8688 PIN 1930099 # PC061203-1 Soft Coding of Value Choice Features Name/Company:

Janean Van Dusen, Qwest Mallory Paxton, Qwest Ellen Munz, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change The description of the change requested in the CR was reviewed. Mallory Paxton said that Value Choice Packages, USOCs PCV6X, Value Choice and PGOVB, 2-Line Value Choice will no longer automatically include the following features: Call Waiting (USOCs ESX or N2W), Long Distance Alert (USOC LWE) and Caller ID (USOC NNK). Call Waiting, Long Distance Alert and Caller ID can be ordered separately as optional features but will not be automatically ordered as part of the Value Choice packages. This change will be effective on 10/20/03 (IMA/FTS/CRM Release 13.01)

Confirm Areas & Products Impacted Product impacted is Resale POTS

Confirm Right Personnel Involved Qwest confirmed that Mallory Paxton and Janean Van Dusen are correct personnel to resolve the CR.

Identify/Confirm CLEC’s Expectation Qwest plans to make this change effective on 10/20/03 (IMA/FTS/CRM Release 13.01)

Identify any Dependent Systems Change Requests No dependent change requests were identified.

Establish Action Plan (Resolution Time Frame) Mallory Paxton will present this CR at the July CMP Meeting.


Open Product/Process CR PC070103-2 Detail

 
Title: Processing of EAS (Extended Area Service) Generated TGSRs (Trunk Group Service Requests)
CR Number Current Status
Date
Area Impacted Products Impacted

PC070103-2 Completed
7/21/2004
Ordering, Provisioning EAS - Extended area service Local Switching
Originator: LaBate, Michael
Originator Company Name: Qwest Corporation
Owner: Saunders, Craig
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Currently the Service Delivery Center (SDC) processes internal requests for new trunk groups for CLECs. Central office conversions represent an example where such requests arise. The TGSR issued from the SDC notifies the CLEC that they will be required to issue an Access Service Request (ASR) for provisioning new trunk groups for the implementation of office conversions. EAS expansions often generate the need for provisioning new local trunk groups for CLECs for successful implementation. Currently EAS expansions are not formally included in the SDC process for generating TGSRs. Instead, the EAS Team has relied on the Circuit Administration Center (CAC) to contact, explain, and convince CLECs (and the Qwest Service Managers) of the need for new local trunk groups for EAS implementation. Besides being less efficient, the team does not believe that this is the appropriate method of contact. CLECs are accustomed to the SDC process of TGSR notification for provisioning new trunk groups. Thus, Qwest wishes to have EAS expansions included in that process. Doing so will incorporate an established method and timeframe in the section of the EAS process requiring additional local trunk groups from CLECs for EAS implementations.

Examples of the need for inclusion in the existing SDC process include the two recent EAS expansions in Rogue River OR and Garfield county CO. There were 13 and 8 co-providers, respectively, that had to be contacted to provision additional local trunking for those EAS expansions. This could have been expedited if EAS had been a part of the existing SDC TGSR notification process.


Status History

07/01/03 - CR Received

07/01/03 - CR Acknowledged

07/16/03 - CR Discussed at CMP Monthly Meeting

08/21/03 - Discussed at CMP Meeting

09/08/03 - Qwest sent final notice PROS>09.08.03.F.01181.FNLL_ExtendedAreaService will be operational 9/23/03

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

05/19/04 - May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

06/16/04 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

07/21/04 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

07/21/04 July CMP Meeting Craig Saunders with Qwest gave an update that this CR had been in deferred status, then CLEC test. The process has worked well for the recent EAS conversion and Craig suggested that the CR be closed. This CR will move to Completed status.

06/16/04 June CMP Meeting Craig Saunders with Qwest gave an update that TGSR’s have been issued to Crystal Communications and Jaguar Communications and the process seems to be working well. The EAS change will be made in mid-July. This CR will remain in CLEC Test status.

05/19/04 May CMP Meeting Linda Sanchez-Steinke with Qwest said this CR was put into deferred status last year because we did not have an EAS expansion. This CR now has been brought out of deferred status because there will be an EAS expansion. Craig Saunders gave an update that the EAS in Northfield, MN will be effective on 7/14/04. TGSR’s have been provided to Crystal Communications and Jaguar Communications. This CR will move to CLEC Test status.

11/19/03 November CMP Meeting Mike LaBate gave an update that the PCAT changes became operational on 9/23/03 and that we have not had an EAS expansion and it may be sometime before there is an expansion. Kit Thomte with Qwest suggested that the CR be moved to Deferred status until there is an EAS expansion. This CR will be moved to Deferred status.

10/15/03 October CMP Meeting Mike LaBate gave an update that the PCAT changes became operational on 9/23/03. This CR will be moved to CLEC test.

09/17/03 September CMP Meeting Mike LaBate was not able to attend the CMP meeting and provided the following status for the meeting minutes. Qwest sent final notice of the Extended Area Service on 9/8/03 and will be operational 9/23/03.

CMP Meeting 08-20-03

White-Qwest stated that the change was currently in the comment cycle. CR was moved to Development status.

============================================= CLEC Input Meeting

Attendees Matt White - Qwest Michael LaBate – Qwest Kay Gruebel - Qwest Jan Dimmitt - Qwest Majorie Brown - Qwest Millie Amundson – US Link Kim Isaacs – Eschelon Paul Hanser – Eschelon Marcell - Eschelon Deanna Bean – Sprint Lori Mendoza - Allegiance

White-Qwest described the purpose of the meeting. LaBate-Qwest described the CR and the proposed process for notification of requirement of additional trunking for a local calling area expansion implementation. Qwest currently uses this process for office conversions, etc.

Millie-USLink asked if CLECs would be obligated to put in trunking if they had less than one span’s worth of traffic to the office. LaBate-Qwest stated that when Qwest gets a request, Qwest analyzes the scenario and attempts to utilize existing trunking. He explained that if there is no local tandem in the region and no direct local trunking, there would be a requirement to put in additional trunking. Marcell-Eschelon asked if CLECs can use the access tandem. LaBate-Qwest stated that if a CLEC uses Qwest’s SPOP product they can. Brown-Qwest stated that in Eschelon’s case, there is language in the ICA that allows functionality similar to the SPOP product. Marcell-Eschelon asked if his company would be covered if they already have trunks in place. Brown-Qwest stated that they would. White-Qwest asked if there were any additional questions. There were none.

=================================== CMP Meeting 07-16-03

LaBate-Qwest presented the CR and proposed a 7/24 input call. Van Meter-AT&T stated that the CLEC would contact White-Qwest if 9 AM would not work.


Open Product/Process CR PC080503-1CM Detail

 
Title: Change to the CMP Document Section 5.1.4 & Section 10.3.1
CR Number Current Status
Date
Area Impacted Products Impacted

PC080503-1CM Completed
9/17/2003
Change to CMP Document
Originator: Nolan, Laurel
Originator Company Name: Qwest Corporation
Owner: Sanchez-Steinke, Linda
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Proposed Change to Section 5.1.4: Systems Change Request Origination Process and to Section 10.3.1: Prioritization Review. See attached redline of the Change Management Process document.


Status History

08/05/03 - CR Submitted

08/06/03 - CR Acknowledged

08/20/03 - August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

09/04/03 - Held Ad Hoc Meeting

09/10/03 - Qwest issued CMPR.09.10.03.F.01564.CMPDocVote Notification of vote to be taken at September CMP

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

09/17/03 September CMP Meeting Linda Sanchez-Steinke with Qwest said there was an ad hoc meeting held on 9/4/03 to discuss this CR. Quorum is 7 carriers and we have established quorum with 9 carriers present today. E-mail ballots can be sent to cmpcr@qwest.com and Peggy Esquibel Reed is monitoring the mailbox. Per Section 2.1 the vote must be unanimous to change the language in the CMP. A vote of yes will incorporate the changes into the document and a vote of no will not incorporate the changes into the document.

The following votes were provided by meeting participants: Covad voted yes AT&T voted yes U S Link voted yes Eschelon voted yes Vartec voted yes MCI voted yes Qwest voted yes

The following votes were provided by e-mail votes: Allegiance voted yes McLeod voted yes

Linda said the result of the vote is 9 - yes and 0 - no and said the changes will be incorporated into the CMP. Linda said she would provide notification of the vote disposition.

Ad Hoc Meeting Minutes PC080503-1CM & 2CM Add to section 4.0 TYPES OF CHANGE CLEC impacting defect CMP Product & Process September 4, 2003 1-877-572-8687, Conference ID 3393947# 10:00 a.m. - 10:20 a.m. Mountain Time

PURPOSE

At the August CMP Meeting, participants agreed to hold a conference call to discuss Qwest initiated CR’s PC080503-1CM and PC080603-2CM changes to CMP document. The following is the write-up of the discussion.

List of Attendees: John Berard - Covad Julie Pikar - U S Link Jen Arnold - U S Link Sharon Van Meter - AT&T Stephanie Prull - McLeod Lori Mendoza - Allegiance Liz Balvin - MCI Bonnie Johnson - Eschelon Laurel Nolan - Qwest Jim Maher - Qwest Linda Sanchez-Steinke - Qwest

MEETING MINUTES

The meeting began with Qwest making introductions and welcoming all attendees.

Linda Sanchez-Steinke with Qwest explained that the purpose of the meeting was to discuss Qwest initiated CRs PC080503-1CM and PC080503-2CM.

PC080503-1CM Laurel Nolan with Qwest said that at the August CMP we discussed the changes to the CMP document. These changes would make the systems CR process similar to the process followed for Product/Process change requests. Laurel explained the changes; Change Requests submitted 14 days prior to that month’s CMP meeting would be presented by the originator. This would allow discussion to take place, additional products to be added, prior to Qwest providing the LOE. Laurel explained that the CR would complete the review and LOE process prior to the prioritization review meeting with the CLEC community. With these changes, Qwest would not have to re-LOE the CRs right before prioritization and would provide a more effective management of the prioritization process. This change would allow for a full investigation of the CR, a solution created, and reviewed at the next month’s CMP meeting.

PC080503-2CM Jim Maher with Qwest explained that the purpose of the change to Section 10.4 was being proposed to allow any party the opportunity to submit SCRP requests as needed without the 5 calendar day after prioritization requirement. Jim pointed out that this would also include not having to follow the late adder process since any party willing to fund the development of the CR should not be required to have the CR go through the late adder prioritization if they are going to pay for the development of that CR.

Jim suggested that the vote be taken at the next CMP meeting. Linda asked if there were any questions. No questions were asked.

08/20/03 - August CMP Meeting Laurel Nolan with Qwest presented this CR to change Section 5.1.4 and 10.3.1 of the Wholesale Change Management Process Document. Laurel explained that currently the Systems CR process is such that CRs may be submitted up to 21 days prior to the meeting and with this proposed change the CR process would be structured similar to the product/process CR timeline. She continued that changing these sections allows the opportunity to expand the scope of the CR at the meeting the CR is presented. Then at the next month’s meeting, Qwest would provide the LOE and response. Sharon Van Meter with AT&T asked when the LOE is provided now. Laurel answered that the LOE is provided at the same meeting the CR is presented (as long as it’s submitted 21 days prior to the meeting) and that with the proposed changes the systems side would mirror the Product/Process side. Judy Schultz said that many times the first LOE is invalid because the scope is increased or decreased when the CR is presented. Laurel explained that the CR would complete the review and LOE process prior to the prioritization review meeting with the CLEC community. Qwest would not have to re-LOE the CRs days before prioritization. Liz Balvin asked if the LOE would be provided at the first meeting. Laurel answered that Qwest would provide LOE at the next month’s meeting if the scope based on the discussion from the first meeting when the CR was presented. Liz said she was concerned about the increase in Late Adders because CRs would need to be submitted one month prior to the prioritization review meeting. Laurel stated that CLECs and Qwest could use the Late Adder or SCRP processes if they needed to request CR implementation outside of the prioritization process . Linda Sanchez-Steinke stated that she would schedule an Ad Hoc meeting to gather input to this CR. Laurel suggested that any comments or suggested language be sent to cmpcr@qwest.com prior to the meeting.


Open Product/Process CR PC080503-2CM Detail

 
Title: Change to the CMP Document Section 10.4
CR Number Current Status
Date
Area Impacted Products Impacted

PC080503-2CM Completed
9/17/2003
Change to CMP Document
Originator: Nolan, Laurel
Originator Company Name: Qwest Corporation
Owner: Sanchez-Steinke, Linda
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Proposed change to SCRP language in Section 10.4: Special Change Request Process. Please see attached redline of the Change Management Process Document.


Status History

08/05/03 - CR Submitted

08/06/03 - CR Acknowledged

08/20/03 - August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

09/10/03 - Qwest issued CMPR.09.10.03.F.01564.CMPDocVote Notification of vote to be taken at September CMP

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

09/17/03 September CMP Meeting An ad hoc meeting to discuss this CR was held on 9/4/03. Linda Sanchez-Steinke with Qwest said there was an ad hoc meeting held on 9/4/03 to discuss this CR. Quorum is 7 carriers and we have established quorum with 9 carriers present today. E-mail ballots can be sent to cmpcr@qwest.com and Peggy Esquibel Reed is monitoring the mailbox. Per Section 2.1 the vote must be unanimous to change the language in the CMP. A vote of yes will incorporate the changes into the document and a vote of no will not incorporate the changes into the document.

Ad Hoc Meeting Minutes PC080503-1CM & 2CM Add to section 4.0 TYPES OF CHANGE CLEC impacting defect CMP Product & Process September 4, 2003 1-877-572-8687, Conference ID 3393947# 10:00 a.m. - 10:20 a.m. Mountain Time

PURPOSE

At the August CMP Meeting, participants agreed to hold a conference call to discuss Qwest initiated CR’s PC080503-1CM and PC080603-2CM changes to CMP document. The following is the write-up of the discussion.

List of Attendees: John Berard - Covad Julie Pikar - U S Link Jen Arnold - U S Link Sharon Van Meter - AT&T Stephanie Prull - McLeod Lori Mendoza - Allegiance Liz Balvin - MCI Bonnie Johnson - Eschelon Laurel Nolan - Qwest Jim Maher - Qwest Linda Sanchez-Steinke - Qwest

MEETING MINUTES

The meeting began with Qwest making introductions and welcoming all attendees.

Linda Sanchez-Steinke with Qwest explained that the purpose of the meeting was to discuss Qwest initiated CRs PC080503-1CM and PC080503-2CM.

PC080503-1CM Laurel Nolan with Qwest said that at the August CMP we discussed the changes to the CMP document. These changes would make the systems CR process similar to the process followed for Product/Process change requests. Laurel explained the changes; Change Requests submitted 14 days prior to that month’s CMP meeting would be presented by the originator. This would allow discussion to take place, additional products to be added, prior to Qwest providing the LOE. Laurel explained that the CR would complete the review and LOE process prior to the prioritization review meeting with the CLEC community. With these changes, Qwest would not have to re-LOE the CRs right before prioritization and would provide a more effective management of the prioritization process. This change would allow for a full investigation of the CR, a solution created, and reviewed at the next month’s CMP meeting.

PC080503-2CM Jim Maher with Qwest explained that the purpose of the change to Section 10.4 was being proposed to allow any party the opportunity to submit SCRP requests as needed without the 5 calendar day after prioritization requirement. Jim pointed out that this would also include not having to follow the late adder process since any party willing to fund the development of the CR should not be required to have the CR go through the late adder prioritization if they are going to pay for the development of that CR.

Jim suggested that the vote be taken at the next CMP meeting. Linda asked if there were any questions. No questions were asked.

08/20/03 - August CMP Meeting Laurel Nolan with Qwest presented this CR to change Section 10.4, which currently implies that a CR would go through the prioritization process or Late Adder process prior to invoking the SCRP. Laurel stated that Qwest discovered these discrepancies when invoking the SCRP. She stated that the language needed to be clear that SCRP could be invoked at any time and that a CR did not have to go through the Prioritization or Late Adder processes. There will be an Ad Hoc meeting scheduled to gather input to this CR.


Open Product/Process CR PC080603-1 Detail

 
Title: Manual ordering process for Resale Metropolitan Optical Ethernet.
CR Number Current Status
Date
Area Impacted Products Impacted

PC080603-1 Completed
4/21/2009
Ordering, Billing Resale, Metropolitan Optical Ethernet
Originator: Wees, Jolene
Originator Company Name: Qwest Corporation
Owner: Wees, Jolene
Director:
CR PM: Harlan, Cindy

Description Of Change

This CR is to give CLECs notification of a process change for a new Retail product offering under development. On November 18, 2003, Qwest Retail will introduce Metropolitan Optical Ethernet (MOE) which will be available for resale. The product is currently in the final development stage. Upon rollout, the MOE Ordering Form will be available through your Account Team or Service Manager. Ordering will be manual and billing will be through IABS.

Expected Deliverable:

Proposed Implementation Date:

November 18, 2003


Status History

CR Received 8/6/03

CR Acknowledge 8/6/03

Customer contaced 8/11/02

Clarified CR and CMP process 8/12/03 - will offer CLEC input meeting on 9/2/03

8/20/03 - August CMP Meeting minutes posted to database

9/2/03 - Held CLEC Input Meeting

9/17/03 - Se p CMP meeting notes will be posted to the database

10/7/03 - Sent Bonnie email asking if she had any questions for Qwest to review prior to the Oct meeting.

10/8/03 - Bonnie requested additional ad hoc meeting to be scheduled to discuss product in more detail. Meeting will be scheduled first week in November

10/13/03 - Scheduled ad hoc meeting for November 3

10/15/03 - Oct CMP meeting minutes will be posted to the database

10/3/03 - CMP Notification PROD.10.03.03.F.03571.ResaleMOE_V1

10/20/03 - Product notification PROD.10.17.03.A.000965.MetOpticalEther

11/3/03 - Held CLEC Ad Hoc meeting to discuss product in more detail

11/17/03: Notification PROD.11.17.03.F.01054.MOE_V1

11/19/03 - Nov CMP meeting minutes will be updated to the database

11/19/03 - PROD.11.19.03.F.01075MOE_V2

11/19/03 - PROD.11.19.03.F.010666.RESALE_INTERCONN_MOE_V2


Project Meetings

December 17, 2003 CMP Meeting Jo Wees – Qwest advised this product was effective November 18, 2003. No comments were received. This CR will move to Closed Status.

November 19, 2003 CMP Meeting Jo Wees – Qwest advised this product is available effective November 18, 2003. This CR will move to CLEC Test.

November 3, 2003 Ad Hoc Meeting CLEC Ad Hoc Meeting PC080603-1 Manual Ordering Process for Resale Metropolitan Optical Ethernet November 3, 2003 2:00 – 3:00 MT

In attendance: Bonnie Johnson – Eschelon Jo Wees – Qwest Barry Eastman – ViLata Communications Kim Isaacs – Eschelon Gloria Davy – Qwest Cindy Macy – Qwest

Cindy Macy – Qwest explained the purpose of the call is to review product and process details for ‘PC080603-1 Manual ordering process for Resale Metropolitan Optical Ethernet’. Jo Wees – Qwest explained she can talk about the ordering process and Gloria Davy – Qwest can talk about the product.

Gloria Davy advised the product is flexible and easy to use. The tariff will be filed today. This product allows end users to connect to multiple locations; point to point or multipoint. Users can order only as much as they need in varying increments; starting at 5-10 GB. Tech Pub 77411# has the details and information such as network interface, access link and connectivity. The initial ordering period is 1 years and 3-5 years. Non Recurring charges will be posted with the FCC this afternoon. The product is available November 18, 2003.

Bonnie Johnson – Eschelon asked about product availability. Gloria advised it is available in three states, inter and intrastate. Denver and Minneapolis, and then San Francisco and LA. Bonnie asked if Qwest would be expanding to other cities. Gloria advised that there are additions planned for 1st and 3rd Quarter next year. Bonnie asked what kind of customer would use this service? Gloria advised that currently we have large school districts interested. This would provide connectivity to the Internet for middle schools.

Barry Eastman – ViLata Communications asked if there is any distance limitations. Gloria advised yes and those are outlined in the tech pub. Barry asked how would Qwest qualify end users for this product? The CLLI code identifies wire center availability. Fiber needs to be available. If the customer wants the service the equipment needs to be on premise or placed on the premise. CISCO 3550 is the equipment used at the POP. Gloria agreed to check the web site for tariff access and contact Barry to advise the URL.

No further questions were asked. The CLECs thanked Qwest for holding the call.

October 15, 2003 CMP Meeting Jo Wees – Qwest advised implementation is scheduled for November 18, 2003. An additional ad hoc meeting is scheduled for November 3, 2003. Please send additional questions to cynthia.macy@qwest.com prior to the meeting. This CR will remain in Development Status.

September 17, 2003 CMP Meeting Jo Wees – Qwest advised this is a new retail product available for resale. We are on target for November 18, 2003. We would like to move this CR to Development status. Bonnie advised there were questions that were taken away from the meeting that were supposed to be answered. The CLECs felt they didn’t get enough information at the meeting. Jo Wees advised the product is under development and not all the information is known as of yet. Cindy Macy- Qwest advised the Clarification notes capture the questions that were asked and our replies. This was a review of a draft process and the completed product/process will be available via the Wholesale web site via a Level 4 PCAT with a comment cycle. Jo Wees asked Bonnie to send in the questions they had that did not get addressed and Qwest would be glad to review them. Susie Bliss-Qwest advised we will talk with our Retail product managers to help them understand how to communicate at the CLEC input meetings.

CLEC Input Meeting – PC080603-1 Manual Ordering Process for Resale Metropolitan Optical Ethernet

September 2, 2003 1:00 – 2:00 p.m. MST 1-877-572-8687 3393947#

In attendance: Jo Wees – Qwest Jean Novak – Qwest Sharon VanMeter – ATT Liz Balvin – MCI Mary Korthour – Eschelon Steve Kolar – Eschelon Joy McConnell Couch – Qwest Jeanne Buck – Qwest Dave Hahn – Qwest Ann Garlock – Eschelon Jeff Falk – Qwest Janean VanDusen – Qwest Barry Eastman – ViLata Communication

Cindy Macy – Qwest opened the call and reviewed the attendee list. The purpose of this meeting is to review CR PC080603-1 Manual Ordering Process for Resale Metropolitan Optical Ethernet.

Janean VanDusen – Qwest reviewed the product description with the CLECs. Janean advised Metropolitan Optical Ethernet (MOE) would be available to resellers. It is a new product not offered yet, but the planned implementation date is November 18, 2003.

The following questions were asked: ? When will pricing information be available? It will be available in the tariff when it is filed. ? Does this need to be added to our ICA before we can order it? No, as it is a resale product. ? Where will the product be offered / available? This information will be published in the Disclosure document. Expected to be a few wire centers in Colorado / Minnesota. ? What are the order intervals? These are not established as of yet but will match retail. ? Are Service Managers going to be covered on the process? Yes.

Jo Wees – Qwest reviewed the draft / high level process to order. Jo explained you would contact your sales or service manager to order the product. This would go through the AQCB system, a PCAT will be published covering ordering and product information, the CLEC will print or fax or email the order form to the center, the center will issue the order, and billing will be through IABS.

August 20, 2003 CMP Meeting Jolene Wees-Qwest advised on November 18 this product should be available for Resale. There is an order form (MOE) that will be available through your Service Manager. This product will be ordered manually and billing will be done in IABS. Cindy Macy-Qwest advised a CLEC Input meeting is planned for September 2 at 1:00 p.m. MST. This CR will move to Presented status.


Open Product/Process CR PC050703-6 Detail

 
Title: Grandfather Measured Service plans in CO, ID North, NM, ND
CR Number Current Status
Date
Area Impacted Products Impacted

PC050703-6 Completed
4/21/2004
Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Harlan, Cindy

Description Of Change

The following Measured Service Plans will be grandfathered effective 8/15/03:

Colorado:

LW1- Main line .05 first .02 additional

AKN- additional line

1MR- Main line .11 per call after 50 call allowance

AHR- additional line

1MB- Individual Message rate line 50 allowable .11 each additional

ALS- additional line

Idaho North:

LW1

1MR

New Mexico:

LW1

AKN

North Dakota:

RVJ- Main line .05 1st minute .01 each additional

AKN


Status History

05/07/03 - CR Submitted

05/08/03 - CR Acknowledged

5/13/03 - Scheduled Clarification Call for 5/15/03

5/15/03 - Held Clarification Call

5/21/03 - May CMP Meeting Minutes will be posted to the database

06/03/03 - Input Meeting

6/18/03 - June CMP P/P meeting mintues will be posted to the database

7/16/03 - July CMP monthly meeting will be posted to the database

8/20/03 - Aug CMP meeting minutes - see notes

9/17/03 - Sep meeting minutes will be posted to the database

10/13/03 - Ad Hoc meeting held to review changes to CR

10/15/03 - Oct CMP meeting minutes will be posted to the database

11/7/03 - Final Notice PROD.11.07.03.F0128.FNL_GrandparentMS

11/19/03 - Nov CMP meeting minutes will be posted to the databas

12/5/03 - Retraction of Grandparenting notification PROD.12.05.03.F.01141.RetractGrandparentMS_NM

12/17/03 - Dec CMP notes will be posted to the database

1/21/03 - Jan CMP meeting minutes will be posted to the database

2/18/04 -Feb CMP Meeting notes will be posted to the project meeting section

3/5/04 - Prod.03.05.04.F.01439.FNL_GrandparentMS_USOCsNM

3/17/04 - March CMP meeting notes will be posted to the project meeting section

4/21/04 - April CMP meeting notes will be posted to the project meeting section


Project Meetings

April 21, 2004 CMP Meeting notes: Janean VanDusen – Qwest advised that Colorado was previously cancelled. Idaho North is also cancelled. ND was effective January 30 and the work was completed in the 15.0 release. NM Res has now been cancelled and NM Bus was completed March 23. This CR will move to Completed Status.

March 17, 2004 CMP Meeting notes: Janean Van Dusen – Qwest advised that Colorado has been cancelled, Idaho is on hold, North Dakota is in effect and will be completed with the IT work in 15.0, NM residence is on hold and will be implemented with a Level 1 when we have a date, NM business is effective March 23 and a revised final notice was sent out. This CR will remain in CLEC Test Status.

February 18, 2004 CMP Meeting Janean Van Dusen – Qwest provided status. New Mexico Residence is on hold and New Mexico Business is scheduled for implementation March 22. Idaho North is on hold, Colorado was cancelled and North Dakota was effective January 30 with the IT work complete with 15.0. This CR will remain in CLEC Test Status.

January 21, 2004 CMP Meeting Janean Van Dusen – Qwest recapped that Colorado was cancelled, Idaho was on hold, ND was effective January 30, 2004 but it won’t be implemented until 15.0 gets installed. New Mexico was retracted last month due to the commission not approving it yet. NM now has an effective date of January 30 so Qwest would like to implement this as a Level 1. The CLECs agreed. This CR will remain in CLEC Test Status.

December 17, 2003 CMP Meeting notes Janean VanDusen – Qwest advised this CR will be implemented December 1, 2003. NM was retracted by the state PUC and the retraction notice went out. This CR will remain in CLEC Test status.

November 19, 2003 CMP Meeting Janean VanDusen – Qwest advised this CR will be implemented December 1, 2003. This CR will remain in Development status, until December 1 and then the CLECs agreed that Qwest could change the status to CLEC Test.

October 15, 2003 Janean VanDusen – Qwest advised this project is scheduled for implementation 11-28-03. A CLEC ad hoc meeting was held as there were some changes made to New Mexico and South Dakota. These changes were reviewed during the ad hoc meeting. This CR will remain in Development Status.

September 17, 2003 Janean advised NM and ND are scheduled for 10/20/03. Idaho North is on hold and Colorado has been cancelled. This CR will remain in Development status.

August 20, 2003 Monthly Meeting minutes Janean VanDusen-Qwest advised this CR was delayed and is now scheduled for implementation on October 15, 2003.

July 16, 2003 Monthly Meeting minutes Janean VanDusen-Qwest advised this CR is scheduled and on track for implementation August 15, 2003.

June 18, 2003 Monthly Meeting minutes Janean VanDusen – Qwest advised there was a CLEC input meeting held and this CR is on track for deployment in August.

Input Meeting – 06-03-03

Attendees Matt White – Qwest Janean Van Dusen – Qwest Skip Olson – Qwest Barb Newton – Qwest Richard Journey – Qwest Mallory Paxton – Qwest Dalene Fuqua – Qwest Bonnie Johnson – Eschelon

White-Qwest welcomed the attendees, described the purpose of the meeting and asked Van Dusen-Qwest to describe the CRs. Van Dusen-Qwest described the CRs.

050703-6

Johnson-Eschelon asked if this CR would follow the same format as the previous grandfathering CRs. Fuqua-Qwest and Newton-Qwest stated that it would.

050503-2

Johnson-Eschelon asked if grandfathering and grandparenting the same and if they were different from retiring. Van Dusen-Qwest stated that grandfathering and grandparenting were synonymous and that they did not mean the same thing as retiring. Johnson-Eschelon asked if only new customers would be impacted. Van Dusen-Qwest stated that was correct.

050503-1

Johnson-Eschelon asked what switchnet 56 was. Olson-Qwest stated that it was digital data just like ISDN. He explained that switchnet can only run at 58 kbps and that there is a lack of demand for this product.

May 21, 2003 CMP Meeting Minutes

Van Dusen – Qwest presented the CR and suggested an input meeting on June 3 at 11 AM MT.


Open Product/Process CR PC060403-1 Detail

 
Title: Grandparent of CustomNet in MN for Public Access Lines (PAL) classes of service.
CR Number Current Status
Date
Area Impacted Products Impacted

PC060403-1 Completed
9/17/2003
Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

CustomNet will be granparented in MN effective 8/15/2003 for Public Access Lines (PAL) customers. Fraud Protection will be available as the replacement product.

Expected Deliverable:

8/15/03


Status History

06/04/03 - CR Received

06/06/03 - CR Acknowledged

06/13/03 - Held Clarification Meeting

06/18/03 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

06/30/03 - Held CLEC input meeting

07/08/03 - Qwest issued product notice PROD.07.08.03.F.03460.CustomNet_V5.0

07/16/03 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

08/20/03 - August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

09/17/03 September CMP Meeting Janean Van Dusen with Qwest said that the changes were effective 8/15/03. This CR will be moved to Completed status.

08/20/03 August CMP Meeting Janean Van Dusen with Qwest gave an update on the CR and said that the PCAT was effective on 8/15. This CR will be moved to CLEC Test status.

07/16/03 July CMP Meeting Janean Van Dusen with Qwest gave an update on the CR and said that the PCAT was updated on 7/8 and will be effective on 8/15.

Meeting Minutes

Grandparent of CustomNet in MN for Public Access Lines (PAL) classes of service CMP Product & Process June 30, 2003 1-877-572-8687, Conference ID 3393947# 8:30 a.m. - 8:45 a.m. Mountain Time

List of Attendees Sharon Van Meter, AT&T Janean Van Dusen, Qwest Pat Finley, Qwest Linda Sanchez-Steinke, Qwest Marcia Ziegler, Qwest

PURPOSE At the June CMP Meeting, participants agreed to hold a conference call to obtain input from the CLEC Community on the proposed change request and a time for questions and answers to be addressed. The following is the write-up of the discussions, action items, and decisions made in the working session.

MEETING MINUTES The meeting began with Qwest making introductions and welcoming all attendees.

Overview of Change Request Janean Van Dusen with Qwest provided an overview of the change request, Grandparent of CustomNet in MN for Public Access Lines (PAL) classes of service, and said that on 8/15/03 the service will be grandparented and will no longer be available for new orders. For customers with the existing service, it will remain on the line and no new orders for CustomerNet in Minnesota will be accepted. Fraud Protection is the alternate product for CustomNet and the USOCS are PSESI, PSESO, PSESP. Qwest opened up the discussion for questions.

Questions and Answers Sharon Van Meter with AT&T asked for a definition of CustomNet. Pat Finley said CustomNet service provided screening and blocking restricting billing on long distance calls and alternate billing. Fraud Protection, the alternate product, prevents PAL lines from accepting incoming collect calls and prevents third number billing to coin.

Qwest asked if there were any additional questions. No questions were asked.

These minutes will be posted to CR PC060403-1 on the CMP Web site.

06/18/03 June CMP Meeting Janean Van Dusen with Qwest presented this CR. CustomNet will be grandparented in Minnesota effective 8/15/03 and Fraud Protection is the alternative product for CustomNet. Qwest would like to hold an input meeting on 6/30/03 at 8:30 Mountain time and will provide a notification with details of the call. This CR will be moved to Presented status.

CLEC Change Request Clarification Meeting 8:30 a.m. (MT) / Friday, June 13, 2003 1-877-554-8688 PIN 1930099 # PC060403-1 Grandparent of CustomNet in MN for Public Access Lines (PAL) classes of service. Name/Company: Janean Van Dusen, Qwest Pat Finley, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change The description of the change requested in the CR was reviewed. Janean Van Dusen said that CustomNet will be grandparented in MN for Public Access Lines classes of service on 8/15/03. If customers have CustomNet in MN they can keep the product and on 8/15/03 it will be grandfathered.

Confirm Areas & Products Impacted Products impacted are Resale PAL

Confirm Right Personnel Involved Qwest confirmed that Janean Van Dusen and Pat Finley are correct personnel to resolve the CR.

Identify/Confirm CLEC’s Expectation Qwest plans to hold an meeting to gain input from CLEC Community on 6/30/03.

Identify any Dependent Systems Change Requests No dependent change requests were identified.

Establish Action Plan (Resolution Time Frame) Janean Van Dusen will present this CR at the June CMP Meeting.


Open Product/Process CR PC050703-3 Detail

 
Title: Release of microduct technology.
CR Number Current Status
Date
Area Impacted Products Impacted

PC050703-3 Completed
9/17/2003
Pre-ordering, Ordering, Provisioning, Billing Poles, Ducts, Rights of Way
Originator: Lacy, Jane
Originator Company Name: Qwest Corporation
Owner: Campbell, Ben
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Where deployed within the Qwest network, microduct technology will be offered for lease. Microduct technology is an alternative solution to the current innerduct technology. Microduct is a smaller version of innerduct that must be placed inside an innerduct. Available duct capacity is increased since up to four microducts can be placed within a 1¼-inch innerduct.

Expected Deliverable

July, 2003


Status History

05/07/03 - CR Submitted

05/08/03 - CR Acknowledged

05/21/03 - Presented at CMP Meeting

06/02/03 - Input Meeting

06/03/03 - Qwest issued PROD.06.03.03.F.03418.Access_PDR_V15 proposed effective date is 7/18/03

06/18/03 - Discussed at CMP Meeting

07/03/03 - Qwest issued Final Notice PROD.07.03.03.F.03454.FNL_Access_PDR_V15 became operational 7/18/03

07/16/03 - CR Discussed at CMP Monthly Meeting

08/21/03 - Discussed at CMP Meeting

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

09/17/03 September CMP Meeting Ben Campbell with Qwest said that the PCAT became operational on 7/18/03. This CR will be moved to Completed status.

CMP Meeting 08-20-03

White-Qwest stated that the CR was implemented on 7/18 and asked that the CR be moved to CLEC Test.

=================================================

CMP Meeting 07-16-03

White-Qwest stated that the change would be implemented on 7/18. Van Meter-AT&T asked that the CR remain in Development.

================================================ CMP Meeting 06-18-03

White-Qwest stated that the change would be implemented July 18. He asked that the CR be moved into Development. ======================================================= Input Meeting 06-02-03

Attendees Matt White – Qwest Jane Lacy – Qwest Shirley Tallman - Qwest Liz Balvin – MCI Stephanie Prull – McLeod Kim Isaacs – Eschelon Carla Pardee – AT&T

White-Qwest welcomed attendees, described the purpose of the meeting and asked Lacy-Qwest to describe the CR. Lacy-Qwest described the proposed change and asked if there were any questions or comments. Balvin-MCI asked what the purpose of an innerduct was. Tallman-Qwest stated that microduct is a smaller pathway to place facilities within. She explained that there is no difference in the fiber structure but that the cladding/protection around the fiber is different to allow it to be pulled into a smaller duct. Balvin-MCI asked if microduct had the same capabilities. Tallman-Qwest stated that it did, but that it gives more network flexibility. Lacy-Qwest stated that Qwest was looking to implement this change on July 18. Balvin-MCI asked if a contract amendment would be required. Lacy-Qwest stated that it would because of the terms and conditions that relate to this product. Pardee-AT&T asked if Qwest has proposed amendment language. Balvin-MCI stated that the CLECs needed this language as soon as possible. Lacy-Qwest stated that she would see if Qwest could get that language out prior to the launch of the product. There were no more questions.

========================================================== CMP Meeting 05-21-03

Lacy-Qwest presented the CR and suggested an input meeting on June 2 at 10 AM MT.


Open Product/Process CR PC050703-4 Detail

 
Title: DC Power Changes
CR Number Current Status
Date
Area Impacted Products Impacted

PC050703-4 Completed
1/21/2004
Product Prerequisites Collocation DC Power
Originator: Campbell, Ben
Originator Company Name: Qwest Corporation
Owner: Campbell, Ben
Director:
CR PM: Harlan, Cindy

Description Of Change

Qwest will be implementing a DC Power Reading process , DC Power Restoration Process and adding clarifying information about DC Power rates and DC Power Reduction process.

Expected Deliverable

June 2003


Status History

05/07/03 - CR Submitted

05/08/03 - CR Acknowledged

5/13/03 - Scheduled Clarification Call for 5/15

5/15/03 - Held Clarification Call

5/21/03 - May CMP Meeting Minutes will be posted to the database

5/28/03 - Sent out notification to hold CLEC input meeting on June 5 at 1:00 mst

6/5/03 - Held CLEC input meeting

6/18/03 - June P/P CMP meeting mintues will be posted to the database

7/16/03 - July P/P CMP meeting minutes will be posted to the database

8/20/03 - August P/P CMP meeting minutes will be posted to the database

9/1703 - Sep CMP meeting minutes will be posted to the database

10/1/03 - Sent out Notification for CLEC ad hoc meeting to review DC Power questions from Eschelon - ad hoc meeting scheduled for 10/8/2003

10/8/03 - Held CLEC Ad Hoc meeting. Agreed to schedule another meeting to finish discussion. Meeting planned for 10-20-03.

10/15/03 - Oct CMP meeting minutes will be posted to the database

10/20/03 - Held Ad Hoc Meeting to review DC Power questions

11/1803 - PROD.11.18.03.F.01069.ColloGeneralV17 notification update published

11/19/03 - Nov CMP meeting minutes will be posted to the database

12/9/03 - PROD.12.09.03.F.01133.FNL_COLLOGENERALV17

12/17/03 - Dec CMP meeting minutes will be posted to the database

1/21/03 - Jan CMP meeting minutes will be posted to the database


Project Meetings

January 21, 2004 CMP Meeting Cindy Macy – Qwest reported that this CR was implemented December 24, 2003. The CLECs agreed to change this CR to Completed Status.

December 17, 2003 CMP Meeting notes Cindy Macy – Qwest reported that this CR has an implementation date of December 24 and no additional comments were received. This CR will stay in CLEC Test status.

November 19, 2003 CMP Meeting Ben Campbell – Qwest advised the PCAT was released on November 18, 2003. Implementation is scheduled for January 2, 2004. This is an optional offering that the CLEC can opt into. This CR will move to CLEC Test.

DC Power PC050703-6 Ad Hoc Meeting October 20, 2003 10:30 – 12:00 MT

In attendance: Lori Mendoza – Allegiance Mary Ann Wyborg – Qwest Liz Balvin – MCI Lydia Braze – ATT Paul Hanser – Eschelon Bill Fellman – Qwest Julie Skidmore – Qwest Steve Nelson – Qwest Sue Lamb – Digital Easy Chair Stacy Miesenhiemer – Sprint Curtis Ashton – Qwest Kim Issacs – Eschelon Ben Campbell – Qwest Bonnie Johnson – Eschelon Bill Markert – Eschelon Bob Alex – Qwest Cindy Macy - Qwest

Cindy Macy – Qwest explained the purpose of today’s call is to address any outstanding questions on DC Power and to have Steve Nelson – Qwest share the process for measuring power and Qwest’s intent regarding how to implement this CR.

Steve Nelson – Qwest advised that Qwest would offer this process as optional to the CLECs. An Amendment will be available for the CLECs to participate in, if they choose.

Curtis Ashton – Qwest discussed how power is measured. Paul Hanser-Eschelon shared their concern that the time of day when power is measured will impact the reading. Steve Nelson – Qwest explained the plan is to measure between normal business hours (8-5). This time depicts normal usage. Bonnie Johnson – Eschelon advised that there could be negative impacts depending if the CLECs have business or residence end users. Curtis Ashton – Qwest explained his experience shows that variance is 15-16% from peak to non-peak hours. Ben Campbell – Qwest recapped that this process will be an optional process and only applies to 61+ amps. Paul Hanser – Eschelon suggested that Qwest measure power at a CLEC suggested time. Lori Mendoza – Allegiance explained to Paul if you order two 40 amp feeds, it would not be measured. These are billed individually.

Steve Nelson – Qwest advised he checked with Cost Dockets and determined that this level of specificity was not discussed in State Hearings. Rates were filed and no questions came up.

Steve Nelson – Qwest recapped that an Amendment will be done, we will measure capacity 61+ amps. The process for 60 amps and below is 50% imputed rate. If you want changes to the 60 amp and below process a CR would need to be issued.

Cindy Macy – Qwest asked each CLEC if they had additional questions. Each CLEC confirmed they did not have additional questions. Eschelon advised they do not have additional questions, but they are not in agreement with this process.

Next Steps: Provide status at November CMP meeting Update the process based on the discussion from the Ad Hoc Meetings Build the Amendment Notify on the process

If the CLEC wants to participate in this process they would contact their Service Manager or negotiate to opt into the process or negotiate different terms.

October 15, 2003 CMP Meeting Ben Campbell – Qwest advised that Qwest held a meeting last week to review questions about the process. The team did not get through all of the questions and another meeting is scheduled for October 20 from 10:30 – 12:00 MT. Qwest will address the additional questions during that meeting. Qwest put the implementation on hold until we complete the ad hoc calls with the CLECs. Bonnie Johnson – Eshcelon thanked Qwest for delaying the implementation. This CR will remain in Development Status.

- CLEC Ad Hoc Meeting PC050703-4 DC Power October 8, 2003

In attendance; Bill Markert Eschelon Brent Debrock Cbeyond Lydia Braze ATT Michelle Brandt ATT Bill Fellman Qwest Liz Balvin MCI Lori Mendoza Allegiance Steve Nelson Qwest Bonnie Johnson Eschelon Julie Pickar US Link Pam Lehrke Hickory Tech Kim Issacs Eschelon Stacy Meisenheimer Sprint Celia Westfall Sprint Janet Leonard Qwest Sue Lamb Digital Easy Chair Curtis Ashton Qwest Lance 180 Communications

Cindy Macy Qwest opened the call and advised that the purpose of the call is to review questions that were sent in from the CLECs.

Bonnie Johnson-Eschelon advised the CR was not clear so it is difficult to comment on documentation when you do not understand what the CR is doing. Bonnie advised comments don’t impact whether Qwest will unilaterally impose the change, but how do we know what to comment on. Bonnie advised she sent in her comments the day of the September CMP meeting. She would have preferred to hold this meeting during the comment cycle or earlier than it was scheduled. Maybe next time the meeting could be held earlier.

Steve Nelson – Qwest assured the CLEC Community that Qwest is not about unilaterally imposing this process on the CLECs. Qwest has the CLEC’s interest in mind. Steve assured Bonnie that Qwest would update documentation if needed.

Bonnie said she didn’t want this to turn into the DS1 Capable Loop issue. If the CLECs are paying one rate on 10-22 and a new rate on 10-23 then it should go through a tariff change. Steve stated, that this is an existing process for measuring greater than 61 amps usage. This is an attempt to increase the percentage of reading taken in order that CLEC can pay for the DC Power they are using rather then ordered amps.

General discussion took place as follows:

Ben explained this process applies to 61+ amps and higher. Qwest is not measuring 60 amps or less. The process for 60 amps or less is not changing. The process for 61+ amps is what this update is addressing.

Paul Hansen-Eschelon asked why couldn’t Qwest charge for actual usage if under 60 amps. Ben Campbell-Qwest advised that Qwest does not have the meters available to measure the usage. Steve Nelson Qwest advised it would cost Qwest a considerable amount to add the meters. The cost models for less than 60 amps are based on ½ the rate. This was filed in Cost Dockets for each state.

Brent Cbeyond asked if they have ordered a 40 amp feed and they are using 40 amps, will they still be billed at 50% the rate? Steve Nelson Qwest advised yes, the current billing for 60 amps or less is not changing.

Discussion occurred regarding the combined rate element in ND/Oregon and SD. Bill Markert asked if the combined rate equals capacity. Steve Nelson advised yes, in these three states there is not a stand alone DC usage rate element.

Bill Markert asked if there was mention in cost dockets with how Qwest measures the rates? Steve Nelson Qwest advised he would check on cost docket and see if this was discussed. Bonnie clarified and Steve agreed that Qwest is going to implement a measuring plan that we have approved. This CR communicates the current measuring plan we have had in place for years and commits to an improved process to taking the measurements and updating the billing.

Questions were asked about if the non-recurring rate would be adjusted. Steve advised no, that the non-recurring rate is based on cost docket models. Lori Mendoza-Allegiance verified that Qwest agreed to disagree that we should not decrease our non recurring rates as these rates have been approved by cost dockets. This process change does not impact non-recurring rates.

Lance-180 Communications verified that Qwest is not changing rates or billing procedures. Steve confirmed we are not changing rates. This process improves our measurement process for actual DC power usage.

The group did not have enough time to answer all the questions. Agreement was reached to schedule another ad hoc call. Cindy Macy-Qwest agreed she would schedule the next call as soon as possible. There is a 5-day meeting notification timeline.

September 17, 2003 Benjamin Campbell – Qwest advised the document is available for review. Benjamin explained the high level process and changes made for power reading and reduction. Bonnie requested for Qwest to hold another CLEC Input meeting as she has some questions that she would like answered. Bonnie advised this appears to be a CR that is being used to change rates. Bonnie agreed she would send her questions to Qwest and Cindy Macy would schedule another CLEC meeting to provide answers to the questions.

August 20, 2003 Cindy Macy-Qwest advised the document is completed and the Documentation team is reviewing it. It should be available soon. Sharon VanMeter asked what level this will be. Cindy Macy-Qwest advised this is a Level 4 update.

July 16, 2003 CMP Monthly Meeting Cindy Macy-Qwest advised that Ben is in progress of updating the PCAT and anticipates it will be available for review in the next couple of weeks. This process will be available for review and comments cycle via the Notification process.

June 18, 2003 Monthly Meeting minutes Cindy Macy – Qwest advised there was a CLEC input meeting held on June 5 and attendance and participation was good. Ben Campbell is currently working on developing the updates to the process and will provide status next month. Sharon VanMeter asked if there would be other CLEC meetings and Qwest replied only if needed. Otherwise the documentation will go through the normal comment cycle. The CLECs agreed to move this CR to Development.

6/5/03 CLEC Input Meeting 1:00 - 2:00 mst

Ben Campbell - Qwest Cindy Macy - Qwest Bonnie Johnson - Eschelon Pam Zimmerman - US Link Liz Balvin - MCI Jen Arnold - US Link Brent Debrock - CBeyond Tom - US Link Mike Zulevic - Covad (we spoke with him later due to the delay in the call starting)

Ben Campbell reviewed the CR. Ben explained some of the changes include: Identifying the individual rate element and decscribe those in more detail. Update and add language in DC Power Restoration. Update DC Power Monitoring Creat 1 downloadable PCAT document, instead of one per function DC Power Rates - Difference between usage and power capacity DC Power reading, reductions, cancellations and restorations

Brent Cbeyond asked if we are considering charging on a per use basis. Ben advised yes, we would monitor and charge on a use basis. The monitoring can be done on the BDFB boards on 61 amps or above, except in MN where it is 60 amps or above.

Bonnie - Eschelon asked is this will have any impact on pricing. Ben advised no as this is cost docket driven.

Brent asked if this change would include existing power? Ben advised yes, accounts will be converted over automattically.

Ben advised he will provide status at the June CMP Meeting. There were no further questions.

5/21/03 May CMP Meeting Minutes Cindy Macy – Qwest reviewed this CR for Ben Campbell. The CLECs requested to have an input meeting to discuss this CR in more detail and provide input to the process. Cindy will schedule an input meeting targeting the 2nd week in June.


Open Product/Process CR PC100103-1 Detail

 
Title: Grandparenting of Single Number Service in AZ
CR Number Current Status
Date
Area Impacted Products Impacted

PC100103-1 Completed
2/18/2004
Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Harlan, Cindy

Description Of Change

Single Number Service will be grandparented in AZ effective 12/31/03. This is the only state remaining that has not been grandparented.

Expected Deliverable:

12/31/03


Status History

10/01/03 - CR Submitted

10/02/03 - CR Acknowledged

10/3/03 - Contacted originator to discuss CR. I will schedule an internal meeting to review the CR in more detail.

10/7/03 - Clarified status of CR.

10/14/03 - Held internal call to discuss CR and sent out notification for CLEC Ad Hoc call scheduled on 10-21

10/15/03 - Oct CMP meeting minutes will be posted to the project meeting section

10/21/03 - Held CLEC Input Meeting

11/14/03 - PROD.11.14.03.F.01056.GRANDPARENTSNS

11/19/03 - Nov CMP meeting minutes will be posted to the database

12/17/03 - Dec CMP meeting minutes will be posted to the database

12/12/03 - PROD.12.12.03.F.01150.FNL_GrandparentSNS

1/21/03 - Jan CMP meeting minutes will be posted to the database

2/18/04 -Feb CMP Meeting notes will be posted to the project meeting section


Project Meetings

February 18, 2004 CMP Meeting Janean Van Dusen – Qwest provided status. This CR was implemented December 31, 2003. This CR will move to Completed Status.

January 21, 2004 CMP Meeting Janean Van Dusen – Qwest advised this CR was implemented December 31, 2003. This CR will move to CLEC Test Status.

December 17, 2003 CMP Meeting Janean VanDusen – Qwest advised this CR has an implementation date of December 31, 2003. This CR will remain in Development status.

November 19, 2003 CMP Meeting Janean VanDusen – Qwest advised this CR has an implementation date of December 31, 2003. This CR will move to Development status.

CLEC Input Meeting PC100103-1 Grandparent Single Number Service in Arizona October 21, 2003

In attendance: Liz Balvin MCI Janean Van Dusen Qwest Qiana Davis Qwest Cindy Macy Qwest

Cindy Macy Qwest explained that this is the CLEC Input Meeting for PC100103-1 Grandparent Single Number Service in Arizona.

Janean Van Dusen – Qwest reviewed the CR and explained Single Number Service is an AIN platform based product that provides a single number to call for multiple business locations. For example, a business that has multiple locations but takes all their calls through a single number. Arizona is the only state that is currently offering this service. This product will not be offered after 12/31/03. If you have the service it can be converted, but it can not be ordered new.

Liz Balvin – MCI asked if there is a new service replacing this product? Janean advised not specifically; an existing business line service would be offered.

Janean advised there would be PCAT updates that are published.

Liz asked what investigation does Qwest do prior to deciding to grandfather a service? Janean advised Retail makes these decisions and Wholesale is following the Retail lead, but a variety of factors are looked at. Factors include volume, technology reasons, and state differences.

There were no further questions. Cindy Macy thanked the participants and ended the call.

October CMP Meeting 10-15-03: Janean VanDusen – Qwest presented this CR. This CR is Grandparenting Single Number Service in Arizona. This is the last state that offers this service. Implementation date is currently 12-31-03. A CLEC Input Meeting is scheduled for October 21. This CR will move to Presented Status.


Open Product/Process CR PC090203-1 Detail

 
Title: Define criteria for use of CFLAG/PIA field
CR Number Current Status
Date
Area Impacted Products Impacted

PC090203-1 Completed
6/16/2004
Provisioning INP, Centrex, LNP, Private Line, Resale, Unbundled Loop, UNE, Products ordered on LSR
Originator: Martain, Jill
Originator Company Name: Qwest Corporation
Owner: Martain, Jill
Director:
CR PM: Harlan, Cindy

Description Of Change

Per discussions held with the CLEC Community, Qwest is submitting this CR as a Level 4 Process Change to define the criteria when the CFLAG/PIA fields are most commonly used. The following list can be used as a starting point for discussions with the CLECs:

Change Flags (CFLAG)

The CFLAG is used to communicate changes Qwest made on the service order that are different from what was requested on the original LSR. These changes are a result of two different conditions:

1. Changes that occurred as a result of a verbal directive from you.

1. Changes due to processing requirements within Qwest.

When the CFLAG is marked, the Remarks section of the FOC contains text indicating any deviations from the original request. Examples of some of the uses of CFLAG in each of the preceding areas are as follows:

- Changes that occurred as a result of a verbal directive from you when no supplement is sent:

- On the DD, you request a Connecting Facility Assignment (CFA) slot change when the assigned slot is unavailable.

- On the DD, you called and requested a verbal DD change.

- You called and requested a verbal supplement as a result of a non-fatal error.

- You called and requested a verbal supplement because a SUP 1 (Cancel) or SUP 2 (Desired Due Date (DDD) change) cannot be submitted due to a system (either yours or Qwest's) outage or limitation.

- Changes that occurred as a result of the processing requirements within Qwest include the following:

- If special characters (i.e., a virgule "/" appears in specific fields such as the PON) that are not allowed in Qwest’s Service Order Processors (SOP) are included on the service request, they will be changed to dashes to allow the request to process.

- Whenever Qwest cannot use the DDD on the LSR as the DD. Examples include a DDD that did not meet standard interval requirements or the LSR requested an invalid DD such as a Sunday or Holiday.

- The Summary Billing Account Number (BAN) is incorrect on the LSR and Qwest provides the correct BAN information on the FOC.

- For LSRs with Requisition Type and Status of CB (Local Number Portability (LNP)) and BB (Unbundled Local Loop/LNP) that have the ported TN in the Account Number (AN) field instead of the main AN, Qwest will process the order (porting the requested TN) using the main AN and will provide the correct AN of the FOC.

- When the LSR is requesting a feature and an additional USOC/feature is also required in order to provision the service correctly, Qwest adds the appropriate USOC/feature on the service order. This change is only made if Qwest has not provided the ordering rules externally. As trends are identified, Qwest will either make process changes and/or update the PCAT, as appropriate.

- When the Coordinated Hot Cut (CHC) field equal "N" (or blank) and the Appointment Time (APPTIME) and Desired Frame Due Time (DFDT) fields are populated, Qwest will ignore the information in the APPTIME and DFDT fields because they are not required.

- If the LSR requests a dispatch, but dispatch is not required for provisioning and you have not requested the service be "tagged", Qwest will not dispatch a technician because it was not necessary.

- If during processing of a LSR Qwest determines that the TN entered on the LSR is not available, Qwest will provide a new TN.

- If the address entry is a minor deviation from Qwest PREMIS address data (e.g., LSR uses "suite" and PREMIS uses "unit"), Qwest will use the information in PREMIS.

- If you set the Manual Indicator (IND) to "Y" and service order affecting information in the Remarks field causes a mismatch in field-to-field comparison, Qwest will use the information in the Remarks field to process the order.

Expected Deliverable:

To create a mutually agreed upon list of reasons when the CFLAG/PIA field would be checked on the LSR and document that criteria in the Ordering PCAT located on the Qwest external web site.


Status History

09/02/03 - CR Submitted

09/04/03 - CR Acknowledged

9/8/03 - Contacted Jill Martain and held clarification call

9/17/03 - Sep CMP meeting notes will be posted to the database

9/18/03 - Sent Notification offering 3 options for CLEC Input Meeting

9/23/03 - Selected Oct 1 9:00 - 11:00 meeting time for CLEC Input Meeting - notification distributed.

10/1/03 - Held CLEC Input Meeting and agreed to schedule another Ad Hoc call the last week in October

10/13/03 - Sent notification for CLEC Ad Hoc meeting scheduled on October 30 from 10:00 - 11:00

10/15/03 - Oct CMP meeting minutes will be posted to the database

10/30/03 - CLEC Ad Hoc meeting held to review CFLAG/PIA matrix

11/6/03 - Received input from Eschelon on matrix

11/7/03 - Received input from MCI on matrix

11/19/03 - Nov CMP meeting minutes will be posted to the database

12/5/03 - Schedule CLEC ad hoc meeting to review CFLAG/PIA codes and reasons (12/15)

12/8/03 - CMPR.12.08.03.F.01149.CFLAG_PIA_MTG

12/15/03 - Held CLEC ad hoc meeting to review PIA matrix

1/2/04 - Notification distributed for next CLEC meeting on 1/9/03

1/9/03 - Held CLEC ad hoc meeting to review PIA matrix

1/21/03 - Jan CMP meeting minutes will be posted to the database

2/18/04 -Feb CMP Meeting notes will be posted to the project meeting section

2/26/04 - Held CLEC ad hoc meeting

3/17/04 - March CMP meeting notes will be posted to the project meeting section

4/21/04 - April CMP meeting notes will be posted to the project meeting section

5/19/04 - May CMP Meeting notes will be posted to the project meeting section

6/16/04 - June CMP Meeting notes will be posted to the project meeting section


Project Meetings

June 16, 2004 CMP Meeting notes: Jill Martain – Qwest advised the PCAT documentation is completed and is effective May 24. Qwest would like to close this CR. The CLEC community agreed it is okay to move this CR to Completed Status.

May 19, 2004 CMP Meeting notes: Jill Martain – Qwest advised that the documentation is available for CFLAG/PIA effective with the 15.0 release on April 19. The PIA 14 process update is effective May 24. This documentation closed without comment. Liz Balvin – MCI said that she thought this was a known concept and was already in effect. Jill advised that Qwest could not remove the PIA 14 value without proper notification. We are currently going through the notification time frame. It is possible that until May 24 the PIA value of 14 could be used incorrectly. It is very unlikely that PIA 14 will be used prior to May 24. We were not able to remove this value with the 15.0 release and it will require a new CR and CLEC vote to have removed in IMA. This CR will remain in CLEC Test Status.

April 21, 2004 CMP Meeting notes: Jill Martain – Qwest provided status on this CR. Jill advised that the documentation for this CR went out as part of the 15.0 release documentation. There also were notices issued related to the jep process and Line Sharing. Liz Balvin – MCI asked what the difference is between a LSR level PIA and an order level PIA. Jill advised that it depends on the circumstances as to whether you would use an order or LSR level PIA. If it was related to an order number or circuit ID it would be at the order level. If the CLEC submits an LSR and it has five TNs associated to it, Qwest may send a PIA response associated to the LSR, or it could be associated to one of the orders. It depends on the circumstances. Liz asked how does the PIA value come back and link back to the order. Jill advised that for EDI the information is in the Disclosure Document and Developer Worksheets. The field LR19 is used on LSRs. The field 40A is used at the service order level. This CR will remain in CLEC Test Status.

March 17, 2004 CMP Meeting notes: The PCAT has been updated with the PIA values that we agreed to for the 13.0 and 14.0 versions of IMA. Another update is coming effective in April with the new values that will be available with the 15.0 release. We had another ad-hoc meeting regarding the process where voice and DSL is requested on the same LSR, where the data cannot be provisioned and we mutually came to agreement to change the process to use a jeopardy notice instead of the PIA value of 14. The PCAT updates are being sent to the documentation team and should be available for comment within the next couple of weeks. In addition, Jill added after the meeting that although we won't be using the PIA value of 14 from a process perspective that the CLECs would still see it in the disclosure documentation as it will require a system change to remove it. We would like to move this CR into CLEC Test Status.

PC090203-1 CFLAG/PIA Ad Hoc Meeting PIA14 February 26, 2004

In attendance: Linda Miles – Qwest Kim Isaacs – Eschelon Cindy Schwartze – Qwest Bonnie Johnson – Eschelon Crystal Soderlund – Qwest Jill Martain – Qwest Cindy Macy – Qwest

Cindy Macy – Qwest opened the call and reviewed the agenda. During this call Qwest will review the current process, as Qwest understands it, and gather input and concerns from the CLECs.

Cindy Schwartze – Qwest explained the current process was effective August 2003 with the IMA release. This process is for N and T 1 LSR for voice and Qwest DSL. When you are ordering DSL with voice, the address has to pass Loop Qual for flow through. If the address qualifies, then we would accept the LSR, and issue the Service Order to provision the request. If the address does not qualify, then the LSR for voice and Qwest DSL would be rejected upfront by IMA.

In the event the DSL line can’t be provisioned and the order issued is for DSL and voice, we then follow the Retail provisioning process. We go ahead and provision the voice, send an FOC with a CFLAG saying that the data portion can not be provisioned. Cindy Schwartze – Qwest explained the volume is very low, and that we only have knowledge of this occurring once.

Crystal Soderlund – Qwest reviewed the Line and Loop Splitting process. This process was put in place in June 2001. The UNE P request is submitted, if the LSRs have the same due date and the DSL is available, Qwest will issue a pending order change to the UNE-P service to add the DSL. If the data portion cannot be provisioned, Qwest would allow the voice LSR to get provisioned. The Line Splitting LSR would follow the Held Order process. Crystal did not remember seeing this occur in production. With 15.0 IMA Qwest is offering the process to provision the 2 requests on 1 LSR. The CLEC may need to issue another LSR to condition the line. Loop Splitting will mirror Line Splitting.

Bonnie said we are not talking about a situation when you order line conditioning. We are talking about when you can’t provision DSL. In this case it should follow the standard process when you order a feature and it is not available. Qwest should reject the order, as that is what is done when a feature is not available. If we can’t have the DSL then we don’t want the voice. We have no use for just the voice line. This is in conflict with the Qwest reject process. Bonnie advised that the CLECs want to receive a Jeopardy notification and it should identify if DSL can’t be provisioned at all or if it needs to be conditioned. Qwest considers DSL a feature in other areas. It should be treated as a feature.

Crystal Soderlund – Qwest thanked Bonnie for helping us understand the issues. Crystal explained when the LSR is received the centers process the order. At that time we don’t know if the facility is DSL compatable. Crystal asked for clarification that the CLEC’s are really asking for Qwest to notify the CLECs with a Jeopardy notice and give 4 hours to respond? Bonnie asked if the SDC does not check to see if DSL is available? Crystal advised no, it is assumed the CLEC has done that up front, before the LSR is sent in. Bonnie asked what point in time is it determined when the DSL is not available? Crystal advised that the downstream organization contacts the SDC to remove the DSL. Bonnie said that Qwest should jeopardy the order at that time.

Crystal said the ILECs should check to make sure the line can handle DSL and IMA also does a check. For example, if CLEC doesn’t loop qualify, then IMA should do a check right away and reject the order. This is why we don’t think this happens very much. Bonnie said if the line doesn’t qualify then we do not order the line. If it required line conditioning we do a separate order after the line goes in. So, why do we have a PIA value to accommodate this, if it doesn’t happen very often? Bonnie said it should be rejected.

Crystal advised that the reject reason isn’t always clear to the SDC, so she requested a PIA value to provide more details. Bonnie advised that the CLECs would like to be able to have a choice on whether to accept, reject or jeopardy the order. Otherwise, if Qwest just removes the data and installs the voice, then the CLEC would be liable for Non Recurring charges and 30-day billing in situations where they may have chosen otherwise to cancel the request. Her preference was to receive the jeopardy notice and then make the appropriate decision. Bonnie understands if we do follow the jeopardy process a sup or new LSR may be required and the standard interval would be followed.

Bonnie advised the CLEC community would prefer to have an option. They would like for Qwest to jeopardy the LSR and follow the current jeopardy process. The CLEC would have 4 hours to respond or the LSR would be cancelled. In this case there would not be a need for PIA 14. Bonnie advised she would check with the other CLECs to make sure this represents their needs. If there are concerns, Bonnie will send an email to Cindy Macy.

Cindy Macy advised that the team will meet internally to review the request and determine the impacts to this process. Qwest will provide status or schedule another meeting to discuss the results.

February 18, 2004 CMP Meeting Jill Martain – Qwest advised the PCAT was published and comments were addressed. This closed January 28, 2004, effective March 3, 2004. Subsequent FOC was addressed. There will be a CLEC meeting to discuss PIA 14 on February 26, 2004. Stephanie Prull – Eschelon was in the 15.0 walkthrough meeting yesterday and realized that there would be an Order Level PIA and an LSR Level PIA. Stephanie advised this was never discussed in any of the PIA meetings. Qwest was able to page Denise Martinez-Qwest to join the call. Denise and Jill explained this is the way PIA is being implemented, opposed to the content or meaning of the PIA value. Denise and Jill advised this would allow Qwest to be specific with the correct level of PIA. Some PIA values are related to a BAN so that would be at an LSR level, and some PIA values are related to a Due Date or TN change so that would be at an Order level. Stephanie advised she understand the functionality and she agrees that it makes sense to implement it this way, but she was not aware of how she missed the way this was going to be implemented. Her understanding is that there would be multiple values, but not multiple fields or segments. Bonnie Johnson – Eschelon asked if the multiple PIA values are at different levels for the same PIA reason? This relates to PO20 impacts. Denise Martinez – Qwest advised it is a means for us to apply the value most accurately. It would not increase the amount of other PIAs. Jill Martain – Qwest advised that you might have LSR level PIA and then PIA values on the orders that are created from the LSR. Stephanie Prull – Eschelon advised our vendor does not support this so we will not be able to implement. Connie Winston – Qwest advised this is the CR in 15.0 for ‘Multiple PIA Values’. Bonnie Johnson – Eschelon said we never discussed order versus LSR level. We were under the impression that PIA was PIA – no different between order and LSR levels. Connie Winston – Qwest asked if we can provide a comment on the draft Tech Specs and then we will provide a response the to comment. Stephanie Prull – Eschelon advised she already submitted it as a comment and that this would be fine to handle it this way, instead of holding an ad hoc meeting. This CR will stay in Development Status.

January 21, 2004 CMP Meeting Jill Martain – Qwest advised that we had an ad hoc meeting with the CLEC and agreed to send the matrix documentation out. We agreed to omit PIA 14 from the matrix. The documentation will be distributed in two phases. The first phase will identify the PIA value definitions that are effective today. The second phase will be the additional PIA values added with 15.0 on April 19. Jill explained that we discussed PIA 14 and this was referred to the Product team. A CR should be issued this month to take care of this. Blocking will be discussed tomorrow in the systems meeting. Bonnie Johnson – Eschelon advised that the problem is that Qwest requires CLECs to send in the end state, opposed to adds and deletes. This causes a recap, and recaps don’t appear on the PSON. Bonnie advised it wasn’t disclosed that there were going to be exceptions to the PSON. It is good that it is on the service order. The CLECs wanted to discuss tomorrow in the systems meeting whether the recap on all the listing information will also fix this problem.

Ad Hoc Meeting PC090203-1

In Attendance: Bonnie Johnson – Eschelon Phyliss Burt – ATT Jill Martain – Qwest Kim Isaacs – Eschelon Linda Harmon – Qwest Donna Osborne Miller – ATT Carla Pardee – ATT Liz Balvin – MCI Nancy Sanders – Comcast Ray Smith – Eschelon Cindy Macy – Qwest

Cindy Macy – Qwest opened the call and advised the team will be reviewing the CFLAG/PIA matrix and the updates that were made based on previous meetings with the CLECs.

Jill Martain – Qwest explained that because we have reviewed the matrix before, she would ask the CLECs if they have comments or questions on each item, opposed to reading each item. This way we will discuss only the items that the CLECs have questions about.

Discussion occurred on the following items / topics: Adding a mini definition section to help clarify terms (subsequent FOC) PIA 5 – subsequent FOC PIA 8 – update to identify this will be used in 13/14.0. PIA 11 – Jill clarified #11 and Bonnie’s comments. Jill advised she agrees with Bonnie’s comment as both of them are saying the same thing. Phyllis Burt – ATT asked how would the customer get a PIA 11. Jill advised if the same reserved TN# was used mutiple times an we have to reassign a new TN. Work is going on to improve this process. Phyllis also clarified Bonnie’s comment. PIA 14 – Jill explained she understands Bonnie’s concern about needing to document the process. Jill explained this is Qwest’s existing process. Bonnie advised she is open to the process of sending a jep notice and to complete the voice part, but she would like to discuss how this process should work. Jill asked if she can explain the issue to the Product team and have them take care of this issue, as she is not the process person for this process. Bonnie agreed that would be okay. Bonnie explained her concern is that Qwest is trying to create a process with a PIA, opposed to creating the process first and using a PIA as part of the process. Jill agreed to omit PIA 14 from the matrix initially. Jill will issue the notice and matrix to publish this information and omit PIA 14. Jill discussed the blocking question. Jill explained that it is recapped on the service order but it is not visable to the CLECs. Jill advised a CR could be opened to change this. Bonnie advised that we can discuss this at CMP (systems meeting).

Bonnie advised she appreciates Jill’s analysis of the PIA values and data. Bonnie still would prefer to have a more expanded PIA value list. Bonnie hopes that the use of PIA 4 decreases with this CR. Eschelon will continue to monitor the use of PIA. Liz Balvin – MCI agreed that we need to continue to review the information in remarks and create a new PIA value if necessary.

Bonnie asked if the new PIA values will be effective with 15.0. Jill advised yes.

Next Steps Publish documentation / matrix

December 17, 2003 CMP Meeting Jill Martain – Qwest advised that the team met and reviewed the PIA Matrix on December 15. Qwest agreed to make additional updates to the matrix. Liz Balvin – MCI verified that Qwest will clearly distinguish between LSR and Service Order activity and FOC and subsequent FOC in the document. Jill agreed those updates / clarifications would be made. Jill asked the CLECs if they would like to have another meeting or if the matrix is okay to be published. Liz Balvin – MCI and Bonnie Johnson – Eschelon advised they would like to have another meeting as they did request additional unique PIA values around Blocking. Jill advised she is working on the two issues that were brought up at the Ad Hoc Meeting (Blocking and PIA14 Data Portion not provisioned). The team will discuss these at the next meeting. Cindy Macy – Qwest agreed to schedule a meeting for January 5 or 9. Bonnie expressed her concern that the CLECs did request additional specific PIA values that were not included in the matrix. Jill explained that she has tried to include all the scenarios that were discussed and the concern with having too many PIA values is that it becomes unmanageable and the centers would not use all of the values. This CR will remain in Development Status.

December 15, 2003 Ad hoc meeting PC090203-1 CFLAG/PIA Ad Hoc meeting

In Attendance: Julie Pickar – US Link Kim Isaacs – Eschelon Ray Smith – Eschelon Stephanie Prull – Eschelon Carla Pardee – ATT Jill Martain – Qwest Cindy Macy – Qwest Colleen Sponseller – MCI Liz Balvin – MCI Bonnie Johnson – Eschelon

Jill Martain – Qwest advised she has updated the matrix based on investigations and previous meetings. Jill advised there is a large list of PIA values and it is very hard for Qwest to manage so many different values. As an example, we have combined some PIA 4 reasons into one code.

Bonnie Johnson – Eschelon asked about 20% of training issues identified in the matrix? Was the PIA field used inaccurately? Jill Martain – Qwest advised some were unclear selections and training will help. This is an example of how too many PIA values become hard to manage.

Liz Balvin – MCI asked about subsequent FOCs as there is no such notifier. Jill Martain – Qwest advised if there is something missing Qwest will send a jep after the FOC. If Qwest makes an error and there is nothing to correct than Qwest will send another FOC with the correct PIA information. This is done on a Qwest typo error. Steph Prull – Eschelon advised their systems don’t look at the second FOC. So any updates on second FOC are not updated. Jill explained this is not new, it has always been the process. The CLECs asked if this is in the PCATs. Jill advised CFLAG was created to accommodate these situations so that is the purpose of CFLAG. Jill advised PIA is an industry standard. The industry only has four values.

Bonnie Johnson – Eschelon asked about due date change by Qwest. Bonnie asked why can’t there be a different PIA value for each of these due date changes. Jill advised this created the possibility of error and the ‘reason change’ is the same. Jill is very concerned about the number of different values.

The team agreed the next steps are to make changes to the document and then meet again to review. Liz wanted to make sure the changes would specify when Qwest felt it was appropriate to make changes. Specifically, Liz requested Qwest to identify if it was a change made from the CLEC LSR to Service Order or whether it was a change made to correct an error identified on the FOC notification . Jill agreed those changes would be included.

November 19, 2003 CMP Meeting Jill Martain – Qwest advised that she received comments from the CLECs regarding the last matrix that was distributed. Jill is in the process of providing a response to those issues. In addition, as a result of those comments and internal discussions the list is growing and there is concern about the number of values Qwest could be requiring our centers to manually review and accurately select. Jill will take another look at the most commonly used reasons and the CLEC feedback and provide a final proposal to the CLEC community hopefully, within the next week.

Lastly, there was discussion around retrofitting the multiple values and additional PIA values into the 13.0 and 14.0 releases. Since it has not been the practice to retrofit new changes into earlier EDI versions, Qwest does not plan to pursue retrofitting new PIA functionality into earlier EDI versions. However, Qwest is still looking into options of adding any new PIA values into the 15.0 release.

CLEC Ad Hoc Meeting PC090203-1 CFLAG / PIA October 30, 2003

In attendance: Julie Pickar – US Link Liz Balvin – MCI Kim Isaccs – Eschelon Ray Smith – Eschelon Jill Martain – Qwest Jenn Arnold – US Link Jackie Debold – US Link Denise Martinez – Qwest Cindy Macy – Qwest

Cindy Macy – Qwest opened the call and explained we will review the matrix, make updates and determine next steps. Cindy confirmed that the users had copies of the matrix.

Jill Martain – Qwest reviewed the PIA numbers and reasons. Discussion took place on several of the PIA values and reasons. See below.

PIA 4/15 – MCI requested that Qwest validate that this is in the disclosure document and this may create an out of sync condition. Liz advised she would like the business rules to be clear in the disclosure document. If the centers are using PIA 15 they would also notify the process specialist so we can be sure we review and correct the reason that we are using PIA 15.

Address Validation –MCI advised that different address systems are used to validate different forms or requests. Please be specific on PIA 4 as to which address system is being checked.

Remarks field can cause a mismatch. The request was that Qwest would monitor PIA 4 and Other to improve the reason that is causing us to use PIA 4.

The CLECs advised they will need to review this matrix with their coworkers to gather input. Jill asked the CLECs to get back to Cindy Macy at cynthia.macy@qwest.com to confirm that the PIA reasons are acceptable. After that, Jill would pursue obtaining new PIA values.

Jill explained that to implement these changes there are process and documentation changes, system changes are needed to assign new PIA values, and the request to retrofit the 15.0 changes into 13/14.0 releases require an exception meeting. -

October 15, 2003 CMP meeting minutes Cindy Macy – Qwest provided status for Jill as she is on vacation this week. Cindy advised the CLECs met October 1, 2003 to review the current use of CFLAG/PIA. During the Ad Hoc meeting Jill explained the reasons we use each CFLAG/PIA and the team began to further define acceptable reasons for ongoing use of CFLAG/PIA. Bonnie Johnson advised she made a request at the Long Term PID meeting that the CFLAG/PIA changes planned for Release 15.0 also be incorporated into 13, 14 and 15.0. Cindy advised she will discuss this with Jill when she returns from vacation. Stephanie Prull – McLeod advised they are on 13.0 and it seems like the use of CFLAG/PIA in the system is different with 13.0. Every time a conversion order that goes through autoflow, a PIA 12 (cus code change) is assigned. Stephanie advised McLeod is aware of the cus code changing so a PIA of 12 is not needed. This CR will move to Development Status.

CLEC Ad Hoc Meeting PC090203-1 CFLAG/PIA October 1, 2003

In attendance: Julie Pickar US Link James McClusky Accenture Liz Balvin MCI Steve Trana Launch Now Phyllis Burt ATT Mike Zulevic Covad Jill Martain Qwest Bonnie Johnson Eschelon Kim Issacs Eschelon Jennifer Arnold US Link Stephanie Prull McLeod

Cindy Macy – Qwest opened the call and advised the purpose of this call is to review the current use of CFLAG/PIA and to determine new uses for CFLAG/PIA. Bonnie Johnson-Eschelon advised her goal is to create a finite list for use of PIA. Liz Balvin-MCI advised at a minimum the CLECs have to know how the field is being used. Jill Martain-Qwest advised she has concerns over loosing the ability to use PIA in an interim process or work around. Liz Balvin-MCI asked why wouldn’t Qwest reject the LSR instead of use PIA. Jill advised sometimes the better option is to use PIA, opposed to missing a due date. Liz said she understands as long as the CLEC is contacted and advised about the use of PIA.

Jill explained CFLAG will be eliminated with 13.0 and PIA will be used 13.0 going forward. EDI 11 and 12 it is still valid. CFLAG and PIA terms are interchangeable.

Bonnie advised CFLAG/PIA has direct impacts to PO20. If CFLAG is used it excluded the order from PO20. The use of CFLAG/PIA has to be limited. Bonnie wants to have an exhaustive list. If something is broken, then Qwest needs to fix the problem opposed to using CFLAG.

Phyllis Burt ATT asked to explain the use of PIA 4 value of ‘other’. Bonnie explained this allows the CLEC to enter the LSR so it can be rejected. Qwest uses this field to notify CLECs of changes made to the order. It helps the order be processed.

Jill Martain – Qwest went through the CR and discussed the current uses for PIA. Bonnie requested that we go through the information and ask that the CLECs have time to go back to their organizations to gather input, before we make final decisions on the use of PIA. The team agreed this was okay and that we would have another meeting to discuss our findings. Jill agreed she would create a matrix that identifies the reason to use PIA and identify which PIA would be used in each situation. This matrix should be available to review at the next CLEC Ad Hoc Meeting.

The group discussed the PIA changes as a result of Verbal direction from CLECs, Changes due to processing requirements within Qwest, Changes for ‘other’ reasons and System limitations.

Jill agreed to look at creating multiple PIAs for system limitations such as: DD change per CLEC DD changes per Qwest Cancel per CLEC Cancel per Qwest Verbal DD changes Delayed order condition causing DD change The CLECs expressed their concerns over system limitation PIAs. If Qwest talks to the CLECs and gets their approval it is more acceptable.

Liz Balvin advised MCI does not subscribe to PSONs so the process can not be to notify via a PSON. Jill agreed to look at the Dispatch field and PIA 11 to make sure we understand how this is being used.

Bonnie Johnson advised the address field is another area where we may want multiple PIA. Qwest should identify minor deviations on address data. Jill explained we need to create a manageable list of PIAs. Bonnie and Liz advised they would like to know what specifically changed on the address so they can fix it next time. Jill offered to create a PIA for address and include the specifics in the remarks. Liz was okay with this.

Non fatal errors were discussed and agreed that these should be talked about further to identify situations when it would be used.

PIA 15 Requested USOC was discussed. Jill advised PIA 15 is only used when the feature PCAT does not tell us what to do.

Bonnie asked if PIA 3 could go away with 15.0. Jill agreed to check on.

PIA 13 BAN change – optional field. What happens is we don’t populate it? Jill advised if BAN is populated with the incorrect BAN Qwest uses PIA to fix it. If BAN is blank we don’t use PIA.

PIA 14 should be further defined. Jill will updated the matrix to further define PIA 14. PIA 8 goes away with Release 15.

The CLECs will take PIA and review with their organizations. Jill will update the PIA matrix and we will discuss it during our next meeting.

Bonnie sent in the following information as a result of CLEC discussions:

The CLECs committed to hold a meeting and review 3 issues on this CR. 1. Verbal sups on non fatal errors: * The CLECs collectively agree with Qwest (Char Mahs communicated Qwest will be sending a level 3 notice soon) that verbal sups should be allowed only when a sup is not possible due to a system or some other unique limitation. 2. PIA #15 value to be implemented in 14.0 * The CLEC community has a concern about this value. * How will the process for blocking and hunting impact this. Qwest process states that the USOC will no longer be required. Will every LSR with blocking requested (requiring a USOC) and hunting have a #15 value? * If so the CLECs would like a new value to apply to USOCs not required on the LSR and one for USOCs that are required. More discussion is needed on this. 3. Can we eliminate the #4 "other" field? * The CLECs would like to develop the detailed value list and discuss at that point, however, the general consensus is that if we can create a total list we may be able to accomplish that.

Some additional points: * CLECs want to ensure that the PIA field is not replacing any processes. The PIA field is merely Qwest defining the LSR/Service order mismatch and CLECs will not be required to use the PIA field will not communicate any data currently relayed to CLECs via other methods. For example, Qwest marks PIA value 12 because the customer code has changed. Qwest communicates the new customer code in remarks on the FOC. The CLEC will not need to now obtain the new customer code from the remarks field when they currently obtain the information through other means. * Will Qwest submit a special request to make all changes requested in this process in 15.0 and update 13.0 and 14.0 at that time?

September 17, 2003 CMP Meeting Jill Martain presented this CR and asked if Qwest could hold a CLEC Input meeting on 9-29-03 from 9 – 11:00 a.m. Liz Balvin-MCI advised Monday’s do not work for her. Cindy agreed to send a notification to offer 3 meeting options and then reschedule.

MEETING MINUTES

Request to change Level 2 Notification PROS.07.28.03.F.01137.ProvisioningV27 to a Level 4 Change Request

August 20, 2003 CLEC-Qwest Conference Call Meeting Time: 1:00 – 2:00 PM MDT

Purpose The purpose of the ad-hoc meeting was to determine how to move forward with implementing changes notified in PROS.07.28.03.F.01137.ProvisioningV27 and how to manage the CLEC requests that came in asking that this change be managed as a Level 4 CR.

Attendees Carla Pardee-ATT, Donna Osborne-Miller- ATT, Sharon Van Meter – AT&T, Mike Zulevic-Covad, Kim Isaacs-Eschelon, Bonnie Johnson-Eschelon, Bill Littler-Integra, Stephanie Prull-McLeod, Liz Balvin-MCI, Jennifer Arnold-US Link, Susan Lorence-Qwest, Jim Maher-Qwest, Jill Martain-Qwest, Judy Schultz-Qwest, Kit Thomte-Qwest

Meeting Minutes

Jim Maher-Qwest opened the meeting and explained that Qwest had issued a Level 2 notification PROS.07.28.03.F.01137.ProvisioningV27 updating information associated with CFLAG processes. The notification had been issued as Level 2 because it was an update that included documentation concerning existing processes/products not previously documented. Jim explained that comments had been received from Cbeyond, Covad, Eschelon and MCI requesting that the CLECs be involved in developing the procedures and that this could be accomplished by handling this as a Level 4 CR.

Jill Martain-Qwest proposed that the Level 2 change be implemented based on a request from the CLECs that this process should be more clearly documented. Martain stated that having the processes documented through the Level 2 notification might be more advantageous to all involved with this process, and that a Level 4 CMP CR could be opened to modify the process.

Bonnie Johnson-Eschelon stated that Eschelon had an issue with posting the information provided in the Level 2 notification because Eschelon did not think the information represented what was happening with CFLAG. She further explained that Eschelon had raised concerns regarding CFLAG for some time and that they had concerns with PID impacts. Mike Zulevic-Covad and Liz Balvin-MCI also stated they were uncomfortable with the Level 2 language being implemented and agreed that this should be managed as a CR. Jill Martain stated that the language provided in the Level 2 notification could be the starting point for the CR. Bonnie Johnson agreed with that approach. Martain agreed to proceed with th CR, and stated there may be a short term and longer term CR associated with this work.

The meeting adjourned.


Open Product/Process CR PC090303-1 Detail

 
Title: Grandparenting of specific LAN Switching Service (LSS) USOCs
CR Number Current Status
Date
Area Impacted Products Impacted

PC090303-1 Completed
12/17/2003
Provisioning Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

The following list of USOCs will be grandparented as of 11/10/2003 and relocated in the FCC tariff to section 8.10:

LAN Links

Ethernet, 10 Mbps, without protection, per LAN Link termination

- Monthly D5LCX

- 12 Months DLUC1

- 36 Months DLUC3

- 60 Months DLUC5

Ethernet, 10 Mbps, with protection, per LAN Link termination

- Monthly D5LCP

- 12 Months DPUC1

- 36 Months DPUC3

- 60 Months DPUC5

Fast Ethernet, 45 Mbps, without protection, per LAN Link termination

- Monthly D5L1X

- 12 Months DLU11

- 36 Months DLU13

- 60 Months DLU15

Fast Ethernet, 45 Mbps, with protection, per LAN Link termination

- Monthly D5L1P

- 12 Months DPU11

- 36 Months DPU13

- 60 Months DPU15

Fast Ethernet, 100 Mbps, without protection, per LAN Link termination

- Monthly D5L2X

- 12 Months DLU21

- 36 Months DLU23

- 60 Months DLU25

Fast Ethernet, 100 Mbps, with protection, per LAN Link termination

- Monthly D5L2P

- 12 Months DPU21

- 36 Months DPU23

- 60 Months DPU25

Expected Deliverable:

Grandparenting will be effective 11/10/2003


Status History

09/03/03 - CR Submitted

09/04/03 - CR Acknowledged

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

09/26/03 - Held Ad Hoc input meeting

10/08/03 - Qwest sent Product Notice, PROD.10.08.03.F.03576.GrandparentingLAN, proposed effective date 11/11/03

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/27/03 - Qwest sent final notification, PROD.10.27.03.F.03904.FNL_GrandparentingLAN, effective date 11/11/03

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

12/17/03 December CMP Meeting Janean Van Dusen said that the PCAT changes were effective 11/11/03 and suggested this CR be moved to Completed status. This CR will move to Completed status.

11/19/03 November CMP Meeting Janean Van Dusen with Qwest said that the changes were effective 11/11/03 and would like to move this CR to CLEC test. This CR will be moved to CLEC Test.

10/15/03 October CMP Meeting Janean Van Dusen with Qwest said there was an ad hoc meeting held on 9/26 for input to this CR. Qwest is on track for implementation 11/11/03. This CR will be moved to Development Status.

Ad Hoc Meeting Minutes PC090303-1 "Grandparenting of specific LAN Switching Service (LSS) USOCs" CMP Product & Process September 26, 2003 1-877-572-8687, Conference ID 3393947# 8:00 a.m. - 8:30 a.m. Mountain Time

PURPOSE

At the September CMP Meeting, participants agreed to hold a conference call to discuss Qwest submitted CR PC090303-1, Grandparenting of specific LAN Switching Service (LSS) USOCs. The following is the write-up of the discussion.

List of Attendees: Donna Osborne-Miller - AT&T Bonnie Johnson - Eschelon Kim Isaacs - Eschelon Janean Van Dusen - Qwest Connie Davidson - Qwest Linda Sanchez-Steinke - Qwest

MEETING MINUTES

The meeting began with Qwest making introductions and welcoming all attendees. Linda Sanchez-Steinke with Qwest explained that the purpose of the meeting was to discuss CR PC090303-1.

Janean reviewed the CR and said that specific LAN Switching Service (LSS) USOCs will be grandparented on 11/10/03. These USOCs will not be available to order as new service but will be available for conversions. Connie Davidson with Qwest said the FCC filing will be effective on 11/11/03 because the FCC is unable to take the Filing on a Monday.

Qwest asked if there were any additional questions. No questions were asked.

09/17/03 September CMP Meeting Janean Van Dusen with Qwest presented this CR. There will be an ad hoc meeting on 9/26 for input to this CR. Liz Balvin with MCI asked if there tariffs will be filed with new rates. Janean answered yes. This CR will move to Presented Status.


Open Product/Process CR PC070203-1 Detail

 
Title: Process for Requesting Clarification to a Systems Document
CR Number Current Status
Date
Area Impacted Products Impacted

PC070203-1 Completed
10/15/2003
Systems Documentation
Originator: Winston, Connie
Originator Company Name: Qwest Corporation
Owner: Winston, Connie
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

This CR would formalize the process for requesting clarification to existing systems documentation (for example, disclosure or Users Guides) outside of the documents documentation review cycle.

Expected Deliverable:

Process for requesting clarifications to the Diclosure Document:

1. During each CLEC's EDI Implementation or Migration to a new release, Qwest and each CLEC maintain a question log of all questions asked and the associated answers. If a CLEC feels that a documenation clarification is needed, that clarification should be requested on the Question Log.

2. Upon receipt of the requested clarification, the CLEC's EDI Implementation contact will evaluate the requested clarification against the criteria listed below.

3. Occasionally, Qwest will need to alter the wording of the documentation clarification requested by the CLEC. If this is necessary, the revised wording will be sent to the CLEC for review.

4. If the clarification meets the criteria, the change will be made in the next release's draft Technical Specification (Disclosure) publication.

5. If the clarification does not meet the criteria and the CLEC still wants to pursue the change, the CLEC will be instructed to use the Technical Escalation Process or the CMP Escalation/Dispute Resolution Process.

Criteria:

The documentation clarification can be made through this process if:

1. Does not require a systems change.

2. Documents an existing, undocumented, field-level requirement.

3. Clarifies an existing, field-level requirement.

4. Does not document the manner in in a which a legacy system functions.

5. Is not a system defect.

6. Is not a policy or process.

Process for updates to Other Systems Documentation:

All other updates to Systems Documentation should be submitted using the CLEC Documentation Change Request form.


Status History

07/02/03 - CR Submitted

07/02/03 - CR Acknowledged

07/15/03 - Held Clarification Meeting

07/16/03 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

08/08/03 - PROS.08.08.03.F.01153.ExDocReq

08/20/03 - August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

09/16/03 - Qwest sent PROS.09.16.03.F.01195.ExDocReqProc, CMP - External Documentation Request Process effective 9/17/03

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section

10/15/03 - October CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

10/15/03 October CMP Meeting Linda Sanchez-Steinke provided an update on this CR. Qwest issued the final notification and it was effective 9/17/03. Liz Balvin with MCI said that she had not used the system documentation clarification process and asked if it was the same as process. Linda said it was similar and has a different form for systems documentation. It was agree that this CR will be moved to Completed status.

09/17/03 September CMP Meeting Connie Winston provided an update on this CR. There is a systems form now available to request changes to system documentation. Notification was provided on 9/16/03 and is effective 9/17/03. The EDI teams will continue to handle requests as they have previously. This CR will be moved to CLEC Test status.

08/20/03 August CMP Meeting Connie Winston was not able to be present when this CR was discussed and provided the following update for the meeting minutes. The external url developed for the External Documentation Request Process will be used for systems documentation requests. Comments can also be provided via EDI through the EDI comment log. Currently we are looking at the external documentation form to determine if changes will needed to support systems documentation requests. This CR will be moved to Development status.

07/16/03 July CMP Meeting Connie Winston with Qwest presented this CR. Connie explained that this CR was opened because there is a need for CLECs to have a path to give feedback to Qwest on User Guide documentation. An external url will be implemented in mid-August and CLECs can request changes be made to systems documentation. When the requests are received, Qwest will determine if it meets the criteria listed in the CR. If the change to documentation requires a system change, then a systems CR would need to be opened.

Carla Pardee with AT&T said this CR is a good idea. Liz Balvin asked if there would still be EDI development teams and Connie answered yes the EDI development teams will continue.

CLEC Change Request Clarification Meeting

9:30 a.m. (MDT) / Tuesday, July 15, 2003

1-877-554-8688 1930099# PC070203-1 Process for Requesting Clarification to a Systems Document

Attendees Name/Company: Connie Winston, Qwest Kyle Kirves, Qwest Linda Sanchez-Steinke, Qwest

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change Qwest’s CR formalizes the process to request clarification to existing systems documentation, when the document is outside the documentation review cycle. Clarification can be made through this process if the documentation fits in the following criteria: 1. Does not require a systems change. 2. Documents an existing, undocumented, field-level requirement. 3. Clarifies an existing, field-level requirement. 4. Does not document the manner in which a legacy system functions. 5. Is not a system defect 6. Is not a policy or process. Process for updates to Other Systems Documentation: All other updates to Systems Documentation should be submitted using the CLEC Documentation Change Request form.

Confirm Areas & Products Impacted The area of this Change Request impacts ability to provide feedback on systems documentation.

Confirm Right Personnel Involved Qwest confirmed the correct personnel were on the call to resolve the CR.

Identify/Confirm CLEC’s Expectation Provide formal process for clarification on systems documentation when document is outside documentation review cycle.

Identify any Dependent Systems Change Requests No systems change requests.

Establish Action Plan (Resolution Time Frame) Qwest will present this CR at the July CMP meeting with an update at the August CMP..


CenturyLink Response

September 9, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the September 2003 CMP Meeting

SUBJECT: Qwest’s Change Request - PC070203-1 "Process for Requesting Clarification to a Systems Document"

For EDI Documentation changes, CLECs should use the established process of identifying changes to the EDI Documentation and providing the suggested changes to their Qwest Project Manager during CLEC Implementation. The suggested changes will be captured on their Question and Answer log, will be reviewed and a response provided. The CLEC will be advised of the wording of the documentation change. This is the most effective way for CLECs to get their requested change made to their specifications. For process and non-EDI documentation changes, CLECs should use the following URL for submitting changes: http://www.qwest.com/wholesale/customerService/exdocreq.html). From this URL, CLECs can choose one of two forms: 1) For process documentation (e.g., LSOG, PCAT, et. al.), CLECs should select the process documentation form, 2) For non-EDI systems documentation (e.g., CEMR, DLIS, etc.), CLECs should use the systems documentation form. The process documentation form is currently available; the systems form is currently in design. When that form is available, Qwest will notify the CLECs of its availability.

Sincerely,

Connie Winston Director, Information Technology Qwest


Open Product/Process CR PC070203-2 Detail

 
Title: Introduce new form for MTE access.
CR Number Current Status
Date
Area Impacted Products Impacted

PC070203-2 Completed
11/19/2003
Ordering, Provisioning Loop - NID
Originator: Mohr, Bob
Originator Company Name: Qwest Corporation
Owner: Mohr, Bob
Director:
CR PM: Harlan, Cindy

Description Of Change

A new order form entitled “CLEC Access at Qwest Protector Field Application” is being introduced to allow CLECs to access the MTE NID’s protector field and have their cable spliced into the protector stub. A description of this activity is found in SGAT 9.5.2.5. This option is currently available; however, due to limited interest in this offering, no form was previously developed.

In addition, resulting from regulatory activity in the states of AZ, OR, and WA., CLECs may now directly access the protector field by removing Qwest’s cable pair from a pin on the protector field and placing a CLEC pair on that same pin instead of having their cable spliced into the protector stub. The “CLEC Access at Qwest Protector Field Application” has also been created to include this function.

Expected Deliverable:

New form linked to the NID PCAT


Status History

7/2/03: CR Received

7/2/03: CR Acknowledged

7/3/03: Left Bob Mohr message will discuss on 77/03

7/7/03: Discussed CR with Bob Mohr (clarification meeting)

7/16/03: July CMP meeting minutes will be posted to the database

7/22/03: CLEC Input meeting scheduled for 8/6/03 and notification distributed

8/6/03: Held CLEC input meeting

8/20/03 - August CMP meeting - see meeting notes

9/17/03 - Sep CMP meeting notes will be posted to the database

10/15/03- Oct CMP meeting minutes will beposted to the database

11/19/03 - Nov CMP meeting minutes will be posted to the database


Project Meetings

11/19/03 CMP Meeting Cindy Macy – Qwest reported for Bob Mohr that this process was implemented on October 9. Qwest asked to close this CR and the CLECs agreed. This status of this CR will change to Completed.

10/15/03 CMP Meeting Cindy Macy – Qwest advised the documentation was released on 9-25-03. No comments have been received and 10-9-03 was the implementation date. This CR will move to CLEC Test status.

9/17/03 CMP Meeting Bob Mohr – Qwest advised the PCAT is available on the review site. No comments were received. The document will be published as operational 10/9/03.

8/20/03 CMP Meeting Bob Mohr-Qwest reported the documentation is planned for release to the CLECs on August 25 with an effective date of October 9. This is a Level 4 update.

CLEC Input Meeting PC070203-2 Introduce new form for MTE (Multi tenant environment) access Wednesday August 6, 2003 10:00 – 11:00 a.m. MST 1-877-572-8687 3393947#

In attendance: Bob Mohr – Qwest Russ Urevig – Qwest Liz Balvin – MCI Shirley tallman – Qwest Bonnie Johnson – Eschelon Stephanie Prull - McLeod Dave Hahn – Qwest Cindy Macy – Qwest

Bob reviewed the CR and explained he is presenting an appliication form to allow a CLEC to access the Qwest protector equipment. This is a UNE. The protector field protects equipment from power surges.

Bonnie Johnson – Eschelon asked why would a CLEC access to this field? Bob replied there is no demand for this product currently. It is a UNE and Qwest is offering access to it. The CLEC would want access to our protector if there are space limitations or the CLEC does not provide their own protection. A CLEC can order access to the protector via this new form. Bob also explained you can access this protection at a pair by pair basis in certain states.

The CLECs asked how do we tell what kind of protection is in place? Qwest replied the technician has to check visually to determine. Shirley – Qwest advised being able to access the protector would also give access to the splice point. Protection is required and the CLEC can either provide it or use Qwest protection. This form would be used to access the protector.

Cindy Macy – Qwest reviewed the next steps. Bob Mohr will provide status on the release of the process / documentation at the August CMP meeting.

7/16/03 CMP Monthly Meeting minutes: Bob Mohr – Qwest reviewed the CR with the CLEC Community. Bob explained there is a new form that is being introduced to allow CLECs to access the MTE (multi tenant environment) NID’s protector field. Cindy Macy-Qwest advised we have planned a CLEC input meeting for August 6, 2003. A notification will be distributed providing the details for the call.


Open Product/Process CR PC081903-1 Detail

 
Title: Change in Resale, UNE and Interconnection Services Service Interval Guide (SIG)
CR Number Current Status
Date
Area Impacted Products Impacted

PC081903-1 Withdrawn
9/17/2003
LIS / Interconnect
Originator: Stulen, Sandy
Originator Company Name: Qwest Corporation
Owner: Stulen, Sandy
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Adding 21-30 NPA-NXXs with a 40 business day interval and adding 31-40 NPA-NXXs with a 45 business day interval. This is due to recent ASOG revisions which expanded quantities of NPA-NXXs and CICs on ASRs.

Expected Deliverable:

Proposed Implementation Date 10-31-03


Status History

08/19/03 - CR Submitted

08/19/03 - CR Acknowledged

08/19/03 - Clarification Meeting

08/20/03 - August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

09/17/03 - September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

09/17/03 - September CMP Meeting Sandy Stulen with Qwest gave an update on this CR. Qwest would like to withdraw this CR and doesn’t plan to change the SIG. Bonnie Johnson with Eschelon asked if Qwest can provide the intervals requested at last month’s meeting. Sandy Stulen answered she doesn’t have the data. This CR will be moved to Withdrawn Status.

08/20/03 - August CMP Meeting Sandy Stulen with Qwest presented changes to the LIS interconnection intervals to add additional quantities of NPA-NXXs to more nearly resemble feature group because of the increase in CIC codes shown on the TQ with the release of ASOG 27. The quantity of NPA-NXX codes had changed on a previous ASOG. Qwest is now proposing to make changes to the LIS, Wireless and Feature Group SIGs with the release of ASOG 27. The change is specifying an interval, which was previously ICB. Bonnie Johnson with Eschelon asked that Qwest analyze and provide to the CLECs the average number of business days orders with ICB due dates were completed, as this could have a negative impact on CLECs. There will be an Ad Hoc meeting scheduled to gather input to this CR.


Open Product/Process CR PC072103-1 Detail

 
Title: DLR Option Change
CR Number Current Status
Date
Area Impacted Products Impacted

PC072103-1 Withdrawn
8/20/2003
Provisioning LIS / Interconnect
Originator: Money, Bryan
Originator Company Name: Qwest Corporation
Owner: McBride, Kathy
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Plan Description:

Qwest will eliminate manual paper DLR’s

Customers will have 4 options for receiving DLRs from Qwest.

1. Customer printer equipped with a modem.

2. Customer PC

3. FAX

4. CEMR/DSOS

Note: Email is not an option due to security concerns.

Requirements:

1. Customer must have a DRC code. (A DRC can be obtained from Telcordia at a cost of approximately $400 or from Qwest at no charge).

2. A customer may have more than one DRC to accommodate multiple locations.

3. A DRC will be required on all orders. If a DRC is not provided a default of CTS will be populated (CTS is the DRC code for CEMR/DSOS).

Expected Deliverable:

Qwest will no longer mail paper DLRs. 4 options for DLRs are available see above. Will improve DLR receipt cycle time, eliminate manual processing and handling, reduce cost.


Status History

08/20/03 - August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

08/20/03 August CMP Meeting Kathy McBride with Qwest said that Qwest would like to withdraw the CR because, when implemented, will be a level 3 notification Bonnie Johnson with Eschelon asked for more information about the change request. Kathy said that the CR was initiated by Service Management and that today DLRs are sometimes manually handled in the ASR world. Mechanized options would include Fax, CEMR and customer printer equipped with a modem. Bonnie said that Gary Veik with Qwest had contacted Eschelon about getting DLRs from a Qwest system and wasn’t sure which system. Kathy said it might have been CEMR. This CR will be moved to Withdrawn status.


Open Product/Process CR PC112103-1EX Detail

 
Title: CMP December Meeting to be a combined one day Process and Product and Systems Meeting
CR Number Current Status
Date
Area Impacted Products Impacted

PC112103-1EX Completed
12/11/2003
CMP Meeting
Originator: Andreen, Doug
Originator Company Name: Qwest Corporation
Owner: Andreen, Doug
Director:
CR PM: Andreen, Doug

Description Of Change

Qwest will host a combined Product/Process and Systems CMP meeting for December on December 17. Product and Process will be held from 8 a.m. to 11:30 a.m. MST. The systems meeting will follow at 1:00 p.m. to 4:30 p.m. Meeting location will remain the same. All dates for distribution of materials for these meetings will remain the same: Distribution Package Posting dates of 12/12 for Product/Process and 12/15 for Systems. CR submission cut off dates will also remain the same at 12/3 for Product/Process and 11/27 for Systems.


Status History

11/21/03 - CR Submitted

11/21/03 - CR Acknowledged

11/24/03 - Qwest initiated notification CMPR.11.25.03.F.01099.ExceptionNoticeVoteReq

12/09-03 - Held vote on combined December meeting

12/10/03 - Qwest initiated Notification CMPR.12.10.03.F.01168.Dec_CMP_Mtg_Combined Vote disposition

12/11/03 - Status changed to closed.


Project Meetings

Meeting Minutes CR PC112103-1EX CMP Combined December Meeting December 9, 2003

Purpose The purpose of the vote is whether to allow an exception to the CMP document to allow a combined Product/Process and Systems CMP meeting to be held on December 17, 2003.

Attendees

Sue Lamb, Digital Easy Chair Liz Balvin, MCI John Berard, Covad

Meeting Minutes

Doug Andreen - Qwest reviewed the following:

A vote of ‘Yes’ will allow for a combined Product/Process and Systems CMP Meeting to be held on December 17,2003

A vote of ‘No’ will NOT allow for a combined Product/Process and Systems CMP Meeting to be held on December 17,2003

There were no questions associated with the Yes and No vote.

Doug Andreen - Qwest stated that Quorum of 6 Carriers was achieved.

Doug Andreen - Qwest stated that an emailed ‘Yes’ vote was received from Qwest, AT&T and Eschelon.

Doug Andreen - Qwest stated that based on the results of the vote, PC112103-1EX was granted an exception to hold a combined CMP meeting on the 17th of December.

There were no additional comments or questions.


Open Product/Process CR PC120303-1CM Detail

 
Title: CMP Document Language Changes to Section 12.4 and 12.5
CR Number Current Status
Date
Area Impacted Products Impacted

PC120303-1CM Completed
2/18/2004
Change to CMP Document
Originator: Winston, Connie
Originator Company Name: Qwest Corporation
Owner: Winston, Connie
Director:
CR PM: Andreen, Doug

Description Of Change

Request CMP Document Language Change to Section 12.4 and Section 12.5. Please see attached redline of the Change Management Process Document.


Status History

12/03/03 - CR Submitted

12/04/03 - CR Acknowledged

12/18/03 - Qwest Initiated Notification CMPR.12.18.03.F.01200.CMP_Vote_on_Document

12/17/03 -December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - Status changed to Presented

1/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

1/21/04 - Status changed to Development

1/27/04 - Qwest initiated notification CMPR.01.27.04.F.01298.CMP_Process_Vote_Disp

2/18/04 -February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

2/18/04 - Status changed to completed

3/4/04 - Qwest initiated Notification PROS.03.04.04.F.01435.CMP_Doc_Changes

4/5/04 - Qwest initiated Notification PROS.04.02.04.F.01530.FNL_CMP_Doc_Changes


Project Meetings

2/18/04 CMP Meeting This CR was approved at the January CMP meeting. It will carry an April 19 implementation. Status will move to complete.

- 1/21/04 CMP January Meeting The voting began with Doug Andreen advising that to achieve a Quorum 6 CLECs were needed to participate in this vote. Quorum was achieved. He also indicated that McLeod and Qwest had voted in advance of the meeting. Peggy Esquibel-Reed indicated no other email votes had been received. Doug Andreen, Qwest reviewed the CR allowing for a language change to Sections 12.4 and 12.5 of the CMP document Michelle Sprague, McLeod had voted yes via email Judy Schultz, Qwest had voted yes via email Liz Balvin stated that MCI votes yes Carla Pardee stated that AT&T votes yes Bonnie Johnson stated that Eschelon votes yes Mike Zulevic stated that Covad votes yes In this vote, conducted in accordance with Sections 16.4 and 17.0, the participants voted to approve a CMP language change to Sections 12.4 and 12.5 of the CMP document by a vote of 6 “Yes” votes, 0 "No" vote, and 0 "Abstain" votes. Voting was concluded.

-- 12/17/03 December CMP Meeting Kit Thomte, Qwest presented the language change to the CMP document. It was agreed that this CR would be voted on next month during the CMP Product Process Meeting.


Open Product/Process CR PC120303-2CM Detail

 
Title: Changes to the CMP Document Section 12.7
CR Number Current Status
Date
Area Impacted Products Impacted

PC120303-2CM Completed
2/18/2004
Change to CMP Document
Originator: Winston, Connie
Originator Company Name: Qwest Corporation
Owner: Winston, Connie
Director:
CR PM: Andreen, Doug

Description Of Change

Proposed changes to Section 12.7 Notification Intervals in the CMP Document. Please see attached redline of the Change Management Process Document.


Status History

12/03/03 - CR Submitted

12/04/03 - CR Acknowledged

12/18/03 - Qwest Initiated Notification CMPR.12.18.03.F.01200.CMP_Vote_on_Document

12/17/03 -December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - Status changed to Presented

1/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

1/21/04 - Status changed to Development

1/27/04 - Qwest initiated notice CMPR.01.27.04.F.01298.CMP_Process_Vote_Disp

2/18/04 -February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

2/18/04 - Status changed to completed

3/4/04 - Qwest initiated Notification PROS.03.04.04.F.01435.CMP_Doc_Changes

4/5/04 - Qwest initiated Notification PROS.04.02.04.F.01530.FNL_CMP_Doc_Changes


Project Meetings

2/18/04 CMP Meeting This CR was approved at the January CMP meeting. It will carry an April 19 implementation. Status will move to complete.

- 1/21/04 January CMP Meeting The voting began with Doug Andreen advising that to achieve Quorum 6 CLECs were needed to participate in this vote. Quorum was achieved. He also indicated that McLeod and Qwest had voted in advance of the meeting. Peggy Esquibel-Reed indicated no other email votes had been received. Doug Andreen, Qwest reviewed the CR allowing for a language change to Sections 12.7 of the CMP document Michelle Sprague, McLeod had voted yes via email Judy Schultz, Qwest had voted yes via email Liz Balvin stated that MCI votes yes Carla Pardee stated that AT&T votes yes Bonnie Johnson stated that Eschelon votes yes Mike Zulevic stated that Covad votes yes In this vote, conducted in accordance with Sections 16.4 and 17.0, the participants voted to approve a CMP language change to Sections 12.7 of the CMP document by a vote of 6 “Yes” votes, 0 "No" vote, and 0 "Abstain" votes. Voting was concluded.

- 12/17/03 December CMP Meeting Kit Thomte, Qwest presented the language change to the CMP document. It was agreed that this CR would be voted on next month during the CMP Product Process Meeting.


Open Product/Process CR PC120303-3 Detail

 
Title: Grandparent Interstate SHNS and SST USOCs
CR Number Current Status
Date
Area Impacted Products Impacted

PC120303-3 Completed
4/21/2004
Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Harlan, Cindy

Description Of Change

Excel spreadsheet of 1302 Interstate and SHNS USOCs being grandparented on 3/1/04. There are three types of elements being grandparented; ports, shelves and port to port connecting agreements.

-Ports with month to month rates are not being affected. We are grandparenting 1,2,3 and 5 year rated ports.

-Shelves are being replaced by a fully loaded node. The currently tariffed nodes will become these fully loaded nodes once shelves are grandfathered.

-If a customer would have ordered a port to port connecting agreement, once that is grandparented, they will be able to order the currently tariffed COCC (central office connecting channel).

Expected Deliverable: 03/01/2004


Status History

12/03/03 CR Submitted

12/05/03 CR Acknowledged

12/8/03 Contacted Janean VanDusen

12/10/03 - Clarified CR

12/17/03 - Dec CMP meeting notes will be posted to the database

1/21/03 - Jan CMP meeting minutes will be posted to the database

1/16/04 - PROD.01.16.04.F.01240.ResaleSST_SHNS level 4 implementation date March 1, 2004

2/13/04 - PROD.02.12.04.F.01354.FNL_ResaleSST_SHNS

2/18/04 -Feb CMP Meeting notes will be posted to the project meeting section

3/5/04 - PROD.03.05.04.F.01451.Rev.FNL_Resale SST_SHNS

3/17/04 - March CMP meeting notes will be posted to the project meeting section

3/12/04 - PROD.03.12.04.F.01478.RevisedFNL_ResaleSST_SHNS Revised final notice

3/24/04 - Revised final notice changing dates to April 8, 2004. PROD.03.25.04.F.01515.RevFNL_ResaleSST_SHNS

4/21/04 - April CMP meeting notes will be posted to the project meeting section


Project Meetings

April 21, 2004 CMP Meeting notes: Janean VanDusen – Qwest advised this CR was effective April 8. This CR will move to Completed Status.

March 17, 2004 CMP Meeting notes: Janean Van Dusen – Qwest advised that this CR will be implemented April 6. There were delays in the tariff filing. This CR will remain in CLEC Test Status.

February 18, 2004 CMP Meeting notes: Janean Van Dusen – Qwest provided status. The final notification went out February 13. There are two effective dates with this CR. One is March 12 and the other is March 24. This CR will move to CLEC Test Status.

January 21, 2004 CMP Meeting notes: Janean Van Dusen – Qwest advised this CR is effective March 1, 2004. The USOC list is on the customer notification web site. It was noticed on January 16, 2004. This CR will move to Development Status.

December 17, 2003 CMP Meeting notes: Janean Van Dusen – Qwest reported that this is a new CR that is grandfathering USOCs related to these services. The intent is to streamline the number of USOCs associated to this product. There is a spreadsheet with 1302 USOCs on it. This spreadsheet is too large to include as part of the CR but it will be sent out with the Notification. This CR will move to Presented status.


Open Product/Process CR PC103103-1 Detail

 
Title: Buried service wire/placing/Conduit/Technician interface with end user
CR Number Current Status
Date
Area Impacted Products Impacted

PC103103-1 Completed
4/21/2004
Odering, Provisioning Unbundled Loop, UNE Loop, UNE-P, EEL (UNE-C)
Originator: Tallman, Shirley
Originator Company Name: Qwest Corporation
Owner: Tallman, Shirley
Director:
CR PM: Andreen, Doug

Description Of Change

Field Technician Process changes for Service drop wire and/or conduit Placement:

1. Field Tech is dispatched out to perform installation on a Wholesale order.

2. Field Tech determines that an initial or additional drop is required.

Residence premises: Placing is required for initial or additional drop.

Business premises: The property owner may be required to place conduit with pull-string for initial or additional drop placement.

3.

Non-design (ie, UNE-P)- Qwest Field Tech will contact CLEC to let them know about a jeopardy condition for placing of drop and/or conduit. The notification to CLEC is either direct to the CLEC contact or through a Voice Message. If the CLEC’s Voice Message is full, the Field Tech will make one more attempt to contact CLEC. The Field Tech will then place the order into jeopardy status.

Internal process Authorization of charges will need to be approved through a SUP on the LSR. Appropriate USOC's will be applied to the service order after SUP is received (Placement of conduit and the cost associated with it is the responsibility of the property owner.)

If conduit placement is required, Field Tech will advise property owner where the conduit should start and end.

Design (ie, Unbundled)- Qwest Field Tech makes a call to the QCCC or DSC and the QCCC or DSC will contact the CLEC for jeopardy condition for placing of drop and/or conduit and order will be placed into jeopardy status. Authorization of charges will need to be approved through a SUP on the LSR. Appropriate USOC will be applied to the service order after SUP is received (Placement of conduit and the cost associated with it is the responsibility of the property owner.)

If conduit placement is required, Field Tech will advise property owner where the conduit should start and end.

(If the QCCC or DSC cannot reach the CLEC, they will leave a VM.)

4. Property owner or end-user will contact CLEC to advise conduit placement is complete and order can be re-scheduled.

5. CLEC updates Qwest through LSR notification.

6. BSW group receives notification and schedules contractor to place Service Wire.

7. Field Technician is then dispatched out to complete installation.

Expected Deliverable:

January 1, 2004


Status History

10/31/03 - CR Submitted

10/31/03 - CR Acknowledged

11/11/03 Held Clarification Call

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - Status changed to Presented

11/19/03 - Qwest issued CLEC Input Meeting Notification CMPR.11.20.03.F.01085.CLECInputMeeting

12/04/03 - Held ad-hoc CLEC imput call

12/11/03 - Sent Minutes for CLEC input meeting

12/17/03 -December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - Status changed to Development

1/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

1/21/04 - Status will remain in Devleopment

1/30/04: Qwest initiated notification PROS.01.30.04.F.01311.Mtce_&_Rpr_Overview V25.0

2/19/04: Qwest initiated notification PROS.02.19.04.F.01387.FNL_Prov_Overview_V34

2/18/04 -February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

3/17/04 -March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

3/17/04 - Status changed to Test

4/21/04 -April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

04/21/04 April CMP meeting Shirley Tallman, Qwest asked that this CR be moved to completed since all the work has been performed. The CR will be moved to Completed.

03/17/04 March CMP Meeting Shirley Tallman, Qwest reported that the PCAT was effective 3/5. The CR will move to CLEC Test status.

- 2/18/04 CMP Meeting Shirley Tallman, Qwest said the comment cycle completed with no comments being received. The PCAT will be published and operational on March 5. The CR will stay in Development status.

1/21/04 CMP Meeting Shirley Tallman, Qwest said the PCAT language has been developed and will be on line for CLEC comments by the end of the month. Lydell Peterson, Qwest asked if the escalation process would change. Shirley said no, that it would continue to flow through the delayed order desk. The CR will stay in Development.

12/17/03 December CMP Meeting Jamal Boudhaouia, Qwest provided an update to this CR that Qwest is moving forward on the PCAT language to establish the process for when initial or additional drops are needed to complete an order. This CR was moved to Development.

- Ad Hoc Meeting Minutes PC103103-1 Buried service wire/placing/Conduit/Technician interface with end user CMP Product & Process December 4, 2003 1-877-521-8688, Conference ID 1456160 10:00 a.m. 11:00 a.m. Mountain Time

PURPOSE

At the November CMP Meeting, participants agreed to hold a conference call to discuss Qwest initiated CR PC103103-1. The following is the write-up of the discussion.

List of Attendees: Bonnie Johnson, Eschelon Carla Pardee, AT&T Liz Balvin, MCI Patrick Hennesey, Eschelon Todd Miller, Eschelon Kim Isaacs, Eschelon Ann Atchison, AT&T Steve Kast, Qwest Cathy Augustson, Qwest Shirley Tallman, Qwest Allen Braeggar, Qwest Eric Yohe, Qwest Doug Andreen, Qwest

MEETING MINUTES

The meeting began with Qwest making introductions and welcoming all attendees.

Doug Andreen with Qwest explained that the purpose of the meeting was to discuss Qwest initiated CR PC103103-1.

Shirley Tallman, Qwest explained the purpose of the CR is to establish a process for the Qwest on site technician and the CLECs concerning a situation where the technician finds that either an additional drop wire or conduit needs to be run. Shirley than described the proposed process. She pointed out that while Qwest does not usually talk to the CLEC customer that in the case where the building owner/manager and the customer are one in the same that Qwest would talk to them in their capacity as the building owner/manager.

Bonnie Johnson, Echelon questioned if this was a new or existing process.

Shirley said it is a little of both. The purpose was to clarify the process for both the Qwest technician and the CLECs.

Todd Miller, Eschelon added that he felt some of this was existing but that this process clarifies some unknowns. Bonnie stated that her concerns is the benefit of supplying the building manager/customer with the information in the sense that they will want the CLEC to fix the problem. Therefore she wanted to make sure there was a method for the CLEC to get the information.

Shirley stated that at the same time the technician is giving the building manager/customer the information it would also be called to the QCCC for entry into the database. She suggested that we add a narrative of what the situation is after the notation that the order will be put in jeopardy status.

Bonnie asked if this could be built into process.

Shirley answered yes.

Bonnie further questioned if there could be information on how to contact the technician in case additional information was needed.

A discussion ensued on how this could best be done. Patrick Hennesey, Eschelon suggested the request go through the Service Manager. Steve Kast, Qwest suggested that there is an existing group in Cheyenne that handles jeopardy orders and that this might be the logical place to go for information.

Shirley agreed to investigate what would be the best way.

Doug asked if the intent is to have a CLEC contact that is a consistent place to go for additional information.

Bonnie agreed and added that there be a CLEC facing document that outlines the procedure.

Doug pointed out that a PCAT would be issued covering this process and that this document would be available for CLEC review.

Shirley mentioned that the PCAT might be delayed from the expected January 1 due date.

Bonnie pointed out that it is difficult for the CLECs to know what is going on if Qwest implements a process without the PCAT being issued.

Shirley asked if she wanted the process to not go into effect until the PCAT is finalized.

Bonnie said yes and Liz Balvin, MCI and Carla Pardee, AT&T concurred.

Doug said he would ensure that the CLECs were kept apprised of the PCAT status.

There were no further comments and the meeting was concluded.

-- 11/19/03 Nov. CMP Meeting Shirley Tallman Qwest presented the CR, which details the process for field technicians to follow when the technician finds that an initial or additional drop is required or that conduit is required. She stated that the intent is to document the process so that technicians are clear on what to do. Shirley also pointed out that she wanted the CLECs to be clear that this change involves the technician discussing with the property owner what the situation is and what needs to be done. The technician would also do this if the CLEC customer is the property owner. Anticipated effective date is January 1. Bonnie Johnson Eschelon asked if this was a new process or a modification to an existing process. Shirley replied that it is a bit of both and the intention is to get clarity around the process. Bonnie asked if there would be an input meeting or comment cycle. Kim Isaacs pointed out that this needs to be in the PCAT. It was agreed that both a comment cycle and input meeting will be utilized. Doug Andreen Qwest said the CLEC Input meeting is tentatively set for December 4. This CR will move to Presented status.


Open Product/Process CR PC103103-2 Detail

 
Title: Binding Post information
CR Number Current Status
Date
Area Impacted Products Impacted

PC103103-2 Completed
4/21/2004
Maintenance/Repair UNE Loop, EEL (UNE-C)
Originator: Tallman, Shirley
Originator Company Name: Qwest Corporation
Owner: Tallman, Shirley
Director:
CR PM: Andreen, Doug

Description Of Change

Qwest will provide dmarc Binding Post information for Unbundled Loop and EEL Products on CLEC orders through the Repair Department upon request, when information is available. If BP information is not available, the existing process for tagging the dmarc will apply.

Information on dmarc BP on non-design orders is not retained in any database and is not available.

Expected Deliverables:

January 1, 2004


Status History

10/31/03 - Submitted

10/31/03 - Acknowledged

11/18/03 - Held clarification call

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - Status changed to Presented

11/20/03 - Qwest issued Clec Input Meeting Notification CMPR.11.20.03.F.01086.CLECInputMtgBindingPost

11/24/03 - Qwest issued CLEC Input Meeting Time Change Notification CMPR.11.24.03.F.01095.TimeChangeCLECInputMtg

12/04/03 - Held ad-hoc CLEC input call

12/11/03 - Issued minutes from ad hoc call

12/17/03 -December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - Status changed to Development

1/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

1/21/04 - Status will remain in Development

1/30/04: Qwest initiated notification PROS.01.30.04.F.01310.Prov_Overview_V34

2/19/04: Qwest initiated notification PROS.02.19.04.F.01388.FNL_Mtce_&_Rpr_Ver25

2/18/04 -February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

3/17/04 -March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

3/17/04 - Status changed to Test

4/21/04 -April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

04/21/04 CMP meeting Shirley Tallman, Qwest asked this CR to be moved to closed since all the work has been performed. Bonnie Johnson, Qwest asked about repair technicians being able to give out information on binding post for non-design orders. Shirley said that it was being covered through internal documentation that the technicians should provide this information. Kit Thomte, Qwest stated that Bonnie’s issue is if that documentation could be included in the PCAT. Bonnie added that she needed a CLEC facing document to support the policy. Kit said Mark Coyne’s team would be the appropriate team to check with to see how this can be handled. This CR will move to completed.

-- 03/17/04 March CMP Meeting Shirley Tallman, Qwest reported that the PCAT was effective 3/5. The CR will move to CLEC Test status.

- 2/18/04 CMP Meeting Shirley Tallman, Qwest said the comment cycle completed with no comments being received. The PCAT will be published and operational on March 5. The CR will stay in Development status.

- 1/21/04 CMP Meeting Shirley Tallman, Qwest stated that the PCAT language has been developed and will be on line for CLEC comments by the end of the month. Bonnie wanted to be sure that her comments about what an RSB representative had said about not giving out binding post information was about the situation and not about the employee. Kit Thomte, Qwest assured her that was understood. It was agreed that Doug Andreen will open a global action item concerning how CLECs will obtain Binding Post (demarc) information on non-design orders since this process only addresses design orders. The CR will stay in Development status.

- 12/17/03 December CMP Meeting Jamal Boudhaouia, Qwest stated that the Qwest is moving forward on PCAT language to provide information for Binding Post. Bonnie Johnson, Eschelon questioned the status on the question of CLECs seeing proprietary information in CEMR. She stated that two or three days after the Clarification call Eschelon called Qwest for Binding Post information and was told that the information could not be given out. Bonnie said she had stated on the Clarification call that she was afraid that Qwest would discontinue a process without proper notice to the CLECs. Judy Schultz, Qwest stated that a memo had been issued to the effect that proper notice must be given before process changes can be implemented. Jamal stated he would take on the issue of CEMR and what is proprietary. Bonnie stated that Qwest has a major compliance problem with tagging and the Qwest is obligated to provide last point of termination and that Qwest needs to correct the tagging problem or provide the information. She said the result is the Eschelon customer’s service is delayed and both companies have to dispatch to the premise. John Berard, Covad said there is a process being implemented at SBC for a CLEC tech to send tone on a line and determine the demarc. The CR was moved to Design.

-- Ad Hoc Meeting Minutes PC103103-2 Binding Post Information CMP Product & Process December 4, 2003 1-877-521-8688, Conference ID 1456160 3:00 p.m. 4:00 p.m. Mountain Time

PURPOSE

At the November CMP meeting, participants agreed to hold a conference call to discuss Qwest initiated CR PC103103-2. The following is the write-up of the discussion.

List of Attendees:

Jeff Bellin, Eschelon Bonnie Johnson, Eschelon Rhonda Knutson, Eschelon Allen Braeggar, Qwest Cathy Augustson, Qwest Shirley Tallman, Qwest Eric Yohe, Qwest Pat Finley, Qwest Don Deland, Qwest

MEETING MINUTES

The meeting began with Qwest making introductions and welcoming all attendees.

Doug Andreen with Qwest explained that the purpose of the meeting was to discuss Qwest initiated CR PC103103-2.

Shirley Tallman, Qwest explained the purpose of the CR: Qwest will provide dmarc Binding Post information for Unbundled Loop and EEL Products on CLEC orders through the Repair Department upon request, when information is available. If BP information is not available, the existing process for tagging the dmarc will apply. Information on dmarc BP on non-design orders is not retained in any database and is not available.

Bonnie Johnson, Eschelon asked if that meant Qwest would no longer tag.

Shirley responded no that normal processes for tagging still apply. This is primarily for when there is not a truck roll.

Bonnie said that on non-design orders she was surprised to hear that the information was not available.

Shirley responded that terminal information like at multi-tenant buildings is actual terminal information and not binding post at the dmarc.

Bonnie said Eschelon seems to be successful with data in CEMR and wondered on new orders if this process would prevent the CLECs from doing what they have done all along?

Shirley answered it would not as this is not designed to replace any existing process.

Bonnie asked if in the PCAT it would state that the information is not available?

Shirley said no, it would state that Qwest would provide the information it has if available.

Rhonda, Eschelon said that if an order is completed on non-design that Eschelon asks for binding post or F2 information. It may not be the last point but is close.

Shirley stated that Qwest should not be providing F2 information since this is in our network.

Rhonda stated that she was aware that cable and pair information should not be available but that F2 information was ok.

Jeff, Eschelon pointed out that on record 651-466-0492 in CEMR he could see binding post 272.

Shirley agreed to check out exactly what CLECs are seeing in CEMR.

Rhonda said that sometimes binding post and F2 are used interchangeably and she wondered if this could be causing the problem.

Bonnie stated that this information is critical especially when dealing with customer who has not paid their bill.

Shirley stated that Qwest should never be providing terminal binding post information but rather just binding post.

Bonnie stated that this would cause more dispatches for tagging.

Rhonda wondered how the information would show up. Will it say dmarc?

Shirley said at this point she was not sure.

Cathy Augustson, Qwest added when tech calls in an order complete that the tech provides the information at that time.

Rhonda asked if the last point of dmarc is where Qwest terminates the line.

Don Deland, Qwest said could be RJ11 or a 66 block.

Rhonda asked if F2 is where Qwest takes ownership.

Don said that it is jumpered from the F2 to a dmarc box or jack where the CLEC takes ownership.

Bonnie had two questions, first, is it called something else on a non-design and why doesn’t Qwest keep a record of it, and second isn’t Qwest obligated to provide information on where the dmarc is and where the CLEC takes ownership?

Shirley stated that the dmarc is not always our block that it can be the building owners.

Rhonda asked if beyond this point is the CLECs.

Don said usually the jumper is tagged to where the alternate provider takes over.

Bonnie asked if there would be a PCAT update and comment cycle.

Doug answered that there would be however the original date for the PCAT of January 1 would be delayed.

Doug asked Bonnie if her main concern is that these processes not supercede or replace anything in place today.

Bonnie said that was correct

Shirley added that this would not supercede or replace anything existing.

Bonnie said she would check if other CLECs were interested in this CR.

It was agreed there might be a need for another input meeting after the CMP meeting.

There was no disagreement with the design part of this CR, making the goal to not hold up design implementation while resolving issues on the non-design side.

- 11/19/03 Nov. CMP Meeting Shirley Tallman Qwest presented the CR for providing dmarc Binding Post information for Unbundled Loop and EEL Products on CLEC orders through the Qwest Repair Department upon request. She pointed out that this information on non-design orders is not available. Anticipated implementation is January 1. Bonnie Johnson Eschelon ask if the information was available through LMOS? Shirley responded that dmarc information is available but binding post is not. Bonnie questioned if the issue is a compliance issue since it is the existing process for the technician to tag at the dmarc. Shirley pointed out that there are times when a Qwest technician is not dispatched. Doug stated that a CLEC Input Meeting is tentatively set for December 4. This CR will move to Presented status.


Open Product/Process CR PC102703-1 Detail

 
Title: Grandparent usocs BAUTB, BAMTB and BAMHB in NE
CR Number Current Status
Date
Area Impacted Products Impacted

PC102703-1 Completed
2/18/2004
Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Andreen, Doug

Description Of Change

Grandparent usocs BAUTB, BAMTB and BAMHB measured/ message service in NE.

Expected Deliverable:

12/30/03


Status History

10/27/03 - CR Submitted

10/27/03 - CR Acknowledged

11/06/03 Held Clarification Call

11/14/03 - Qwest issued Process Notification PROS.11.14.03.F.01067.GrandparentMeasMessagRate, proposed effective date 12/30/03

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - Status changed to presented

12/8/03 - Qwest issued Process Notification PROS.12.08.03.F.01128.FNL_GrandpaMeasMessagRate

12/17/03 -December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - Status changed to Development

1/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

1/21/04 - Status changed to Test

2/18/04 - Status changed to Completed

2/18/04 -February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

2/18/04 CMP Meeting Janean Van Dusen, Qwest stated that this CR was implemented December 30 and requested the CR be closed. The CR will move to Completed status.

-- 1/21/04 January CMP Meeting Janean Van Dusen, Qwest stated that this CR was implemented December 30. The CR will move to Test status.

- 12/17/03 December CMP Meeting Janean Van Dusen gave an update saying that on 11/15 the notification was issued for CLEC comments, none were received and that a final notification was issued on December 8 calling for an effective date of December 30. The CR was moved to development.

- 11/19/03 Nov. CMP Meeting Janean Van Dusen Qwest presented this CR to grandparent usocs BAUTB, BAMTB and BAMHB in Nebraska effective December 30. She also proposed using a comment cycle because of the holidays instead of a CLEC Input Meeting. Doug Andreen Qwest read the language in the CMP document section 5.4.5.1 that makes this an alternative. A comment cycle was approved. Liz Balvin MCI asked if grandparented USOCs are being replaced that this be noted on the CR. Janean said that could be done. Kit Thomte Qwest asked if a comment cycle could be used on all grandparent CRs. The CLECs agreed with this. Bonnie Johnson Eschelon asked if there could still be an option. Kit answered yes. This CR will move to Presented status.


Open Product/Process CR PC111003-1 Detail

 
Title: Reserved TN Procedure
CR Number Current Status
Date
Area Impacted Products Impacted

PC111003-1 Completed
5/19/2004
PreOrdering, Ordering, Provisioning, Billing Centrex, Resale POTS, UNE-P, any TN based product is impacted including resold ISDN, DID and Retail
Originator: Pent, Anne
Originator Company Name: Qwest Corporation
Owner: Dimmitt, Jan
Director:
CR PM: Andreen, Doug

Description Of Change

Implement procedure to either activate or cancel TNs reserved for 180 days or more to comply with December 2000 FCC Mandate.


Status History

11/10/03: CR Received

11/11/03: CR Acknowledged

11/18/03: Held Clarification meeting

11/18/03: Status changed to clarification

11/19/03: Qwest initiated notification CMPR.12.19.03.F.01201.Mtg_On_Reserve_TN_Process

12/17/03 -December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - Status changed to Presented

01/12/04 - Held CLEC Input Call

01/15/04 - Sent CLEC Input Minutes

1/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

1/21/04 - Status changed to Development

2/18/04 -February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

3/17/04 -March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

3/25/04 - Qwest generated notification PROS.03.29.04.F.01511.ResTelNumInvestigationV1

3/29/04 - Qwest generated notification PROS.03.29.04.F.01511.ResTelNumInvestigationV1

4/21/04 -April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

4/27/04 - Qwest generated final notice PROS.04.27.04.F.01598.FNL_TN_Invest_V1

5/19/04 -May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

5/19/04 CMP Meeting Jan Dimmitt, Qwest stated that the procedure is complete and published and requested that the CR be closed. The CR will be moved to Completed status.

- 4/21/04 April CMP Meeting Jan Dimmitt, Qwest stated that one comment was received during the comment cycle from MCI and the comment was included as a clarifying note in the front of the document. This CR will move to Test.

- 03/17/04 March CMP Meeting Jan Dimmitt, Qwest reported that the final draft for the PCAT has been completed. The comment cycle will begin on 3/25 and end on 4/13. Target for posting to the web is 5/13. The CR will remain in Development status.

- 2/18/04 CMP Meeting Jan Dimmitt said she is currently working on the PCAT. No line ranges have been encountered that require contacting the CLECs. The CR will remain in Development.

-- 1/21/04 CMP Meeting Jan Dimmitt said there was a CLEC Input meeting held January 12 and that the purpose of the CR is to establish a procedure where CLECs are notified when a line range has been reserved for over 180 days. She also said she is still looking into if a TN is part of a common block is it considered reserved or activated. Bonnie Johnson, Eschelon asked about the re-reserve policy. Jan said this is strictly a courtesy with no additional fees. A CLEC can continue to reserve, cancel the reservation, activate the line range, or re-reserve only a portion of the original. The CR will be moved to Development status.

CLEC Input Meeting 9:00 a.m. (MDT) / Monday January 12, 2004 1-877-521-8688 1456160 PC 111003-1-Reserve TN Procedure Attendees

Carla Pardee, AT&T Phyllis Burt, AT&T Liz Balvin, MCI Kim Isaacs, Eschelon Stephanie Prull, Eschelon James McCluskey, Accenture Cheryl Peterson, AT&T Anne Robberson, Qwest Jan Dimmitt, Qwest Doug Andreen, Qwest

Meeting Agenda: 1.0 Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

2.0 Review Requested (Description of) Change

Doug Andreen, Qwest read the CR description: Implement a procedure to either activate or cancel TNs reserved for 180 days or more to comply with December 2000 FCC Mandate.

Jan Dimmitt, Qwest explained this process is not applicable to Resale Pre-Order TN Reservations through IMA and is applicable to numbers or number ranges that the CLEC has reserved and is paying a monthly fee to hold. This process is also not applicable to the 30 day reservations done through IMA. She said that Qwest gets a report of all reservations of over 150 days that have not been activated. They are compared with CNUM and the billing system for a match and to see if there are pending orders. The question is if the CLECs would like a courtesy call to inform them that they have a number or range of numbers that have been reserved for some time.

Kim Isaacs, Eschelon asked what happens after the courtesy call. Jan answered that the CLEC can either activate, continue to hold or cancel.

Kim then asked if the number is on the common block CSR is it activated or reserved. Jan said she would have to find out.

Liz Balvin, MCI wanted to verify that it is the CLECs choice of what to do with the reservation after the courtesy call.

Jan said yes and that some of these may take some research on the CLEC side. Qwest will continue to hold the number until advised by the CLEC what to do.

Anne Robberson, Qwest added that this is more of an effort to ensure the CLECs get what they want. The re-reserve policy still needs to be worked out.

Liz asked if Qwest was willing to hold another 180 days and Anne said yes. Anne then summarized that the process is to notify the CLECs of the choices they have.

Stephanie Prull, Eschelon asked if the non recurring charge would be applicable on re-reserves. Jan said she would have to check.

Cheryl Peterson, AT&T asked if only a portion of the original reservation could be re-reserved. Jan answered yes but it is now a verbal commitment. However, an email could verify the PON or service order. (The following was added after the meeting for further clarification: Qwest can initiate a service order without an LSR using PONS for specific order function. PON for cancel: CANRESRVTN180, PON for line range activation: ACTRESRVTN180, PON for cancel of portion of block and re-reserve portion of block: RERESRVTN180.)

Cheryl then said she needed more information on how the process works today and what now happens at the 150th day. Anne said the entire process is out in the LSOG and this is simply an addition.

Kim asked what the escalation process would look like iF something goes wrong. Jan said normal escalation procedures would apply.

Anne added that the preliminary investigation is a manual process.

Jan also added that the billing at the current time just continues on after 180 days without notifying the CLECs.

No other CLEC input was offered. There will be an update given in the January CMP meeting.

3.0 Confirm Areas & Products Impacted UNE-P, Centrex (not resale Centrex), any TN product is impacted including resold ISDN, DID, and Retail POTS

4.0 Confirm Right Personnel Involved Correct personnel were involved in the meeting.

- 12/17/03 December CMP Meeting Jan Dimmitt presented this CR which asks if the CLECs would like to be notified when a TN or range of TNs have been reserved for longer than 180 days. The CR was moved to Presented status.


Open Product/Process CR PC110303-2 Detail

 
Title: New Collocation Product Development Louvered Pedestal Collocation
CR Number Current Status
Date
Area Impacted Products Impacted

PC110303-2 Withdrawn
11/19/2003
Collocation, Remote Collocation
Originator: Campbell, Ben
Originator Company Name: Qwest Corporation
Owner: Campbell, Ben
Director:
CR PM: Andreen, Doug

Description Of Change

Qwest will be introducing a new type of remote collocation called Louvered Pedestal Collocation. This product will allow a CLEC to place equipment in a Qwest Louvered Pedestal for the purpose of connecting to unbundled network elements. This product will have an amendment specific to this product offering and rates specific to this product offering.

Expected Deliverable:

PCAT update, Product Pricing, Amendment Language, Technical Publication update. Proposed implementation is Jan. 2004.


Status History

11/03/03 - CR Submitted

11/04/03 - CR Acknowledged

11/05/03 - Status changed to pending withdrawal

11/19/03 - November CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

11/19/03 - Status Changed to Withdrawn


Project Meetings

11/19/03 Nov. CMP Meeting Ben Campbell Qwest asked that this CR be withdrawn because it is a modification to an existing product. He said that Louvered Pedestal Collocation had been discussed and a Network Notification had been issued in August. This is a follow up making modifications to the existing product. The intent is to make this a Level 3 change with continued CLEC joint planning. Steve Nelson Qwest pointed out that this modification will carry the same pricing, same procedures and same billing. He further pointed out that the Network disclosure meeting has been held. Liz Balvin MCI asked why proceed with a withdrawal and Steve answered that the intent is to reissue as a Level 3. Steve added that this is a change in architecture. It was agreed that the CR would move to Withdrawn status.


Open Product/Process CR PC072204-1 Detail

 
Title: Clarification of wording for CLEC to CLEC Connections
CR Number Current Status
Date
Area Impacted Products Impacted

PC072204-1 Withdrawn
2/15/2006
Provisioning Collocation, CLEC to CLEC Connection PCAT
Originator: Nelson, Steve
Originator Company Name: Qwest Corporation
Owner: Nelson, Steve
Director:
CR PM: Andreen, Doug

Description Of Change

Clarification of wording of documents relating to CLEC to CLEC Connections. Qwest believes CLEC to CLEC Cross Connect product is offered on a common ICDF frame only and CLEC has responsibility to design and regenerate. CLEC Community believes previous CR committed Qwest to design and regenerate.

Expected Deliverable:

CLEC facing meetings with Qwest will explore and hopefully reach agreement on this issue.


Status History

7-22-04: CR Received

7/21/04 -July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

8/18/04 -August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

8/27/04 - Qwest initiated notice CMPR.08.27.04.F.02007.Ad-hoc_Meetings

9/2/04 - Qwest initiated notice CMPR.09.02.04.F.02029.CLEC/CLEC_Connect_Agenda

9/16/04 - Qwest initiated notice CMPR.09.16.04.F.02056.Cancld_Ad-hoc_Meetings

9/16/04 -September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

1/31/06 - Status changed to Pending Withdrawal

2/15/06 - Discussed at the February Prod/Proc CMP Meeting

2/15/06 - Status changed to Withdrawn


Project Meetings

2/15/06 Product Process CMP Meeting

Jill Martain-Qwest stated that this CR had been in Deferred status for awhile and stated that Qwest would like to withdraw the CR. This CR moves to Withdrawal status.

9/16/04 CMP Meeting Minutes Mark Nickell reported that an ad-hoc call was held and it was mutually agreed to suspend CMP meetings until the current dispute resolution activities conclude in Colorado. Covad and Eschelon agreed. Bonnie Johnson added that the people involved in the call would not be able to do anything outside of the dispute resolution process and this is the reason to cease the calls. The CR will move to Deferred Status.

- Ad Hoc Meeting Minutes PC072204-1 Clarification of wording CLEC to CLEC Connections CMP Product & Process September 9, 2004 1-877-521-8688, Conference ID 1456160# 12:30 a.m. 2:00 a.m. Mountain Time

PURPOSE

The purpose of this ad-hoc call was to provide background on the CR and to set the stage for future meetings.

List of Attendees: John Berard Covad Jen Arnold U S Link Bonnie Johnson Eschelon Karen Clauson, Eschelon Paul Hansen, Eschelon Emily Baird, POP Telecom Mona Glover, DSET Paul Garneau, Sovereign Telecommunications Tommy Thompson, Qwest Communications Cindy Kalakis, Qwest Communications Evelyn Montez, Qwest Communications Jamal Boudhaouia, Qwest Communications Mike Norman, Qwest Communications Steve Nelson, Qwest Communications Doug Andreen, Qwest Communications

MEETING MINUTES

The meeting began with Qwest making introductions and welcoming all attendees.

Steve Nelson summarized meeting norms by saying please allow only one conversation at a time, turn off cell phones and pagers, speak to be understood, and if you have trouble being heard press the # key a couple of times to get his attention. Steve said this is the first of three meetings and is designed to provide background information on the CR that will be helpful in the meetings to follow. He also said comments are welcome and that Qwest would take action items as we proceed.

Steve went through the current level 4 CR (sent as an attachment to the agenda) reading the title and description. There were no questions. Steve further explained that this was originally submitted as a level 2 change, however the CLEC community thought it should be a level 4.

Jamal Boudhaouia gave the history of the Eschelon CR PC120301-4 (sent as an attachment to the agenda) dealing with this topic. This CR was submitted on November 3, 2001 and completed on April 17, 2002. Karen Clauson said Eschelon still maintains opinions expressed during the last series of meetings on this topic.

Tommy Thompson spoke on the current SGAT language. Since this was not sent as an attachment Tommy agreed he would forward to Doug Andreen who would distribute to all attendees. He said he would send the version that is applicable to all states except Washington and Arizona. He will send the specific wording for those two states also. There was conversation around the definition of “CLEC premises” in the document. It was agreed that the definition extends beyond COs to cover all buildings or similar structures that house Network facilities, owned, leased, or otherwise controlled by Qwest. It was also pointed out that one of the differences between the CLECs and Qwest is CLEC to CLEC direct connections. Karen Clauson stated that this is far from the only difference between Eschelon and Qwest concerning the CLEC-to-CLEC issue.

Karen asked the purpose of SGAT language in a CMP meeting and how the current discussion relates to negotiations that are going on between Qwest and Eschelon.

Steve said the SGAT is background since the current PCAT refers to the SGAT. He said nothing on the agenda today should affect negotiations. Karen asked how we are going to resolve in this forum since Eschelon is in negotiations and Covad is in arbitration on this issue. There was much discussion around this and Karen said that in reference to the PCAT, Eschelon’s position has not changed in that Eschelon submitted a CR (PC120301-4) and that Eschelon believes this is what we are operating under.

Steve answered that after this call Qwest would ask the CLECs to restate their position. Steve said after the meeting Qwest will gather comments and see if there is any movement in Qwest’s position. Steve said there may or may not be a change considering the position that arbitration has taken and how Qwest will respond.

Steve reviewed the current PCAT language. There were no questions. He said that in the redlined PCAT he tried to separate the CLEC to CLEC Direct connections from Cross Connections. He proceeded through the remainder of the redlined document. There were no questions.

Karen Clauson asked since we know there are major differences, how do you see us proceeding. Steve answered for the CLECs to send Qwest an annotated version of the PCAT and go from there. Karen added with the negotiations and arbitrations going forward if it would be a better use of time to let those finalize before continuing these meetings. It was agreed that these meetings would be suspended until arbitrations and negotiations have finalized. Tommy will not forward copies of the SGAT but Doug will publish minutes and cancel the other two meetings already scheduled.

The meeting was then adjourned.

8/18/04 CMP Meeting Steve Nelson presented the CR saying that the CR was previously communicated via a Level 2 notice but based on a CLEC facing call and CLEC comments it was withdrawn. Qwest believes that CLECs have the responsibility to design and regenerate CLEC to CLEC connections on a common ICDF frame. The CLECs believe it is a Qwest responsibility. Steve said that this CR will require a good amount of work since it will involve looking at FCC documents etc. He added that this is a sincere effort to move through this issue collaboratively to reach agreement. The CR will be moved to Presented status.


Open Product/Process CR PC062904-1 Detail

 
Title: Grandparent LADS in CO, UT and OR effective 9/7/04.
CR Number Current Status
Date
Area Impacted Products Impacted

PC062904-1 Withdrawn
7/21/2004
resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Andreen, Doug

Description Of Change

LADS (local area data services) will be grandfathered in Oregon, Colorado, and Utah effective September 7, 2004. Grandparenting the service means that existing customers will not be able to add new LADS circuits or move existing circuits. They will also not be able to renew their contract for existing LADS circuits. New customers will not be able to order LADS services at all for these 3 states. At this time, there is no sunset date set for the services.

Expected Deliverable: Implementation date 9/7/04


Status History

6/29/04 - CR submitted

6/29/04 - CR acknowledged

7/21/04 -July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

7/21/04 CMP Meeting Janean Van Dusen, Qwest moved to withdraw this CR. There were no objections. The CR will move to Withdrawn status.


Open Product/Process CR PC040504-1 Detail

 
Title: Grandparent Centrex Plus and Custom Centron
CR Number Current Status
Date
Area Impacted Products Impacted

PC040504-1 Completed
12/15/2004
Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Harlan, Cindy

Description Of Change

Effective June 30, 2004 Centrex Plus will be grand parented in Arizona, Iowa, Oregon and Washington. Existing Centrex Plus month to month end users in Arizona and Washington must migrate on or before October 1, 2004 to another service. Effective June 30, 2006 Centrex Plus in Arizona and Washington will be sunset.

Effective June 30, 2004 Custom Centron will be grand parented in Arizona. Effective June 30, 2006 Centron Custom in Arizona will sunset.

Expected Deliverable:

June 30, 2004


Status History

04/05/04 - CR Submitted

04/06/04 - CR Acknowledged

04/13/04 - Held Clarification Meeting

04/21/04 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

05/14/04 - Qwest sent PROD.05.14.04.F.01672.ResaleCentPlus_CentronV17 proposed effective date 6/30/03

05/19/04 - May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

06/11/04 - Qwest generated notice PROD.06.11.04.F.01771.FNL_ReCentPlus_CentronV17

06/16/04 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

7/21/04 -July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

8/18/04 -August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

9/16/04 -September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

10/20/04 - October CMP Meeting minutes will be posted to the database

11/17/04 - November CMP Meeting minutes will be posted to the database

04/16/06 - PROD.04.14.06.F.03724.ResaleCentPlus_CentronV20


Project Meetings

April 14, 2006 Excerpt From PROD.04.14.06.F.03724.ResaleCentPlusCentronV20: " . . .the sunset date for Centrex Plus in WA has been changed to December 31, 2008, not June 30, 2006 . . ."

- December CMP Meeting Minutes Janean Van Dusen – Qwest advised the final state was completed on December 1. This CR will move to Completed Status.

11/17/04 November meeting minutes Cindy Macy – Qwest advised the remaining states are effective December 1. The CR will remain in CLEC Test Status.

10/20/04 CMP Meeting Minutes Janean Van Dusen said that this has been in CLEC Test but some of the states are not effective until December 1. The CR will remain in test status.

- 9/16/04 CMP Meeting Minutes Doug Andreen reported that the CR was effective September 1 and that the only customer affected is MCI with a minimal amount of customers. LeiLani Hines said that she was ok with working with Qwest to migrate those accounts. The CR will move to Test Status.

-- 8/18/04 CMP Meeting Doug Andreen reported there is no change to this CR. The final notice was sent July 30 and the CR will be affective September 1. Stephanie Prull said the first CR was scheduled to be affective much earlier and gave the CLECs until October 1 to have customers removed from these features. Bonnie Johnson remembered that Janean had stated that adjustments would be made to this date and that Qwest would work with the individual CLECs.

- 7/21/04 CMP Meeting Janean Van Dusen, Qwest said the final notice went out on 6/23. Grandparent effective date will be 9/1/04 for AZ, IA, and WA. The CR will stay in Development.

- 06/16/04 June CMP Meeting Janean Van Dusen with Qwest gave an update that dates have changed on this CR. Centrex Plus grandparenting will be effective 9/1/04 and a revised final notice will be sent on 6/23/04. Month to month USOC’s in AZ and WA will be effective 12/1/04, IA 3/1/05, OR has no date, and Sunset dates for AZ, IA, and WA are 6/30/06. OR has no date.

05/19/04 May CMP Meeting Janean Van Dusen with Qwest gave an update on this CR. Janean said this was going to be effective on 6/30/04 but there was a delay and currently have no new effective date. Janean said there was no effect on UNE-P Centrex Plus. Bonnie Johnson with Eschelon said that the notice contained a change in the USOC and we have not had to change USOCs. Janean said that AZ, IA, OR, WA, Centrex Plus will be grand parented on 6/30. In AZ and WA only month to month Centrex Plus will be eliminated and customers must be migrated to something else or term agreement. Janean will make sure to let service management know of CLECs that have any end users. Liz Balvin with MCI asked if there would be impact to end users or record change orders. Liz asked if the customer maintains existing service today or submits orders. Janean said the CLEC doesn’t have to do anything for the end user unless they are month to month. This should be invisible to the end user, except for anything that the CLECs decide to change. Bonnie Johnson would go through physical conversion if migrated and asked if service management would know soon. Janean said yes. This CR will move to Development Status.

04/21/04 April CMP Meeting Janean Van Dusen with Qwest presented this CR. Bonnie Johnson with Eschelon asked if UNE-P Centrex Plus was included. Janean did not believe the UNE-P product was included and will find out from Michael Whitt. This CR will move to Presented Status.


Open Product/Process CR PC040604-1 Detail

 
Title: Dispute (CLAIM) Process
CR Number Current Status
Date
Area Impacted Products Impacted

PC040604-1 Completed
6/24/2005
Billing Claims dispute
Originator: Devine, Donna
Originator Company Name: Qwest Corporation
Owner: Devine, Donna
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

- Add Qwest’s Dispute ID number to acknowledgments, statuses and final resolution letters;

- Introduce required fields for submitting a claim on a standard form.

- Define pertinent terms, such as resolution, status, legal dispute;

- Standardize the escalation processes; and

- Finalize rules for submitting and processing claims involving multiple months

As a result Qwest will update the Product/Process Catalog (PCAT) describing the dispute process, including the process flow diagram discussed in LTPA

Expected Deliverable:

Date to be determined


Status History

04/06/04 - CR Submitted

04/07/04 - CR Acknowledged

4/21/04 -April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

4/26/04 - Qwest Generated notice CMPR.04.26.04.F.01609.Ad_Hoc_Mtg

5/7/04 - Qwest generated notice CMPR.05.07.04.F.01657.Revised_Dispute_Document

5/14/04 - Qwest gererated notice CMPR.05.14.04.F.01684.Ad_Hoc_Mtg.

5/19/04 -May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

6/16/04 -June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

6/17/04 - Qwest generated notice GENL.06.17.04.F.01795.Claim_Process_Discussion

6/30/04 - Qwest generated notice General Notice: Mtgs: GN: Claim Process Docs:Effective 6-30-04

7/7/04 - Qwest generated notice General Notice: Mtgs: GN: Billing Claim Process: Effective 7/7/2004

7/12/04 - Qwest Generated notice General Notice: Mtgs: GN: Claim Process Documentation: Effective 7/12/04

7/21/04 -July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

7/28/04 - Qwest generated notice CMPR.07.28.04.F.01927.Revised_Dispute_Documents

8/2/04 - Qwest Generated notice CMPR.08.02.04.F.01938.Dispute_Doc._Process_Flow

8/5/04 Qwest generated notice CMPR.08.05.04.F.01947.Ad_Hoc_Meeting

8/18/04 -August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

9/14/04 - Qwest generated notice CMPR.09.14.04.F.02055.Ad_hoc_Meeting

9/16/04 -September CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

9/17/04 - Qwest generated notice CMPR.09.17.04.F.02071.Ad-Hoc_Meeting

9/22/04 - Held ad hoc meeting

11/10/04 -Qwest generated notice CMPR.11.10.04.F.02289.Ad_Hoc_Meeting

11/12/04 - Qwest generated notice CMPR.11.12.04.F.02299.Ad_Hoc_Meeting (rescheduled)

11/17/04 - Discussed at the November Product Process CMP Monthly Meeting.

11/22/04 - Qwest generated notice CMPR.11.19.04.F.02339.DocumentForAdHoc

12/9/04 - Ad Hoc Meeting Held. See Supplemental Information for Meeting Minutes.

12/15/04 - December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/19/05 - Discussed in the January Product Process Monthly CMP Meeting

01/25/05 - PROS.01.25.05.F.02507.Dispute_Acknwlg_Res (Subject: MCC-Dispute Acknowledgement and Resolution Letters)

02/16/05 - Discussed in the February Product Process Monthly CMP Meeting

02/18/05 - PROS.02.18.05.F.02576.Dispute_Process_V1

03/16/2005 - Discussed in the Monthly Product/Process CMP Meeting

03/18/05 - PROS.03.18.05.F.02712.FNL_Dispute_Process_V1

04/01/05 - PROS.04.01.05.F.Billing_PCATs_Disputes (Level 1)

04/01/05 - PROD.04.01.05.F.PAL_PCATs_Disputes (Level 1)

04/20/2005 - Discussed in the Monthly Product/Process CMP Meeting

05/18/2005 - Discussed in the Monthly Product Process CMP Meeting

06/15/2005 - Discussed in the Monthly Product Process CMP Meeting

06/24/2005 - Email Received from Eschelon: In CMP last week, I committed to getting back to Qwest off line on whether Eschelon agrees to close the CR. Here is Eschelon's response. Please include our response in the CR status history. Eschelon's position has not changed on this CR Qwest implemented. Qwest implemented this CR over Eschelon's objection and Qwest can close the CR over our objection. Eschelon's ICA controls and this process does not apply to Eschelon or any CLEC that has billing dispute provisions in its contract. Thanks, Bonnie J. Johnson, Director Carrier Relations, Eschelon Telecom, Inc.


Project Meetings

- June 15, 2005 Monthly Product Process CMP Meeting discussion: Donna Devine-Qwest stated that this CR has been in CLEC Test over 60-days and asked for closure. Bonnie Johnson-Eschelon stated that she would like to check with her billing group and could close off-line. Jill Martain-Qwest stated that this CR would remain in CLEC Test and that Qwest would work with Eschelon off-line to close the CR.

- May 18, 2005 Monthly Product Process CMP Meeting discussion: Donna Devine-Qwest stated that this CR has been in CLEC Test for over a month and asked for CR closure. Bonnie Johnson-Eschelon asked that the CR not yet be closed and that we wait until they get through an entire cycle or 2. Bonnie stated that Eschelon just recently used the process and asked that it be kept open. Donna Devine-Qwest agreed to keep the CR open another month. This CR remains in CLEC Test.

-- April 20, 2005 Product Process CMP Meeting Discussion: Sue Kriebel-Qwest stated that this change was implemented on April 4th and would like to move the CR to CLEC Test. Liz Balvin-Covad stated (Change to minutes submitted by Covad 4/28/05) that this CR was discussed in the CLEC forum in the fact that this change impacted access claims and the fact the CLECs were not notified. Liz stated that when she was involved in the discussions that took nearly a year and the changes were specific to local wholesale. Sue Kriebel-Qwest stated that CMP discussions were for local but this process was implemented for other customers.Mark Coyne-Qwest stated that a Courtesy Notice was sent. Bonnie Johnson-Eschelon asked what a Courtesy Notice was. Mark Coyne-Qwest stated is a notice and go. Sue Kriebel-Qwest stated that the Courtesy Notice was for the non-CMP process. Liz Balvin-Covad stated that (Change to minutes submitted by Covad 4/28/05) the negotiated procedures for local/wholesale took nearly a year and couldn’t understand how Qwest believed IXCs would only need a 1-day notice and go. Liz stated that she understood MCI has numerous claims and noted that they all failed upon implementation by Qwest. Liz stated that the PCAT updates were specific to wholesale. Bonnie Johnson-Eschelon stated that in all Companies, they don’t do the same functions (Change to minutes submitted by Eschelon 4/29/05 and were not aware of these meetings, so a 1-day notice is not good. Sue Kriebel-Qwest asked to clarify that all Companies do not provide local and access services. Bonnie Johnson-Eschelon stated that was correct. Jill Martain-Qwest stated that Qwest did appreciate the feedback and that Qwest would continue to discuss internally, Jill advised this CR moves to CLEC Test.

March 16, 2005 Product Process CMP Meeting Discussion: Donna Devine-Qwest stated that the CLEC Comment cycle was through March 5th and that Qwest is reviewing the comments. Donna stated that this CR remains in Development status.

-- February 16, 2005 Product Process CMP Meeting Discussion: Donna Devine-Qwest stated that Qwest was on target to announce the process on February 18th.Jill Martain-Qwest stated that this CR remains in Development status and that the Level 4 notice would be sent.

- January 19, 2005 Product Process CMP Meeting Discussion Donna Devine/Qwest stated that she is targeting the Level 4 Notice to be sent the week of February 14th. Jill Martain/Qwest asked for questions. Bonnie Johnson/Eschelon thanked Donna for sending responses to their questions and stated that she does not believe that all were responded to. Bonnie stated that she would comment when the notice is sent. Bonnie then thanked Donna for her efforts. [1-28-05 Comment Received from Eschelon: Bonnie Johnson/Eschelon thanked Donna for sending responses to their questions and stated that she does not believe Qwest answered the comments. Bonnie stated that she would expect Qwest to respond to Eschelon’s comments when the notice is sent. Bonnie then thanked Donna for her efforts to respond.]

December 15, 2004 Product/Process CMP Meeting Discussion: Donna Devine-Qwest stated that there have been several ad-hoc meetings, since April, and the last meeting was held on December 9th. Donna stated that (insert comment from Eschelon) Qwest (end comment) it was agreed in the last adhoc meeting that Qwest will proceed with the 45-day notice for this process. (Insert comment) Bonnie said she does not agree. (End comment). Donna stated that Qwest addressed over 70 issues and that the same issues were being brought forward multiple times. Donna stated that there would be a 15-day comment cycle and a 30-day test cycle. Kim Isaacs-Eschelon asked when Qwest would provide the written response to Eschelon’s questions. Donna Devine-Qwest stated that the response would be sent December 20th. Kim Isaacs-Eschelon said Thank you.

December 10, 2004 Email Sent from Donna Devine, Qwest to Chad Warner, MCI: Chad, I checked with the QPP contract process owner regarding your question: Are QPP contracts excluded from the dispute business procedure process? Response: The CLEC can not bring Commercial Contract issues and concerns to the CMP process. The CLEC will continue to follow the business procedures for all Wholesale products including Commercial Agreement Contracts. If you have other questions, please let me know! Donna Devine Qwest Wholesale Process Specialist

-- December 9, 2004 Ad Hoc Meeting Minutes: Please see Supplemental Information for Meeting Minutes.

November 17, 2004 Product Process CMP Meeting Discussion: Donna Devine-Qwest advised that the CLECs should receive the most current copy of the process on November 22. The document has been base lined as Version 9. Redline marks will not be displayed as this was making the document to hard to read. Donna advised the group that she will be on vacation so she would like to have comments sent in by December 7. We will have the next ad hoc meeting on December 9. Donna advised that her back up is Jami Larson and her email is Jami.Larson@qwest.com. John Berard-Covad advised some of their billing representatives were involved initially but were told that this process would be optional. Because of this, Covad did not stay involved. Donna Devine advised that it has not been stated that this is an optional process. We have approximately 70 issues identified. Maybe it was mentioned that for access customers it was optional, but it is not optional for CLECs. Donna advised that the CLECs can use the same spreadsheet. Liz Balvin stated that if your contract outlines your procedure and timelines that this would over ride. Donna advised that she does not put language in the process that references a PID. Liz advised we would always default to our contract. Donna asked the team to review the process and make comments. Sharon Van Meter asked if additional information will be sent via CMP. Donna advised the notice has already been sent for the next meeting on December 9. Donna also stated that Qwest did testing on the submittal part of the process and we can discuss if we need additional testing. This CR will remain in Development Status.

-- 10/20/04 CMP Meeting Minutes Donna Devine, Qwest stated that Qwest is in the process of reviewing comments from Eschelon and MCI and is targeting the next ad-hoc meeting for early November. Bonnie said that both agree that the test hit too many roadblocks and with every CLEC having a different process it is difficult to incorporate them all. The CR will remain in development. (Comment from Eschelon: Bonnie said that both agree that the test hit too many roadblocks and with every CLEC having a unique different process it is difficult to incorporate them all gain consistency without impacting the CLECs. The CR will remain in development.)

-- Ad hoc meeting September 24, 2004 In attendance: Jenna Chang – Covad, Cherish Hubbard – Global Crossing, Chad Warner – MCI, Rodney Griffin - MCI, Bonnie Johnson, Eschelon, Kathy Stichter- Eschelon, Ellen Copley – Eschelon, Gary Effler – Eschelon, Rosilyn Davis - MCI, Jen Arnold- TDS Metrocom/US Link, Audrey Wolford- TDS Metrocom/US Link, Sue Lamb- 180 Communications, Jackie Kole – Qwest, Jeremy Rice - MCI, Cindy Macy -Qwest, Donna Devine- Qwest, Sue Kriebel – Qwest Cindy Macy – Qwest introduced all of the attendees and reviewed the agenda. Donna Devine – Qwest advised during the ad hoc call today we will review the results of the trial and updates to the document. Bonnie Johnson – Eschelon advised the document was just received last night around 6:00 p.m. Donna advised that we did not expect the CLECs to have reviewed the updates to the document as of yet. We will review the changes during the meeting. Donna summarized that during the trial Qwest received two Option 1 disputes, two Option 2 disputes, and one Option 3 dispute. Qwest processed these claims so there was not a delay. In the background we gathered data on how the trial was working and identified improvements and changes that could be made. Donna reviewed the changes / information: Donna advised on Page 5 of the process the diagram was cleaned up and made clearer. The customer claim number was missing from claim acknowledgment to MCI during the trial. This would make it difficult for the CLEC to match up the claim with the other documents. This was Qwest’s mistake as it was not sent back on the acknowledgment. On Page 7 – every claim was missing the reason why the claim was submitted. Qwest expected to see a verbal description of what the claim was for. There is a summary tab after the description. Donna advised she believes this was her error as it wasn’t clear in the PCAT example. Jenn Arnold – TDS Metro said that they have questions on the install charges and why they were charged. Donna advised what Qwest would like to see on the form in these situations is: On Service Order# XX TDS was charged an install and should not have been per [reference to legal document showing what TDS feels they should have been billed]. Qwest would then reply with reasons for the charge or reasons it was an error and when the correction was made. On Page 8 – Bill mate data is being used and there are not ‘column headers’ on the spreadsheet. When the data is entered into the spreadsheet Qwest does not know if it is a complete record or if it is data from different fields within the file. Discussion took place and it was determined that the data that is sent over is the complete record. The Bill mate file has a name for the file, but the actual data elements descriptions are not within the file. The data elements are identified in the user guide. Donna agreed she would take this as an issue and do additional investigation on it. For Qwest to add the ‘column headers’ to the data would be difficult. Bonnie Johnson – Eschelon said that Qwest doesn’t send it to us so it would be just as difficult for Eschelon to send it back. Page 9 – Box 12 The money amounts didn’t match the details on the spreadsheet. The example from Eschelon was that the TIC Repair Charges were sent in advance. The claim information didn’t match what was sent in previously. Bonnie said they will not send these in advance. Bonnie Johnson – Eschelon stated that this [claim] process was optional from her perspective. Donna Devine – Qwest asked Bonnie why she believes the process is optional, as Qwest has stated that it is not optional. Bonnie advised that the Interconnection Agreement dictates what we do. The Interconnection Agreement says that we send disputes in writing. Sue Kriebel – Qwest advised that the Interconnect Agreement doesn’t go into this level of detail. It references that disputes need to have a valid reason and in writing. Qwest works many items in CMP that are more specific and not in the Interconnect Agreements. Bonnie Johnson – Eschelon said that there is a significant amount of work for Eschelon to change the process that has been in place for the past 2 years. Sue Kriebel – Qwest advised we can take the discussion of optional off line as Qwest does not consider this process optional. Bonnie Johnson advised that Eschelon has requested for Qwest to make this process optional. Eschelon’s option is to send these to Larry Christenson. Donna Devine – Qwest advised there are still 3 options in the process. We have added Option 3 to accommodate Eschelon’s existing process. The Billing SDCs gave feed back that this process was not changing Eschelon’s current process very much. Page 15 Donna explained that the BOSS / CABs information was rejected because requiring customer code on working telephone number (WTN), and should not have been, as this information is not available. Rodney – MCI advised thank you. Donna Devine – Qwest asked Rodney – MCI if he has a question about sending multiple products on one spreadsheet. Rodney explained that they need a way to track every dispute and make sure it was processed by Qwest. Rodney asked if Qwest could populate the information on a spreadsheet if MCI sent the spreadsheet to Qwest. Donna advised that Qwest will provide the customer claim number on each claim acknowledgment and you would need to match that to your file. An acknowledgement and a response are sent on every claim. Donna advised if MCI uses Option 2 or 3 we can populate information on your spreadsheet. The process may work better if you use Option 2 or 3. Rodney will talk with Chad/Jeremy and get back to Donna if there are additional questions. Donna advised other test findings include if you are challenging a rate, Qwest needs to understand where you are getting the rate from; tariff, a bill, etc. Bonnie Johnson – Eschelon advised that our goal is to participate and provide Qwest with the dispute claim form and information. Eschelon is not willing to make significant changes to our process. Thanks for having a trial as this helps identify issues. The intent is to provide Qwest with clear dispute reasons. For recurring claims, Qwest has put the ownership on the CLECs. If the CLECs puts something in our contract or in a tariff, that should be sufficient. We will provide the data once, when it is a recurring issue we don’t want to provide it again. Jenn Arnold – TDS Metro said they have the same issue with recurring claims. We do not want to fill out forms every month. Donna Devine advised if you put the same claim number on the form and just reference it that would work. Bonnie advised that would require the CLECs to look up the claim number which it too much work. Jenn asked why Qwest doesn’t just fix the problem. Donna advised that generally the claim is being processed and until it is complete the problem continues. Donna advised the CLECs do not have to submit a recurring claim if one is already opened. Bonnie advised that Eschelon’s choice is to submit the claim each month if the claim is open. Donna advised she will add to the process that the CLEC can just reference the previous claim and not have to send in the details. Bonnie asked if on the trial claim form rejection reason, when Qwest populated information there were some fields left blank, if nothing was populated does that mean it was okay Donna advised no, these were just examples. Donna agreed to populate all lines and send back to the CLECs. Bonnie asked about Page 18 and the additional historical information. Bonnie asked if this is required for all options. Donna advised yes. Donna advised there would be a payment history for every claim. If the CLEC sends in this information that is fine. Qwest will use our information for credit purposes. Bonnie advised she will share this information with their VP of Network Finance. Bonnie asked Donna to summarize the changes that were agreed to in today’s meeting. Donna advised the following: Donna will research the ‘common headers’ information Request to add more information under description and will send back to the CLEC for review If choose to send in recurring claims the CLEC is not required to add the details again. Donna asked the CLECs to review the flow and document and send comments by end of day Thursday September 30. Send comments to donna.devine@qwest.com and copy Cynthia.macy@qwest.com. After the comments are reviewed Qwest will schedule another ad hoc meeting. Bonnie advised she will include Karen Klausen and Bill Market in later meetings. 9/16/04 CMP Meeting Minutes Donna Devine reported that a trial is in progress for the Claim Submittal Form. She has received all three options. Since these are real claims, Qwest has been accepting the claim so we don’t delay processing them. Donna is compiling a list of what would have been rejected. Bonnie and Kathy thought the trial would be more real if we knew what Qwest would be accepting or rejecting upfront like you would if following the new PCAT. They want to make sure we flush out all the issues. Donna agreed to take the trial claims and send Eschelon and MCI reasons why they would have been rejected in the new process. If Eschelon or MCI have questions on the rejection reasons, those questions should be filtered to Donna. If they do not have questions they will try to work through re-submitting. This will also filter through Donna. Bonnie and Kathy agreed this is o.k. Doug is checking to see if the next CMP AD HOC meeting can occur on Friday September 24 from 9:30 AM - 10:30 AM MDT. Both Eschelon and MCI will confirm if this is a good date by COB today. The CR will stay in Development. - 8/18/04 CMP Meeting Donna Devine reported that an ad-hoc meeting was held Friday August 13. It was agreed to trial the new dispute notification form. She is waiting to hear if MCI will participate in this trial. The target trial date is the week of September 13. Before that date a trial meeting with all participates will be scheduled to work through the details. Qwest will coordinate the meeting. The idea is to trial the draft PCAT language “Claim Submittal Section”. Participating CLECs will submit real disputes using the new dispute forms 3 options. An analysis will be made of what worked and what could work better. After that analysis, revisions will be made to the draft PCAT and the next Ad Hoc meeting will be coordinated. Leilani Hines said she will check with her co-workers at MCI to see about trial participation. Bonnie Johnson expressed thanks for Qwest performing the trial. The CR will remain in Development status. - 9:30 10:30 (MDT) / Friday August 13, 2004 Attendees: Bonnie Johnson, Eschelon, Kathy Stichter, Eschelon, Ray Smith, Eschelon, Liz Balvin, MCI, Brad Patton, MCI, Jen Arnold, TDS Metrocom/US Link, Audrey Wolford, TDS Metrocom/US Link, Sue Lamb, 180 Communications, Carla Pardee, AT&T, Joyce Atwell, AT&T, Doug Andreen, Qwest, Cindy Macy, Qwest, Donna Devine, Qwest Meeting Agenda: 1.0 Introduction of Attendees: Introduction of participants on the conference call was made and the purpose of the call discussed. 2.0 Review Requested (Description of) Change: Doug Andreen, Qwest said that we would follow our usual process of having Donna Devine, Qwest review the document and point out changes as she reviews. CLECs are encouraged to comment or ask questions as the review moves forward. Donna pointed out that we are using revision seven of the document. There were no comments on page one or two. Donna began on page three, there were no changes. On page four the flow diagram had been added. Bonnie Johnson, Eschelon said they had several questions and asked Donna if it would be possible to step through the flow diagram especially who is providing what and what is meant by end of process. Donna said Day 0 is when the SDC receives the Claim from the customer. The SDC enters the claim into the Dispute tool and acknowledges within two business days of receipt. Bonnie questioned if the CLECs get the information in the middle box regardless if the Claim is accepted or not. Donna said yes, but if the claim is rejected you will also get the reason why it was rejected. Donna went through the remainder of the document. Bonnie felt the two diamond boxes were causing the confusion as they are both named the same thing. It was agreed the first diamond would be changed to Review Claim. Bonnie said she now understood the concepts and would review and email any further comments. Donna stated under Terms and Conditions item 3 was added per the previous meeting and item 4 added per follow-up email from Bonnie. Bonnie asked on number 4 if the wording could be changed to reflect that CLECs can initiate an escalation any time. Donna said yes and said the sentence will say You can initiate an escalation for any issue, at anytime, and to any Qwest escalation point. This was agreed. Liz asked if the word you can be changed to CLEC. Donna said the entire document is a process for the CLECS so that is why we use the word You. This was agreed. Bonnie expressed concern about the second sentence in # 1and asked if the second sentence could be separated. from the 1st.This was agreed. Donna summarized and added we will now have 5 items under Terms and Conditions. Issue # 40 on the issues list was closed. Kathy Stichter, Eschelon asked if there wasn’t a set phrase about Interconnect Agreement(s) taking precedence. Donna said she was unaware of this. Bonnie said she would find one and email the statement. Donna said she wanted to point out the first and the newly added second statements in the Terms and Conditions are in relation to dispute retention guidelines. There were no comments on page 5. Bonnie said page 6, Tab 2 only applies to Option 3 Donna initially answered yes but then asked how will you summarize if you use option 2. Bonnie said that Eschelon had offered to trial the claim submittal form with Qwest and would like to use the claim submittal form process on a couple of disputes. Bonnie added that she didn’t want a process where everything ends up with Larry Christensen. Doug asked Bonnie to explain what she had in mind for a trial. Bonnie said she wasn’t talking about CLEC Test but rather something up front, a trial for clarity and format of the submittal form. Not a trial of the entire dispute process. Donna asked if Bonnie wanted to use selected claims and Bonnie said yes perhaps one with multiple account numbers etc. Donna clarified. Are we going to use real disputes? Bonnie answered yes. Doug asked if Eschelon wanted to represent all CLECs as Qwest does not want to exclude CLECs wanting to participate but the complexity will increase with the number of CLECs participating. Bonnie pointed out that of the three formats for documenting a Dispute Eschelon will only use number three. Doug asked if MCI or any other CLEC would be willing to participate using formats 1and 2. Liz Balvin, MCI said she would have to check with Brad Patton and would get back to Qwest. No other CLECs volunteered to participate. Donna said she would like to do the trial the week of September 13. Bonnie suggested that we do one claim for each product. Donna agreed. Liz said that MCI could only do UNE-P. Doug said there would be a meeting called to set the criteria before the 13th. Bonnie said she felt more comfortable knowing this type of test would be done. Donna asked if we should continue with the Claim Submittal Process section pages 6 and 7 or just proceed to next section. It was agreed to proceed. There were no questions regarding changes on pages 8, 9, and 10. n page 11 Donna asked if everyone was ok with fields 10, 12, 13 and 14 adding the words You are required to split out by Main Account Number if more than one Main Account Number submitted on the claim. Kim Isaacs, Eschelon asked if this meant Main Account Number A for fields 10, 12, 13, 14 and next main account number B format for fields 10,12,13 and 14 to which Donna answered yes. Donna moved on to page 12 where the word required was removed from the sentence Rejected means a Qwest Dispute ID number is assigned, but the claim is not submitted using the [required] claim submittal form This closed issue #42.There was much discussion around example #4 involving CABS/BOSS and the Differences list. Carla Pardee, AT&T agreed to check with her billing group but thought most of the problems with the Differences List are no longer significant. Bonnie asked Donna if Qwest could assure that disputes would not be rejected because of the Differences list. Donna said no. The only intent of example #4 is to ask the customer to check the Difference list before they submit a claim. Most of the time the answer to their claim is already on the differences list. Issue 43 will remain open. Carla asked if any other CLEC uses CABS/BOSS and MCI answered they do. Donna said there were no changes on page 13 and moved on to page 14. Eschelon submitted an email asking to add additional information to bullet #1 page 14.Donna said in reference to the Docket number that Qwest would like to keep consistent with the information given on the Notification letter. Ray Smith, Eschelon asked what is meant by full document number. Donna gave an example from a Notification Letter Minnesota Public Utilities Commission Docket No P-421/C1-01-1375. P-421/C1-01-1375 is the Docket Number. Donna asked if the CLECs were having trouble with the notifications sent today. Bonnie said she would like to take this issue back since Qwest wants to continue sending what they are sending today. Donna said that would be fine and she will leave issue 41 open. Jen Arnold, TDS Metrocom/US Link added that the problem for her was the [effective] date. Bonnie wanted to know if there was a notice number on the example. Donna said the notice number does not appear on the example she has but will go on the web site and look. Bonnie said she would let us know if the information they are getting today is enough. Note: after the meeting, Donna and Doug checked and there are notice numbers on all notification located on Qwest.Com web site. Also on page 14 Donna read issue 22 regarding the 30 day time limit to disagree with Qwest Resolution. . Donna explained this dispute process is for submitting claims to the Billing SDC. Alternatives are submitting the original claim form to the SDC within 30 days or to Larry Christensen according to your ICA. Bonnie said Eschelon disagrees. She feels a time frame is not appropriate and doesn’t agree with the concept. Bonnie said to go ahead and close as unresolved. Donna said then we agree to disagree and we are o.k. Bonnie said yes. Bonnie said she had several comments on the payment section on page 15. Donna said the information under Payments was added to make this standard. She said about half the CLECs now submit this information and half do not. Donna said this was all brought up because Bonnie asked at the last meeting if we could eliminate sending the payment history spreadsheet. The answer is yes if you submit this payment information. Bonnie wanted to confirm that this did not apply to Eschelon since they are already doing this. Donna said she believed this was true but to check with the Eschelon people for verification to see if they are providing this information on their dispute payments. Meeting time was running out and it was decided Bonnie will submit comments on the payment section. The meeting was brought to a close at this point. No future meetings were scheduled at this time. 3.0 Confirm Areas & Products Impacted: Billing. 4.0 Confirm Right Personnel Involved: Correct personnel were involved in the meeting. 5.0 Identify/Confirm CLEC’s Expectation 6.0 Identify any Dependent Systems Change Requests. 7.0 Establish Action Plan (Resolution Time Frame): Next meeting was not set at this time

- 9:00 10:00 (MDT) / Monday Friday July 30, 2004 Attendees: Bonnie Johnson, Eschelon, Kathy Stichter, Eschelon, Ray Smith, Eschelon, Ellen Copley, Eschelon, Liz Balvin, MCI, Chad Warner, MCI, Brad Patton, MCI, Teresa Castro, Var Tec Telecom, Candy Davis, Covad, Janet Chang, Covad, Jen Arnold, TDS Metrocom/US Link, Audrey Wolford, TDS Metrocom/US Link, Julia Redmond Carter, McCloud, Sue Lamb, 180 Communications, Mark Brindamoue, Nancy Sanders, Comcast, Doug Andreen, Qwest, Lynn Stecklein, Qwest, Donna Devine, Qwes.Meeting Agenda: 1.0Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed. 2.0Review Requested (Description of) Change Doug Andreen, Qwest asked if there was anyone on the call that was new to the meetings or unfamiliar with the CR. For those unfamiliar, Doug gave a brief description of the CR and a brief history of the meetings held previously. Doug then stated that the way Qwest would like to proceed is to go through the document page by page, noting changes and incorporating CLEC outstanding questions as we proceeded through the document. There were no objections. Bonnie Johnson, Eshcelon asked if CLECs could give their thoughts, new questions on a page by page basis and Doug said yes. The meeting was then turned over to Donna Devine, Qwest who started through the document. Liz Balvin, MCI wanted to verify that this was a CMP meeting and Doug answered that it was with the standard ad-hoc minutes as usual. Donna said her objective was to go through the document and arrive at an agreed upon process prior to a formal comment cycle. Donna started with page 1 where Wholesale Local was added to the title. On page 3 the word Local was added to the title. Liz asked if that meant products ordered out of the Interconnect Agreement will go under this process. Donna said yes. On the Web Site it will appear under Qwest.Com;Wholesale/Interconnection;Business Procedures. Donna asked if the last sentence on the first paragraph under Description on page 3 could remain. There were no comments and the sentence will remain. Donna apologized for the diagram not appearing in the document. Doug said that we would make arrangements at the end of the meeting to get the diagram to the CLECs. Donna continued with page 4 Terms and Conditions. Bonnie said that Eschelon was looking for something more general and that in #3 it might help to strike everything after the word Agreement. It was agreed that the remainder of #3 would be stricken. Regarding Terms and Conditions #3: Bonnie said that the idea is to make the process agreeable to everyone and asked if it would go to Larry Christensen. Donna said yes with a copy to Legal. Donna asked if that is the process they use today and Bonnie answered Yes. Liz asked if the CLECs can invoke an escalation anytime and Donna answered yes. Donna continued with page 4 saying the pricing had been removed as requested from the rate section. Donna continued with page 5. The second paragraph under Submitting a Claim was moved to Terms and Conditions. In paragraph 3 the word Local had been inserted. In paragraph 4 Donna walked through the change and said Qwest can allow more than one main account number per spreadsheet. Bonnie expressed thanks for this change being made. Also on page 5 the word required information and will be removed from paragraph 2. The sentence will read: A spreadsheet with all supporting information can be attached to the Claim Notification Form. There was discussion around the date/year. Liz asked how it would work if the greater than, less than 60 days take it into more than one year. Donna agreed this needs rework. Donna asked about all the data Eschelon supplies on their spreadsheet. Bonnie asked if what Donna was referring to was the historical data the SDCs wants on the spreadsheet. Donna answered that she only wants the current dispute information. Bonnie asked if the historical data could be removed. Donna answered yes. Bonnie said the intent was to put the detail in the spreadsheet and the claim form will show the current dispute. Bonnie questioned if the data referred to was on the Summary Tab. If so this data was at the request of the SDCs to have historical data. Donna said she would take the topic of Historical Data as an action item. Bonnie said what Eschelon wants to do is have a template for the claim form that can be a separate tab in the spreadsheet. So then the spreadsheet would have claim form, detail, claim form, detail, etc. Donna agreed with this.Donna said back to Liz’s question if the flow is greater than 60 days it would have to go back. Liz asked meaning you’ll strike the year in the document. Donna answered yes and Bonnie said this appears in several sections. Donna said she would strike all of them. There was discussion around the inclusion of the customer code on the form. It was decided that the customer code will remain on the form. Brad Patton, MCI indicated this would be alright. Bonnie asked if the wording could be changed in paragraph 5 under Submitting a Claim. Donna was concerned because other smaller CLECS also use this PCAT and want to express that Qwest first choice is submit only one Main Billing Account Number per claim. It was agreed the words Qwest preference is that” would be added to the beginning of the first sentence. Donna did say that allowing more than one main account number per spreadsheet still required separate tabs. Also, separate tabs for greater than 60 days and less than 60 days. Donna reviewed the out of office wording change on page 6 and Bonnie said the changes looked ok. Going back to page 5 Bonnie asked if the Qwest Claim Form should be identified as being able to be sent as a Word or Excel document. Donna said she would work on the wording to identify. Donna outlined the options for submitting a claim. They are 1. A Claim Form with all needed information. 2. A Claim Form and a Spreadsheet. 3. A spreadsheet with the Claim Form as a tab. Donna pointed out that in all cases greater than 60 days and less than 60 days should be split out. She said she would change the bottom of the form on page 7 to reflect these options. Donna also noted she would remove the year in field 11. There were no questions on pages 8 or 9. On page 10 of the document Donna asked if Eschelon will have one claim per account number. Bonnie answered she was not sure. Donna went back to field 7 on page 10 and asked about multiple main account numbers. Bonnie asked if this meant they could have multiple main account numbers per dispute form. Donna answered she would have to think about it since the dollar amounts would total in field 12. Bonnie pointed out that it would still be separate in the detail and that multiple lines could be added field 12 and 13 on the form to accommodate multiple Main Account numbers. Donna said then that would be ok. Candy Davis, Covad asked if one Main Account Number was optional Donna answered yes, but the preference from Qwest was one main account number per form. However, Donna said she would put something in field 12 of the form to enter multiple totals. She added when the detail is on the claim form it needs to be split out by main telephone number and product. Bonnie asked if on the product side is UNE-P and Resale accounts considered products, then that would be 2 claims. Donna said yes because different products go to a different SDC. Donna said she should provide an example of different kinds of products. The meeting was then stopped with the following items noted: 1.Eschelon would send additional comments on the remaining pages of the document to Doug to be incorporated before the next meeting. If other CLECs had additional comments they should be forwarded to Doug by COB Monday, August 2. 2.Doug would send the high level flow chart via a notice to the CLECs by COB Monday, August 2. 3.The next meeting will be Friday August 13 from 9:30 to 10:30 MDT. The revised document will be sent by COB August 11. 3.0 Confirm Areas & Products Impacted: Billing. 4.0 Confirm Right Personnel Involved: Correct personnel were involved in the meeting. 5.0 Identify/Confirm CLEC’s Expectation. 6.0 Identify any Dependent Systems Change Requests. 7.0 Establish Action Plan (Resolution Time Frame). Next meeting August 13 to continue with document review.

- 7/21/04 July CMP meeting Donna Devine, Qwest reported that there is an ad-hoc meeting scheduled for July 30 at 9:00 AM MDT. Qwest will have the updated documents sent on July 28th. Donna asked Bonnie Johnson, from Eschelon, if her offer is still open, Donna would like an example of Eschelon’s request for submitting a claim on one claim form with multiple spreadsheets. Bonnie agreed she had a couple more hours of work and will send to Doug within next day or two. Doug said he was on vacation and to send direct to Donna. Donna also stated she welcomed anyone else who would like to submit examples. Donna said she did receive comments from MCI. Liz Balvin, MCI wanted to discuss the last meeting being outside the CMP process. She said that the CLECs requested meeting minutes and that Qwest’s position was that these meetings were outside of CMP and therefore the document and question list provided by Donna would serve as the record of the meetings. Susie Bliss, Qwest said when the meeting is to talk about LTPA, that process will be used and when they talk about processes associated with this CR, minutes would be taken. Doug Andreen added the meeting on the 30th will be a CMP meeting. Susie added it’s all about being clear upfront in the meetings. Liz said that her biggest concern was starting the process over again. Liz understood that it was brought to CMP because LTPA could not resolve issues without a process. Liz said that Donna was doing a good job on the issues log, however, since we are not documenting all conversations there are some questions discussed in the meetings that are not on the issues log, for example, a question from McLeod. This CR will stay in Development.

6/16/04 June CMP meeting minutes Donna Devine Qwest reported that the next meeting is scheduled for July 1, 9 to 11 a.m. and that she will send out the issues list and the supplemental documentation before the meeting. She also added that the concerns presented by Bonnie Johnson, Eschelon via email will be addressed at the meeting. Bonnie said she feels this is crucial to address since it sounds like the process for review will be different and CLECs have a right to know . She submitted the concern via email so that Qwest would be aware sooner than later. Donna said she is trying to work through where to place this information in the document. Liz Balvin, MCI wanted everyone to know that this process is only for local products and not for Access. Donna confirmed that this is for local products. Liz added that Access processes will remain the same. This CR will stay in Development.

-- Ad Hoc Meeting Minutes PURPOSE The purpose of this meeting was to discuss/reply to questions posed by the CLEC community during the ad-hoc meeting held May 4, 2004. List of Attendees: Jim McCluskey, Accenture, Lori Mendoza, Allegiance, Jan Arnold, U S Link, Cheryl Peterson, AT&T, Terri Kent, AT&T, Nancy Sanders, Comcast, Mike Zulevic, Covad, Bonnie Johnson, Eschelon, Ray Smith, Eschelon, Ellen Copley, Eschelon, Kathy Stichter, Eschelon, Wayne Hart, Idaho PUC, Liz Balvin, MCI, Brad Patton, MCI, Chad Warner, MCI, Benita Matthews, MCI, Rod Cox, U S Link, Char Mahs, Qwest, Sue Kriebel, Qwest, Jim Recker, Qwest, Kit Thomte, Qwest, Donna Devine, Qwest, Doug Andreen, Qwest MEETING MINUTES: The meeting began with Qwest making introductions and welcoming all attendees. Doug Andreen with Qwest explained that the purpose of the meeting was to discuss Qwest initiated CR PC040604-1 Dispute (CLAIM) Process, specifically to discuss/respond to questions raised by the CLECs at the last ad-hoc meeting. The meeting followed a standard format with Donna Devine, Qwest reviewing the question and Qwest response. In the interest of brevity questions and responses from the document will not be captured in these minutes. Rather, additional discussion/comments/commitments will be captured. Please refer to the previously distributed “Questions from Eschelon, MCI and Cbeyond related to Supporting Documents Associated with Dispute (Claim) Process CMP PC040604-1 – dated 4/20/2004 and Revision 2 dated 5/6/2004” for initial questions and responses. Donna Devine, Qwest stated she had received no additional questions on the following items and they will be considered closed. The question numbers were 3, 4, 6, 7, 8, 12, 16, 19, 24, 27, 31, 32, 35, 36, and 47. It was agreed to proceed through the document by category of question received. General Questions: Question #5: Ray Smith, Eschelon wanted to make sure the meaning of dispute and claim are used consistently. Does it mean the same thing when referring to the PID as it does in English? Sue Kriebel, Qwest asked for an example and Ray responded that it is a singular vs. plural issue as in the words dispute (singular) vs. charges (plural) as used in this question. Ray proposed having lower case for the English meaning and upper case for the meaning as used in the PID. Donna agreed to work on the definition of a Claim and how it affects the “count” in BI5A and BI5B. This question will remain open and will be referred to LTPA for more discussion. Question #38: Donna read the question and Qwest response. Chad Warner, MCI asked if there was a time frame on starting to work on categories other than local billing disputes. There is not. Kathy Stichter, Eschelon asked what other than local billing disputes were. Chad answered categories like access disputes. There was no further discussion or comments. The question will be closed. Submitting a Claim Question # 10: Chad questioned why it was that if Qwest had the majority of information on a claim that it would be returned for missing information. Donna responded that at the time of acknowledgement it is considered one claim and therefore the entire claim is returned if a required field is missing. There were no additional questions/comments. This item will be closed. Question #13: Bonnie Johnson, Eschelon stated that this information is not required for the PID and she would like to see it removed from the form. Donna said the Dispute Form was addressed in LTPA but they did not get down to the field level. Kathy Stichter said if there is a disputed USOC, for instance, she does not believe it is an Eschelon responsibility to provide a count but rather a Qwest responsibility. Many times it may take three or four months to fix. Bonnie reiterated that this is putting additional work on the CLECs. Sue Kriebel asked if you are disputing 100 USOCs and the adjustment was for 80, would it not be good to know how many you had originally disputed. Kathy said the assumption is that Qwest will see there is 100 in dispute. Bonnie added that this is not information provided today. Donna said the intention is that since it was already on the spreadsheet that it could be added up, but that she will change Field 14 to and optional field. There was no further discussion and the item will be closed. Question #26: Ray Smith, Eschelon asked if a claim is rejected is it counted in BI5B. Donna answered no it is not. There was no further discussion or comments. This question will be closed. Question #29: There were no comments/discussion on this question. It will be closed. Question #30: Liz Balvin, MCI said she thought Stephan had left Cbeyond and could we check with Cbeyond before closing their items. Kit Thomte, Qwest said Qwest will call Stephan’s telephone to see if he is still there or referring calls. This question will be closed. Question #39: Donna read the question and response. Liz questioned if the time zone applied to Salt Lake City and Des Moines and Donna responded yes. There were no comments or questions. This question will be closed. Question #17: Donna asked if MCI was supporting one spreadsheet with one tab for greater than 60 days and another tab for less than 60 days. Liz and Brad answered yes. Brad further stated he could send an example of what they mean. Sue Kriebel asked if Qwest could say in the reply how Qwest will work with and populate the table in the supplemental document on page 5. Donna responded that she could. Ray Smith ask if the intention was to put the example and response out to general distribution. Donna said yes. This item will remain open. One question was submitted via email and has no reference number. Bonnie had questioned the supporting document dated May 6, 2004 page 4 and 5 examples 1 and 2. While it was Donna’s intention to show how these would count, in essence the example would not count in 5A or 5B. Donna asked if that answered Bonnie’s concern and Bonnie answered that it did. Donna agreed to change the document. Out of Office Question #9: Donna said that questions 9, 18, 28 and 34 all relate to the out of office issue. She has talked to SDCs who felt that out of office was not used that frequently. Bonnie stated the concern is that when an out of office message was left, there is no direction to contact anyone else. Chad Warner added that if for instance MCI had a claim there was no person to send it to. He suggested the need for a general mailbox. Both Char Mahs, Qwest and Donna suggested this be tabled for discussion at the Thursday meeting. Donna suggested the general internal dispute procedures advise the SDC to provide backup information. This question will remain open. Resolution of Status Claim. Question # 1: There was much discussion around this question centering on the level of detail on the Resolution Status letter. The following issues/questions were agreed. It was agreed the Service Order Number AND Purchase Order Number (PON) will be provided by Qwest. It was agreed Qwest will utilize provide a standard Resolution and Status template. It was agreed Qwest will research Cost Docket Resolution examples, specifically MN docket No P-421/C1-01-1375. It was agree Qwest will provide examples where Qwest requires the SGAT as apposed to the ICA. It was agreed discussion regarding "mutual agreement" to resolve including escalation process will be defaulted to LTPA PID discussions It was agreed Qwest will continue investigating supplying the Maintenance and Repair (M&R) trouble ticket number. Question #4: Bonnie stated the business concern is that in LTPA Qwest committed to provide the information on resolution letters it is now asking the CLECs to provide. The concern is sometimes there is nothing to point to such as a cost docket etc. A second concern is that at Eschelon about 75% of what is disputed on a monthly basis is the same things disputed the previous month. Can we differentiate something that is in dispute for the first time from something that has been disputed before? Sue asked if the question is do the CLECs have to submit the same dispute month after month. Bonnie said the CLECs understand that they have to dispute month after month but the question is can we provide Qwest the detail just one time. Bonnie asked if she had to dispute the same exact dispute month after month? Donna said she would have to address with Qwest later. Bonnie also asked if Qwest could look into the situation where there isn’t any information for instance if there are no approved Commission rates. Donna said yes. Ray remembered a situation dealing with poison control in LTPA and questioned what if there is no reference to a tariff, Cost Docket or Interconnection Agreement what happens? Sue said when the dispute is something that is not related to USOCs or rates but is additional tax or surcharges etc., then that would also be an example of when no information is required. Donna also stated it is an optional field on the form. Sue said if you are disputing a rate, then when submitting a claim we require a reference to a Tariff, Cost Docket or Interconnection Agreement. Sue and Donna questioned if the Poison Control situation was a Rate or a Tax /Surcharge issue. Donna said page 6 of the Supporting Document dated May 6, 2004 explains “required supporting information”. A reference to a tariff, Cost docket o r Interconnection Agreement is not required for a Tax or Surcharge issue. Bonnie said she would look at it more closely as she did want to ensure that nothing is left to interpretation since it is part of the rejection criteria. Jan Arnold asked about if the claim is for an invalid rate. Donna answered that the solution letter response will reference where the rate was found. Cheryl Peterson said what she was hearing is both that Qwest will provide and not provide references. Sue said the goal is to get to a process where references are outlined consistently. Sue added that if Qwest can’t provide documentation then will adjust. For auditing purposes have to have referenced documentation. This question will remain open. Question #14: There were no comments/questions on this item. This question will be closed. Question #20: Liz Balvin asked when, if there is still a dispute over the “final verdict” from Qwest does a CLEC have the opportunity to bring it up again. Donna clarified if the claim is denied and the CLEC disagrees. Liz answered yes if the issue is not resolved. Donna added that it is resolved from a Qwest perspective. Liz asked what the process is to re-dispute, do we use the resolved id when it is really not resolved. Donna said the escalation process is still under discussion. Liz added that now it is just Qwest's resolution to the dispute. Bonnie agreed with Liz and wanted to make certain that within 28 days if there is not resolution where both parties agree that there is some type of escalation process. Sue added that she does not think we can resolve this with a process and that it is an appropriate discussion for Thursday’s meeting. Donna agreed that mutual agreement is a discussion to have at Thursday’s meeting. This issue will remain open. Question #21: Liz said her intention was to try to shorten the time frame. Donna stated that the majority of the time the status didn’t change and Sue added that if the claim is not resolved in the initial 28 days, it is usually something that takes a long time to resolve. Liz verified that Qwest would not wait till the 28th day. Brad asked what percent go over 28 days. Donna said some work had been done on that but no status was available. Brad also felt the language was not clear. Donna agreed to reword the language to say “The follow-up date will be no later than 28 calendar days from the receipt of the claim or sooner if claim is resolved”. This item will remain open. Question #25: Bonnie asked if this information will be on a form. Donna answered yes and the resolution letter will outline the information behind the granting or denying of a claim. Bonnie said what the CLECs are looking for here is consistency. Sue said the SDCs will use a template for the resolution letter. The meeting was called to a close with Qwest stating that it would digest the information gathered and set another ad-hoc meeting to continue the progress. Due to the meeting coming to a close the following questions were not addressed, 23, 33, 11, 22, 6, and 15.

0005/19/04 CMP meeting Donna Devine Qwest reported that the first adhoc meeting occurred on May 4. As a result of that meeting, Qwest responded to several questions from meeting participants. In turn MCI, Cbeyond, Time Warner and Eschelon submitted responses and additional questions. Qwest will respond to these follow-up questions by the end of this week. The next meeting is scheduled for Monday May 24 from 9AM – 11 AM MTN time. This CR will be moved to Development.

Ad Hoc Meeting Minutes PURPOSE The purpose of this meeting was to review process changes, introduce recommendations from Qwest to assist in improving the quality of the dispute process and to reply to comments made by the CLEC community. List of Attendees: Bonnie Johnson, Eschelon, Ray Smith, Eschelon, Ellen Copley, Eschelon, Kim Isaacs, Eschelon, Kathy Stichter, Eschelon, Carla Pardee, AT&T, Liz Balvin, MCI, Linda Bell, 180 Communications, Mark Rendmore, 180 Communications, Emily Baird, POPP Telecom, Chad Warner, MCI, Audrey Wolford, U S Link, Lori Mendoza, Allegiance, Wendy Perrot, Allegiance, Larita Tillison, Allegiance, Rob Garth, Liberty Bell, Christie Hubbard, Global Crossings, Cheryl Peterson, AT&T, Brad Patton, MCI, Malia Ciasi, VCI, Stephen Calhoun, Cbeyond, Kevin Youngblood, Jean Novak, Qwest Communications, Char Mahs, Qwest Communications, Sue Kriebel, Qwest Communications Jim Recker, Qwest Communications, Kit Thomte, Qwest Communications, Donna Devine, Qwest Communications, Doug Andreen, Qwest Communications MEETING MINUTES The meeting began with Qwest making introductions and welcoming all attendees. Doug Andreen with Qwest explained that the purpose of the meeting was to discuss Qwest initiated CR PC040604-1 Dispute (CLAIM) Process, review process changes, introduce recommendations from Qwest to assist in improving the quality of the dispute process and to reply to comments made by the CLEC community. It was agreed to proceed by waking through the document and provide feedback to CLEC submitted questions/comments as we reached pertinent sections in the document. Donna Devine, Qwest thanked MCI and Eschelon for submitting comments and proceeded with page 3 of the document Customer Billing Dispute (Claim) Notification Form and Field Dictionary dated April 20, 2004. There were no comments on page 3 covering the Introduction and Submitting a Claim sections. The next section started on page 4. Donna Devine began by stating that claims should be submitted using the form on page 4. If you have an agreement with the Billing Center, you may also attach a spreadsheet with all required information. If required information is not provided, the claim will be returned and considered closed. Liz Balvin, MCI asked that the way it reads a spreadsheet is an option. Donna said it is an option and agreed to remove the phrase. If you have an agreement with the Billing Center. There were no objections to this. Donna Devine explained in the Dispute Detail Information Section of the form if multiple bill dates are disputed (i.e. 4th, 7th, 10th), dispute claims must be split out by bill date/year. Enter claims within 60 days of the bill date on one claim and those greater than 60 days on another claim. If the disputes greater than 60 days from the bill date are not separated from those within 60 days from the bill date, Qwest will group using the oldest bill date. Refering to one of MCI’s questions Donna further said MCI commented that MCI currently keeps disputes separated by billing account numbers. Is it Qwest’s intent that a dispute for each invoice date for each ban must be filed? It would be cumbersome to file a Claim Form for the same issue month after month. One claim to identify the issue should be sufficient, using a spreadsheet to outline the activity on a monthly basis. Donna cited the following example: Dispute is from January 2004 April 2004 submitting claim in May. Bill date is the 4th. Today is May 1. January 2004 February 2004 4th bill period is submitted on one claim. March 2004 April 2004 4th bill period submitted on one claim. Donna was asked to change the term bill date to bill period. For purposes of the document bill date, bill period and invoice date are interchangeable. The Bill Date field identifies the Billing Period for the Billing Account Number (BAN) & invoice entered. Brad Potter, MCI asked if there is an advantage to splitting the 60 day time line. Donna answered yes for the SDC and for inclusion in the BI-5 PID. Bonnie asked if that was because greater than 60 days doesn’t count in BI5-PID. Donna answered yes. Bonnie asked what constituted a dispute, if we’re disputing call waiting is that a dispute. Donna referred to page 5 of the document for dispute types. Numerous questions in the form of possible scenarios were offered around how to submit/count disputes. Donna agreed to provide examples in the next document to clarify the scenarios mentioned. Liz asked if BANs were unique for bill periods. Both Donna and Sue Kriebel, Qwest answered yes for both CRIS and IABS. Liz said she would prefer to dispute by BAN as is currently done. Donna responded that this has not changed. Liz asked what would happen if the BAN is exhausted. Sue answered that when a BAN is exhausted new order activity will not flow to this BAN and a new BAN will be established. Brad Potter, MCI stated that breaking out greater than and less than 60 days presented more work for MCI. Bonnie said that if you put all the disputes on one without this breakout then it would not be counted in PID. Sue said this is correct since Qwest uses the oldest bill date when not broken out. Bonnie stated she is still unclear on what constitutes a numerator in the PID. (In checking with Char Mahs, Qwest the numerator in BI-5 is determined by whether Qwest resolved the claim whthin 28 days. If eligible, the claim would be in the denominator regardless of whether we met the 28 days to resolve or not.) Donna explained Acknowledgments are counted once and Resolutions are counted per Dispute Type. Donna said dispute type is referred to as reason code in the PID. Brad asked how Qwest knows if it has all the information to proceed. Donna answered that if all the required fields are filled in. Bonnie stated that having the information to process a dispute and having the information to get measured in PID are two different things. For instance if items older than 60 days are included the claim will be excluded from measurement. Donna answered yes. Eschelon made a comment that they currently submit claims using the fields we are requesting on the form except for the ACNA and Total # of items. Bonnie stated she still needs more information on how to submit and get it counted in PID. For instance if send 3 UNE loops for the same bill period. Sue answered that would be one claim for acknowledgement. Bonnie asked if she added three claims for a different dispute type. Sue said that would be one claim for acknowledgement however in working the claim would be split by dispute type and therefore would be two claims. Bonnie then said in BI-5B a dispute is counted by dispute type. Char answered yes. Bonnie stated that if she has one spreadsheet for greater than 60 days and one for less than 60 days then she is ok. Sue said yes but don’t want to receive one dispute for different bill periods (i.e. 4th 7th or receiving the spread sheets by ban is ok). Bonnie said that for April and May for same bill period and same product is ok. Sue answered yes. Bonnie clarified that as long as bill dates are not mixed and there is one spreadsheet for greater than 60 days and one for less than 60 days then it should get counted in PID to which Donna answered yes. Bonnie further asked if the process was required and Donna answered yes. Kathy Stichter, Eschelon wanted to verify that this will involve an extra form for each bill date, each month for each product. She said she now saves disputes and submits to Qwest once monthly. Sue Kriebel asked if that meant that Eschelon saves their disputes for bill period 1,4,7,10,22 etc and sends them to Qwest together. Kathy replied yes. Sue pointed out that this delays Qwest starting to investigate claims. Bonnie asked how the SDCs like the new process. Sue said it was a collaborative effort in development of the process. It was agreed to set a two hour meeting to further discuss and drive forward on this document. The following tentative timetable was established. Donna will submit updates to the document and respond the the CLEC questions by COB Thursday May 6, 2004. The CLECs will respond with their questions by COB Thursday May 13, 2004. The two hour ad-hoc meeting will be scheduled for as soon as possible after all comments have been considered.

- 4/21/04 April CMP Meeting Donna Devine, Qwest presented this CR and explained that over the past months multiple customers have participated in discussions to enhance the Dispute process. This new CR addresses dispute process changes requested by the customer and also introduces recommendations from Qwest to assist in improving the quality of the dispute process. These enhancements plus recommendations from Qwest are the basis for this CR. Donna proposed an ad-hoc meeting and will provide information with the notice. The ad-hoc meeting is scheduled for Tuesday 5/4 from 2 to 3 Mountain time. Ray Smith, Eschelon asked about a proposed implementation date. Donna stated right now the date is to be determined ‘TBD’ based on Ad Hoc meeting results and internal system changes. Bonnie Johnson, Eschelon asked if system changes were involved in all parts of this, or can the work be phased in.. Donna said that the system changes that we will implement need to be done all at once as they impact results. Bonnie added that the implication is that all will be implemented at once. Liz Balvin, MCI asked if funding is approved and Donna said yes. Bonnie asked if a date could be estimated, is it 6 months/9 months/ years? Donna said third or fourth quarter of this year. Qwest verified probably six to nine months. Sue Kriebel, Qwest added that the due date depends on changes proposed since it is also related to the PID. Bonnie added that making the process changes were one item and Qwest making system changes to track was another. Ray added this should work jointly with LTPA. Sue said it is two different forums that will have to be clarified. Mike Zulevic, Covad echoed what Ray said about LTPA being compatible with what is developed. Liz added that with changes to PIDs there has to be coordination with LTPA. Mike stated that each company has a primary responsible person for LTPA and Qwest has a corresponding person. Qwest said the person from Qwest is Char Mahs. Bonnie asked if Char Mahs could be at the meeting and Sue agreed they could be. Jamal, Qwest asked if LTPA is part of CMP and Bonnie answered no but that this CR is related to a PID. Liz added that CMP is not the place to request a new PID. If a change to process or system affects a PID coordination must take place. This CR will be moved to Presented.


Open Product/Process CR PC032604-1 Detail

 
Title: UDF check box requirement for Standard Request vs. Special Request on IRI Form
CR Number Current Status
Date
Area Impacted Products Impacted

PC032604-1 Completed
7/21/2004
Pre Ordering UNE, Unbundled Dark Fiber (UDF)
Originator: Finley, Pat
Originator Company Name: Qwest Corporation
Owner: Finley, Pat
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

UDF IRI Form previously required CLEC to check if request was Standard, or Special. We are standardizing a UDF IOF/UDF Loop combination request and that will no longer be ordered via Special Request. This streamlined process will allow CLECs to order UDF combinations using a single IRI form, when in the past, CLECs had to complete an IRI plus a Special Request Form. Since combinations are “Standard,” we are asking the CLEC to check a box if the request is Standard or Special- something other than UDF IOF/UDF Loop combinations, and only those will require submission of a Special Request Form along with the IRI.

Expected Deliverables: none listed


Status History

03/26/04 - CR Submitted

03/29/04 - CR Acknowledged

040/2/04 - Held Clarification Meeting

04/21/04 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/26/04 - Qwest sent Level 4 product notice PROD.04.26.04.F.01597.UDF_V18, proposed effective date 6/10/04

05/19/04 - May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

05/26/04 - Qwest sent final notice, PROD.05.26.04.F.01703.FNL_UDF_V19, effective date 6/10/04

06/16/04 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

07/21/04 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

07/21/04 July CMP Meeting Linda Sanchez-Steinke with Qwest said that the PCAT updates were effective on 6/10/04. This CR will be moved to Completed status.

06/16/04 June CMP Meeting Pat Finley with Qwest said that the PCAT updates were sent out for review and received no comments. The effective date was 6/10/04. This CR will move to CLEC Test status.

05/19/04 May CMP Meeting Pat Finley with Qwest said that the PCAT updates were sent out for review with a proposed effective date of 6/10/04. This CR will move to Development status.

04/21/04 April CMP Meeting Pat Finley with Qwest presented this CR and said that it was issued because we are streamlining the process and will revise the IRI form. Pat asked if the CLECs would like to hold an ad hoc call to provide input or provide comments through written comment cycle. The CLECs thought a written comment cycle would work. This CR will move to Development status.


Open Product/Process CR PC032404-1 Detail

 
Title: Eliminate ISDN USOCs
CR Number Current Status
Date
Area Impacted Products Impacted

PC032404-1 Completed
7/21/2004
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Andreen, Doug

Description Of Change

ISDN SLS is eliminating four USOCs: ACSPN, B4HHB, B4HTB and BMEHB. These USOCs currently have no end users.

Expected Deliverables: 6/15/2004


Status History

3-24-04 CR Recieved

3-25-04 CR Acknowledged

3-29-04 Held Clarification call with Janean

3/29/04 Status changed to Clarification

4/21/04 -April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/30/04 - Qwest sent product notification PROD.04.30.04.F.01626.EliminaResaISDN_BRI_USOCs proposed effective date 6/15/04

5/19/04 -May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

5/28/04 - Qwest generated notice final PROD.05.28.04.F.01719.FNL_ElimiReISDN_BRI_USOCs

6/16/04 -June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

7/21/04 -July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

7/21/04 CMP Meeting Janean Van Dusen said the effective date was June 15 except for Arizona which was effective June 16. The final notice was sent May 28. The CR will move to Completed.

- 6/16/04 June Meeting Minutes CMP Janean Van Dusen, Qwest reported that the effective date is June 15 except for Arizona which is effective June 16. The final notice was sent May 28. The CR will move to Test.

- 5/19/04 CMP Meeting Janean Van Dusen, Qwest reported that the effective date is June 15 except for Arizona which is effective June 16. . The updated USOC list is available included with the initial notification sent on April 30. The CR will move to in Development.

4/21/04 April CMP meeting Janean Van Dusen, Qwest presented this CR and said that the effective date would be 6/15. The first notice will go out next week. The CR will be moved to Presented.


Open Product/Process CR PC010604-1 Detail

 
Title: Grandparent DSL Pro USOCs.
CR Number Current Status
Date
Area Impacted Products Impacted

PC010604-1 Withdrawn
3/17/2004
Provisioning Resale, UNE-P
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

The following USOCs will be grandparented effective 3/31/04:

USOC Description

G5L21 QDSL DMT Pro 640k Centrex PlusPrime 1 yr

G5L23 QDSL DMT Pro 640k Centrex PlusPrime 3 yr

G5L25 QDSL DMT Pro 640k Centrex PlusPrime 5 yr

G5L2M QDSL DMT Pro 640k Centrex PlusPrime MTM

G5L31 QDSL DMT Pro 960k Centrex PlusPrime 1 yr

G5L33 QDSL DMT Pro 960k Centrex PlusPrime 3 yr

G5L35 QDSL DMT Pro 960k Centrex PlusPrime 5 yr

G5L3M QDSL DMT Pro 960k Centrex PlusPrime MTM

G5L41 QDSL DMT Pro 1 Meg Centrex PlusPrime 1 yr

G5L43 QDSL DMT Pro 1 Meg Centrex PlusPrime 3 yr

G5L45 QDSL DMT Pro 1 Meg Centrex PlusPrime 5 yr

G5L4M QDSL DMT Pro 1 Meg Centrex PlusPrime MTM

G5L51 QDSL DMT Pro 4 Meg Centrex PlusPrime 1 yr

G5L53 QDSL DMT Pro 4 Meg Centrex PlusPrime 3 yr

G5L55 QDSL DMT Pro 4 Meg Centrex PlusPrime 5 yr

G5L5M QDSL DMT Pro 4 Meg Centrex PlusPrime MTM

G5L61 QDSL DMT Pro 7 Meg Centrex PlusPrime 1 yr

G5L63 QDSL DMT Pro 7 Meg Centrex PlusPrime 3 yr

G5L65 QDSL DMT Pro 7 Meg Centrex PlusPrime 5 yr

G5L6M QDSL DMT Pro 7 Meg Centrex PlusPrime MTM

G5LB1 QDSL DMT Pro 640k Centrex 1 yr

G5LB3 QDSL DMT Pro 640k Centrex 3 yr

G5LB5 QDSL DMT Pro 640k Centrex 5 yr

G5LBM QDSL DMT Pro 640k Centrex MTM

G5LC1 QDSL DMT Pro 960k Centrex 1 yr

G5LC3 QDSL DMT Pro 960k Centrex 3 yr

G5LC5 QDSL DMT Pro 960k Centrex 5 yr

G5LCM QDSL DMT Pro 960k Centrex MTM

G5LD1 QDSL DMT Pro 1 Meg Centrex 1 yr

G5LD3 QDSL DMT Pro 1 Meg Centrex 3 yr

G5LD5 QDSL DMT Pro 1 Meg Centrex 5 yr

G5LDM QDSL DMT Pro 1 Meg Centrex MTM

G5LE1 QDSL DMT Pro 4 Meg Centrex 1 yr

G5LE3 QDSL DMT Pro 4 Meg Centrex 3 yr

G5LE5 QDSL DMT Pro 4 Meg Centrex 5 yr

G5LEM QDSL DMT Pro 4 Meg Centrex MTM

G5LF1 QDSL DMT Pro 7 Meg Centrex 1 yr

G5LF3 QDSL DMT Pro 7 Meg Centrex 3 yr

G5LF5 QDSL DMT Pro 7 Meg Centrex 5 yr

G5LFM QDSL DMT Pro 7 Meg Centrex MTM

G5LG1 QDSL DMT Pro 256k Centrex 21 1 yr

G5LG3 QDSL DMT Pro 256k Centrex 21 3 yr

G5LG5 QDSL DMT Pro 256k Centrex 21 5 yr

G5LGM QDSL DMT Pro 256k Centrex 21 MTM

G5LJ1 QDSL DMT Pro 256k Centrex PlusPrime 1 yr

G5LJ3 QDSL DMT Pro 256k Centrex PlusPrime 3 yr

G5LJ5 QDSL DMT Pro 256k Centrex PlusPrime 5 yr

G5LJM QDSL DMT Pro 256k Centrex PlusPrime MTM

GPRBM QDSL DMT Pro 640k Ctx Analog MTM

GPRCM QDSL DMT Pro 960k Ctx Analog MTM

GPRDM QDSL DMT Pro 1 Meg Ctx Analog MTM

GPREM QDSL DMT Pro 4 Meg Ctx Analog MTM

GPRFM QDSL DMT Pro 7 Meg Ctx Analog MTM

GPRNM QDSL DMT Pro 256k Ctx Analog MTM

GRLB1 QDSL DMT Pro 640k dn/544 up 1 yr

GRLB3 QDSL DMT Pro 640k dn/544 up 3 yr

GRLB5 QDSL DMT Pro 640k dn/544 up 5 yr

GRLBM QDSL DMT Pro 640k dn/544 up MTM

GRLC1 QDSL DMT Pro 960k 1 yr

GRLC3 QDSL DMT Pro 960k 3 yr

GRLC5 QDSL DMT Pro 960k 5 yr

GRLCM QDSL DMT Pro 960k MTM

GRLD1 QDSL DMT Pro 1 Meg 1 yr

GRLD3 QDSL DMT Pro 1 Meg 3 yr

GRLD5 QDSL DMT Pro 1 Meg 5 yr

GRLDM QDSL DMT Pro 1 Meg MTM

GRLE1 QDSL DMT Pro 4 Meg 1 yr

GRLE3 QDSL DMT Pro 4 Meg 3 yr

GRLE5 QDSL DMT Pro 4 Meg 5 yr

GRLEM QDSL DMT Pro 4 Meg MTM

GRLF1 QDSL DMT Pro 7 Meg 1 yr

GRLF3 QDSL DMT Pro 7 Meg 3 yr

GRLF5 QDSL DMT Pro 7 Meg 5 yr

GRLFM QDSL DMT Pro 7 Meg MTM

GRLG1 QDSL DMT Pro 256-640k dn/272 up 1 yr

GRLG3 QDSL DMT Pro 256-640k dn/272 up 3 yr

GRLG5 QDSL DMT Pro 256-640k dn/272 up 5 yr

GRLGM QDSL DMT Pro 256-640k dn/272 up MTM

Expected Deliverable:

03/31/04


Status History

01/06/04 - CR Submitted

01/08/04 - CR Acknowledged

01/13/04 - Held Clarification Meeting

01/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

02/18/04 - February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

03/11/04 - Status changed to Pending Withdrawal

03/17/04 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

03/17/04 March CMP Meeting Janean Van Dusen with Qwest gave an update that Qwest would like to withdraw this CR. This CR will move to Withdrawn Status.

01/18/04 February CMP Meeting Janean Van Dusen with Qwest gave an update stating the effective date moved to 5/28/04 and some USOCs will be eliminated and some grandparented. A new list of USOCs will be provided. This CR will be moved to Development Status.

1/21/04 January CMP Meeting Janean Van Dusen with Qwest presented this CR and said that effective 3/31/04 all DSL Pro Line USOCs will be grandfathered. Bonnie Johnson asked if the DSL pro product would be going away. Janean said yes. This CR will be moved to Presented Status.


Open Product/Process CR PC010704-1CM Detail

 
Title: Change to CMP Document, Production Support Section 12.3
CR Number Current Status
Date
Area Impacted Products Impacted

PC010704-1CM Completed
2/18/2004
CMP Document
Originator: Maher, Jim
Originator Company Name: Qwest Corporation
Owner: Winston, Connie
Director:
CR PM: Harlan, Cindy

Description Of Change

Proposed change to Production Support language in Section 12.3. Please see attached redline of recommended changes to Production Support, Section 12.3, of the Change Management Process Document. This recommended change is a result of discussions between Qwest and CLECs in CMP Oversight Committee meetings.


Status History

01/07/04 - CR Submitted

01/08/04 - CR Acknowledged

1/9/04 - Contacted originator to discuss CR

1/21/03 - Jan CMP meeting minutes will be posted to the database

2/2/04 - Vote will take place on Feb 10 at 10:00 am. Notifcation sent.

2/10/04 - Held Vote meeting - CR passed

2/13/04 - vote notification distributed CMPR.02.13.04.F.01375.Vote_Disp_on_Sect_12.3

March 4, 2004 PROS.03.04.04.F.01435.CMP_DOC-CHANGES

4/21/04 - Archived this with April meeting archive due to 15.0 release went out 4-19-04. This change was effective with 4-19-04 release.


Project Meetings

February 18, 2004 CMP Meeting Cindy Macy – Qwest provided status that this CR was voted on and passed during an ad hoc meeting held on February 10, 2004. It was agreed that this change would be implemented on April 19, 2004 with the 15.0 release time frame. There are three other CRs that were voted on during the January CMP meeting, and it was agreed that those CRs would also be implemented at the same time. (CR: PC112503-1CM CMP Document Language Change Section 3.0 to allow for alternative arrangements for the Change Management Process Meetings, PC120303-1CM CMP Document Language Changes to Section 12.4 and 12.5, PC120303-2CM Changes to the CMP Document Section 12.7).

Ad Hoc Meeting to Vote on PC010704-1CM Changes to CMP Section 12.3 February 10, 2004

In attendance: Liz Balvin – MCI Bonnie Johnson – Eschelon Donna Osborne Miller – ATT Jennifer Arnold – US Link Carla Pardee – ATT Kim Isaacs – Eschelon Cindy Macy – Qwest Doug Andreen – Qwest Jim Maher – Qwest Randy Owen – Qwest (Emma Brown – Time Warner Telcom email vote)

Cindy Macy opened the call and reviewed the items on the agenda. The purpose of the meeting is for the group to vote on PC010704-1CM, and determine the implementation date for this CR and the three CRs that were voted on during the January 21, 2004 CMP meeting (sections 12.5, 12.7 and 3.0). The CLECs agreed to the agenda.

Cindy advised the quorum is 5 CLECs and we have 6 CLECs available to vote (including the email vote from Time Warner). Cindy advised the CLECs to email their ballots, and we will also ask for a verbal vote at this time. The CLECs agreed.

Donna Osborne Miller – ATT asked if we should have the February 2, 2004 version of the notice. Cindy agreed, and said that is the correct version to review and vote on.

Jim Maher – Qwest reviewed the language and advised that we did include the request from MCI stating ‘(excluding PCAT documentation)’. Liz Balvin – MCI wanted to be clear on what Qwest talks about in GUI technical documentation. Liz said they don’t want PCAT included, as the needs are different.

Each CLEC cast their vote as reflected on the Vote Results document attached. MCI, ATT, Eschelon, US Link, Time Warner and Qwest voted yes, which unanimously passes the vote.

Jim Maher requested that Qwest implement this CR and the other 3 CMP changes with the 15.0 release on April 19, 2004. We need time to train the resources. If we could coordinate the implementation with 15.0 that would be preferred. Liz Balvin – MCI advised this is okay. They have waited long enough and want this implemented correctly, so the training is important. ATT agreed. Jim advised that Qwest would issue a Level 4 effective with the 15.0 release April 19, 2004. The CMP document will be updated and published effective April 19, 2004.

No other questions were asked. The meeting was adjourned.

January 21, 2004 CMP Meeting Jim Maher – Qwest reviewed the language change and presented the CR. Jim advised this language was developed jointly with the CLECs as a result of a Technical escalation and discussed in CMP Oversight Committee. The language is what was agreed to, with the addition from MCI. Liz Balvin – MCI advised that she didn’t want the event notification to NOT trigger the technical escalation. Liz requested that the first paragraph be updated to include ‘This does not include PCAT documentation’. Jim agreed to add the sentence about ‘excluding PCAT documentation’. Jim will also check with IT to make sure they are in support of the change. After agreements are reached, Cindy Macy – Qwest will schedule another meeting to vote on the changes.


Open Product/Process CR PC010704-2 Detail

 
Title: Eliminate Analog Private Line USOCs from Qwest’s offering
CR Number Current Status
Date
Area Impacted Products Impacted

PC010704-2 Completed
7/21/2004
Provisioning Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Andreen, Doug

Description Of Change

Qwest will be eliminating attached Analog Private Line USOCs from it’s offerings. These USOCs have no end users.


Status History

01/07/04 - CR Submitted

01/08/04 - CR Acknowledged

01/08/04 - Held clarification call with Janean

1/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

1/21/04 - Status changed to Presented

2/18/04 -February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

2/18/04 - Status changed to development

3/17/04 -March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

4/21/04 -April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/30/04 - Qwest sent product notice PROD.04.30.04.F.01622.EliminateResalePLT_USOCs, proposed effective date 6/15/04

5/19/04 -May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

5/28/04 - Qwest generated final notice PROD.05.28.04.F.01725.FNL_EliminatResaPLT_USOCs

6/16/04 -June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

7/21/04 -July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

7/21/04 July CMP Meeting Janean Van Dusen said the effective date was June 15 except for Arizona which was effective June 16 and that the final notice was sent May 28. The CR will move to Completed.

CMP June Meeting minutes Janean Van Dusen, Qwest reported that the effective date is June 15 except for Arizona which is effective June 16 and that the final notice was sent May 28. The CR will move to Test.

-- 5/19/04 CMP Meeting Janean Van Dusen, Qwest reported that the effective date is June 15 except for Arizona which is effective June 16. . The updated USOC list is available included with the initial notification sent on April 30. The CR will stay in Development.

-- 4/21/04 April CMP Meeting Janean Van Dusen, Qwest reported that the effective date is June 15. The updated USOC list will be available associated with the initial notification. The CR will stay in Development.

03/17/04 March CMP Meeting Janean Van Dusen, Qwest reported that the effective date of this CR has changed to June 15. The revised and final USOC list will be provided at the time of the notice. This CR will remain in Development Status. - 2/18/04 CMP Meeting Janean Van Dusen, Qwest stated that the new effective date for the CR is May 28. The USOC has also changed and will go out with the notification. The CR will move to development.

1/21/04 January CMP Meeting Janean Van Dusen presented this CR. It is to eliminate certain USOCs from Analog Private Line. It is due to be implemented March 31st. There will be the standard notifications and a comment cycle in lieu of a CLEC Input meeting. This CR will be moved to Presented status.


Open Product/Process CR PC010704-3 Detail

 
Title: Eliminate certain Voice Feature USOCs from Qwest’s offering.
CR Number Current Status
Date
Area Impacted Products Impacted

PC010704-3 Completed
7/21/2004
Provisioning Resale, UNE-P
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Qwest will be eliminating attached Voice Feature USOCs from it’s offerings. These USOCs have no end users.

Expected Deliverable:

03/31/04


Status History

01/07/04 - CR Submitted

01/08/04 - CR Acknowledged

01/13/03 - Held Clarification Meeting

01/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

02/18/04 - February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

03/17/04 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/21/04 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/30/04 - Qwest sent product notice PROD.04.30.04.F.01621.EliminateResaleFeatUSOCs, effective date 6/15/04

05/19/04 - May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

05/28/04 - Qwest sent final notice, PROD.05.28.04.F.01726.FNL_EliminResaleFeatUSOCs, effective 6/15 except AZ effective 6/16/04

06/16/04 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

07/21/04 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

07/21/04 July CMP Meeting Janean Van Dusen with Qwest gave an update that the effective date was 6/15/04 in all states except Arizona which was effective 6/16/04. This CR will move to Completed status.

06/16/04 June CMP Meeting Janean Van Dusen with Qwest gave an update that the effective date was 6/15/04 in all states except Arizona which will be effective 6/16/04. This CR will move to CLEC Test status.

05/19/04 May CMP Meeting Janean Van Dusen with Qwest gave an update that the effective date is 6/15/04 in all states except Arizona which will be effective 6/16/04. The updated USOC list was provided with the initial notification. This CR will remain in Development Status.

04/21/04 April CMP Meeting Janean Van Dusen with Qwest gave an update that the effective date is 6/15/04. The updated USOC list will be available associated with the initial notification. This CR will remain in Development Status.

03/17/04 March CMP Meeting Janean Van Dusen with Qwest gave an update that the effective date has moved to 6/15/04 and an updated list of USOCs will be provided. This CR will remain in Development Status.

02/18/04 February CMP Meeting Janean Van Dusen with Qwest gave an update that the effective date has moved to May 28 and an updated spreadsheet will be provided for the USOCs. This CR will be moved to Development Status.

1/21/04 January CMP Meeting Janean Van Dusen with Qwest presented this CR and said on 3/31/04 Qwest will be eliminating certain USOCS from Voice Features. This CR will be moved to Presented Status.


Open Product/Process CR PC010704-4 Detail

 
Title: Eliminate Access Line USOCs from Qwest’s offering
CR Number Current Status
Date
Area Impacted Products Impacted

PC010704-4 Completed
7/21/2004
Provisioning Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Harlan, Cindy

Description Of Change

Qwest will be eliminating attached Access Line USOCs from it’s offerings. These USOCs have no end users.


Status History

01/07/04 - CR Submitted

01/08/04 - CR Acknowledged

1/9/04 - Contact originator to discuss CR

1/19/03 - Discussed CR with originator

1/21/03 - Jan CMP meeting minutes will be posted to the database

2/18/04 -Feb CMP Meeting notes will be posted to the project meeting section

3/17/04 - March CMP meeting notes will be posted to the project meeting section

4/21/04 - April CMP meeting notes will be posted to the project meeting section

4/30/04 - PROD.04.30.04.F.01620.EliminateAccessLine USOCs

5/19/04 - May CMP Meeting notes will be posted to the project meeting section

5/28/04 - Final Notification: PROD.05.28;04.F.01724.FNL_EliminatAccessLineUSOCs

6/16/04 - June CMP Meeting notes will be posted to the project meeting section

7/21/04 - July CMP Meeting notes will be posted to the project meeting section


Project Meetings

June 16, 2004 CMP Meeting notes: Janean Van Dusen – Qwest advised this CR is effective June 15, except Arizona is effective June 16. This CR will move to CLEC Test Status.

May 19, 2004 CMP Meeting notes: Janean Van Dusen – Qwest advised that this CR is effective June 15 for all states except Arizona, which is effective June 16. Notification went out April 30. This CR will remain in Development Status.

April 21, 2004 CMP Meeting notes: Janean VanDusen – Qwest advised that this CR is effective June 15. The updated USOC list will be available associated with the initial notification. This CR will stay in Development Status.

March 17, 2004 CMP Meeting Janean Van Dusen – Qwest advised that June 15 is the new target implementation date. A new list of USOCs will be provide via notifications. This CR will remain in Development Status.

February 18, 2004 CMP Meeting Janean Van Dusen – Qwest provided status. This CR tentative implementation date is May 28. The USOCs have been updated and a new spreadsheet can be sent out. This CR will move to Development Status.

January 21, 2004 CMP Meeting Janean Van Dusen – Qwest this CR is effective March 31, 2004. There are currently no end users. This list of USOCs is attached to the CR. This CR will move to Presented Status.


Open Product/Process CR PC022604-1 Detail

 
Title: Elimination of ATM USOCs
CR Number Current Status
Date
Area Impacted Products Impacted

PC022604-1 Completed
7/21/2004
Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

The attached list of ATM USOCs will be eliminated 6/15/2004. There are no customers with these USOCs.

Expected Deliverable:

6/15/04


Status History

02/26/04 - CR Submitted

02/27/04 - CR Acknowledged

03/17/04 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/21/04 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/30/04 - Qwest sent product notice, PROD.04.30.04.F.01625.EliminateResaleATM_USOCs, proposed effective date 6/15/04

05/19/04 - May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

05/28/04 - Qwest sent final notice, PROD.05.28.04.F.01720.FNL_EliminaResalATM_USOCs, effective 6/15 except AZ effective 6/16/04

06/16/04 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

07/21/04 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

07/21/04 July CMP Meeting Janean Van Dusen with Qwest gave an update that the effective date was 6/15/04 in all states except Arizona which was effective 6/16/04. This CR will move to Completed status.

06/16/04 June CMP Meeting Janean Van Dusen with Qwest gave an update that the effective date was 6/15/04 in all states except Arizona which will be effective 6/16/04. This CR will move to CLEC Test status.

05/19/04 May CMP Meeting Janean Van Dusen with Qwest said that the effective date will be 6/15/04 in all states except Arizona which will be effective 6/16/04. The updated USOC list was sent with the initial notification. This CR will move to Development Status.

04/21/04 April CMP Meeting Janean Van Dusen with Qwest said that the effective date will be 6/15/04. The updated USOC list will be available associated with the initial notification. This CR will move to Development Status.

03/17/04 March CMP Meeting Janean Van Dusen with Qwest presented this CR and said that the effective date will be 6/15/04. This CR will move to Presented Status.


Open Product/Process CR PC112503-1CM Detail

 
Title: CMP Document Language Change Section 3.0 to allow for alternative arrangements for the Change Management Process Meetings.
CR Number Current Status
Date
Area Impacted Products Impacted

PC112503-1CM Completed
2/18/2004
CMP Document
Originator: Andreen, Doug
Originator Company Name: Qwest Corporation
Owner: Andreen, Doug
Director:
CR PM: Andreen, Doug

Description Of Change

A proposed language change to the Qwest Wholesale Change Management Process Document Section 3.0 paragraph one to allow for alternative arrangements to the Change Management Process meetings. Red lined proposed language change is attached


Status History

11/25/03 - CR Submitted

11/25/03 - CR Acknowledged

12/18/03 - Qwest Initiated Notification CMPR.12.18.03.F.01200.CMP_Vote_on_Document

12/17/03 -December CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

12/17/03 - Status changed to Presented

1/21/04 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

1/21/04 - Status changed to Development

1/27/04 - Qwest initiated Notification CMPR.01.27.04.F.01298.CMP_Process_Vote_Disp

2/18/04 -February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

2/18/04 - Status changed to completed

3/4/04 - Qwest initiated Notification PROS.03.04.04.F.01435.CMP_Doc_Changes

4/5/04 - Qwest initiated Notification PROS.04.02.04.F.01530.FNL_CMP_Doc_Changes


Project Meetings

2/18/04 CMP Meeting This CR was approved at the January CMP meeting. It will carry an April 19 implementation. Status will move to complete.

1/21/04 January CMP Meeting The voting began with Doug Andreen advising that to achieve a Quorum 6 CLECs were needed to participate in this vote. Quorum was achieved. He also indicated that McLeod and Qwest had voted in advance of the meeting. Peggy Esquibel-Reed indicated no other email votes had been received. Doug Andreen, Qwest reviewed the CR allowing for a language change to Section 3.0 of the CMP document Michelle Sprague, McLeod had voted yes via email Judy Schultz, Qwest had voted yes via email Liz Balvin stated that MCI votes yes Carla Pardee stated that AT&T votes yes Bonnie Johnson stated that Eschelon votes yes Mike Zulevic stated that Covad votes yes In this vote, conducted in accordance with Sections 16.4 and 17.0, the participants voted to approve a CMP language change to Section 3.0 of the CMP document by a vote of 6 “Yes” votes, 0 "No" vote, and 0 "Abstain" votes. Voting was concluded.

- 12/17/03 December CMP Meeting Doug Andreen, Qwest presented the language change to the CMP document. It was agreed that this CR would be voted on next month during the CMP Product and Process meeting.


Open Product/Process CR PC012604-1 Detail

 
Title: LSR Rejects with RPON
CR Number Current Status
Date
Area Impacted Products Impacted

PC012604-1 Completed
12/15/2004
Ordering Resale, Unbundled Loop, UNE-P
Originator: Pent, Anne
Originator Company Name: Qwest Corporation
Owner: Pent, Anne
Director:
CR PM: Harlan, Cindy

Description Of Change

Establish a process on how RPONs should be handled when a reject condition exists on one or more the related LSRs.

Expected Deliverable:

Qwest currently does not have a documented process on how LSRs that are related with RPON should be handled when a reject condition exists on one or more of the LSRs. Qwest is proposing the following process: LSRs that are due dated the same day and are RPON’d, will reject all. LSRs submitted where processing one or more is dependent on processing the other(s) will all be rejected. Qwest will further define this statement with further research.


Status History

01/26/04 - CR Submitted

01/28/04 - CR Acknowledged

1/30/03 - Contacted originator and discussed CR

2/10/04 - Posted CLEC input meeting on calendar for March 2, 2004

2/18/04 -Feb CMP Meeting notes will be posted to the project meeting section

3/2/04 - Held CLEC Input meeting to review draft process

3/17/04 - March CMP meeting notes will be posted to the project meeting section

4/15/04 - Scheduled ad hoc meeting to review process for 4-23 1:00

4/21/04 - April CMP meeting notes will be posted to the project meeting section

4/23/04 - Held ad hoc meeting to review process

5/4/03 - Notification distributed PROS.05.04.04.F01630.MigrationsV16 effective June 18, 2004

5/19/04 - May CMP Meeting notes will be posted to the project meeting section

5/24/04 - Examples received from CLECs

6/16/04 - June CMP Meeting notes will be posted to the project meeting section

6/29/04 - Held ad hoc meeting with CLECs

7/21/04 - July CMP Meeting notes will be posted to the project meeting section

8/16/04 - August CMP meeting mintues will be posted to the database

9/15/04 - September CMP Meeting minutes will be posted to the database

9/20/04 - PROS.09.20.04.F.02066.OrderingV55 Effective Nov.4, 2004 - comments end October 5, 2004

10/20/04 - October CMP Meeting minutes will be posted to the database

11/17/04 - November CMP Meeting minutes will be posted to the database


Project Meetings

December CMP Meeting Minutes Cindy Macy – Qwest advised this CR was effective November 4. This CR will move to Completed Status. Kim Isaacs – Eschelon advised that it is okay to close but Eschelon was hoping for a different outcome. (Insert comment from Eschelon) Eschelon submitted comments requesting the CLECs have the ability to determine which PONs are related instead of Qwest making this determination. (End comment).

11/17/04 November meeting minutes Cindy Macy – Qwest advised this process was effective November 4. This CR will move to CLEC Test Status. Bonnie Johnson – Eschelon commented that they are very unhappy with the results of the process and that the CLECs comments made no difference. This CR will move to CLEC Test Status.

10/20/04 CMP Meeting Minutes Jill Martain – Qwest advised that Qwest did receive comments on the PCAT. Qwest has responded to the comments and the effective date is November 4. This CR will remain in Development Status.

9/15/04 CMP Meeting Minutes Cindy Macy – Qwest advised that the PCAT is being revised to include Qwest’s definition of RPON. This PCAT should be available for review soon. This CR will remain in Development Status.

8/16/04 CMP Meeting Mintues Jill Martain – Qwest advised that we have had ad hoc meetings and done analysis internally. This is a process that Qwest and the CLECs will need to agree to disagree as there is manual work involved for both parties. Qwest isn’t going to be able to do the reject request in all scenarios. If the LSRs are submitted together at the same time, the due date is the same and the provisioning has not started yet, then we could reject both orders. If the provisioning process has started on the LSR, the CLEC will have to make the decision to stop the order. Bonnie clarified what a true RPON is versus a reference to another order. Bonnie said it sounds like if the order is not truly a RPON, it is a TACO ‘to assume completion of’. Jill advised Qwest will take the previous PCAT and add definition and clarity around the definition of RPON and resubmit the PCAT for review. Stephanie Prull – Eschelon advised that not all CLECs code to the ‘Page of field’. The RPON process includes the reference to submit a sup to add ‘page of field’. This process makes the field ‘conditional’ and this would be a coding change. Jill advised Qwest will look at the disclosure document to identify impacts. This CR will remain in Development Status.

July 21, 2004 CMP Meeting Minutes: Cindy Macy – Qwest advised that the team held an ad hoc meeting on June 29. Qwest is still researching alternative options. Qwest will provide status at the August meeting. This CR will remain in Development status.

PC012604-1 LSR Rejects with RPON Ad hoc meeting 6-29-04 2:00 – 3:00

In attendance: Amanda Silva – VCI Anne Robberson - Qwest Communications Liz Balvin – MCI Kim Isaacs – Eschelon Jeff Sonnier – Sprint Lori Nelson – Mid Continent Communications Carla Pardee – ATT Cindy Macy - Qwest Communications Jenn Arnold – US Link Nancy Sanders – Comcast Jill Martain - Qwest Communications Julie Pickar – US Link

Cindy Macy – Qwest opened the call and verified the attendee names. Cindy reviewed the history of the CR. Qwest has held several ad hoc meetings on this process. The PCAT was distributed. The CLEC community had comments on the PCAT and the project was discussed in the CMP meeting. The CLEC community provided order/process examples that they had concerns with. Qwest reviewed the examples. The purpose of this meeting is to discuss Qwest’s original intent for this CR and determine next steps.

Anne Robberson – Qwest advised the original intent of this CR was to address LSRs issued on the same day, whose FOC had not been sent. The intent was not to address LSRs issued on different days or LSRs that were related where one or more of the LSRs had an error identified after a FOC.

Kim Isaacs – Eschelon clarified that if the CLECs RPON the order, the orders need to be worked together. Jill Martain – Qwest advised there are major system changes needed otherwise. The only time that Qwest can reject all orders with RPON is when the LSR has not been FOC’d. Qwest can support the process to reject all orders if they were all submitted on the same day, with the same due date, and none of them have been FOC’d.

Liz Balvin – MCI said she believes the CLECs have been clear on this process all along. Liz advised the CLECs are required to receive the FOC back on a DSL order before they can submit the second LSR. Liz advised this process would not work for DSL, and she is confused that it has taken this long to determine there are system impacts. Jill Martain – Qwest advised in 16.0 DSL can be done on one LSR. Kim Isaacs – Eschelon advised two LSRs are still required if conditioning is needed.

Kim Isaacs – Eschelon asked what does RPON on the same day provide to the CLEC. Jill advised the LSRs are worked together from a due date perspective, assignments and provisioning all happen together. Jeff Sonnier – Sprint advised another advantage is the customer doesn’t go out of service if the work is for the same customer and same due date. Jill advised that once Qwest has started the provisioning process we can not reject them all if they have different due dates or submit dates. Once a LSR has had a FOC issued, our systems do not allow us to reject the LSR. We are required to follow the jeopardy process, whereby we send a jeopardy after a FOC, follow-up in 4-hours and then cancel the service orders and then follow-up again to see if the jeopardy condition was cleared or reject the LSR at that time. The intent is that Qwest would reject all of them if the LSRs were issued on the same day and with the same due date. The reason for this is that Qwest has different processes in place after the FOC and the provisioning process begins.

Jeff Sonnier – Sprint advised that their systems do not allow them to issue the 1st LSR with an RPON to the 2nd LSR, as the 2nd LSR hasn’t been issued yet. Liz Balvin – MCI advised their system processes the same way.

Jill advised if the 1st one came in without RPON and it went flow through, Qwest can’t reject it as it has already started the provisioning process and the system doesn’t allow for that. Kim Isaacs asked if Qwest can send a jeopardy notice because there is trouble on the RPON order, using the jeopardy code associated with a problem with a related order. Jill advised that jeopardy code doesn’t stop the provisioning process. Further discussion went on to explain how the jeopardy code associated to a related order works from a technician perspective verses the business office use of the same code and Jill explained how the business office using that code would not put the order on hold unless additional manual steps occurred. Jill advised that the only other possible code that could be used was the error condition identified after a FOC, but that code still did not stop the provisioning for the first 4-hours and if unresolved, the service orders were cancelled.

Jill questioned whether another option would be to have the CLEC make the determination if the first LSR or other RPON’d orders should be cancelled. There are situations where the LSR that is being rejected either has a typographical error or only requires a minor correction to re-submit. In this case, the first order that was submitted would not need to be touched by either Qwest or the CLEC and the provisioning process would not be stopped. Jeff Sonnier advised this would cause our LSR costs to increase.

Jill advised the best solution is a system solution to fix the issues for both the CLECs and Qwest. Liz Balvin – MCI advised that it will take a long time to get this as we are working on 17.0 prioritization currently and asked if there could be a manual interim solution.

Jill advised the CLEC community that Qwest will go back and revisit the CR based on the discussion today to determine next steps and possible other alternatives. Qwest will meet internally and then schedule another ad hoc meeting. The CLEC community advised that would be fine and asked Qwest to please consider a manual process or additional alternatives.

June 16, 2004 CMP Meeting notes: Anne Robberson – Qwest advised we have set up an ad hoc meeting for June 29 at 2:00 p.m. MST to discuss this CR. This CR will remain in Development Status.

May 19, 2004 CMP Meeting notes: Cindy Macy – Qwest provided status on this CR. Cindy advised that the effective date is June 18, 2004. Qwest did receive comments on this CR and we are currently reviewing the comments. Bonnie Johnson – Eschelon advised that Eschelon has a real concern with the process. Bonnie understood that on RPON orders, if one is rejected, than all would be rejected. Eschelon does not believe that Qwest will have insight as to how the order should be provisioned. If something is rejected than every LSR should be rejected. Bonnie advised that Eschelon checked with the other CLECs and they also understood this was the process. Liz Balvin – MCI advised she submitted the same comment. We want the process to be as clean as possible and we don’t want the decision to be made by Qwest. Jill Martain discussed the differences between a reject and a jeopardy and the timing of the FOC. Bonnie Johnson – Eschelon and Kim Isaacs – Eschelon gave examples of situations when they would want both orders placed in jeopardy status. Kim advised there is a jep type that can be used when we are jeopardizing an order due to a problem on another order. Liz Balvin – MCI advised that there are procedures in place to reject, jep and keep orders in sync for the end users. Jill agreed and said that she has questions on how we would do this. Jill suggested having another ad hoc call to discuss how the RPON process works with the jeopardy process. Cindy Macy – Qwest advised that during the CLEC meetings on this CR we did not discuss the jeopardy process, just rejects and RPON. Liz Balvin – MCI asked Jill to outline her concerns before the ad hoc call so this can be sent to the CLECs in advance. Jill agreed and asked for examples from the CLECs on scenarios that they would want both LSRs placed in jeopardy status. This CR will remain in Development Status.

April 21, 2004 CMP Meeting notes: Cindy Macy – Qwest provided status for Anne Robberson on this CR. We have a meeting with the CLECs on Friday, April 23 to review the process again. The CLECs wanted to review the process one more time and then we will release the documentation. This CR will remain in Development Status.

LSR Rejects with RPON PC012604-1 April 23, 2004

In attendance: Bonnie Johnson – Eschelon Kim Isaacs – Eschelon Anne Robberson - Qwest Communications Emily Baird – POP Aaron Chong – MCI Julie Pickar – US Link Noreen Carol – Birch Telecom Cindy Macy - Qwest Communications

Cindy Macy-Qwest Communications began the call and explained that two previous meetings were held to discuss this process. The CLECs wanted to meet one additional time to address any new questions. Anne Robberson - Qwest Communications reviewed the process.

Kim Isaacs – Eschelon asked what the supp type of the related LSR should be. Should it be supp type two or three? Anne advised if we are not impacting the due date on the original request then use supp type three. Anne agreed to update the document to include this information.

Kim Isaacs – Eschelon asked if there is an escalation do we need to tell the escalation desk about all of the LSRs, or will the escalation desk know that there is an RPON and they need to escalate all of the LSRs. Anne advised it is safer to tell the escalation desk about all of the LSRs.

Julie Pickar – US Link asked if there are three LSRs and one of them is rejected, do we have to put sups in for all of them. How does Qwest know the LSR in error? Anne advised there is a reject reason and remarks that are used.

The group agreed to have the documentation released to the document review site. A comment cycle will be available if there are additional comments, or you can direct questions to your Service Manager.

LSR Rejects with RPON Ad hoc meeting March 25, 2004

In attendance: Kathy Morales – NOS Kim Isaacs – Eschelon Anne Robberson - Qwest Communications Regina Mosely – ATT Donna Osborne Miller – ATT Liz Balvin – MCI PJ Keller – Priority 1 Stephanie Prull - Eschelon Amy Brown – Time Warner Jennifer Fischer - Qwest Communications Peter Budner – Qwest Communications Twila Gossman – McLeod USA Cindy Macy - Qwest Communications

Cindy Macy - Qwest Communications opened the call and introduced attendees. Cindy reviewed the history of the project and the agenda. The team agreed Anne would go over the updated process and address questions.

Anne reviewed the process and the updates that were made as a result of our first CLEC input meeting. Liz Balvin – MCI asked if both orders need to have RPON on them. What happens when two separate orders are issued and one does not have RPON on it? Will Qwest know how to find the other RPON order if only one of the orders has RPON on it? Anne agreed she would check on this and let us know.

Stephanie Prull – Eschelon asked if we can use ‘page of’ field instead of RPON for EDI on the first LSR. Not all companies use the page of field though. Anne – Qwest advised the Migrations and Conversions PCAT references the ‘page of field’. Stephanie – Eschelon asked should the ‘page of’ field be conditional now instead of optional. The LSOG says the related request must contain RPON and page of field (optional). Anne advised she will need to check on this and let us know. Stephanie said she prefers that Qwest has a means to determine the related order. A suggestion was made that maybe Qwest could use the Remarks field to put the related RPON information in remarks. Stephanie – Eschelon also reviewed with the team that the (14.0 ) EDI Disclosure document states that ‘when multiple RPONs in a series are to be related it would have a blank RPON on the first one’. Anne advised she will need to check on this and let us know.

Anne provided the following information after her investigation: Unless indicated on the LSR, Qwest has no way of knowing PONs are related. The first PON should contain an entry in the “page of” field and subsequent LSRs need to have RPON populated. This is the only way Qwest will know the lead LSR has RPONs. If the lead LSR is submitted without “page of” information, our expectation would be that you submit a SUP to add the “page of” information.

Catherine – NOS asked for a copy of the notes from the last meeting. Cindy Macy – Qwest advised that the notes are available on the public website or you can send me your email address and I will forward the notes to you.

The team agreed to hold another meeting after Anne finds out more about if both orders have to have RPON on them, the use of ‘page of’ field, and using remarks to relate the order.

LSR Rejects with RPON Ad hoc meeting March 25, 2004

In attendance: Kathy Morales – NOS Kim Isaacs – Eschelon Anne Robberson - Qwest Communications Regina Mosely – ATT Donna Osborne Miller – ATT Liz Balvin – MCI PJ Keller – Priority 1 Stephanie Prull - Eschelon Amy Brown – Time Warner Jennifer Fischer - Qwest Communications Peter Budner – Qwest Communications Twila Gossman – McLeod USA Cindy Macy - Qwest Communications

Cindy Macy - Qwest Communications opened the call and introduced attendees. Cindy reviewed the history of the project and the agenda. The team agreed Anne would go over the updated process and address questions.

Anne reviewed the process and the updates that were made as a result of our first CLEC input meeting. Liz Balvin – MCI asked if both orders need to have RPON on them. What happens when two separate orders are issued and one does not have RPON on it? Will Qwest know how to find the other RPON order if only one of the orders has RPON on it? Anne agreed she would check on this and let us know.

Stephanie Prull – Eschelon asked if we can use ‘page of’ field instead of RPON for EDI on the first LSR. Not all companies use the page of field though. Anne – Qwest advised the Migrations and Conversions PCAT references the ‘page of field’. Stephanie – Eschelon asked should the ‘page of’ field be conditional now instead of optional. The LSOG says the related request must contain RPON and page of field (optional). Anne advised she will need to check on this and let us know. Stephanie said she prefers that Qwest has a means to determine the related order. A suggestion was made that maybe Qwest could use the Remarks field to put the related RPON information in remarks. Stephanie – Eschelon also reviewed with the team that the (14.0 ) EDI Disclosure document states that ‘when multiple RPONs in a series are to be related it would have a blank RPON on the first one’. Anne advised she will need to check on this and let us know.

Catherine – NOS asked for a copy of the notes from the last meeting. Cindy Macy – Qwest advised that the notes are available on the public website or you can send me your email address and I will forward the notes to you.

The team agreed to hold another meeting after Anne finds out more about if both orders have to have RPON on them, the use of ‘page of’ field, and using remarks to relate the order.

March 17, 2004 CMP Meeting Anne Robberson – Qwest advised that we held a CLEC Input meeting on March 2 and reviewed the draft process. There were some questions and action items taken. There is another call scheduled next week Thursday March 25 from 1:00 – 2:00 to review the updated process. We anticipate we will then be able to publish the updated process. This CR will move to Development Status.

PC012604-1 Rejects with RPON CLEC Input Call Tuesday March 2, 2004

In attendance: Bonnie Johnson – Eschelon Donna Osborne Miller – ATT Kim Isaacs – Eschelon Regina Mosely – ATT Anne Robberson – Qwest Stephanie Prull – Eschelon Liz Balvin – MCI Phyllis Burt – ATT Mark Gonzales – Qwest Steve Kast – Qwest Cheryl Peterson – ATT Cindy Macy – Qwest

Cindy Macy – Qwest opened the call and reviewed the attendees names. Cindy advised that the purpose of today’s call is to review the Draft process for Rejects with RPONs and to gather input from the CLECs. The team agreed to have Anne review the draft process and then open it up for questions and comments.

Anne Robberson – Qwest read the draft process. Anne advised that LSRs could be related for varying reasons. Anne reviewed the two main situations that could cause a related LSR to be rejected. Anne explained that if the DDD (desired due date) is the same on the RPONs and one of LSRs has an error on it, then all of the LSRs need to be rejected as they would have to be supp’d for a new due date per the SIG. Anne confirmed that if the DDD is longer than the standard interval and we can fix the error before the due date is in jeopardy, then we don’t reject these. This is being added to the document draft.

Kim Isaacs – Eschelon asked if the original LSR was a reject in error, and then it was fixed, how do the CLECs clear this? For example, if the only reason the LSR was rejected was a mistake, done in error, are the CLECs required to contact the Help Desk for each error, or does the Help Desk clear all of the LSRs? Ann agreed to check on this? CLECs can call the help desk for any reason, we don’t limit why they can or can’t call. The process says that if one reject is cleared, all should be cleared.

Cheryl Peterson – ATT asked if Qwest were to reject all RPONs and only 1 was in error, how does Qwest identify this on the LSR? How does the CLEC know what LSR has the error on it? Anne Robberson – Qwest advised that the center places a note on the LSR to identify which one has the error. There is a generic reject reason code that is used, but a note is also but in the remark section. Currently, the reject codes used by the ISC are generic and are 915 and 919. Either one of these would be used with a note saying LSR was rejected due to Related PON reject. With the 15.0 release in April, we are adding a new reject code (831) to encompass this scenario. This will only be in the 15.0 version of IMA. So until you are on the 15.0 version, you will receive either the 915 or 919 codes with a comment. After you are on 15.0, you will receive and 831 which will say the related PON is in error.

Cheryl Peterson – ATT asked if there is a time frame to respond to reject reasons? Anne advised it is based on the situation. To summarize, if it is a jeopardy notice you have 4 hours to respond, if it is a reject you have to respond within a 30-day time frame. Clarification: The answer to this question is found in the Ordering Overview PCAT under Error Notice Matrix section. According to this matrix, if a fatal error is found, Qwest will send a Reject Notice and you have as much time as necessary to respond on the original LSR. If a non-fatal error condition exists PRIOR to FOC, Qwest sends an Error Notification. Qwest then waits 4 business hours for you to send a SUP correcting or canceling the LSR. If Qwest does not receive a SUP within 4 business hours, we reject the LSR by sending a Reject Notification. If AFTER FOC is sent Qwest finds an error condition (fatal or non-fatal-), Qwest sends you a Jeopardy Notification requesting a SUP within 4 business hours. If a SUP is not received within 4 business hours, we cancel the service order(s) associated with the LSR, but the LSR stays in Jeopardy status for 30 days. If Qwest does not receive a SUP within 30 days, we send you a Reject Notification.

Cheryl Peterson – ATT asked if there is a cost to resubmit the orders? Anne advised there is no cost for a supp.

Stephanie Prull – Eschelon asked when the subsequent orders are sent back, does Qwest look at all the orders or just the subsequent order that was sent back? Anne advised she would check on this. Anne advised this is part of the higher level process that Denise Martinez manages so she will check with Denise. The process says that the ISC is to look for all errors before sending back the LSR. Once it is returned to us, they are to look for all errors to be cleared.

Cheryl Peterson – ATT asked if we send RPON and all are error free do they flow through? Anne advised she believes so if the product is flow through eligible. Kim Isaacs – Eschelon advised that the Flow Through Exception Matrix implies that RPON orders do not flow through. Anne agreed to check on this. In the Ordering Overview PCAT, there is a matrix that does say any LSRs with RPON do not flow through. So, to answer the question, if you send RPON and all are error free, they drop to the ISC and are manually processed.

Anne advised she will update the draft process to help clarify and include some of the questions and information from today’s meeting. The team agreed to meet again to review the updated draft process, and then it could be sent out for CLEC review and comments via notifications. Cindy will schedule another review meeting for later in the month.

February 18, 2004 CMP Meeting Anne Robberson – Qwest advised this is a new CR that is addressing a process that is not handled consistently and not currently documented. This CR was created as a result of a CLEC inquiry. Qwest is in the process of documenting the Draft Process and will review this with the CLECs the first week in March. Bonnie Johnson – Eschelon asked if the process would be sent out prior to the meeting. Cindy Macy – Qwest advised that a meeting notification would go out with the process attached. The intent of the meeting is to review the process and gather input from the CLECs. This CR will move to Presented Status.


Open Product/Process CR PC020404-1 Detail

 
Title: Grandparent Measured Service Plans in South Dakota, Bus and Res
CR Number Current Status
Date
Area Impacted Products Impacted

PC020404-1 Completed
7/21/2004
Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Andreen, Doug

Description Of Change

Residence - Eliminate USOCs R1M, AKR, RWG, AWJ, RWH & AWQ after convert to USOCs RWV & AWV

Business - Eliminate USOC B1M after convert to new Measured USOC LMB


Status History

5/19/04 -May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

4/22/04 Qwest generated notice PROD.04.22.04.F.01605.GrandpaMS_USOCsSD_Res

5/20/04 - Qwest generated notice Qwest initiated notice - PROD.05.20.04.F.01681.FNL_GrandpaMS_USOCsSD_Res

6/16/04 -June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

7/21/04 -July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

7/30/04 - Qwest generated notice PROD.07.30.04.F.01914.FNL_ResalePOTS_Packages


Project Meetings

July 21, 2004 CMP Meeting Janean Van Dusen said the effective date was June 4 and the final notice was sent May 20. This CR will move to Completed.

6/16/04 CMP June meeting minutes Janean Van Dusen, Qwest said the effective date is June 4 and the final notice was sent May 20. This CR will move to Test.

-- 5/19/04 CMP Meeting Janean Van Dusen, Qwest reported this CR was re-noticed on April 22 identifying the USOCs. Business USOCS will not be eliminated. Effective date is June 4 and the final notice will be sent this week. This CR will remain in Development.

- 4/21/04 CMP April meeting Janean Van Dusen, Qwest reported that the level 4 notice that was sent 3/9 was retracted on 4/8. A new notice will be sent by 4/22 with a June 4 effective date. This CR will stay in Development.

-- 03/17/04 March CMP Meeting Janean Van Dusen, Qwest reported that this CR is on track with the only change being the effective date has moved from 4/22 to 4/23. The CR will remain in Development status.

- 2/18/04 CMP Meeting Janean Van Dusen, Qwest stated that the USOCs would be grandparented and eliminated at the same time since new USOCs will be implemented. The effective date will be April 21. The new USOCs are provided on the CR. The CR will move to Development status.


Open Product/Process CR PC020404-2 Detail

 
Title: Grandparent Measured Service Plans in Minnesota, Bus and Res
CR Number Current Status
Date
Area Impacted Products Impacted

PC020404-2 Completed
7/21/2004
Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Grandparent USOCs R1M, AKR & 1MR

Expected Deliverable:

04-21-04


Status History

02/04/04 - CR Submitted

02/04/04 - CR Acknowledged

02/06/04 - Held Clarification Meeting

02/18/04 - February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

03/09/04 - Qwest sent Level 4 product notification PROD.03.09.04.F.01449.GrandparentMS_USOCsMN_Res Level 4 proposed effective 4/23/04

03/17/04 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/08/04 - Qwest sent final notification PROD.04.08.04.F.01553.FNL_GrandpaMS_USOCsMN_Res effective 4/23/04

04/21/04 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/23/04 - Qwest sent revised final notification PROD.04.23.04.F.01608.Rvsd_FNL_GrandP_MS_USOC_M, effective date will be 6/4/04

05/19/04 - May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

06/16/04 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

07/21/04 - July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

07/21/04 July CMP Meeting Janean Van Dusen with Qwest gave an update that the effective date was 6/4/04. This CR will move to Completed status.

06/16/04 June CMP Meeting Janean Van Dusen with Qwest gave an update that the effective date was 6/4/04. This CR will move to CLEC Test status.

05/19/04 May CMP Meeting Janean Van Dusen with Qwest gave an update that Residence will be effective on 6/4/04. This CR will remain in Development Status.

04/21/04 April CMP Meeting Janean Van Dusen with Qwest gave an update that Residence will be effective on 4/23/04 and Business will be effective on 6/4/04. The following are corrections to the meeting minutes for this CR: Business measured service plans will not be impacted and Residence measured service plans effective date will move to 6/4/04. A revised notice will be sent this week. This CR will remain in Development Status.

03/17/04 March CMP Meeting Janean Van Dusen with Qwest gave an update that this CR will be effective on 4/23/04. This CR will move to Development Status. - 02/18/04 February CMP Meeting Janean Van Dusen with Qwest presented this CR and said that the USOCs will be grandparented on 4/21/04. This CR will be moved to Presented Status.


Open Product/Process CR PC020404-3 Detail

 
Title: Grandparent Measured Service Plans in Utah, Bus and Res
CR Number Current Status
Date
Area Impacted Products Impacted

PC020404-3 Completed
5/19/2004
Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Harlan, Cindy

Description Of Change

Residence - Grandparent USOCs 1MR, AHR & 2MR.

Convert USOCs LW1 & AKN to new Measured USOCs RWV & AWV

Eliminate USOCs LW1, AKN & 21M

Business - Convert USOCs THB & THF to USOC TMB

Eliminate USOCs THB & THF


Status History

02/04/04 - CR Submitted

02/04/04 - CR Acknowledged

2/9/04 - Discussed and clarified CR with orginator

2/18/04 -Feb CMP Meeting notes will be posted to the project meeting section

3/9/04 - Qwest generated notification PROD.03.09.04.F.01450.GrandparentMS_USOCsUT_Res

3/17/04 - March CMP meeting notes will be posted to the project meeting section

4/21/04 - April CMP meeting notes will be posted to the project meeting section

5/19/04 - May CMP Meeting notes will be posted to the project meeting section


Project Meetings

May 19, 2004 CMP Meeting notes: Janean Van Dusen – Qwest advised that this CR was effective April 29. The final notice went out April 8. This CR will move to Completed Status.

April 21, 2004 CMP Meeting notes: Janean VanDusen – Qwest advised that this CR is effective April 29. The final notice went out April 8. This CR will move to CLEC Test.

March 17, 2004 CMP Meeting Janean Van Dusen – Qwest advised that April 23 is the new implementation date. This CR will move to Development Status.

February 18, 2004 CMP Meeting Janean Van Dusen – Qwest provided status. The Business portion of this CR has been cancelled. Residence still applies with a target implementation date of April 21. This CR will move to Presented Status.


Open Product/Process CR PC020404-4 Detail

 
Title: Grandparent ValueChoice, 2 Line ValueChoice , and PrivacyPak
CR Number Current Status
Date
Area Impacted Products Impacted

PC020404-4 Completed
9/16/2004
Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Andreen, Doug

Description Of Change

ValueChoice (PCV6X), 2-Line ValueChoice (PGOVB), and PrivacyPak (FFKX2)will be grandparented and no longer offered for sale.

2/11/04 This CR will not include Northern Idaho at this time.


Status History

02/04/04 - CR Submitted

02/04/04 - CR Acknowledged

2/10/04 - Held clarification call

2/18/04 -February CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

2/18/04- Status changed to Presented

3/17/04 -March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

3/17/04 - Status changed to development

4/6/04 - Qwest generated notification PROD.04.06.04.B.000327.ValCh_TwoLn_PrivPak

4/8/04 - Qwest initiated notice PROD.04.09.04.F.01557.ResalePOTS_ValueChoice

4/21/04 -April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

4/23/04 - Qwest generated notification PROD.04.23.04.F.01607.RTRCT_Resale_POTS_v29

5/19/04 -May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

6/16/04 -June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

7/21/04 -July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

7/30/04 - Qwest generated notice PROD.07.30.04.F.01914.FNL_ResalePOTS_Packages

8/18/04 -August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

9/16/04 CMP Meeting Minutes Doug Andreen reported that the effective date was August 16 and requested the CR move to Completed Status. The CR will move to Completed status.

8/18/04 CMP Meeting Doug Andreen reported that the effective date was August 16. The CR will move to Test status.

July 21, 2004 CMP Meeting Janean Van Dusen said the effective date is August 16 and the initial notice was sent 7/2. The CR will stay in Development.

-- 6/16/04 CMP June meeting minutes Janean Van Dusen, Qwest said the effective date is August 16and that the CR is on track. She also verified that area wide calling plans will be available in South Dakota. The CR will stay in Development.

- 5/19/04 CMP Meeting Janean Van Dusen, Qwest reported the effective date has moved from 7/12 to 8/16. It will include all Res packages. No notices have gone out as yet. Amanda Silva, VCI wanted to verify that any existing customer that has the packages can keep it. But new customers can’t order. Janean said that is correct. You can order it until the effective date. Amanda asked if there will be any new packages. Janean said there will be two new packages but they are still under development. Qwest will issue the appropriate notices and PCATs on these. Liz Balvin, MCI asked if amendments will be required. Janean said no these will all be resalable. Bonnie Johnson, Eschelon asked if the customer has a package with their current provider can they convert their service. Janean answered yes. Liz asked when the new packages come out, from an ordering perspective how will CLECs know. Janean said that they will be ordered the same and there will be Regulatory noticing, new PCATs and PCAT noticing. This CR will remain in Development.

- 4/21/04 April CMP meeting Janean Van Dusen, Qwest reported the effective date has moved to 7/12. The scope has increased to include the grandfathering all related residential packages. Liz Balvin, MCI asked what was causing the grandfathering. Janean said that it was redefining how to bundle and package at Qwest. The CR will remain in Development.

-- 03/17/04 March CMP Meeting Janean Van Dusen, Qwest reported that the new effective date for this CR is 5/24 to accommodate tariff filing. The CR will change to Development status.

2/18/04 CMP Meeting Janean Van Dusen, Qwest stated that this CR affects all states except northern Idaho. The effective date is May 17 and the USOC list is provided in the CR. The CR will move to development.


Open Product/Process CR PC021204-1 Detail

 
Title: Port In and Add New Non Ported Tn(s) on same LSR
CR Number Current Status
Date
Area Impacted Products Impacted

PC021204-1 Withdrawn
4/21/2004
Ordering, Provisioning Resale, UNE-P
Originator: Wells, Susie
Originator Company Name: Qwest Corporation
Owner: Wells, Susie
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

This CR will streamline the Port In Process. Qwest will add a new scenario to existing Port In Processes which will allow the CLEC to place a Port In Request, and add additional new non ported tn(s) on the same LSR. The benefit to the CLECs is more timely and accurate completion of requests. The benefit to Qwest is more timely and accurate completion of a request.

Expected Deliverable:

Revision to the current process of submitting two separate LSRs for porting in and adding new lines at the same time for the same end user. Would like April time frame. Update to Port In PCAT will be necessary to add scenario for new process.


Status History

02/12/04 - CR Submitted

02/16/04 - CR Acknowledged

02/19/04 - Held Clarification Meeting

02/19/04 - CR status updated to Pending Withdrawal

03/17/04 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/21/04 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

04/21/04 April CMP Meeting Susie Wells with Qwest said she researched Liz Balvin’s question on the EDI disclosure document. Susie said there is no need for EDI disclosure and she would like to withdraw this CR because it is actually a Level 3 change. This CR will move to Withdrawn status.

03/17/04 March CMP Meeting Susie Wells with Qwest said she would like to withdraw this CR because it is not a level 4 change and actually is a level 3 change to an existing process. Updates will be made in the Port In PCAT. Bonnie Johnson with Eschelon said she is interested in this one because 2 LSRs are currently issued and then go to different centers. Liz Balvin with MCI asked if there would be changes to the EDI disclosure document. Susie said she would check and get back at the April meeting. Liz said that if nothing will change then it is ok, and if changes need to be made, there should be appropriate notification. This CR will remain open in Pending Withdraw status.


Open Product/Process CR PC031902-1 Detail

 
Title: Service Interval Guide (SIG) Updates (being executed under the exception process)
CR Number Current Status
Date
Area Impacted Products Impacted

PC031902-1 Completed
4/17/2002
Pre-Ordering, Ordering, Provisioning, Listings Resale, Collocation, UNE-P
Originator: Hooks, Perry
Originator Company Name: Qwest Corporation
Owner: Hooks, Perry
Director:
CR PM:

Description Of Change

This Change Reqest is to highlight, announce and clarify recent interval impacting changes/additions made to the Service Interval Guide which will be made available on 3/29/02 at the folowing URL: http://www.qwest.com/wholesale/guides/sig/index.html. All SIG changes to be posted on 3/29, including non interval impacting language calrifications and corrections, can be viewed by accessing the Red Lined Service Interval Guide posted for your review on the document review page of the CMP webs site (http://www.qwest.com/wholesale/cmp/review.html).

The following sections of the SIG have been updated with the following changes:

Unbundled Network Elements Platform - UNE-P

UNE-P POTS:

- Previous Interval for "Suspend" was changed to include Saturday as a possbile "next business day".

- New interval added for "Deny" to include "same business day if request is received before noon MT, otherwise

next business day (may be Saturday)"

UNE-P PBX:

- New intervals added for Zone 2 wire centers contingent on volume

UNE-P DSS:

- Updated interval from "Trunk Installation Services" from 9 business days to 12 business days

- Added "Designed Changes to T1 and Trunks" category with appropriate intervals

- Modified "Add/Change Trunks on existing facilities" to eliminate Zone differentiation resulting in a single

interval contingent on volume

UNE-P ISDN BRI:

- Changed "Conversion as Specified" interval for 1-10 Loops from ICB to 3 business days where a Loop change

is not involved.

- Added 11 or more Loops FOC of 192 hours and ICB Installation for all activities

UNE-P ISDN PRI:

- Modified "Add/Change Trunks on existing facilities" to eliminate Zone differentiation resulting in a single interval contingent on volume

UNE-P Centrex 21:

- Added "Non Designed Conversion As Is" with FOC and Installation Guidelines of 3 business days or 2 in CO

and MN.

- Clarified language on description of line and feature changes and added Colorado and Minnesota intervals.

- Added Non Designed with Dispatch intervals of next available due date by Appointment Scheduler with a

minimum of 3 business days. CO and MNdefault is 2 business days.

- "Deny/Restore" added with same business day if request is received before noon MT, otherwise next day

Installation Guideline.

UNE-P PAL:

- "Deny/Restore added with same business day if request is received before noon MT, otherwise next

business day (may be Saturday)

Resale

Resale POTS Business:

- Suspend/Restore Installation Guidelines interval - added "may be Saturday"

- New interval for "Deny" to include same business day if request is received before noon MT, otherwise next

business day (may be Saturday)

Resale PAL:

- Added "Deny/Restore" activity language and added FOC and Installation Guidlines

Resale Centrex 21:

- Added "Non Design Conversion As Is" with FOC and Installation of 3 business days or 2 business days in CO

and MN

- Added "Non Designed New Installs" section with appropriate intervals

- Added "Deny/Restore" activity with applicable intervals

Resale Centrex 21 - ISDN:

- Added "Conversion As Is" section with 3 Business Day Installation

- Clarified "Conversion As Specified" with appropriate intervals

- Separated "New Installs" with appropriate intervals

- Clarified "Line Feature" language and added "13 business day" interval if a Loop is added or changed.

- Added "Remove Loop or Completely Disconnect Service" with appropriate intervals

Resale ISDN PRI:

- Removed High and Low Density language and designations resulting in a single interval contingent on volume

Resale DSS:

- Changed "Trunks Installation Services Ordered" for 1-3 Facilities to 12 business days from 9 business days

- Added "Designed Changes to T1 and Trunks" category with appropriate intervals

Resale PBX DID:

- Changed Installation to include Zones 1 and 2 to bring intervals into parity with Retail High and Low Densitiy

intervals

Directory Listings:

- Added "Complex Listings" section to "Directory Listings" with appropriate intervals

Collocation

Caged Physical (unforecasted):

- For both "Timely Quote Acceptance" and "Late Quote Acceptance" interval was changed from 120 Calendar

Days from receipt of Complete Application to 90 Calendar Days from receipt of Complete Application, in

Montana only

Virtual Collocation (unforecasted):

- For "Timely Quote Acceptance/Equipment delivered prior to day 53" interval was changed from 120 Calendar

Days from receipt of Complete Application to 90 Calendar Days from receipt of Complete Application, in

Montana only

- For "Timely Quote Acceptance/Equipement Delivered after day 53" interval changed from 75 Calendar Days

from receipt of CLEC equipment to 45 Calendar Days from receipt of CLEC equipment, in Montana only

- For "Late Quote Acceptance/Equipment delivered before day 53" interval changed from 120 Calendar Days

from Quote Acceptance to 90 Calendar Days from Quote Acceptance, in Montana only

- For "Late Quote Acceptance/Equipment delivered after day 53" interval changed from 75 Calendar Days from

receipt of CLEC Equipment to 45 Calendar Days from receipt of CLEC Equipment, in Montana only

ICDF Collocation (unforecasted)

- For both "Timely Quote Acceptance" and "Late Quote Acceptance" interval was changed from 90 Calendar

Days from receipt of Complete Application to 45 Calendar Days from receipt of Complete Application, in

Montana only


Status History

03/17/02 - CR Submitted by Qwest

03/19/02 - CR acknowledged by P/P CMP Manager.

03/19/02 - Qwest Mailout, PROS.03.19.02.R.00402.SIG_DocReview, issued to CLECs.

03/20/02 - CMP Meeting - Qwest walked-on its CR and introduced it to the participants. Qwest requested and it was agreed that the CR would be executed under the Exception Process. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. CR will be moved to Evaluation.

03/20/02 - SIG document posted to CMP Document Review Web Page for comments by CLECs.

03/29/02 - Qwest Mailout, PROS.03.29.02.F.00413.SIG_Update, issued formal notification of SIG Updates effective March 29, 2002. Status changed to Presented.

04/17/02 - CMP Meeting - Qwest advised that the Final Notification was issued March 29th. It was agreed that the CR could be closed.


Project Meetings


Open Product/Process CR PC041202-1 Detail

 
Title: Service Interval Guide ("SIG") Updates
CR Number Current Status
Date
Area Impacted Products Impacted

PC041202-1 Completed
6/19/2002
Unbundled Loop, Transport, UNE-P
Originator: Dinwiddie, Cliff
Originator Company Name: Qwest Corporation
Owner: Dinwiddie, Cliff
Director:
CR PM:

Description Of Change

Qwest requests that this CR be re-categorized as a Level 2 change request as it consists only of language clarifications and interval improvements.

This Change Request is to highlight, announce and clarify proposed changes to the SIG that is currently available at the following URL: http://www.qwest.com/wholesale/guides/sig/index.html. Qwest is proposing these changes to the SIG to further clarify the state specific intervals driven by (a) state specific Wholesale Service Quality Rules and, (b) state specific US WEST/Qwest merger conditions that contain Wholesale minimum standards of performance, specifically:

- Utah Service Quality Guidelines, Rule R746-365-4. Intercarrier Service Quality.

- Colorado Service Quality Rules, Rule (4 CCR) 723-43-6. Minimum Performance Standards.

- Washington Merger Conditions. 05/24/00 Settlement Agreement. Wholesale Service Quality.

- Minnesota Merger Conditions. 04/14/00 Stipulation and Agreement. Wholesale Service Quality.

Qwest proposes that all documentation changes described herein become effective on 05/01/02.

The following sections of the SIG will be updated as indicated below:

Unbundled Network Elements Platform - UNE-P

UNE-P PBX Trunks:

- Page 13. While the standard interval remains ICB for New Install, Conversion As Specified, Changes (ex. PIC/LPIC or feature changes, etc.), and Suspend/Restore of 25 or more trunks, "Colorado Only: Twenty-Four (24) Business Days" will be added.

UNE-P ISDN BRI:

- Page 16. While the standard interval for Add or Change Feature(s), Add Primary Directory Number (PDN) to established Loop (N2Q), Add Call Appearance remains 3 business days, "Colorado Only: Two (2) Business Days" will be added.

Unbundled Services

2-Wire Voice Grade (VG) Analog Loop:

- Page 96, 97. The standard intervals remain 5, 6 and 7 business days for 1-8, 9-16 and 17-24 lines. Removed "Colorado Only: No Dispatch - 3 business days, With Dispatch - 4 business days" as this language was included in error and has never been implemented in practice. Added intervals to reflect required Minnesota intervals where facilities do not currently exist (i.e. obligation to build). Removed “Utah Only: Five (5) Business Days” for 1-8 Lines as this language is the standard interval and therefore Utah would not be unique. Changed "Utah Only; 3 Business Days" to "Utah Only: Five (5) Business Days" for 9-16 and 17-24 Lines as the 3 day interval information was included in error and has never been implemented in practice. Removed "Utah Only: 3 business days" from 25 or more lines as this information was included in error and has never been implemented in practice.

4-Wire Voice Grade (VG) Analog Loop:

- Page 99. The standard intervals remain 5, 6 and 7 business days for 1-8, 9-16 and 17-24 lines. Corrected the FOC Guidelines from 72 to 24 hours. Added intervals to reflect required Minnesota intervals where facilities do not currently exist (i.e. obligation to build). Added "Utah Only: Five (5) Business Days" for 9-16 and 17-24 line quantities.

2-Wire / 4-Wire Non Loaded Loop:

- Page100. The standard intervals remain 5, 6 and 7 business days for 1-8, 9-16 and 17-24 lines. Added intervals to reflect required Minnesota intervals where facilities do not currently exist (i.e. obligation to build). Added "Utah Only: Seven (7) Business Days" for 25 or more Lines.

Quick Loop:

- Page 102. The standard intervals remain 3 business days up to 24 lines. Added "(No Dispatch Required)" to clarify product offering. Added "Utah Only: Ten (10) Business Days" for 25 or more lines.

Quick Loop + LNP:

- Page 102. The standard intervals remain 3 and 4 business days for 1-8 and 9-24 lines. Added "(No Dispatch Required)" to clarify product offering.

DS1 Capable Loop:

- Page 103. The standard intervals remain 9 business days up to 24 lines. Added intervals to reflect required Minnesota intervals where facilities do not currently exist (i.e. obligation to build). Added "Utah Only: Five (5) Business Days" for all quantities. Removed the Colorado 5 day interval for 1-8 lines as it was included in error and replaced it with the Minnesota requirement.

DS3 Capable Loop:

- Page 105. The standard intervals remain 7 days up to 3 lines. Added intervals to reflect required Minnesota intervals where facilities do not currently exist (i.e. obligation to build). Added "Utah Only: Seven (7) Business Days" for 4 or more lines.

ADSL Compatible Loop:

- Page 106. The standard intervals remain 5, 6 and 7 business days for 1-8, 9-16 and 17-24 lines. Added intervals to reflect required Minnesota intervals where facilities do not currently exist (i.e. obligation to build). Added "Utah Only: Seven (7) Business Days" for 25 or more lines.

XDSL-I Capable Loop/ISDN-BRI Capable Loop:

- Page 108. The standard intervals remain 5, 6 and 7 business days for 1-8, 9-16 and 17-24 lines. Added intervals to reflect required Minnesota intervals where facilities do not currently exist (i.e. obligation to build). Added "Utah Only: Seven (7) Business Days" for 25 or more lines.

OCn Capable Unbundled Loops:

- Page 110. The standard intervals remain ICB. Added "Utah Only: OC3 - Fifteen (15) Business Days, OC12+ - ICB"

Unbundled Dedicated Interoffice Transport:

- Page 113-116. Added "Installation Guidelines apply where facilities/network capacity is in place. When UDIT Type or Dark Fiber facilities/network capacity is not in place, Qwest will not build facilities or hold orders to meet a request except where CLEC has implemented the CLEC Requested UNE Construction Process." Combined UDIT, UCCRE, E UDIT, and M UDIT into the same table to clarify that all intervals for these products are the same.


Status History

04/12/02 - CR Submitted by Qwest.

04/15/02 - CR acknowledged by P/P CMP Manager and posted to Web.

04/17/02 - CMP Meeting -Qwest introduced CR as Walk-on. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

04/18/02 - Called Qwest CR Originator and discussed CR and steps required for Level 4 change

04/30/02 - Notification sent to CLECs for meeting on May 8, 2002 to discuss Qwest responses to questions raised in April 17, 2002 CMP mtg (reference Notification Number CMPR.04.30.02.F.01262.SIG_CR_Meeting)

05/08/02 - Posted Qwest response to CLEC questions raised during the April 17, 2002 CMP meeting

05/08/02 - Held Input Cycle Meeting with CLECs for this Qwest Initiated CR

05/10/02 - Posted draft meeting minutes for 05/08/02 Input Cycle Meeting

05/10/02 - Draft meeting minutes of 05/08/02 Input Cycle Meeting sent to CLEC meeting participants for comment

05/10/02 - Initial Notification issued. CR status changed to "Presented"

05/15/02 - CMP Meeting - CR status "Presented" unchanged. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

05/30/02 - Final Notice issued that stated "No CLEC comments were received during the comment cycle, therefore, the proposed changes will become operational on June 13, 2002". Reference document number PROS.05.29.02.F.00458.Final_Notice_SIG

06/19/02 - CMP Meeting -- CR status changed to "Completed". Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.


Project Meetings

Input Cycle Meeting

Time/Date: 1:00 p.m. (MDT) / Wednesday 8 May 2002 Place: Conference Call-In No.: TEL: 877.521.8688 CODE: 7901848 CR No.:Qwest Change Request PC041202-1 Service Interval Guide ("SIG") Updates

Attendees/Company Cliff Dinwiddie, Qwest Judy Schultz,, Qwest Brenda Palmquist, Qwest Michael Keegan, Qwest Kathleen Stichter, Eschelon Jonathan Spangler, AT&T Terry Wicks, Allegiance Michael Zulevic, Covad Pamela Smith, Sprint Donna Osborne-Miller, AT&T

Description: 2.1 Mike Keegan stated the purpose of this call is to: 1. obtain CLEC input on this Qwest initiated CR (this meeting serves as the collaboration phase) and get agreement for the path forward 2. review proposed changes to the CR description detail 3. review Qwest responses to questions raised by CLECs when CR was presented during the April 17, 2002 Monthly CMP Meeting

2.2 Cliff Dinwiddie reviewed the proposed changes to the CR description detail. Michael Zulevic questioned the Qwest proposed effective date of May 1, 2002 for the changes. Cliff responded that this issue would be discussed later in the meeting. 2.3 Cliff Dinwiddie confirmed that the changes proposed for the CR description are being made to bring it into alignment with the red lined SIG. Corrections, not changes, to intervals are being presented. No changes to process are being made.

2.4 Michael Zulevic stated that Covad did not sign the Minnesota Merger Stipulation and Agreement and that Covad’s ICA should be the basis for intervals. Cliff Dinwiddie/Judy Schultz confirmed that the SIG is a reference guide for CLECs and that other, legally binding, agreements take precedence. Cliff agreed to modify the Qwest Response B1 to add the word “as” to the last sentence so that it will read: "However, the 04/14/00 Minnesota Merger Stipulation and Agreement in the Wholesale Service Quality section requires that any customer order submitted by a wholesale customer is subject to the Wholesale Service Quality as minimum standards of performance."

2.5 Jonathan Spangler asked if the changes to the SIG reflect Qwest current practice. He specifically referenced the Minnesota 45 day interval for 2-wire / 4-wire Non Loaded Loop where new facilities are required. Cliff confirmed the 45 day interval has been the practice and that the 15 day reference was an error in the SIG. Jonathan stated that if the proposed changes represent the current practice, he wondered why his people had not raised the issue about the discrepancy between the intervals shown in the existing SIG and the intervals as currently practiced. Cliff Dinwiddie said the Utah and Minnesota interval references have probably been in the SIG less than 60 days and any downloads of the SIG made over two months ago would not reflect the intervals.

2.6 Kathleen Stichter said Karen Clauson is on vacation this week and she would like Karen’s and Bonnie Johnson’s input. Judy Schultz said they could provide their comments during the 15 day period following initial notification which is the next step in the process. Cliff Dinwiddie said initial notification will be issued by close of business Friday, May 10, 2002.

2.7 Cliff Dinwiddie discussed the effective date of the CR. It is obviously not May 1, 2002 as originally proposed in the CR description. Judy Schultz described the process as follows: 1. Qwest obtains CLEC input into the proposed change (this conference call) 2. Notice of the planned change is issued to the CLECs (initial notification will be issued Friday, May 10, 2002) 3. CLECs have 15 calendar days following initial notification to provide written comments 4. Qwest has up to 15 calendar days following the CLEC cutoff for comments 5. Qwest will provide a second notification at least 15 days prior to implementation 6. Qwest will implement no sooner than 15 calendar days after providing the response to CLEC comments Cliff proposed a June 17, 2002 as the new proposed effective date of the CR which represents 38 calendar days from the initial notification date of May 10, 2002.

2.8 Michael Zulevic asked if the CR could move to a Level 2. Judy Schultz said any change in the Level would have to take place during the monthly CMP meeting per the Master Red-Lined CMP Re-Design document.

Cliff Dinwiddie stated that this CR would remain a Level 4 and that no exceptions to the process would be pursued

Terry Wicks said CLECs are not permitted to request an implementation date for their CRs so Qwest should not propose an effective date or the date derived from the maximum duration allowed by the process should be used.

Cliff Dinwiddie agreed no effective date would be included in the initial notification.

2.9 Terry Wicks asked what happened to the “not to exceed 24 days” language that the CLEC requested be added, during the April CMP meeting , to the Interval Case Basis. Cliff Dinwiddie replied that Qwest Response A addresses this question.

3.0 Cliff Dinwiddie summarized the following at meeting close: 1. initial notification will be issued Friday, May 10, 2002 2. initial notification will not include a proposed effective date 3. "as" will be added to Qwest response B1 as referenced in the notes above.


CenturyLink Response

The following is a summary of the discussion of this Qwest initiated CR in the 04/17/02 CMP meeting and includes CLEC comments resulting from the :Input Cycle Meeting held 05/10/02.

* CLECs did not agree to re-categorize this Qwest initiated CR as a Level 2 change request as CLECs do not agree that the CR consists only of language clarifications and interval improvements. CLECs requested that this CR remain at Level 4 and that the CR Originator respond to the following questions at the next CMP meeting (in May 2000):

CLEC Question/Concern A: There are a number of instances identified in this CR where Qwest wishes to reflect a specific interval where the standard interval is currently listed as "ICB". For instance, the standard Installation Guidelines for UNE-P PBX Trunks (New Install, Conversion As Specified, Changes, Suspend/Restore) for 25 or more trunks is reflected as "ICB". Qwest proposes including "Colorado Only: Twenty Four (24) Business Days" to care for the requirements in Colorado Service Quality Rule (4 CCR) 723-43-6. However, it is possible that in the past that Qwest installed that service in some interval less than 24 business days. Therefore, this is not necessarily an interval reduction. The updated language should instead read, "Colorado Only: Not To Exceed Twenty Four (24) Business Days." [Emphasis added.]

Qwest Response A: Qwest understands the CLEC’s proposal. The General Information section of the SIG on page 6 states, "This document sets forth performance guidelines, not guarantees of performance." [Emphasis added.] Further, on page 8, the SIG states, "Guidelines published in this document are for inward activity, i.e., new service, changes in service address, etc., where facilities and/or network capacity are in place. Facilities and/or network capacity not in place will be handled on an Individual Case Basis for the due date and the firm order confirmation." [Emphasis added.] For consistency sake, it is Qwest’s intent to add the state specific language as originally outlined in this CR to ensure that the SIG is the most comprehensive and efficient reference guide possible. In this example, Colorado Service Quality Rule (4 CCR) 723-43-6 requires that Qwest deliver 25 or more UNE-P PBX trunks within 24 business days. Qwest intends to represent this Colrado rule (and other rules where the standard guideline is ICB as originally outlined in this CR) as "Colorado Only: Twenty Four (24) Business Days". This is the way that all other interval guidelines in the SIG are represented.

It is important to note that this change in documentation only has no impact on Qwest’s processes. Therefore, the interval will still be handled the same way it was in the past and if the circuit can be turned up prior to it’s minimum interval, Qwest will deliver that circuit in the time-frame under which it is available.

CLEC Question/Concern B: There are a number of instances identified in this CR where Qwest wishes to reflect intervals specific to Minnesota where facilities do not exist. For instance, for 2-Wire Voice Grade (VG) Analog Loop (1-8 Lines), the standard interval is "Five (5) Business Days." In this CR, Qwest proposes that the following language be included "Minnesota Only: Where Facilities are not available, Fifteen (15) Business Days." The CLECs have a number of questions and concerns about Qwest’s proposal: 1. The 04/14/00 Minnesota Merger Stipulation and Agreement applies only to those CLECs who opted into that agreement. 2. In light of this standing rule, what has been Qwest’s practice in the provisioning of service in the state of Minnesota? Will that process change as a result of this SIG update? 3. In light of this standing rule, how is Qwest reporting provisioning performance in MN specifically and PIDs generally? Will that process change as a result of this SIG update? 4. In light of this standing rule, how are held order statistics calculated? Will that process change as a result of this SIG update?

Qwest Response B: Qwest reasserts that all proposed SIG updates in this CR, as indicated in the 04/17/02 CMP meeting, consist only of language clarifications and interval improvements. Thus, this language clarification has no impact to current provisioning, measurement or reporting processes or practices in Minnesota or other parts of the Qwest local service region. However, Qwest will briefly address each of the CLECs questions although they are not related to this CR. 1. CLECs communicated concern that the Minnesota Merger Stipulation and Agreement applies only to those CLECs who have opted into that agreement. However, the 04/14/00 Minnesota Merger Stipulation and Agreement in the Wholesale Service Quality section requires that any customer order submitted by a wholesale customer is subject to the Wholesale Service Quality as minimum standards of performance. 2. CLECs had questions about Qwest’s compliance with provisioning requirements in Minnesota and communicated concern that Qwest’s provisioning practice would change as a result of this SIG update. As indicated in the 04/17/02 CMP meeting, this language clarification will have no impact on Qwest’s provisioning practice. a. If facilities are available, Qwest will transmit a Firm Order Confirmation ("FOC") to the CLEC that reflects a due date that meets the customer’s request.. b. If facilities are not available, Qwest will transmit a FOC to the CLEC that reflects a due date that is in keeping with the requirements of the 04/14/00 Minnesota Merger Stipulation and Agreement. 3. CLECs had questions about how Qwest is measuring and reporting provisioning performance in Minnesota specifically and for PID requirements generally. Again, this minor language clarification has no impact on Qwest’s provisioning, measurement or reporting processes. Qwest remains consistent with PUC and PID reporting requirements. Data is provided pursuant to the requirements of the 04/14/00 Minnesota Merger Stipulation and Agreement. Measurement and reporting methodologies for the third party OSS testing effort are available in those forums. 4. CLECs expressed specific concerns regarding the impact of this language clarification on held order processes and reporting requirements. Again, this minor language clarification has no impact on Qwest’s provisioning, measurement or reporting processes. Qwest remains consistent with the provisions of the 04/14/00 Minnesota Merger Stipulation and Agreement.


Open Product/Process CR PC042902-1 Detail

 
Title: PDR Transfer of Responsibilty
CR Number Current Status
Date
Area Impacted Products Impacted

PC042902-1 Completed
10/16/2002
Other: Poles, Ducts and Rights of Way
Originator: Rossi, Matt
Originator Company Name: Qwest Corporation
Owner: Lacy, Jane
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

PDR Transfer of Responsibility refers to the transfer of your exising PDR agreement to occupy either aerial or underground facilities to an assuming CLEC or from a vacating CLEC to you.

CLEC requirements

- Assuming CLEC must have language supporting Poles, Ducts and Rights of Way in their ICA

- Both the Vacating and Assuming CLECs must sign the PDR Transfer of Responsibilty Contract Amendment

- Assuming and vacating CLECs must sign and submit the PDR Transfer Authorization Agreement (LOA)

- Assuming CLECmust complete and submit the PDR Transfer of Responsibility Application Form.

- Assuming CLEC must submit full payment of the PDR Transfer of Responsibility Transfer Charge. Requested transfer is irrevocable upon 100% payment of this charge.

Process and Procedures

- Once a complete and accurate PDR Tranfer of Responsibilty request is submitted, Qwest will complete the transfer within 15 business days unless otherwise negotiated.

- Once a complete and accurate request has been made, Qwest will issue a Tranfer of Responsbility Consent form which will acknowlege and grant the transfer effective on the date indicated . (see above)

- Qwest will send email notification to both Vacating and Assuming CLECs once transfer (billing) is made effective

- Effective date will designate date in which Assuming CLEC is responsible for all recurring payment for the trasfered occupancy of facilities.

Required Documentation

- PDR Transfer of Responsibility Application Form

- Qwest PDR Transfer Authorization Agreement

- PDR Transfer of Responsiblitly Contract Amendment

Web links

- PDR Product Catalog (PCAT) - www.qwest.com/wholesale/pcat/poleductrow.html

- PDR Contract Amendment - www.qwest.com/wholesale/clecs/negotiations.html

Qwest Point of Contact

Matthew Rossi - Collocation Product Manager

303 896-5432

mrossi@qwest.com

Proposed Implementation date: TBD with the CLECs on 5/15

Reason for change - due to current market conditions, will allow CLECs the ability to transfer occupancy of aerial or underground facilities to an assuming CLEC.

Why Level 4 - Because this is for the CLEC community, Qwest wishes to get CLEC input on this offering. This offering was taken from the same basic structure and concept as the Collocation Transfer of Responsibility that

was jointly defined and developed by the CLEC community and Qwest. Qwest wanted to present at the monthly CMP meeting to verify clarity and input from the CLEC community.


Status History

04/29/02 - CR Submitted by Qwest.

04/29/02 - CR acknowledged by P/P CMP Manager

05/01/02 - CR posted to Web

05/03/02 - Called Qwest CR Originator and discussed CR and steps required for Level 4 change

05/15/02 - CMP Meeting - CR status changed to Clarification. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

05/22/02 - Issued Mailout Notification, CMPR.05.22.02.F.01270.CMP_MTG_6_7_02, scheduling CLEC input conference call for June 7th, 01:00 am to 03:00 pm MT.

06/07/02 - Conducted CLEC input conference call. No CLECs joined the call. Qwest will issue its initial notification with documents for CLEC comment in accordance with the CMP procedures.

06/19/02 - CMP Meeting - CR status changed to "Development". Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

07/17/02 - CMP Meeting - Meeting minutes posted to this CR's Project Meetings section. CR status remains development.

07/19/02 - Issued Mailout Notification, PROD.07.19.02.F.00793.Poles_Ducts_ROW_V7, ? Which was an update that added the new product and process for Transfer of Responsibility, to the Poles, Ducts and Rights of Way documentation

08/15/02 - Issued Final Notification, PROD.08.15.02.F.00811.FinalNot_PDR. Process will become effective 8/30/02.

08/21/02 - August CMP Meeting - Qwest provided status on final notification issuance. Minutes on this CR will be posted to the project meetings section. Status will be changed to CLEC test on 8/30/02.

08/30/02 - Changed status to CLEC test in accordance to direction from CMP meeting.

09/18/02 - September CMP Meeting - CR will remain in CLEC test. Minutes on this CR will be posted to the project meetings section.

10/16/02 - October CMP Meeting - Minutes on this CR to be posted to the Project Meetings section. CR will be moved to Completed Status.


Project Meetings

10/16/02 October CMP Meeting Jane Lacy with Qwest said the product has been launched. There were no questions from CMP participants and the CR was updated to Completed status.

09/18/02 September CMP Meeting Qwest provided an update that on August 30, 2002, the proposed changes became operational and the contract amendment and PDR PCAT can be viewed on the website. This CR status will remain in CLEC Test until the October CMP when it is anticipated that it would update to Completed.

--

08/21/02 - August CMP Meeting Minutes: Qwest provided an update that no CLEC comments were received during the comment cycle, and the proposed changes will become operational on August 30, 2002. The CR status will remain in development until August 30, 2002 when it will move to CLEC test.

07/17/02 - July CMP Meeting Minutes: Qwest will add the new product and process for Transfer of Responsibility, to the Poles, Ducts and Rights of Way documentation by July 19, 2992. CR status remains development.


Open Product/Process CR PC043002-1 Detail

 
Title: Fiber Provider Point of Entry
CR Number Current Status
Date
Area Impacted Products Impacted

PC043002-1 Withdrawn
5/9/2002
Ordering, Billing, Maintenance/Repair, Provisionin Other: An Entrance Facility type product offering
Originator: Campbell, Ben
Originator Company Name: Qwest Corporation
Owner: Campbell, Ben
Director:
CR PM: Thomte, Kit

Description Of Change

This new product will be available to CFP and CLECs that provide backbone facilites. This product will allow them to place entrace facilites into the Qwest wire center for the purpose of connecting with a collocation. Qwest is developing this product as part of its response to the Petion from the Competitive Fiber Providers. This product development is currently scheduled to be completed by the end of May with the availability and notification taking place in June.


Status History

04/30/02 - CR Submitted by Qwest.

04/30/02 - CR acknowledged by P/P CMP Manager

05/01/02 - CR posted to Web

05/06/02 - Contacted originator of CR

05/09/02 - CR was withdrawn by originator


Project Meetings


Open Product/Process CR PC050102-1 Detail

 
Title: Available Inventory
CR Number Current Status
Date
Area Impacted Products Impacted

PC050102-1 Completed
4/15/2009
Collocation
Originator: Rossi, Matt
Originator Company Name: Qwest Corporation
Owner: Nelson, Steve
Director:
CR PM: Harlan, Cindy

Description Of Change

Available inventory refers to existing collocation sites and elements that have been returned to Qwest due to legal proceedings, abandonment, cancellation or decommission. Available Inventory gives CLECs the potential to assume these returned sites at a discounted rate, and gives the vacating CLEC an opportuntiy for a refund.

Reason for Change:

Due to recent market conditions, the number of vacated collocation sites has increased. This product offering is being developed to give CLECs the ability to purchase already existing collocation sites from other CLECs or Qwest and give vacating CLECs the potential to receive a percentage refund for those existing elements that are deemed reusable.

Qwest is presenting this product offering as a level 4 Qwest initiated Change in order to seek the input of the CLEC community in the final development of this offering. Proposed implementation date for this new product offering is August 1, 2002.

Terms and Conditions

Available sites will be listed on a web site called the "Collocation Classifieds", which will be released as part of this offering. Collocation sites available on this listing may be totally or partially completed before being returned to inventory. Both caged and cageless sites will be offered on the inventory list. Sites will be offered “AS IS, WHERE IS.” Additional elements may be ordered with the purchase of the available “AS IS WHERE IS” site, but CLECs can not reduce any elements until the Available Site order is complete. Refunds from any elements determined to be reusable under Qwest’s Collocation Decommissioning policy will be returned to the previous owner of the collocation space following a sale of such site from the "Collocation Classifieds". All services that were previously connected to the collocation (i.e. Unbundled Network Elements, CLEC to CLEC, administrative lines, finished services, line splitting and line sharing, etc.) will be disconnected before the site is listed on the "Collocation Classifieds".

Rate elements

Pricing for available sites on the "Collocation Classifieds" will be provided on a site-specific basis. Sites will be priced based on outstanding non-recurring charges from previous CLEC, amounts for reimbursable elements and transfer fees. These charges will be provided to a CLEC via a quote that requires their acceptance before work begins. Recurring charges for all elements will be charged at rates listed in the assuming CLECs interconnection Agreement and without a discount.

Ordering

CLECs wishing to purchase an existing site listed in the "Collo Classifieds" will do so by submitting a Qwest Collocation Application Form. Upon receipt of the complete application, Qwest will verify that the requested site is still available for acquisition and will return a feasibility study to CLEC within the timelines listed in the CLECs Interconnection Agreement (ICA).

Qwest Point of Contact

Matthew Rossi - Collocation Product Manager

303 896-5432

mrossi@qwest.com


Status History

05/01/02 - CR Submitted by Qwest.

05/01/02 - CR acknowledged by P/P CMP Manager

05/03/02 - CR posted to Web

05/06/02 - Reviewed with Qwest CR Originator to review CR.

05/15/02 - CMP Meeting - Qwest presented its CR and suggested the required input format. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

05/20/02 - Issued Mailout Notification, CMPR.05.20.02.F.01269.Collocation_Mtg, scheduling CLEC input conference calls for May 29th and June 12th, 10:00 am to 12:00 noon MT.

05/29/02 - Conducted CLEC input conference call. It was agreed by the participants that meeting minutes would not be issued; however, the revised process document would be issued through the mailout process and to each of the participants.

06/10/02 - Issued revised process description document to the CLEC participants at session 1 CLEC input conference call.

06/11/02 - Issued revised process description document to the CLEC community. Notification CMPR.06.11.02.F.01279.Collocation_Mtg.

06/12/02 - Conducted CLEC input conference call second session. It was agreed that a third session would be held June 26, 2002, 10:00 a.m. MT.

06/14/02 - Notified CLEC community of third session to review process documents. Notification CMPR.06.14.02.F.01280.Collocation_Mtg_3.

06/19/02 - CMP Meeting - Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. CR status was changed to Development.

06/24/02 - Issued additional documents to the CLEC community for review at third session on 6/26/02. Notification CMPR.06.24.02.F.01283.Collocation_Mtg.

07/17/02 - Qwest provided status update on development process. Meeting minutes posted to this CR's Project Meetings section

07/25/02 - Qwest issued initial notification on Collocation Classified which is associated with Available Inventory process. Notification Prod.07.25.02.F.00799.Collo_Classified.

08/21/02 - CMP Meeting - Qwest provided a status on issuance of the final notification. Minutes on this CR to be posted to the Project Meetings section. Status to remain in Development.

08/22/02 - Qwest issued the Final Notification. Notification PROD.08.22.02.F.00812.ColloClassifiedFinal.

09/09/09 - Changed CR Status to CLEC Test in accordance with August's CMP Meeting.

09/18/02 - CMP Meeting - Qwest advised that the product was effective on 09/16/02. Minutes on this CR to be posted to the Project Meetings section. CLECs requested that the CR remain in a CLEC Test status.

10/16/02 - CMP Meeting - Qwest advised that this product was effective on 09/16/02 and requested closure of CR. ATT requested to be left in CLEC Test one more month. Minutes on this CR to be posted to the Project Meetings section.

11/20/02 - November CMP Meeting Qwest clarified reusable and reimbursable and proposed closure of CR. ATT agreed to double check with Sharon V and advise.

11/22/02 - Email received from ATT authorizing closure effective 11/20/02.


Project Meetings

11/20/02 November CMP Monthly Meeting Minutes Qwest (Nelson) reported this process was implemented 9/16/02. Qwest clarified the difference between Reimbursable and Reusable. Qwest requested to close this CR. ATT (Spangler) advised they would verify with Sharon Van Meter that is is okay to close this CR. On 11/22/02 ATT provided authorization to close this CR effective 11/20/02.

10/16/02 October CMP Monthly Meeting Minutes Qwest reported this process was implemented 09/16/02 and requested to close this CR. World Comm clarified this process provides information about available inventory to CLECs. ATT requested to leave this CR in CLEC test until next month as they may have some items pending. This CR will remain in CLEC Test.

09/18/02 September CMP Monthly Meeting Minutes

Qwest advised that the Available Inventory product was effective on September 6th. The information is located in the Collocation PCAT and under optional features there is a link to the Collo Classified. Also the Contract Amendment is available in the Contract Negotiation Web page. This CR status will remain in “CLEC Test” until the October CMP when it is anticipated that it would update to “Completed.”

-

08/21/02 August CMP Monthly Meeting Minutes

Qwest advised that they received no comments on the initial notification. They plan to issue the final notification 8/22/02, the process will become effective 9/6/02 and amendments will be available at that time. Qwest advised that they continue to receive returned sites through bankruptcy proceedings. These sites will have a Qwest initiated Decommissioning which takes between 60 – 90 days. Qwest wants to make these sites known as soon as possible; therefore, the Collo Classifieds will have two lists – Verified and Unverified. The CLECs would be able to order from the Unverified list, but Qwest can’t guarantee complete availability until decommissioning is complete and the site verified. The participants agreed with this change. It was agreed that the CR would move to CLEC Test on 9/6/02.

--

07/17/02 - July CMP Meeting Minutes: Qwest will issue documentation July 26, 2002. CR status remains development.


Open Product/Process CR PC100202-1 Detail

 
Title: Synchronization ("Router") Testing for Line Sharing
CR Number Current Status
Date
Area Impacted Products Impacted

PC100202-1 Completed
4/16/2003
Provisioning, Testing Line sharing, line splitting
Originator: Burke, Laurel
Originator Company Name: Qwest Corporation
Owner: Boudhaouia, Jamal
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Overview:

Qwest will begin offering data synchronization testing (aka, router testing) as an option for CLECs submitting line sharing orders in Central Offices where Qwest DSL has been deployed. Qwest commits to performing the same physical layer "router" testing for line shared loop provisioning that it provides to itself with data synchronization testing in those central offices in which Qwest currently deploys and those where it plans to deploy Qwest DSL.

Qwest does not propose a separate recurring or non-recurring charge for Data Synchronization/"router" testing at this time, but does reserve the right to propose alternate rate structures for line sharing in future rate proceedings.

Qwest commits to implement router testing for line shared loop provisioning as soon as practical but no later than the end of first quarter 2003.

Required Information:

In order to be eligible for data synchronization testing on line sharing orders, Qwest must know what type of DSL technology the CLEC is utilizing in itsDigital Subscriber Access Multiplexer (DSLAM). Thus, if a CLEC wishes to take advantage of this testing option and to ensure the correct test is performed, specific DSL technology type information to must be provided to Qwest. When performing data synchronization testing, Qwest DSL test equipment can support the following DSL technologies: DMT, CAP, G.lite,T1.413.

Special considerations: If a CLEC uses more than one technology in a given Central Office location, the specific technology for each splitter shelf must be identified separately. If a CLEC would like to designate a desired technology on a regional or state wide basis, it may do so; however, APOTs for each location must still be submitted. MVL technology is not supported by the DSL test set and if a CLEC utilizes this type of technology, when provisioning the line sharing order, the Qwest personnel will revert to the LSVT test. In cases where line sharing orders are submitted for Central Offices where Qwest DSL is not provided, no data synchronization testing will occur, however, Qwest will continue to perform continuity testing utilizing LSVT test sets. That is, there will be no change to the line shared loop provisioning process. The following website contains central office locations where Qwest is currently providing DSL and therefore will be available for synchronization testing: http://www.qwest.com/disclosures/netdisclosure459/index.html

For each Central Office location in which a CLEC would like to obtain data synchronization testing, the following needs to be provided:

- The completed final APOT (this was provided by Qwest to the CLEC when the splitter was installed).

- For each APOT indicate the type of technology being used for each splitter shelf. Any of the following technologies may be indicated: DMT, CAP, G.lite, T1.413

NOTE: If information is not received about the type of technology in conjunction with a specific APOT the CO tech will continue to perform the LSVT for your new line sharing/shared loop orders.

***To include sites already provisioned with splitters in the initial deployment of data synchronization testing for newly installed line sharing/shared loop orders, this information must be provided to the CPMC, via email to rfsmet@qwest.com with the subject line of synch test, no later than 4pm MST November 1, 2002.

All questions should be addressed to your Wholesale Collocation

Project Manager.

Expected Deliverable: Qwest will begin offering data synchronization testing as an option for CLECs submitting line sharing orders in Central offices where Qwest DSL has been deployed.


Status History

10/02/02 - CR Submitted

10/04/02 - CR Acknowledged

10/04/02 - Clarification Meeting Scheduled

10/04/02 - Conducted clarification meeting with SME

10/16/02 - October CMP Meeting - Qwest clarified this CR. Meeting minutes are posted to this CR's Project Meetings section.

10/16/02 - CR moved to Evaluation status.

10/22/02 - E-mail from Covad regarding data needed for synchronization testing

10/23/02 - E-mail from Qwest to Mike Zulevic at Covad regarding data needed for synchronization testing

10/24/02 - E-mail from Qwest to Beckie Neesen at Covad regarding data needed for synchronization testing

10/27/02 - E-mail from Covad regarding timeframe to provide Qwest with data for synchronization testing

10/28/02 - CLEC Community Meeting held. Meeting minutes are posted to this CR's Project Meetings section.

10/28/02 - E-mail from New Edge Networks attachment, APOTS

10/29/02 - E-mail from Qwest to New Edge Networks asking for Technology used at APOTS

11/01/02 - E-mail from Qwest to Tina Thompson at New Edge Networks regarding locations where Qwest DSL not deployed

11/01/02 - E-mail from Covad regarding timeframe to send Qwest final APOT and technology information

11/15/02 - Initial Response posted to web site

11/20/02 - November CMP Meeting - Qwest presented initial response. Meeting minutes will be posted to this CR's Project Meetings section.

12/11/02 - Qwest Draft Response dated 12/5/02 posted to the web site

12/18/02 - December CMP Meeting - Qwest presented revised draft response to this CR. Meeting minutes will be posted to this CR's Project Meetings section.

12/23/02 - Qwest issued IMA 11.01 Draft Release Notes, IMA User's Guide 11.01 SYST.12.20.02.F.04223.GUI28DySysDocRev1

12/30/03 - Qwest issued IMA 11.01 Final Release NotesSYST.12.27.02.D.04230.21DyIMAFinalDocRel

01/06/03 - Product Notification sent, PROD.01.06.03.F.00893.ColloProdupdates, PCAT updates

01/15/03 - January CMP Meeting - Qwest presented updated response. Meeting minutes will be posted to this CR's Project Meetings section.

01/27/03 - Qwest issued Final Notification. Notification PROD.01.27.03.F.03300.FNL_Collo_Pro_Updates. Effective date of change is 2/11/03.

02/19/03 - February CMP Meeting - Status of CR was discussed. Meeting minutes will be posted to this CR's Project Meetings section.

03/19/03 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/16/03 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

04/16/03 April CMP Meeting Jamal Boudhaouia with Qwest provided an overview of the synchronization testing process when CLEC submits a line share order with synchronization testing requested. The COT tests for load coil and if there is load coil detected, the order is placed in jeopardy. If no load coil is detected, the tech will place OE and facility and draw dial tone at ANI. If the assignment is correct, the tech will verify the line is not busy. If the line is busy, the tech will place on hold and check every 30 minutes. After the line is no longer busy, the tech will terminate the new jumper to the line splitter and ANI line circuit. If failed, trouble shoot at ICDF. Then test LSVT and get remark from FOM order if sync test has passed sync is completed. If test has not passed, then test DSLAM on 410 block. If there is a problem, resolve the problem and if fails because of splitter issues, use S1 jep code. If problem is in the first port on splitter, the tech will attempt to change the card.

Mike Zulevic with Covad asked if the 350 test set is used at the 410 block and Jamal said yes. Mike asked if there is a problem at the splitter where Qwest provides maintenance, how will that be handled. Jamal said if there is more than one customer, will not take a customer out of service. Mike asked if Qwest will strap around the ICDF and jep the order S1 and Jamal said yes. Mike asked how would Qwest jep the order before sync testing if there was a problem in the splitter and need to get clearance. Jamal said that the S1 jep is for the data stream from DSLAM and the A8 jep code would be used if the splitter has an issue. Mike said that Covad is looking for something to help both Qwest and CLEC techs understand how sync testing is performed. When Covad techs are dispatched they need to have testing information available in the central office. Mike would like to close this CR on the condition the synchronization testing process documentation is posted in the central offices. This CR was moved to Completed status.

03/19/03 March CMP Meeting Heidi Moreland with Qwest provided an update on the change request and said that Synchronization Testing has been implemented and all is running smoothly. There were no questions and Qwest had anticipated that Covad would ask for information regarding Qwest process for Synchronization testing. The following is an outline of steps performed by Qwest Central Office technicians for Synchronization Testing:

Heat coils are removed from protector at the MDF and TPI 350+ test set is connected to binding posts to test. Synch test with Acturna TPI 350+ test set is performed and test is run until green light verifies test is completed. If the synch test fails, technician will verify that all terminations and jumpers are correct. If trouble is isolated to the DEMARC 410 block the tech will jep the order. If splitter problems are discovered, CO Tech will jumper around the splitter to maintain voice service and place the order in jeopardy.

This CR was moved to Completed status. It has been reopened since the initiating CLEC was off line during a portion of the 3/19 CMP meeting. Qwest will keep the CR open for one more session to give the CLEC another opportunity to bring forth any comments.

02/19/03 February CMP Meeting Jamal Boudhaouia with Qwest provided an update and said that systems have been tested, are working, and Qwest has been receiving orders from the CLECs. Mike Zulevic with Covad asked for the jeopardy code and Jamal said it is S1, and was provided in IMA 11.01 User’s Guide. This CR will be moved to CLEC test.

01/15/03 January CMP Meeting Jamal Boudhaouia with Qwest reviewed the updated response. Jamal said that documentation of the PCAT is available on the web for review. Mike Zulevic with Covad asked if Qwest had deployed in any central offices and if the jep codes will be provided. Jamal responded that Qwest will deploy in central offices on 3/1/03 and the jep codes will be provided. This CR will remain in Evaluation status.

12/18/02 December CMP Meeting Jamal Boudhaouia presented the Qwest update on this CR and said that documentation updates will be made to include Synchronization Testing will soon be available for CLEC review. Mike Zulevic with Covad asked about the jeopardy code from Telecordia and if implementation is on track for completion by end of 1Q03. Jamal said that Qwest is on track for implementation during 1Q03. This CR will remain in Evaluation status

11/20/02 November CMP Meeting Laurel Burke reviewed the Qwest draft response dated 11/4/02. Laurel said that we are on track for implementation in the first quarter of 2003. There is Telcordia software that will be loaded and tested 12/19/02. Mike Zulevic with Covad asked if Qwest expected to deploy by the end of year and Laurel said that the systems concerns were larger than anticipated and Qwest does not expect to trial before the end of the year. Barry Orrel explained that Qwest is using an off the shelf expansion for jeopardy codes and have found some bugs that will not be fixed until December. Mike Zulevic with Covad asked if customer not ready jeopardy code could be used and Barry said that we are using a new jeopardy code specific to synchronization testing. Mike asked about deployment of Qwest DSL in offices currently not available. Barry Orrel said that the Qwest process isn’t quite worked out and we expect it will be similar to the joint planning process. John Berard with Covad asked how many jep codes there would be and Laurel Burke replied there will be one new jep code. Mike Zulevic asked if synchronization testing would be used in trouble isolation and if similar testing would be done on UNE and second lines. Barry Orrel responded that Qwest wants to understand the value added, if any, on the provisioning side after deployment for line sharing.

From: Linda Sanchez-Steinke Sent: Friday, November 01, 2002 2:50 PM To: ththompson@newedgenetworks.com Cc: lburke@uswest.com Subject: Sync Testing - New Edge offices not eligible Tina -

Please see attached e-mail from Laurel Burke regarding Change Request PC100202-1, Synchronization "Router" Testing for Line Sharing.

Thank you Linda Sanchez-Steinke Change Request Project Manager Wholesale Markets Qwest 303 965-0972 Forwarded by Linda Sanchez-Steinke/GROUPWARE/USWEST/US on 11/01/2002 03:44 PM lburke@qwest.com on 10/31/2002 12:12:21 PM

To: Linda Sanchez-Steinke cc: Charlis Miller , Kristin Provost , Barry Orrel Subject: Sync Testing - New Edge offices not eligible Linda - Please share with New Edge the attached spreadsheet of the locations where New Edge submitted APOTs but where Qwest DSL has not been deployed. Since Qwest DSL has not been deployed, these offices will not be included in the initial sync testing development/deployment. If Qwest DSL becomes available in any of these offices in the future, Qwest stands ready to accommodate a subsequent New Edge request according to the process identified during development, at the time Qwest DSL is deployed.

Thank you and please feel free to call me with any questions, Laurel Burke 303-707-7014

11/1/02 12:36p From: Mike Zulevic To:"'Laurel Burke'" cc:Linda Sanchez-Steinke , "Neesen, Beckie" , Barry Orrel , "Caron, Sandra"

Subject:RE: router test information requirements Laurel,

Thanks for the update. We will do our best to meet this time frame.

Mike Z.

From Laurel Burke @qwest.com 10/29/02 11:07 a.m. To:Tina Thompson cc:Linda Sanchez-Steinke , "Rinehart, Rock" , Barry Orrel

Subject:Sync Test

Tina - Thank you for your very timely response to our information request related to synchronization testing. One question remains open though, from my brief review, I don't see in the APOTs you provided yesterday the type of technology New Edge will use. From the information you provided in the conference call yesterday 10/28, I understand that DMT is the only technology that New Edge utilizes for line sharing/shared loop applications. Is that correct? If so, do you want the APOTs you provided yesterday associated with DMT technology?

Thank you for your assistance, Laurel Burke

From: Tina Thompson @newedgenetworks.com 10/28/02 1:53 p.m. To:"'ljsanch@qwest.com'" , "'frsmet@qwest.com'" cc:"Benton, Jerome" , TAC Leads , "Rinehart, Rock"

Subject:Synch Test

- C.htm - New Edge LS APOTs.zip

From:Laurel Burke 10/29/02 at 5:37 p.m. To:"Zulevic, Michael" cc:Linda Sanchez-Steinke , "Neesen, Beckie" , Barry Orrel , scaron@covad.com

SubjectRe: router test information requirements

Mike - Thank you for the feedback; in lieu of requiring the final APOT and the technology for each location, Qwest has agreed to accept a spreadsheet with the necessary information. Since we too have an interest in testing beginning sooner rather than later, in the interest of time, we can accept Covad's information in "chunks" - i.e. a state at a time. To stay on track, we would like to complete entry your information into our systems before the end of November. Beckie, before her vacation, indicated that the week of Thanksgiving was feasible to complete the data transfer to us. Although I was unable to touch base with Sandra Caron again today, I spoke with her yesterday after the call and she indicated that Covad could provide a proposed schedule of states.

Thanks, Laurel

Meeting Minutes Synchronization ("Router") Testing for Line Sharing October 28, 2002, 1-877-572-8687, Conference ID 3393947# 10:00 a.m. - 11:30 a.m. Mountain Time

List of Attendees Chuck Browitt, Covad Tina Thompson, New Edge Networks Rocky Rinehart, New Edge Networks Carla Pardee, AT&T Sandy Blake, Covad Sandy Caron, Covad Jonathan Spangler, AT&T Laurel Burke, Qwest Susan Earley, Qwest Deb Smith, Qwest Charliss Miller, Qwest Kristin Provost, Qwest Brad Hoffner, Qwest Barry Orrel, Qwest Linda Sanchez-Steinke, Qwest

PURPOSE At the October CMP Meeting, participants agreed to hold a conference call and include CLEC technical experts for an overview of proposed Synchronization Testing and a time for questions and answers to be addressed. The following is the write-up of the discussions, action items, and decisions made in the working session.

MEETING MINUTES The meeting began with Qwest making introductions and welcoming all attendees.

Overview of Synchronization Testing Laurel Burke with Qwest provided an overview of Data Synchronization "Router" Testing as a provisioning option for CLECs on Line Shared Loops in Central Offices where Qwest has deployed Qwest DSL. She further indicated that this option will also be available in those Central Office where Qwest deploys Qwest DSL in the future. Qwest will continue to perform LSVT testing for CLECs that don’t want the Synchronization Testing option as well as in those offices where Qwest DSL has not been deployed. Qwest does not propose a separate or incremental recurring or non-recurring charge for Synchronization Testing at this time, but does reserve the right to propose alternate rate structures for line sharing in future rate proceedings. Qwest provided an overview of the testing procedures that are performed between the protector /MDF and the CLEC provided DSLAM. Laurel said that by offering this option, Qwest wants to meet CLEC needs and then opened up the discussion for questions.

Questions and Answers Rocky Rinehart with New Edge Networks asked how testing was performed using the router. Laurel Burke said that Qwest utilizes a vendor provided test set to test the physical layer of the data signal from the protector/MDF to the CLEC DSLAM. The technician plugs the test set in and if test set shows that the data syncs up, then Qwest will complete the order; if data fails to sync up according to the test set reading, then a jeopardy code will be assigned on the order.

Tina Thompson with New Edge asked if the test at the MDF will be extended to the loop. Laurel stated that because Qwest does not use the DSL test set to test its own loop, the proposed router test will not test CLEC loops as well..

Jonathan Spangler with AT&T asked if the test will be requested on the order and if they will need to do re-applications for existing collocations. Laurel Burke said that on new collocations, the application form will ask for a technology to be designated (if synchronization testing is desired). If Synchronization Testing is desired for existing collocations (sites that have already been pre-provisioned for line sharing) to be included in the initial deployment, send Qwest an e-mail now as directed by the notification for this meeting.

Chuck Browitt with Covad asked if on MDF sync, if there is no sync, if Qwest tests at the cable head. Barry Orrel indicated that if it won’t train we check for wiring problems and we isolate the problem to the DMARC. Chuck also asked if the testing will give a margin rate. Laurel said no it will train or not train. Barry added that router testing for line shared loop provisioning will be performed only at the physical layer to ensure data connectivity.

Chuck Browitt asked if the router testing will be used for maintenance issues. Barry Orrel said that we use LSVT to the demarc for maintenance purposes.

Sandy Caron with Covad asked if there would be a charge for Synchronization Testing. Laurel Burke said Qwest does not propose a recurring or non-recurring charge for Synchronization at this time, and Barry Orrel added that we don’t see any additional charge now, but if additional costs are identified may seek recovery of those costs in state by state filings.

Laurel Burke said that she had heard that one CLEC was interested in Synchronization Testing and asked if other CLECs would be interested that she was hoping to have necessary information (final APOT and technology identified) by November 1, 2002. Susan Early with Qwest inquired into the type of information needed and Laurel indicated that the information on the final APOT is needed - more specifically, in addition to the splitter circuit count and location, Qwest needs CLEC CLLI, Job Identification/BAN, Wire Center code, Entity Code and ZCID. Qwest further indicated that if there were concerns with providing the information on a speadsheet or faxed APOTs including the information would likely be workable. Laurel Burked asked that CLECs let Qwest know and work with her if they are unable to get the information needed in the timeframe requested. Laurel Burke further asked that Sandy Blake of Covad contact her and said that Becky Niessen had been working with her last week.

Carla Pardee with AT&T said she had no specific information about interest in this option and while Tina Thompson with New Edge Networks indicated they are very interested. Questions about Synchronization Testing can be e-mailed to Linda Sanchez-Steinke, ljsanch@qwest.com and will be forwarded to Laurel Burke.

Qwest advised that the minutes will be posted to CR PC100202-1 on the CMP Web site. Qwest asked if there were any additional comments. No comments were made.

From: Michael Zuleviz@covad.com 10/27/02 5:15 p.m. To:"'ljsanch@qwest.com'" cc:"Laurel Burke (E-mail)" , "Neesen, Beckie" , "Barry Orrel (E-mail)"

Subject: router test information requirements Linda,

Beckie has been working with Laurel to try and find a way to get the data Qwest is requesting we provide prior to beginning the router, or "synch" testing. It still appears to me that Qwest should have this information available already, but we will attempt to comply with your request as quickly as we can. I have been informed that much of this data must be manually compiled which may take about 3 weeks. It would be unfortunate if this results in a delay in beginning the router, or "synch" testing of our line sharing orders. I would appreciate it if Qwest would take one more look at whether providing this information is really necessary prior to implementation of testing.

Thanks, Mike Z.

From: Laurel Burke 10/24/02 5:11 p.m. To:"Neesen, Beckie" cc"Zulevic, Michael" , Linda Sanchez-Steinke

Subject:Re: Sample APOT Data - DNVRCODC 10-23-02.xls

Beckie - Just to confirm our conversation, the info in the spreadsheet you provided is not enough. In addition to your technology selection(s), from the final APOT, we need: the WC code, Entity code, ZCid, Splitter location, Splitter Circuit count, CLEC CLLI and Job#/BAN.

If we have this information, we can work from either a spreadsheet or the APOTs themselves. Since the required information means more time (due to manual handling) needed from your perspective and an inability to meet the 11/1/02 timeframe outlined in the notice, we would prefer to receive your information in batches to minimize the potential effect on the deployment cycle.

As an aside, we will address this data/timeline modification with the CLECs who participate in the Monday call as well.

Please continue to keep in touch about the projected time required to complete your data gathering.

Thank you, Laurel Burke 303-707-7014

10/23/02 at 8:05 a.m From: Linda Sanchez-Steinke . To: Mike Zulevic @covad.com Mike -

Please see attached response from Laurel Burke.

Thank you

Linda Sanchez-Steinke CRPM 303-965-0972 Forwarded by Linda Sanchez-Steinke/GROUPWARE/USWEST/US on 10/23/2002 08:04 AM To:Linda Sanchez-Steinke cc:Barry Orrel

Subject: Re: router test data

Linda - I just spoke with the SWITCH guru and confirmed that Qwest needs to have the final APOT for each location. We want to ensure that we all are working from the same information as we update the records to include the specific technology. A spreadsheet such as the one Mike describes could be included but would not be enough in and of itself.

Thanks. Laurel Burke

"Zulevic, Michael" on 10/22/2002 12:48:11 PM To: "'ljsanch@qwest.com'" cc: "Neesen, Beckie" Linda,

Beckie has been working with Laurel to try and find a way to get the data Qwest is requesting we provide prior to beginning the router, or "synch" testing. It still appears to me that Qwest should have this information available already, but we will attempt to comply with your request as quickly as we can. I have been informed that much of this data must be manually compiled which may take about 3 weeks. It would be unfortunate if this results in a delay in beginning the router, or "synch" testing of our line sharing orders. I would appreciate it if Qwest would take one more look at whether providing this information is really necessary prior to implementation of testing.

Thanks,

Mike Z.

10/16/02 October CMP Meeting Barry Orrel with Qwest provided an overview of this CR and explained that the CR was initiated to offer Data Synchronization "Router" Testing as a provisioning option for CLECs on Line Shared Loops in Central Offices where Qwest has deployed Qwest DSL. Qwest also committed to expanding this option to newly deployed Central Offices. Qwest will continue to perform LSVT testing for CLECs that don’t want the Synchronization Testing option. Qwest will also continue to perform LSVT testing in those Central Offices that Qwest does not provision Qwest DSL. Qwest provided an overview of the testing procedures that are performed between the MDF and CLEC provided DSLAM. Router testing for line shared loop provisioning will be performed only at the physical layer to ensure data connectivity. The outcomes of the Synchronization Test are 1) data syncs up, then Qwest will complete the order, 2) if data does not sync up, then a jeopardy code will be assigned on the order. At this time Qwest does not propose a separate or incremental recurring or non-recurring charge for Synchronization at this time, but does reserve the right to propose alternate rate structures for line sharing in future rate proceedings. Sharon Van Meter with AT&T pointed out that the CR does not reference the disclaimer about reserving the right to propose rate structure changes. Barry Orrel agreed and the CR will be updated and include the information. Qwest explained that we would like to move forward and implement in 1Q03 or sooner and do have dependencies with delivery of vendor provided software and CMP. Laurel Burke with Qwest asked that CLECs interested in Synchronization provide DSLAM and Splitter APOT information, and the technology they are using. This information should be e-mailed to the CPMC by November 1, 2002. AT&T asked if a conference call could be held to include their technical experts. A notification of proposed meetings, either next Thursday or Friday will be sent to the CLEC community and a date for Overview and Question and Answer will be selected and final notification provided. Michael Buck with Qwest discussed the CMP process, Section 5.4.5.1.and the participants agreed that it would be a Level 4 Change and will follow the process for Level 4 Change. The next step is to send out a notification of possible meeting times today, at the latest tomorrow. Jamal Boudhaouia with Qwest asked that with the final meeting time notification if CLEC participants would send back any questions that may be asked during the meeting so questions can be researched ahead of time. The participants agreed to send questions and preference for meeting time to Linda Sanchez-Steinke, ljsanch@qwest.com. Sharon Van Meter asked that the CR more fully describe how Synchronization testing will work technically. Michael Buck said that the CR would be updated with meeting minutes from today’s discussion and further describe Synchronization testing.


CenturyLink Response

January 8, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at January’s CMP Meeting

SUBJECT: Qwest’s Change Request Response - PC100202-1 Synchronization ("Router") Testing for Line Sharing

The following is a progress update on the Synchronization Test project:

Qwest has reviewed and updated the following PCATs to include Synchronization Testing:

- Collocation - General PCAT - Adjacent Collocation - Facility Connected Collocation - Line Sharing/Shared Loop - Common Area Splitter Collocation

The Collocation Application and APOT forms have also been updated to include this new testing. These documents were distributed to the CLEC community for comments on January 7th per the CMP guidelines.

Sincerely,

Jamal Boudhaouia, Heidi Moreland Staff Adovcate, Policy & Law Local Network Technical Regulatory Qwest Corporation

cc: Barry Orrel, Director Local Network Technical Regulatory, Qwest Corporation Mary Retka, Director Local Network Technical Regulatory, Qwest Corporation

December 5, 2002

DRAFT RESPONSE For Review by CLEC Community and Discussion at November’s CMP Meeting

SUBJECT:Qwest’s Change Request Response - PC100202-1 Synchronization ("Router") Testing for Line Sharing

As Qwest has informed the CLEC community at the October 16, 2002 and the November 20, 2002 CMP meetings, the following is a progress update on the Synchronization Test project:

Qwest is currently reviewing the following PCATs for the purpose of including the Synchronization Testing:

- Collocation - General PCAT - Adjacent Collocation - Facility Connected Collocation - Line Sharing/Shared Loop - Common Area Splitter Collocation

Qwest is also reviewing the Collocation Application and APOT forms to include this new testing. Once these documents are updated, they will be distributed to the CLEC community for comments per the CMP guidelines.

Sincerely,

Jamal Boudhaouia Staff Adovcate, Policy & Law Local Network Technical Regulatory Qwest Corporation

cc: Barry Orrel, Director Local Network Technical Regulatory, Qwest Corporation Mary Retka, Director Local Network Technical Regulatory, Qwest Corporation

- November 5, 2002

DRAFT RESPONSE For Review by CLEC Community and Discussion at November’s CMP Meeting

SUBJECT:Qwest’s Change Request Response - PC100202-1 Synchronization ("Router") Testing for Line Sharing

At the October 16, 2002 CMP Meeting, Qwest introduced Change Request PC100202-1, Synchronization ("Router") Testing, as an option for Line Sharing in central offices where Qwest has deployed Qwest DSL. The synchronization test checks for physical layer continuity between the protector and the Digital Subscriber Line Access Multiplexer (DSLAM). To provide the testing for interested CLECs, Qwest must know what technology is in use at the CLEC DSLAM for each splitter shelf in central offices where Qwest currently provides DSL. Qwest requested that interested CLECs submit information identifying the type of DSL technology by November 1, 2002. To further clarify and explain the technical parameters of the test, Qwest also conducted an overview, question and answer session with the CLEC community on October 28, 2002 in which three CLECs and Qwest representatives participated. Following that meeting, two CLECs expressed an interest in the testing and Qwest is moving forward with the necessary updates to reflect their technology choices. We hope to complete the systems entry of CLEC provided information during 4th Quarter 2002.

Once the CLEC technology information has been entered into the appropriate systems, modifications made to process and methods documents, and all system upgrades from Telcordia implemented effectively, Qwest will be able to deploy synchronization testing for line sharing in those offices where Qwest DSL has been deployed. We anticipate being able to begin synchronization testing in those offices with Qwest DSL no later than the end of 1st Quarter 2003, and, as Qwest DSL becomes available in additional offices, synchronization testing will be offered in those offices.

As agreed to at the October CMP Meeting, this Change Request will be treated as a Level 4 change and Qwest will propose changes to the CLEC Community as required in the CMP process.

Sincerely,

Laurel Burke Staff Adovcate, Policy & Law Local Network Technical Regulatory Qwest Corporation

cc: Barry Orrel, Director Local Network Technical Regulatory, Qwest Corporation Mary Retka, Director Local Network Technical Regulatory, Qwest Corporation


Open Product/Process CR PC080602-1 Detail

 
Title: Obsolete Scan Alert in AZ, CO, IA, ID, MN, MT, NE, ND, NM, SD, UT, and WY
CR Number Current Status
Date
Area Impacted Products Impacted

PC080602-1 Completed
8/18/2004
Ordering Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Andreen, Doug

Description Of Change

Revised Description of Change 05-19-04

Obsolete Scan Alert in AZ, CO, IA, ID, MN, MT, NE, ND, NM, SD, UT, and WY

Because Qwest Retail does not offer Scan Alert in AZ, Qwest Resale will make Scan Alert in AZ obsolete on 11/6/02.


Status History

08/06/02 - CR Submitted by Qwest

08/06/02 - CR acknowledged by P/P CMP Manager.

08/07/02 - CR Posted to Web

08/07/02 - Contacted Qwest SME and discussed requirements of the CR.

08/21/02 - CMP Meeting - Qwest presented CR and CR will move into development status.

09/12/02 - Posted Qwest letter dated 9/11/02

09/18/02 - September CMP Meeting - Qwest presented CR and CR will move to Deferred. Meeting minutes will be posted to this CR's Project Meetings section.

05/19/04 - May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

05/24/04 - Qwest issued PROD.05.24.04.F.01711.ScanAlertV4, proposed effective date 7/8/04

06/16/04 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

06/23/04 - Qwest issued Product final notice PROD.06.23.04.F.01803.FNL_ScanAlertV4 effective date 7/25/04

7/21/04 -July CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

8/18/04 -August CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

CMP Meeting 8/18/04 Doug Andreen reported the CR was effective July 25. The CR will move to Completed status.

-- 7/21/04 CMP Meeting Janean Van Dusen, Qwest said the effective date will be 7/25. The final notice was sent 7/8. The CR will move to Test status.

- 06/16/04 June CMP Meeting Janean Van Dusen with Qwest said this CR will be effective on 7/8/04 and final notice will be sent 6/23/04. This CR will remain in Development Status.

05/19/04 May CMP Meeting Janean Van Dusen with Qwest said this CR had been in deferred status and we have received FCC approval. We would like to revise the CR to include all states except WA and OR. There are no customers in other states and the effective date will be 7/8/04. Linda Sanchez-Steinke will update the CR to include all states except WA and OR. This CR will move to Development Status.

09/18/02 September CMP Meeting Qwest advised that after initial work to obsolete Scan Alert in Arizona, found that the FCC needs to approve the change, and Qwest would like to move this CR into a deferred status. Worldcom asked if Qwest would offer Scan Alert in Washington and Oregon. Qwest stated that Scan Alert would only be obsolete in Arizona. All agreed that this CR will be moved to Deferred status.

08/21/02 - August CMP Meeting Minutes: Qwest advised that Retail will no longer offer Scan Alert in Arizona effective November 6, 2002. Allegiance asked if the product will be removed from customers that currently have it and Qwest responded that there are no retail customers that have the product. It was agree that the CR will be moved to Evaluation status.


CenturyLink Response

September 11, 2002

For review by CLEC Community and discussion at September’s CMP Meeting

SUBJECT: Qwest’s Change Request – PC080602-1 “Obsolete Scan Alert in Arizona.”

This CR was issued to make the product “Scan Alert” obsolete in Arizona. Qwest issued this CR to make the resale of Scan Alert in Arizona obsolete on 11/6/02.

Since submission and presentation of this CR at the August Product & Process Monthly Meeting, Qwest has been made aware that the timeline for making Scan Alert obsolete in Arizona has been delayed and no new timeline is available.

At the September Monthly Product & Process CMP Meeting, Qwest will seek concurrence with CMP participants to update the status of this CR to "Deferred" status. Qwest will periodically review the status of this Change Request and, if conditions warrant, Qwest may explore other options for implementing this change.

Sincerely,

Janean Van Dusen Associate Product Manager, Qwest


Open Product/Process CR PC081302-1 Detail

 
Title: Qwest to establish a standard business day minimum DD on Port In to Resale/UNE P, 1 + Lines.
CR Number Current Status
Date
Area Impacted Products Impacted

PC081302-1 Completed
7/16/2003
Ordering, Provisioning LNP, Resale, UNE-P
Originator: Wells, Joan
Originator Company Name: Qwest Corporation
Owner: Wells, Joan
Director:
CR PM: Harlan, Cindy

Description Of Change

Revised 08-30-02

In an effort to improve the existing process associated with the Wholesale Resale/UNE Local Service Providers (LSP) Port In activity to the Qwest network, Qwest recommends and will implement changes to the current FOC and Due Date intervals.

Currently, upon receipt of the NLSP’s (New Local Service Provider’s) LSR, Qwest sends an LSR to the OSP (Old Service Provider) and waits to receive an FOC back, before issuing the internal Qwest order to complete the port in activity and confirm the port DD.

Delays in receiving timely FOC’s from the CLEC OSP, affect Qwest’s ability to FOC the NLSP in a timely manner and causes delays in installation.

Qwest recommends the following intervals:

Simple Service, 1FR/1FB service, 1-50 lines ported, minimum 6-business days

Complex Service (PBX, Trunks, ISDN, Centrex) 1-25 lines or trunks ported, minimum 6 business days

Simple Service, 1FR/1FB service, 51+ lines ported, minimum 10-business days

Complex Service (PBX, Trunks, ISDN, Centrex) 26 + lines or trunks ported, minimum 10 business days

Qwest will send the LSR to the OSP with nothing less that a 6 or 10-business day interval and issue our internal order. This allows Qwest to FOC the order to the NLSP upon issuance of the LSR to the CLEC OSP, based on FOC guidelines for the specific product ordered.

Qwest will then follow-up for receipt of the FOC from the OSP. On the 6th or 10th business day, if the FOC has been received from the OSP, no further action is needed and the port will proceed to activate as scheduled. If the FOC has not been received, Qwest will proceed with the port in activation and send a supplement to the CLEC OSP. Qwest will advise the OSP that the port is proceeding as scheduled and that they need to remove the TN(s) from their switch on the designated DD and FDT (Frame Due Time). No mechanized system changes are needed for this process.

Qwest currently has documented service intervals for LNP port out that are equal to or far less than the 6 or10-day proposed intervals and feels this proposal greatly improves the port in process for the Wholesale Resale and UNE Providers.

The complete detailed process, along with expectations of both the Wholesale Resale/UNE Provider NLSP and the CLEC OSP will be provided on the clarification call.

Expected Deliverable:

The expectation of this deliverable, once reviewed with the CLEC community, is that Qwest will be able to supply a timely FOC to the NLSP which allows greater planning for the NLSP, as a more definite defined due date is established. Qwest’s proposal is to implement this new process within 30.


Status History

08/12/02 - CR Submitted by Qwest

08/13/02 - CR acknowledged by P/P CMP Manager.

08/14/02 - CR Posted to Web

08/13/02 - Contacted Qwest SME and discussed requirements of the CR.

08/21/02 - CR not submitted by cut-off date. Additional work is needed prior to introduction at CMP Meeting.

08/30/02 - Received Revised CR from Qwest

09/18/02 - September CMP Meeting Joan Wells Qwest introduced CR. It was agreed that the CR could move into Evaluation. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 10/16/02.

10/03/02 - Mailout notification completed for schedule of meetings and Attachments A-C, CMPR.10.03.02.F.01336.Mtg_For_Resale_UNEP

10/07/02 - Mailout notification completed for Attachment D, CMPR.10.07.02.F.01337.Resale_UNEP_Document

10/10/02 - Held first Introductory CLEC meeting scheduled for 10/10/02 per mailout notification

10/15/02 - Held second Introductory CLEC meeting scheduled for 10/15/02 per mailout notification

10/16/02 - October CMP Meeting - Meeting discussions and minutes will be posted to the Project Meetings section

10/22/02 - Held first working session CLEC meeting scheduled for 10/22/02 per mailout notification

10/24/02 - Held second working session CLEC meeting scheduled for 10/24/02 per mailout notification

10/29/02 - Held third working session CLEC meeting scheduled for 10/29/02 per mailout notification. Agreed to update and distribute process document based on working sessions. Eschelon volunteered to trial this process approximately November 1-15. Qwest will schedule another meeting to review the results of the trial and any outstanding issues.

10/31/02 - Mailout notification distributed with updated process, industry flow attachments, and next meeting notification for November 19, 2002.

11/19/02 - Held CLEC meeting to review the results of the trial with Eschelon. ATT identified items to change in the process and Qwest agreed to incorporate the requested changes to the process. Agreement reached to share results at monthly CMP meeting and to extend the trial for all Port In to Resale/UNE-P 1+lines activity.

11/20/02 - November CMP Meeting Joan Wells shared results of trial and proposed to extend the trial to all Port In to Resale/UNE-P 1+ lines activity.

11/26/02 - Notification sent out offering 3 meeting options to review results of extended trial

11/27/02 - Notification sent out providing copy of updated process and advising the trial has been extened to all LNP Port In to Resale/UNE-P LSR activity

12/03/02 - Notification sent out advising meeting scheduled for December 11, 2002 12:00 - 1:00 pm mdt to review the results of the extended trial

12/11/02 - Held CLEC meeting to review the results of the Extended Trial for all LSR Port In to Resale/UNE-P activity. See meeting minutes for more details.

12/18/02 - December P/P CMP Meeting notes will be posted to the Project Meeting section. Process trial extended and still underway. An issue was identified by Allegiance and the team agreed to schedule another meeting to work on the identified issue. A meeting notification will be created and sent out. The team agreed to continue with the extended trial and process orders using the proposed process.

12/30/02 - Notification sent out Document Number: CMPR.12.30.02.F.01384.MtgTimes_CR081302-1, CMP Meeting Options Notification for LNP Port In to Qwest Resale/UNE-P

01/02/03 - Meeting day and time selected for LNP Port In to Qwest Resale/UNE-P 'Gap Review Meeting'. Thursday, January 9, 2003, Time: 9:00 am to 10:00 am (MST7MDT), Location: 1-877-572-8687 3393947#

01/09/03 - Held CLEC working session to review issue discussed at December CMP meeting. Notes are posted to the project meeting section of the database.

01/15/03 - CR discussed at CMP Meeting

1/24/03 - Notification of updated process sent out - updated process included agreements made at the Jan. 9 CLEC working session meeting

02/19/03 - February CMP Meeting Minutes will be posted to the Project Meeting section of the database.

03/19/03 - March CMP Meeting minutes will be posted to the Project Meeting section of the database.

4/16/03 - April CMP Meeting minutes will be posted to the database

5/21/03 - May CMP Meeting minutes will be posted to the database

6/18/03 - June CMP Meeting minutes will be posted to the database

7/16/03 - July CMP Meeting minutes will be posted to the database


Project Meetings

07/16/03 - July CMP Meeting Joan Wells – Qwest advised this process is published and working. Bonnie Johnson-Eschelon advised it is okay to close this CR. This CR will move to Completed status.

06/18/03 - June CMP Meeting Cindy – Qwest advised this CR is in the same status as Joan’s other two CRs and we should leave this in CLEC Test one more month.

05/21/03 - May CMP Meeting Joan Wells with Qwest said that documentation has been provided on the document review website and the comment cycle has been completed. The effective date is 5/13/03. This CR will move to CLEC Test status.

04/16/03 - April CMP Meeting PC081302-1: Standard Business Day Minimum DD on Port In to Resale/UNE-P, 1+Lines Joan Wells – Qwest reported the PCAT was released on target. This CR will stay in Development status.

03/19/03 - CMP Meeting Joan Wells – Qwest reported the PCAT is on target for release April 1, 2003. This CR will stay in Development status.

02/19/03 - CMP Meeting Cindy Macy–Qwest reported we are creating the PCAT documentation for this CR along with the other two open CRs that impact the Port In process. The target date for the CLECs to review the documentation is April 1, 2003.

01/15/03 - CMP Meeting

Wells-Qwest stated that Qwest and the CLECs had conducted a call in early January and that Qwest would make the process changes discussed in that meeting and distribute a notification announcing them. CR remains in Development.

Meeting Minutes for CLEC working session for CR PC081302-1 LNP Port In to Qwest Resale/UNE-P

January 9, 2003 9:00 – 10:00 a.m. MDT Conference number: 1-877-572-8687 3393947#

In Attendance: Steve Reynolds Ernest Communications Cindy Macy Qwest Scott Ellefson Qwest Jill Anderson Qwest Lori Mendoza Qwest Bill Markert Eschelon Jonathan Spangler ATT Lydell Peterson Qwest Joan Wells Qwest

The team met to review the issue identified by Allegiance during the December CMP Meeting. Cindy- Qwest shared Bonnie Johnson Eschelon’s concern and understanding of the issue. Eschelon’s concern is that if Qwest has contact with the old service provider via a reject we should not continue to port the service until we resolve the reject. In addition, Eschelon explained they believe the issue was caused by a difference in the standard intervals between this process and Allegiance and potentially other CLECs.

Joan Wells Qwest and Lori Mendoza Allegiance agreed this is their understanding of the issue also. Lori Mendoza-Allegiance explained their intervals are different than what Qwest has in the process. Allegiance has the following intervals: Less than 10 lines=5 bus days 11-20 =7 bus days 21-40 =10 bus days 40+ =negotiated

Joan advised Qwest would expect the CLEC to reject the request back to us within 48 hours and change the due date to meet their service interval. Qwest would then honor the FOC of the due date returned to us. Joan explained 2 options: 1st option: FOC back with date the service provider can support 2nd option: Reject LSR and advise the next available date that can be supported and Qwest would supp the LSR

Joan clarified in the issue Allegiance is sharing Qwest received the Reject on the due date. The CLECs agreed Qwest can not stop the Port on the due date as the port has potentially already occurred.

Joan agreed to change the process to prevent this from occurring again. The process will be updated so Qwest will notify the CLEC 1 day prior to the Due Date if we are going to port. Qwest will also recalculate the standard interval if we receive a reject or supp. We will start the calculation over.

Joan reviewed the escalation process.

Jonathan Spangler – ATT explained the requested due date is just a requested due date. It is not the FOC or committ date. The winning CLEC is requesting a due date but it is the commitment of the old CLEC to FOC back a committed due date. Joan Wells agreed.

Lori Mendoza- Allegiance advised if the above stated changes are made to the process it should alleviate her issues.

Next steps include for Joan to update the process based on the changes agreed to. Cindy will redistribute the process via a notification the week of January 20. Status will be provided by Joan Wells at the January CMP meeting. After the process is redistributed the PCAT will begin to be created/updated.

12/18/02 December CMP Monthly Meeting Qwest-Joan Wells reviewed the data that was gathered during the extended trial. Wells explained the process is working as developed. Allegiance-Mendoza described an issue that occurred when they were the old service provider. Allegiance rejected the LSR but the TNs were ported by Qwest anyway, based on the outlined trial process. Qwest contacted the Service Manager to help work the issue on the scheduled due date. The reject occurred on the scheduled due date. Allegiance advised their intervals may be longer than Qwest’s current intervals which could have impact on the process. The team agreed another working session would be scheduled to review the data to determine if this is an isolated incident or if a change should be made to the process to prevent this from occurring again. The meeting should be held before January 16, 2003 to accommodate Lori Mendoza’s schedule. The extended trial will continue and if other issues surface that data will be reviewed.

12/11/02 - Held CLEC meeting to review the results of the Extended Trial to all LSR activity for Port In to Resale/UNE-P. Qwest provided data on the LSRs that came in during the extended trial period (see below). No additional issues came about as a result of the extended trial. The team agreed we would continue with the trial until full implementation occurs. Next steps include sharing information at the December CMP Product Process meeting on 12/18/02. The process will be documented and follow Level 4 guidelines for implementation. If new issues arise after implementation they would be handled on an individual case basis utilizing your Service manager.

Out of 82 LSR's submitted for port in to Resale/UNE-P, 74% were FOC'd prior to the desired due date for that due date. 9% were rejected prior to the DDD 1% was ported without receiving an FOC 4% were cancelled by the NSP prior to the DD 12% with future due dates have not been FOC'd yet Average FOC interval was 4 days

11/20/02 November CMP Monthly Meeting Minutes - Qwest (Wells) reported three CLEC working sessions, a trial with Eschelon and a meeting to review the trial results are completed. Eschelon was happy with the results of the trial. Additional issues identified by ATT were addressed and the process will be updated to reflect the changes. Qwest advised they will extend the trial to all Port In to Resale / UNE-P activity. Qwest will create a Notification to advise the CLEC community the trial will be extedned to all Port In to Resale/UNE-P activity effective immediately. Qwest will attach the updated process document to the Notification. Qwest will schedule another review meeting in early December to gather any additional comments from the extended trial. Qwest will report trial status and findings at the December CMP Meeting. Qwest will then have the PCAT updated and made available for comments. This CR will remain in Development status.

11/19/02 - Held CLEC meeting to review the results of the trial with Eschelon. ATT identified items to change in the process and Qwest agreed to incorporate the requested changes to the process. Agreement reached to share results at monthly CMP meeting and to extend the trial for all Port In to Resale/UNE-P 1+lines LSRs.

10/29/02 - Held third working session CLEC meeting scheduled for 10/29/02 per mailout notification. Agreed to update and distribute process document based on working sessions. Eschelon volunteered to trial this process approximately November 1-15. Qwest will schedule another meeting to review the results of the trial and any outstanding issues.

10/24/02 - Held second working session with CLECs to review process, identify issues, and discuss potential trial.

10/22/02 - Held first working session with CLECs to review Industry flow documentation and identify and issues/action items related to implementing the Qwest proposed process.

10/16/02 - October CMP Monthly Meeting Minutes Qwest reported two introductory CLEC meetings have been held to discuss the CR and proposed process. Qwest requested the CLECS send to cmacy@qwest.com their Port Out interval information. Qwest verified the first working session is scheduled for October 22, 2002. This CR will remain in Development status.

10/15/02 - Held second Introductory Meeting with CLECs to share information about the CR and Qwest's Proposed Process.

10/10/02 - Held first Introductory Meeting with CLECs to share information about the CR and Qwest's Proposed Process.

09/24/02 - September CMP Meeting Minutes Qwest explained this CR would establish a standard 6 & 10 day business day minimum DD on Port In to Resale/UNE P, 1+lines. Currently the process is not working well as installation gets delayed for the NSP. The CLECs supported the CR and agreed on the Level 4 classification. The CLECs explained their interval process would have to change so there will be impact to the CLECs. We need to encourage as many CLECs as possible to attend the meetings. The team determined a series of meetings would be held to discuss the CR. Two introduction meeetings would be scheduled a few days apart to allow multiple times for CLECs to attend. Additional 1 1/2 hour working sessions would be scheduled to allow for comparison of intervals and discussion of issues and drive towards a standard interval that all CLECs can support. The CLECs should send their current intervals to Cindy Macy - Qwest to include in the meeting documentation. Meeting notifcation will be posted on the web.

08/21/02 - August CMP Meetig Minutes CR not submitted by cut-off date. Additional work is needed prior to introduction at CMP Meeting.


CenturyLink Response

09/18/02 Qwest Response: Provided status update at September CMP meeting. Qwest explained this CR would establish a standard 6 & 10 day business day minimum DD on Port In to Resale/UNE P, 1+lines. Currently the process is not working well as installation gets delayed for the NSP. The CLECs supported the CR and agreed on the Level 4 classification. The CLECs explained their interval process would have to change so there will be impact to the CLECs. We need to encourage as many CLECs as possible to attend the meetings. The team determined a series of meetings would be held to discuss the CR. Two introduction meeetings would be scheduled a few days apart to allow multiple times for CLECs to attend. Additional 1 1/2 hour working sessions would be scheduled to allow for comparison of intervals and discussion of issues and drive towards a standard interval that all CLECs can support. The CLECs should send their current intervals to Cindy Macy - Qwest to include in the meeting documentation. Meeting notifcation will be posted on the web.


Open Product/Process CR PC101802-2IGX Detail

 
Title: Implement new Industry Dispute form (Crossover CR SCR090402 01IG)
CR Number Current Status
Date
Area Impacted Products Impacted

PC101802-2IGX Completed
10/17/2002
All
Originator: Kriebel, Sue
Originator Company Name: Qwest Corporation
Owner: Kriebel, Sue
Director:
CR PM: White, Matt

Description Of Change

Requesting CLECs use the new revised Dispute Format developed at the OBF. We would like to receive our disputes in the format agreed to at the Industry for OBF issues 2002, 2307, & 2348. This form provides for disputes to be detailed at the Bill/Summary Bill/Ban level. Also to be provided will be the reason code for charges in dispute. See attached dispute template in word format. It can also be submitted in the excel format developed.

On August 10, 1999 OBF issue 2002 - Standard Dispute Template- was opened and stated: Several providers have started sending out Dispute Templates to be followed by customers when they send disputes to the provider. In an effort to eliminate multiple dispute formats a Standard Dispute Format should be created for use by all providers and customers.

The issue was closed on November 11, 2000 with the following resolution: The Dispute File Specifications document has been created which establishes the record layout and requirements associated with the process to be followed for disputes other than PICC disputes. This document will be owned and maintained by the OBF Billing Committee and available on the ATIS Web Site.

It is expected that all customers and providers will follow the guidelines in the Dispute File Specifications document when filing and receiving disputes.

Then it was determined at the OBF billing committee that the template format created could be more user friendly and may need some additonal fields added. So, 2 additional OBF issues were opened to address these concerns. OBF issue 2307 and 2348 were opened. These issues addressed template additions and further definition on fields required for investigation on dipsutes submitted. As of August 21, 2002 (OBF 79) these issues are in Initial Closure.


Status History

9/4/02 - CR submitted

9/4/02 - CR acknowledged

9/9/02 - Clarification meeting held

9/9/02 - Status changed to clarification

10/10/02 - Communicator issued - CMPR.09.26.02.F.0133.Dispute_Form_CR

10/10/02 - Discussed at Monthly CMP Meeting - Please see Systems CMP Distribution Package Order CMP - Att D

10/17/02 - Status change to presented

10/18/02 - Created crossover PC101802-2IGX from SCR090402-1IGX

11/20/02 - Response presented at CMP Meeting. CR Closed.


Project Meetings

11/20/02 - CMP Monthly Product/Process Meeting

Kriebel-Qwest described the change and presented her response. Stichter-Eschelon asked if the notification would include language indicating that the change was optional. Kriebel-Qwest stated that she would put that language in the notification. Schultz-Qwest asked if there was any objection to moving this change to Level 1. Bahner-AT&T stated that there was none from AT&T. There were no other comments or questions. The CR status was updated to Completed.

===============================================================================

10/18/02 CMP Systems Meeting

Michael Buck/Qwest stated that process document calls for Industry Guidelines to be brought though the systems meeting. That applies even in the case where we know that it is a product/process request. Michael noted that a notice was sent and that as a result, Eschelon did submit a question; it was not an objection. There were no objections received to proceed with this request as an Industry Guideline CR. Michael Buck/Qwest-so after we finish discussing it, the appropriate thing will be to cross it over and continue talking about it in the Product/Process CMP Meetings going forward. Sue Kriebel/Qwest presented the CR and provided background and issue being discussed at OBF. The issue for enhancing the template was reviewed and put in initial closure in the August OBF. Will look to the November OBF for it to go into final closure. Sue stated that at OBF, the billing customer’s stated that as they file disputes, each provider had a different form. A lot of CLECs stated that it was difficult to manage. Issue 2002 was opened, for a template. The issue was resolved and documented. It was a Word document, an EXCEL document, and a comma delimited file. This worked for several companies but it was not user friendly. Issues 2307 and 2308 were for additional information, as applicable, and to make the format friendlier. The Word, EXCEL, and comma delimited file documentation was updated with the OBF issues. Qwest would like to implement the guideline form so Qwest can be provided the information needed for research and resolution of disputes. Sue asked if there were any questions. Carla Pardee/AT&T asked if the web site provides the location as to where to send the forms. Sue Kriebel/Qwest stated that the ATIS web site has the form that can be downloaded. That download can be used with the existing communication process. Carla Pardee/AT&T asked if the OBF had a guideline as to when disputes are to be done. Sue Kriebel/Qwest stated that no, those are policy issues and advised of the AT&T contact name. Bill Markert/Eschelon stated that Eschelon receives 80% of their bills via BillMate files. Eschelon sends disputes using the EXCEL spreadsheet. Is concerned about filling out 79 fields when giving Qwest all the information that Qwest needs. Bill stated that Eschelon currently provides Qwest with all the information that Qwest needs. Sue Kriebel/Qwest stated that she agreed with Bill (Eschelon) and that Qwest will still accept the spreadsheet that Eschelon is sending today (provided all information needed for a dispute is present). Qwest would like the face page information such as the bill date, dollar amount, total, etc. Sue stated that this is not a guideline that Qwest is imposing, Qwest is responding to the request for 1 format. Bill Markert/Eschelon stated that Eschelon already provides the BAN and information so why the need to fill out another page. Sue Kriebel/Qwest stated that you will not be providing all 79 fields, if you are currently providing all the necessary information. Sue reiterated that Qwest is not imposing this. The guideline is for the information that is needed be provided for the dispute. Sue stated that as long as Qwest is given what is needed, Qwest will not make you fill out another piece of paper. Qwest is responding to a request for 1 format. This is not a forced thing. Bill Markert/Eschelon asked for confirmation that this is optional and that disputes would not be denied. Sue Kriebel/Qwest stated that that was a true statement. Bonnie Johnson/Eschelon thanked Qwest for the clarification and stated that Eschelon’s questions were based on the understanding that this was going to be mandated. Sue Kriebel/Qwest stated that no, it’s not forced. Michael Buck/Qwest asked if there were any other questions on the CR or the process? There were no other questions or comments brought forward. Michael Buck/Qwest stated that the CR status would be updated to Presented and that the CR will be crossed over to product/process.

APPENDIX B PAPER DISPUTE TEMPLATE (draft until final closure at OBF) Billing Company Contact Information Section: 1. Billing Company Name: 2. Billing Contact Name: 3. Billing Contact Address: 4. Billing Contact Phone: 5. Billing Contact Fax #: 6. Billing Contact Email: Disputing Company Contact Information Section: 7. Disputing Company Name: 8. Disputing Contact Name: 9. Disputing Contact Address: 10. Disputing Contact Phone: 11. Disputing Contact Fax #: 12. Disputing Contact Email: General Dispute Section: 13. Date of Claim: (yyyy-mm-dd): 14. Status: 15. Claim/Audit Number: 16. Service Type:

17. ACNA: 18. OCN: 19. CIC: 20. BAN: 21. Invoice Number(s): 22. Bill Date: 23. Billed Amount: $24. Dispute Reason Code: 25. Dispute Desc: 26. Disputed Amount: $ 27. Disputed Amount Withheld: $ 28. Disputed Amount Paid: $ 29. Dispute Bill Date From: Dispute Bill Date Thru: Dispute Information Section: 30. Rate Element/USOC: 31. Rate: Billed Correct Factor Information: 32. PIU: Billed Correct 33. PLU: Billed Correct 34. BIP: Billed Correct 35. Other Factors: Billed Correct 36: Jurisdiction 0Non Jurisdictional 0Inter/Interstate 0Intra/Interstate 0Intra/Intrastate 0Inter/Intrastate 0 Local37. Mileage: Billed Correct 38. Contract Name/#: 39. Business/Residence Indicator: 40: State: 41: LATA:

Facilities/Dedicated Circuit Dispute Information Section: 42. PON: 43 SON: 44. EC Circuit ID: 45 Circuit Location: 46. IC Circuit ID: 47. CFA : 48. TN/All: 49. Point Code: 50. USOC Quantity: 51. Two-Six Code:

52. Facilities From Date: Thru Date:

Usage Dispute Information Section:

53. End Office CLLI: 54. TN/All: 55. Usage Billed Units/Quantity: 56. Usage Billed Units/Quantity Disputed: 57. Directionality: 0 N/A 0 Orig. 0 Term. 0 Combination 58. Query: 59. Query Type: 60. OC&C SON: 61 OC&C PON: 62. Usage From Date: Thru Date: Information Section:

63. Tax Dispute Amount: 64. Tax exemption form attached : 0 65. Invoice(s) LPC billed: 66. LPC paid, date of payment:

OTHER 67. Other remarks

Resolution Information Section: 68. Resolution Date:

69. Resolution Amount: $ 70. Resolution Reason: 71. Adjustment Bill Date: 72. Adjustment Invoice Number: 73. Adjustment Phrase Code(s): 74. Adjustment BAN/ 75. Adjustment SON: 76. Disputed Amount: $ 77. Amount Credited: $ 78. Bill Section Adjustment will appear on: OC&C Adjustment 79. Resolution remarks:

Bill Dispute Form - Overview Draft until final closure at OBF

Date of Claim:Claim/Audit Number: Billing Account Number:Service Type: ACNA:OCN: CIC:Status:

Billing Company Contact Information Section

Billing Company Name: Billing Contact Address: Billing Contact Name: Billing Contact Phone # :Billing Contact Fax # : Billing Contact Email:

Disputing Company Contact Information Section

Disputing Company Name: Disputing Contact Address: Disputing Contact Name: Disputing Contact PhoneDisputing Contact Fax # : Disputing Contact Email:

Disputed Amount Section

Summary Disputed Amount: Summary Disputed Amount Withheld: Summary Disputed Amount Paid: Dispute Bill Date From: Dispute Bill Date Thru:

Other Section

Other Remarks:

Information Section

Tax Dispute Amount: Tax Exemption Form Attached: Invoice(s) LPC Billed: LPC Paid, date of payment:

Resolution Information Section

Resolution Date: Summary Resolution Amount: Resolution Reason: Adjustment Bill Date: Adjustment Invoice Number: Adjustment Phrase Code: Adjustment Bill Account Number: Adjustment Service Order Number: Amount Credited: Bill Section Adjustment Will Appear On: Resolution Remarks:

9/9/02 - Clarification Meeting

Qwest understands this change request and there were no questions. Sue Kriebel/Qwest provided example of dispute template.(See above) and history of the dispute issue at OBF.

On August 10, 1999 OBF issue 2002 - Standard Dispute Template- was opened and stated: Several providers have started sending out Dispute Templates to be followed by customers when they send disputes to the provider. In an effort to eliminate multiple dispute formats a Standard Dispute Format should be created for use by all providers and customers. The issue was closed on November 11, 2000 with the following resolution: The Dispute File Specifications document has been created which establishes the record layout and requirements associated with the process to be followed for disputes other than PICC disputes. This document will be owned and maintained by the OBF Billing Committee and available on the ATIS Web Site.

Then it was determined at the OBF billing committee that the template format created could be more user friendly and may need some additonal fields added. So, 2 additional OBF issues were opened to address these concerns. OBF issue 2307 and 2348 were opened. These issues addressed template additions and further definition on fields required for investigation on dipsutes submitted. As of August 21, 2002 (OBF 79) these issues are in Initial Closure.


CenturyLink Response

November 13, 2002

DRAFT RESPONSE For Review by CLEC Community and Discussion at the November 20, 2002, CMP Product/Process Meeting

Sue Kriebel Process Manager Qwest

SUBJECT:Qwest’s Change Request Response - CR #PC101802-2IGX

This is a preliminary response regarding Qwest CR PC101802-2IGX (Implement new industry dispute form (from SCR090402-01IG)).

This change represents an optional format for CLECs to submit their billing disputes to Qwest.

When Qwest originated this CR (09/04/02), the Change Management Process required all industry guideline changes to be initiated as Systems CMP CRs. Qwest believes that if this change were originated today, Qwest would do so by distributing a Level 1 change notification (Process options with no mandatory deadline that do not supercede the existing process and that do not impose charges, regardless of whether the CLEC exercises the option. The current process for CLECs to submit their billing disputes to Qwest is documented on the Qwest Web site at http://www.qwest.com/wholesale/clecs/cris.html in the “Disputes and Claims” section.)

Qwest recommends that this change be implemented as a Level 1, with a notification date of 02/28/03. Qwest will seek concurrence with this approach at the November 20, 2002, Product/Process Monthly CMP Meeting.

Sincerely,

Sue Kriebel Process Manager Qwest


Open Product/Process CR PC111102-1EX Detail

 
Title: Extended Wholesale Customer Service Hours for Call Handling Centers
CR Number Current Status
Date
Area Impacted Products Impacted

PC111102-1EX Completed
11/11/2002
Call Center Hours
Originator: Thacker, Michelle
Originator Company Name: Qwest Corporation
Owner: Thacker, Michelle
Director:
CR PM: White, Matt

Description Of Change

Qwest will change the current weekday hours of operation from 6:00am - 7:00pm Mountain Time to 6:00am - 10:00pm Mountain time for the following Wholesale Call Handling Centers:

Tier 0 - ISC (Interconnect Service Center)

Tier 1 - CSIE (Customer Service Inquiry and Education)

Tier 2 - CSIE Subject Matter Experts

During these extended hours, Qwest's Centers will perform all of the same functions and services that they performed during the previous hours of operation.

In the spirit of service, Qwest is extending business hours to provide more flexibility and options to our customers.


Status History

11/11/02 - CR Submitted by Qwest

11/11/02 - CR acknowledged by P/P CMP Manager

11/11/02 - Exception Notification distributed CMPR.11.11.02.F.01355.CMP_ExceptionNotice

11/13/02 - Exception Pre-Meeting Held

11/15/02 - Vote Notificaiton distributed CMPR.11.15.02.F.01357.CMP_PreMeeting_Vote

11/20/02 - CR Presented, voted on, and unanimously approved at CMP Meeting


Project Meetings

11/20/02 - CMP Monthly Product/Process Meeting

White-Qwest described the CR, the Exception Process, the notifications Qwest had distributed, the voting options, and the voting standard. There were no questions. Thomte-Qwest stated that quorum of 7 carriers was achieved. White-Qwest distributed the ballots and asked if there were any voters on the line. There were none. White-Qwest concluded the vote and collected and verified all ballots. The Exception Request was approved by a unanimous vote. The CR status was updated to Completed.

Exception Request Pre-Meeting Minutes – PC111102-1EX Wednesday, November 13, 2002 4:00 PM MT

Attendees: Matt White – Qwest Judy Schultz – Qwest Kit Thomte – Qwest Michelle Thacker – Qwest Pat Bratetic – Qwest Carolyn Brown – Qwest Donna Osborne-Miller – AT&T Terry Bahner - AT&T Esther Scherer - AT&T Jonathan Spangler – AT&T Carla Pardee – AT&T Mike Zulevic – Covad Bonnie Johnson – Eschelon Liz Balvin – WorldCom Wayne Hart – Idaho PUC

Conduct of Meeting:

White-Qwest opened the conference line and introduced attendees. He stated that there were six items on the agenda for this meeting: ? Review the Exception Process and the purpose of the Pre-Meeting ? Present Exception Request ? Propose Clear Statement for delineating what “Yes” and “No” votes will mean. ? Determine appropriate voting standard ? Propose a Clear Statement outlining a course of action parties will follow if the Exception Request is granted. ? Establish logistics for the meeting at which the vote will be held.

Review the Exception Process and the purpose of the Pre-Meeting

White-Qwest reviewed the Exception Process and the Pre-Meeting Process (Sections 16.2 and 16.2.1).

Present Exception Request

Thacker-Qwest presented the Exception Request. She also stated that she would like to modify the request to implement the change on December 2, 2002. Johnson-Eschelon asked if the retail hours of operation were the same. Thacker-Qwest stated that they were. Bahner-AT&T asked if LSR acceptance times would be extended as well. Thacker Qwest stated that at this time Qwest was not extending LSR acceptance times, and if AT&T wanted to extend them then AT&T should submit a CR. Bahner-AT&T asked if the personnel who normally handled LSR would be a the centers until 10. Thacker-Qwest stated that only the center personnel would be staffing the centers and that this was a limited group of personnel. She continued that these personnel could assist with all customer service issues. White-Qwest asked if there were any additional questions about the request. There were none.

Propose Clear Statement for delineating what “Yes” and “No” votes will mean

White-Qwest read Qwest’s proposed language for delineating what “Yes” and “No” votes will mean. He asked if there were any comments or additions to the Qwest proposed language. There were none.

Determine appropriate voting standard

White-Qwest stated that Section 16.4 states that “If the Exception Request is for a general change to the established CMP timelines for Product/Process changes, a two-thirds majority will be required.” He continued that Qwest proposes that this vote be held to a two-thirds majority vote because the request seeks a change to the established CMP timelines for a Qwest originated process change (Level 3 – Customer-facing Center hours and holiday schedule changes). Osborne-Miller-AT&T agreed. White asked if there were any other comments, concerns or questions about the voting standard. There were none.

Propose a Clear Statement outlining a course of action parties will follow if the Exception Request is granted

White-Qwest presented Qwest’s proposed language: “If this Exception Request is granted, Qwest will implement a change to the weekday hours of operation for the Wholesale Call Handling Centers with a single notification on December 2, 2002.” White-Qwest asked if there were any comments, concerns or questions about the course of action. Balvin-WorldCom and Osborne-Miller-AT&T stated that they agreed that that was an appropriate course of action if the request was granted.

Establish logistics for the meeting at which the vote will be held

White-Qwest stated that the timing of the Exception Process allowed the vote for this Exception Request to be held at the November 20, 2002, Monthly CMP Product/Process Meeting. He asked if anyone had any concerns about this vote schedule. There were no concerns expressed.

White-Qwest stated that Qwest would issue a notification (Voting Instructions Notification) documenting the agreements reached at this meeting and thanked all attendees for participating.


Open Product/Process CR PC112202-1 Detail

 
Title: Held Order Processes when Qwest does not have Facilities
CR Number Current Status
Date
Area Impacted Products Impacted

PC112202-1 Completed
7/16/2003
Ordering Lines / Loops
Originator: Lorence, Susan
Originator Company Name: Qwest Corporation
Owner: Carlson, Barbara
Director:
CR PM: Harlan, Cindy

Description Of Change

When a Local Service Request (LSR) is submitted for multiple lines/loops and Qwest cannot provision all of the lines/loops due to lack of facilities, the are several Held Order processes that may be invoked. However, there have been some gaps identified in these processes that need to be resolved. These are:

-Qwest does not consistently apply the Held Order process for Non-Designed orders which results in:

-IMA then does not reflect the correct status of the LSR

-CLECs are unaware of subsequent orders issued to their LSR by Qwest

-CLEC notification does not necessarily occur prior to Due Date

-What is the appropriate timing and notification process back to CLECs to make provisioning decisions; Input is needed from CLECs as to

-Which TN(s) does the CLEC want to move forward with

-Different decision criteria in handling conversion activity versus end-user moves

-CLEC input vs. end-user input when Qwest Tech is on-site

Qwest and the CLEC community will work together to resolve the gaps and modify the existing Held Order Processes when Qwest does not have facilities.

Expected Deliverable

Updated Held Order Process for Designed and Non-Designed when Qwest does not have Facilities


Status History

11/18/02 - Qwest issued a notification identifying this CR would be issued and it normally would be a Level 3 CR but Qwest believes the change would actually be best represented as a Level 4.

11/20/02 - November CMP Monthly Meeting - Qwest introduced this project as a walk on and advised an AdHoc meeting was held on October 29 to review the existing LSR processes when Qwest doesn't have facilities. During the October 29 meeting the team agreed this project should be handled utilizing the CMP Process. The CLEC community agreed during the November 20 CMP meeting that a CR should be issued and handled as Level 4.

11/22/02 - CR Submitted by Qwest

11/25/02 - CR acknowledged by P/P CMP Manager

11/27/02 - Contacted Susan Lorence to discuss CR. Clarification Meeting scheduled for 12/03/02.

12/03/02 - Held meeting with CLEC community to discuss the issues identified during previous working sessions. Qwest shared two options which would address the issues identified. The team discussed the pros/cons of each option. Agreement was reached that meeting minutes would be produced, the CR would be presented at the December CMP meeting and additional working sessions would be scheduled to discuss the options in more detail.

12/17/02 - Meeting Notification sent out to offer 2 meeting options for 1/7/02 from 8:30 - 930 and 11:30 - 12:30.

12/18/02 - December P/P CMP Meeting Minutes will be posted to the Project Meeting Section. Changed status to Presented.

12/18/02 - Qwest-Urevig explained a meeting was held with the CLEC community to review two options. Both options were determined to have areas that still didn’t meet everyone’s needs. Qwest requested additional CLECs participate in the next meeting to help develop the solution. Two meeting times have been proposed via a Notification. The selected meeting will be scheduled and the team will continue brainstorming ways to improve this process. This CR will move to Presented status.

12/18/02 - Document Number: CMPR.12.18.02.F.01377.HeldOrderMtgOptions sent out to offer meeting options

12/30/02 - Document Number: CMPR.12.30.02.F.01383.HeldOrderProcessMtg sent out to schedule meeting for CLEC Meeting CR PC112202-1, Tuesday, January 7, 2003

Time: 8:30 am to 9:30 am (MST7MDT), Location: 877-572-8687 3393947#

01/07/03 - CLEC meeting held to further discuss process, gaps, options. Qwest agreed to hold internal meeting and fine tune the options and document them so they can be reviewed again with the CLECs in a working session, with target recommendation made by Qwest at the February CMP meeting. Changed status to Development.

01/09/03 - Entered meeting minutes in database

01/15/03 - January CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

01/21/03 - Notification sent offering 3 meeting times to discuss CLEC submitted Option C (Jan31, Feb3)

01/24/03 - Notification sent advising meeting time selected is Monday February 3 12:00 - 1:00 mdt.

1/31/03 - Notification sent distributing additional attachments for Monday Meeting. Attachments are flow charts depicting Option A and B.

2/3/03 - Held CLEC Community meeting and reviewed Option C details as presented by the CLEC Community and reviewed Option A/B flow charts. Agreed next steps are to incorporate additional discussions into the flow charts/process and CLEC Community will review the options internally and advise Qwest of their preferred Option. Additional working session meeting will be scheduled.

2/13/03 - Notification sent out offering 3 meeting options for CLEC Community meeting to discuss CLEC's preferred option. Meeting option are 2-28 9:00-10 and 1:00-2, and 3-3 12:00-1.

2/19/03 - February CMP Meeting Minutes will be posted to the Project Meeting section of the database

2/28/03 - Met with the CLEC Community to gather their preferrences and review any additional comments. Option A was the option most CLECs preferred.

3/11/03 - Posted Response to database

3/19/03 - March CMP Meeting minutes posted to the database

4/16/03 - April CMP Meeting minutes will be posted to the database

5/21/03 - May CMP Meeting minutes will be posted to the database

6/18/03 - June CMP Meeting minutes will be posted to the database

7/16/03 - July CMP Meeting minutes will be posted to the database


Project Meetings

07/16/03 July CMP Meeting Cindy Macy-Qwest advised this process was implemented last month. Bonnie Johnson – Eschelon checked with her organization and the process is in place and working. Bonnie advised it is okay to close this CR. This CR will move to Completed status.

06/18/03 June CMP Meeting Cindy Macy – Qwest advised the comment cycle for this CR ended May 9, and implemented June 8. The CLECs would like to leave this CR open one more month.

05/21/03 May CMP Meeting Cindy Macy – Qwest reported this PCAT will be published this week as a Level 3 Notification. This CR will move to CLEC Test Status.

4/16/03 April CMP Meeting PC112202-1: Held Order Processes when Qwest does not have Facilities Barb Carlson – Qwest reported the PCAT is under internal review and will be released for CLEC review by the end of the month. This CR will stay in Development status.

3/19/03 March CMP Meeting Barb Carlson – Qwest reviewed the process that was developed by Qwest and the CLEC Community. Mitch Menendez – ATT asked some clarifying questions about the process. Mitch asked if the C order was created by Qwest, and if the CLEC has to submit another LSR or sup. Barb advised Qwest creates the C order and the CLEC does not have to submit another LSR or sup. Sheila US Link asked if Qwest sends the new C order number and Barb advised Qwest sends a new FOC, PSON, jep and order number. This CR will stay in Development status.

2/19/03 February CMP Meeting

Barbara Carlson–Qwest reported we are still working internally on our recommendation. The CLEC Community will determine which option they prefer and share that with Qwest during the meeting scheduled for February 28, 2003. Bonnie Johnson–Eschelon stated the purpose of the meeting on the 28th is for the CLECs to be prepared to provide which option they would like implemented. Cindy Macy–Qwest shared that only Eschelon responded with a preferred meeting time so hopefully the other CLECs will be able to attend the meeting and provide their preferences. Sharon–ATT advised Carl from ATT will attend. Liz–World Comm advised they are planning on attending.

CLEC Meeting Minutes for Qwest Initiated CR PC112202-1 Held Order Process when Qwest does not have Facilities February 3, 2003 12:00 – 1:00 MDT

In attendance: Valerie Estorga – Qwest Denny Graham – Qwest Monica Avila – Var Tech Terri Kilker – Qwest Lori Langston – Qwest Sharon Van Meter – ATT Bonnie Johnson – Eschelon Vivian Vigil – Qwest Dave Hahn – Qwest Kim Issacs – Eschelon Russ Urevig – Qwest Mallory Paxton – Qwest Barbara Carlson – Qwest Stephanie Prull – McLeod Carla Pardee – ATT

The team got together to review the Option C details that the CLEC Community provided to Qwest. In addition the team reviewed the Option A/B flow charts.

Bonnie Johnson-Eschelon discussed Option C. Bonnie asked if Qwest would incorporate some of Option C key points into Option A or B. Qwest advised they would see if this is possible. Key points regarding Option C include: *CLECs request to have two processes. One for held order conditions found before due date and one for held order conditions found on due date. * CLECs want to be able to prioritize lines to be installed on held order conditions found before due date. * CLECs wanted to know if Qwest could quantify how many held order conditions are determined before the due date? Mallory-Qwest replied that we do not track this data today. Qwest’s position is that we try to determine if there are facilities available or not as early in the process as possible. As soon as Qwest determines there are no facilities the order is jeopardized and the CLEC is advised via the jep process.

Russ – Qwest explained what may be missing is the reason why the order is jeopardy condition. This information may be helpful for the CLECs and help them prioritize the lines to install or split off the LSR or cancel, etc.

Bonnie-Eschelon advised if we find out the order is held before the due date the CLECs could prioritize the lines, if the order is held on/after the due date the CLECs understand that Qwest should decide and install the lines that are available.

Barbara – Qwest reviewed Option A. Bonnie – Eschelon clarified a Service Order completion notice would happen when one or more lines were completed, but a LSR completion would only occur when all lines were completed. Russ- Qwest confirmed that when any portion of the LSR has a complete status it can no longer be supp’d.

Barbara-Qwest reviewed Option B. Bonnie-Eschelon asked if CLEC sups LSR and splits the orders what due date would the CLEC get? Mallory-Qwest advised what should happen is Qwest should create a second LSR with the same DDD (desired due date). The actual due date would be based on available facilities. Qwest would take a hit on missed facilities. The CLEC may have to escalate on this situation as the center would probably assign the Standard Interval due date as they wouldn’t know the actual circumstances.

Russ – Qwest asked CLECs what time frame before we cancel / archive LSR should we use if facilities are held? Macy – Qwest asked if 30 days was the time frame for other processes. Qwest advised we would like to cancel and archive the LSR after 30 days held. The CLEC would issue a 2nd LSR for the remaining lines after 30 days instead of leaving the LSR that can’t be sup’d out there indefinitely.

Russ-Qwest stressed the original issue that this CR is addressing is regarding Completion Notification in IMA and providing a way for the CLECs to know what lines completed and what lines didn’t. Both Option A and B address this issue. The other changes extend beyond the main issue as the team is trying to improve the process.

Current condition: When the N order is completed and C order is not associated to the LSR the LSR Completion Notice happens automatically and in error.

With Option A: When the N order is completed and the C order is associated to the LSR the Order Completion occurs and CLEC receives a 2nd FOC/PSON for the order that is split off. The LSR Completion Notice will not show complete.

With Option B: The order/LSR do not complete so there is not a LSR or Order Completion Notice created.

Next Steps: * The CLEC Community will go back to their company and determine their preference between Option A/B. * Qwest will review additional comments from this working session and update flow charts if appropriate * Qwest will schedule another working session for CLEC Community so they can share their preferences with Qwest and further discussion can take place * Qwest will make recommendation

01/15/03 CMP Monthly Meeting: Barb Carlson with Qwest gave an update on this CR and said that on 1/7/03 Qwestheld a discussion meeting with CLECs about the process, gaps and options. Cindy Macy will schedule another meeting with CLECs before the 2/19/03 CMP Meeting. Bonnie Johnson said that the CLECs were encouraged to provide input, and she will email this input, option C, to Linda Sanchez-Steinke, ljsanch@qwest.com. This CR will remain in Development status.

CLEC Meeting Minutes for Qwest Initiated CR PC112202-1 Held Order Processes when Qwest does not have Facilities January 7, 2003 8:30 – 9:30 a.m. MDT

In Attendance: Mallory Paxton Qwest Barbara Carlson Qwest Wendy Northcutt McLeod Mona Fielder McLeod Adam Schug McLeod Russ Urevig Qwest Beth Foster Qwest Carla Pardee Qwest Lori Mendoza Allegiance Sheila Hoffman Covad Bonnie Johnson Eschelon Vivian Vigil Qwest Jennifer Fischer Qwest John Beard Covad Kim Issacs Eschelon Denny Graham Qwest

This meeting was held to discuss and review the current process and notes from the December 3, 2002 meeting. The team wanted to gather input from additional CLECs and clarify the gaps and possible solutions.

Russ Urevig – Qwest reviewed Option A and Option B. These options were discussed at a detail level and also summarized by key differences.

Key Differences are: Option A: Allows due date to stay in tact for lines that Qwest can install Qwest determines what lines to install Qwest handles the supp in most cases LSR would stay open in most cases and new order would be issued for held lines (split the LSR) *this causes a problem per Jill as LSRs traditionally have one DD* New FOC and PSON would be generated for the new order

Option B: CLEC would have control over which lines completed Installation of all lines would be stopped until we received direction to proceed from CLEC CLEC would supp the LSR to advise which lines to complete New FOC and PSON would be generated for the new order

Specific questions and discussions are: Mona – McLeod advised they use option B today except Qwest handles the supp. Vivian – Qwest advised we handle the supp if facilities are not available before the DD, but not on the DD.

Vivian – Qwest advised for Option A Qwest would generally convert the TNs on the order in sequence as they are listed on the order. Mallory – Qwest advised if the correct telephone numbers are not converted this can be escalated and depending on the circumstances we can perform a number change.

Bonnie – Eschelon advised in the case of a conversion the CLEC needs to advise Qwest and it would be ALL or Nothing on the lines. Qwest can not split the order on conversions.

Bonnie - Eschelon advised they prefer Option B

Discussion occurred around what products were included in this CR. Qwest replied it was Non Design, Resale/UNE P / ISDN, trunks that are not UBL, non-Private Line Line activity.

Russ – Qwest advised volumes of held orders are low, but the impact to CLEC is high when Billing does not occur correctly.

Cindy – Qwest asked about Jill's concerns: 1. Traditionally, LSRs have only one due date. Option A will require a manual override on the FOC and this will cause a miss match between what is shown on the FOC and the service order. How will we handle this? Russ – Qwest advised we would have to complete the LSR and move the held lines to another LSR

2. What if the LSR goes into a CNR condition later for those orders once they have been released from a delayed order status. How will they supp the LSR to show the newly requested due date? Vivian – Qwest replies we would have to take a verbal approval and perform a manual work around The team agreed there are individual case situations that would need to be handled uniquely. In those cases the LSR would not stay open. We would complete the LSR and issue a new one for the held lines.

Next Steps: The team agreed the next steps would be for Qwest to fine tune the process and document it as a flow or multiple scenarios. Qwest will schedule internal sessions to fine-tune and document the process. Qwest will them schedule another CLEC working session to share the process and obtain additional input. After that the PCAT would be updated and follow the normal review cycle.

12/18/02 CMP Monthly Meeting: Qwest Urevig explained a meeting was held with the CLEC community to review two options. Both options were determined to have areas that still didn’t meet everyone’s needs. Qwest requested additional CLECs participate in the next meeting to help develop the solution. Two meeting times have been proposed via a Notification. The selected meeting will be scheduled and the team will continue brainstorming ways to improve this process. This CR will move to Presented status.

Meeting Minutes -CLEC Meeting on Qwest Initiated CR PC112202-1 Held Order Processes when Qwest does not have Facilities December 3, 2002, 2:00 – 3:30 p.m. MDT

In Attendance: Mallory Paxton –Qwest Bonnie Johnson – Eschelon Russ Urevig – Qwest Kim Isaac – Eschelon Barb Carlson – Qwest Denny Graham - Qwest Vivian Vigil – Qwest Wayne Hart – Idaho PUC Terry Kilker – Qwest LeiLani Hines – World Comm Cindy Macy – Qwest Phyliss Sunnins - Qwest Susan Lorence – Qwest

The team came together to continue to work on issues and gaps identified with the Held Order Process. The previous meeting was reviewed. Susan Lorence advised a CR was issued and Cindy Macy – CRPM, will manage this CR. This project will now be managed using the CMP guidelines. This project will be managed as a Level 4 CR, as agreed to during the November CMP meeting. This CR will be presented at the December CMP meeting. This meeting can be considered as a Clarification meeting.

The current process was reviewed. Barb Carlson advised the orders today are split ‘on site’ by the tech. A new order is generated for the lines that go held. The customer doesn’t always get notified of this and billing can happen in error.

Qwest and the CLECs discussed two options and the pros/cons to each option. The issues and gaps were also mapped to the options so we know which option would address each issue. See the below matrix for these details.

The team agreed the discussion today was focused on Non Design, as that is the process that is causing the most issues. The team agreed the Design process should also be reviewed after we have decided upon the Non Design process.

Susan Lorence – Qwest asked if the volumes were high or low for this process and set of issues. Bonnie – Eschelon advised the volume is fairly low but the impact is high when it occurs.

The team agreed this process should be consistent within itself and not allow different processes for different situations, i.e. if the held order condition is found before the tech goes out or if the held condition is determined during provisioning. Another example is new install versus conversion.

Option A – Non Design Pro/Con Continue to keep 1 LSR – split the order into what can be completed and the lines/loops that can’t

Both the original LSR and the outstanding orders would be in Jeopardy status.

Qwest would need to attach the 2nd order to the LSR to prevent the LSR from completing.

Qwest would need to move ahead on the 2nd order ASAP to keep the LSR from completing.

The CLECs would NOT have input into which lines completed

Billing is based on the SOP and IMA completion report

Qwest would complete the lines available, usually in sequence as they are identified on the order. The tech may not completed one voice line and one fax line- lines would probably be completed based on the sequence on the order

Option B – Non Design Pro/Con CLEC will split the LSR into what can/cannot be completed Original modified LSR and related orders would be completed. CLEC would create a new LSR/orders with only the lines that cannot be completed on it which would go into Jeopardy status.

CLEC would have control over which lines Qwest completed

Completions and notifications would be correct and the CLEC would be aware of what lines completed

All lines may go into Jeopardy if CLEC is not able to decide which lines to complete when the tech is on site.

The Jeopardy in this case would be a JEP to the customer if the customer were not able to advise us which lines to complete.

Tech would contact the center to contact the CLEC. The IMPCON would be contacted 1st then the Initiator if the impcon were not available.

Option B may have IMA impacts that we need to investigate. Kim-Eschelon brought up impacts to the Reserve # function in IMA. Numbers are reserved based on the PON. Option B would have a different PON on the 2nd LSR/order and the TNs would be reserved under the 1st LSR/order.

Issue / Gap Which Options addresses this Issue / Gap Qwest does not consistently apply the Held Order process for Non-Design orders which result in the following issues: IMA then does not reflect the correct status of the LSR Option A and B will address this issue. Option A would require Qwest to make sure the LSR does not complete and the 2nd order is associated to the LSR. Option B would ensure the LSR shows the correct status, as the CLEC would issue the 2nd LSR for the held lines. CLECs are unaware of subsequent orders issued to their LSR by Qwest Option A and B will address this issue. Option A would require Qwest to make sure the LSR does not complete and the 2nd order is associated to the LSR. Option B would provide more clarity for the CLECs, as they would be making the decisions of what lines to complete and what lines to issue subsequent orders on. CLEC notification does not necessarily occur prior to Due Date Option A or B would NOT address this issue. Qwest generally does not know before the due date that the order is held. Qwest would know ON the due date. Option B would provide clearer notification as the CLEC would be making the decisions on what to do with the held lines. What is appropriate timing and notification process back to CLECs to make provisioning decisions; Input is needed from CLECs as to the following: Which TNs does the CLEC want to move forward with Option B would address this issue. Option B gives the CLECs control over which TNs to complete and which ones to put on the 2nd LSR/order Option A would NOT address this issue as the technician would decide which lines to complete, unless the end user is there to advise. Different decision criteria in handling conversion activity versus end – user moves Option A would address conversion activity better Option B would address end user moves better CLEC input vs. end user input when Qwest Tech is on site The Technician should really be taking input from the CLEC not the end user. Ultimately we both want to do what the end user requests. Option B would allow for CLEC input as the CLEC would have control over which lines complete Option A (may) allow for end user input if they are on site and advise the technician. Action Item Assign to What form of Notification will CLECs get when the order is split?

Bonnie advised she would think she would get an additional FOC and PSON for the 2nd order. She would expect to get the 1st FOC/PSON on the order, then when it goes held and if we split the order by creating a second order and /or LSR she would expect another FOC/PSON Barbara Carlson Determine IMA impacts to the ‘Reserve TN# function’ – Option B may have IMA impacts that we need to investigate. Kim-Eschelon brought up impacts to the Reserve # function in IMA. Numbers are reserved based on the PON. Option B would have a different PON on the 2nd LSR/order and the TNs would be reserved under the 1st LSR/order. Cindy Macy Determine internal impacts to LSR/SO process for Option A and B- contact Char Mahs to discuss in more detail Barbara Carlson


CenturyLink Response

For Review by CLEC Community and Discussion at the March 19, 2003 CMP Meeting

March 11, 2003

CMP Community

SUBJECT: Qwest’s Change Request Response - CR # PC112202-1 Held Order Processes when Qwest does not have Facilities

The original request of the CR is to provide a way for the CLECs to know what lines completed and what lines did not complete when a Local Service Request (LSR) is submitted for multiple lines/loops and Qwest cannot provision all of the lines/loops due to lack of facilities.

Several meetings were held with the CLEC Community and Qwest between November 2002 and February 2003, to develop an acceptable delayed order process. During the meetings multiple options were developed, presented and discussed.

The option selected by the participants where Qwest will install the lines available on the due date and establish a second order on the same LSR for those lines in a delayed order condition address the CR because: ? It provides a way for the CLECs to know what lines completed and what lines did not complete ? Allows the CLEC to provide partial service to their customer ? Provides parity with Retail ? Enables Qwest to begin working on the facility issues

The option provides three processes when the outside technician is on site to install: 1. If all lines can be provisioned, they are installed and the order and LSR are completed 2. If no lines can be provisioned, the order is placed into the delayed order process 3. If some lines can be provisioned, those that can be are installed. Those that are delayed for facility reasons are split off the original order and placed on a new “C” order and the new “C” order is attached to the LSR. New FOC and PSON notices along with a Jeopardy notice on the new “C” order are sent to the CLEC. The original order is completed and the new “C” order is placed in the delayed order process. The LSR and the new “C” order remain in a jeopardy status.

The next steps are to update the PCAT Ordering and Provisioning section and provide PCAT status at the April CMP meeting.

Sincerely,

Barbara Carlson SR Process Analyst Wholesale Service Delivery

- 12/18/02 Initial Response: Held meeting on 12/3/02 with CLEC community to discuss the issues identified during previous working sessions. Qwest shared two options which would address the issues identified. The team discussed the pros/cons of each option. Agreement was reached that meeting minutes would be produced, the CR would be presented at the December CMP meeting and additional working sessions would be scheduled to discuss the options in more detail. Documenting or updating the agreed upon process will be the actual response to this CR.


Open Product/Process CR PC120402-1 Detail

 
Title: Modification of the Service Interval Guide (SIG) for clarity.
CR Number Current Status
Date
Area Impacted Products Impacted

PC120402-1 Completed
4/16/2003
Clarification to Documentation Collocation, Resale, Unbundled Loop, UNE, LIS / Interconnect
Originator: Petrollini, Anitra
Originator Company Name: Qwest Corporation
Owner: Petrollini, Anitra
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Rearrangement of the SIG. See attached documentation for more information

Expected Deliverable

Clarification and improvement of docs. Modified all references to "Qwest Communications" from All-Caps to Title Case. Added the word UNE to the footer for clarity. Added the Qwest Trademark for consistency. For clarity, re-ordered existing information for better organization and a more logical flow.


Status History

12/04/02 - CR Submitted

12/05/02 - CR Acknowledged

12/12/02 - Held Clarification Meeting

12/18/02 - December CMP Meeting - Qwest presented CR to CLEC Community. CR status changed to Presented. Meeting minutes will be posted to this CR's Project Meetings section.

12/20/02 - Notification sent for Potential times to scheduled Ad Hoc Meeting, CMPR.12.20.02.F.01380.MtgTimes_CR120402-1

12/31/02 - Notification sent for scheduled Ad Hoc Meeting, CMPR.12.31.02.F.01386.MtgDetailsCR120402-1

01/08/03 - Draft Response posted to the web site

01/10/03 - Held Ad Hoc Meeting

01/15/03 - January CMP Meeting - Qwest presented draft response. Meeting minutes will be posted to this CR's Project Meetings section.

01/27/03 - Held second Ad Hoc Meeting

02/19/03 - February CMP Meeting - Status of CR was discussed. Meeting minutes will be posted to this CR's Project Meetings section.

03/07/03 - Qwest sent notification PROS.03.07.03.F.01022.SIG_V11, CMP Service Interval Guide For Resale and Interconnection Services (SIG) (V11.0)

03/19/03 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

03/28/03 - PROS.03.07.03.F.01022.SIG_V11, effective

04/16/03 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

04/16/03 April CMP Meeting Linda Sanchez-Steinke reviewed this CR and said that SIG Version 11 was available for review on 3/7/03 and became effective 3/28/03. At the March CMP meeting, Bonnie Johnson and Liz Balvin thought that Qwest was having another meeting to discuss the revisions. Bonnie said that the issue not resolved is related to Conversions as Specified. Linda said that Qwest had answered an e-mail received from Carla Pardee asking about the wording for Conversions as Specified and that the changes had been in the SIG and were not part of the changes made in Version 11. There will be an action item opened and Liz Balvin will send specific questions about Conversions as Specified to Linda Sanchez-Steinke. Qwest and the CLEC community agree that this CR would move to Completed status.

03/19/03 March CMP Meeting SIG Version 11 was available for review on 3/7/03. Bonnie Johnson and Liz Balvin thought that Qwest was having another meeting to discuss the revisions. CR is in Development status.

02/19/03 February CMP Meeting Anitra Petrollini with Qwest provided an update on the SIG revisions and said that questions and comments received from the CLECs have been answered and the SIG is targeted to be available for review in late February. Liz Balvin with Worldcom said that she had received the answers to questions on Monday and will forward those to the CLEC Community. This CR will be moved to Development status.

2/17/03 3:22 p.m. From Linda Sanchez-Steinke To "Pardee, Carla D, CSLSM" cc Anitra Petrollini/GROUPWARE/USWEST/US@USWEST

Subject Re: Clarification on SIG

Carla -

The following is in response to your questions about the SIG:

The SIG note is somewhat ambiguous, but has to be because it captures primarily 2 different activities that are both categorized as 'Conversions as Specified'. CLECs submit these types of orders to do a lot of different things, but the 2 most common are to 1)convert an existing resale/retail line to UNE-P with changes, and 2) to request an additional line. Number 1 is easy enough - it follows the change order intervals (3 days in most states, 2 in CO & MN). Number 2 is the reason for the note. Occassionally, CLECs request that we add a new line on a Conversion as Specified order 9a 2nd line or something). The interval for this activity is the new install. If we have to dispatch the interval is determined by Appt Scheduler.

Please let me know if you have any questions.

Thank you

Linda Sanchez-Steinke Change Request Project Manager Qwest 303-965-0972

2/17/03 3:13 p.m. From: Linda Sanchez-Steinke To: liz.balvin@wcom.com cc: nitra Petrollini/GROUPWARE/USWEST/US@USWEST

Subject Re: SIG Notes

Liz -

Attached are responses to questions regarding the SIG Updates.

1) Regardless of the number of Access Service Requests (ASRs) or Local Service Requests (LSRs) submitted, the quantity used for determining the appropriate standard interval will be the sum of the quantities of requests for like service at the same location requested for turn-up on the same day.

CLEC Comment: Per Qwest, this language is an attempt to restrict CLECs from "getting around" standard interval by breaking up orders on separate LSRs. NEED TO BE SPECIFIC...CLECs cannot bypass "project totals" by submitting separate LSRs that require provisioning at the same location. Specifically, Qwest cannot change standard interval unless multiple ASR/LSRs reflects the same customer name at the same location and requesting to provision the same products on the exact due date.

We will be removing the footnote on this eliminating the question.

2) The Application Date (APP) is the day Qwest receives a complete and accurate request. The Application Date is the start of the Firm Order Confirmation (FOC), installation and disconnection due date calculation.

CLEC Comment: Request language change..."The App Date is the start of any interval associated with an ASR/LSR." Customer's that request a Due Date change to an earlier date would utilize the normal Expedite channels.

CLEC Comment: Only if less than Standard Interval.

This is fine.

3) Change Due Date on order delayed due to facility reasons. / Change all Critical Dates from Records Issue Date (RID) forward. RID will be Request For Service (RFS)+1..

CLEC Comment: Language should not be included in this table...Qwest to provide justification.

Qwest Action Item: Link that defines "special conditioning" requested from CLECs.

This section was removed from the table.

Please let me know if you have any questions.

Thank you

Linda Sanchez-Steinke Change Request Project Manager Qwest 303-965-0972

Meeting Minutes

Modification of the Service Interval Guide (SIG) for clarity CMP Product & Process January 27, 2003 1-877-572-8687, Conference ID 3393947# 10:00 a.m.- 10:30 a.m. Mountain Time

List of Attendees Carla Dickinson Pardee, AT&T Bonnie Johnson, Eschelon Anitra Petrollini, Qwest Wayne McCarthy, Qwest Linda Sanchez-Steinke, Qwest

PURPOSE

At the December CMP Meeting, participants agreed to hold a conference call for CLEC participation and provide an overview of changes made to the SIG, and a time for questions and answers to be addressed. The following is the write-up of the discussions and action items from the working session. This meeting was a continuation of the meeting held on January 10, 2003.

MEETING MINUTES

The meeting began with Qwest making introductions and welcoming all attendees.

Overview of Changes to the SIG

Anitra Petrollini with Qwest provided an overview of the changes that have been made to the Service Interval Guide. The Service Interval Guide redlined document can be reviewed at http://www.qwest.com/wholesale/cmp/teammeetings.html under Team Meeting Distribution Packages, PC120402-1 SIG for Resale, UNE, & Interconnection Services. The change request and detailed document can be viewed using the "Product Process Interactive Reports" link on the Wholesale web site, located at http://qwest.com/wholesale/cmp/changerequest.html. Within the Interactive Report do a find on "PC120402-1"..

Anitra Petrollini with Qwest said the changes made to the SIG do not include any product or process changes and the changes made were made to improve the document and to provide clarity to the document. The document being reviewed will be merged into Version 7 of the SIG and will be posted on the website for review. The following lists the section reviewed, the questions, and action items:

Questions and Answers by Section

The meeting began by reviewing the LIS Trunking section. LIS Trunking - Wayne McCarthy with Qwest reviewed changes in this section which were made for clarity. Bonnie Johnson asked if the ICB interval applies regardless of forecasting and Wayne McCarthy said that the necessity of joint forecasting has been softened as requested at the 271 workshops.

MSA document information has been removed from the SIG and will be placed on a separate web site. Bonnie Johnson with Eschelon suggested that in the SIG there be a link included which will direct the reader to the URL for the MSAs. Anitra will provide the URL in the meeting minutes. (URL here).

Carla Pardee will e-mail Anitra Petrollini a question on UNE P intervals, page 16 of the SIG.

The meeting was concluded. Qwest advised that the minutes would be posted to CR PC120402-1 on the CMP Web site.

From: Carla Pardee at AT&T Sent: 1/28/03 2:52 p.m. To: ljsanch@qwest.com>, , Sorry I didn't get this out to all of you yesterday. AT&T requests clarification of the following, which is found on page 16 of the SIG. This information has been in the SIG for sometime, and is not part of the new changes to the SIG.

On UNE-P POTS Activity" Conversion As Specified Retail, Resale to UNE-P Pots to UNE-P, the installation guidelines state "Depends on changes requested. For instance, addition of another line would follow New Installs guidelines."

The statement "Depends on changes requested is somewhat ambiguous". Can you clarify what types of what types of changes are dependent, and what the dependency would be? Thank you.

Carla Dickinson Pardee AT&T Local Services & Access Management 1875 Lawrence Street, Suite 8-38 Denver, Colorado 80202 Phone: 303-298-6101

From: Liz Balvin at Worldcom Sent: 1/27/03 11:33 a.m. To: ljsanch@qwest.com Subject: SIG Notes

Linda,

Please forgive me, I thought I sent this to you on the 15th. Here are the notes I took from the last SIG meeting.

Sorry again,

1) Regardless of the number of Access Service Requests (ASRs) or Local Service Requests (LSRs) submitted, the quantity used for determining the appropriate standard interval will be the sum of the quantities of requests for like service at the same location1 requested for turn-up on the same day.

CLEC Comment: Per Qwest, this language is an attempt to restrict CLECs from "getting around" standard interval by breaking up orders on separate LSRs. NEED TO BE SPECIFIC...CLECs cannot bypass "project totals" by submitting separate LSRs that require provisioning at the same location. Specifically, Qwest cannot change standard interval unless multiple ASR/LSRs reflects the same customer name at the same location and requesting to provision the same products on the exact due date.

2) The Application Date (APP) is the day Qwest receives a complete and accurate request. The Application Date is the start of the Firm Order Confirmation (FOC), installation and disconnection due date calculation.

CLEC Comment: Request language change..."The App Date is the start of any interval associated with an ASR/LSR." Customer's that request a Due Date change to an earlier date would utilize the normal Expedite channels.

CLEC Comment: Only if less than Standard Interval.

3) Change Due Date on order delayed due to facility reasons. / Change all Critical Dates from Records Issue Date (RID) forward. RID will be Request For Service (RFS)+1..

CLEC Comment: Language should not be included in this table...Qwest to provide justification.

Qwest Action Item: Link that defines "special conditioning" requested from CLECs.

Liz Balvin

WorldCom Carrier Management - Qwest Internal Line - V625-7305 External Line - 303-217-7305 Pager (888) 900-7221

01/15/03 January CMP Meeting Anitra Petrollini reviewed the Qwest draft response and said that Qwest held the ad hoc meeting on 1/10/03 and there will be a follow up meeting scheduled to finish the review of the SIG. Liz Balvin will compile suggested SIG revisions discussed by the CLECs in their meeting, and Liz will e-mail suggestions to Linda Sanchez-Steinke, ljsanch@qwest.com.

Meeting Minutes Modification of the Service Interval Guide (SIG) for clarity CMP Product & Process January 10, 2003 1-877-572-8687, Conference ID 3393947# 9:00 a.m. - 11:00 a.m. Mountain Time

List of Attendees Carla Dickinson Pardee, AT&T Jonathan Spangler, AT&T Donna Osborne-Miller, AT&T Liz Balvin, Worldcom Bonnie Johnson, Eschelon Kim Isaacs, Eschelon Lori Mendoza, Allegiance Anitra Petrollini, Qwest Cliff Dinwiddie, Qwest Janean Van Dusen, Qwest Gary Berroa, Qwest Barb Carlson, Qwest Pat Finley, Qwest Jane Lacy, Qwest Wayne McCarthy, Qwest Linda Sanchez-Steinke, Qwest

PURPOSE

At the December CMP Meeting, participants agreed to hold a conference call with CLEC participation and provide an overview of changes made to the SIG and address questions. The following is the write-up of the discussions, action items, and decisions made in the working session.

MEETING MINUTES The meeting began with Qwest making introductions and welcoming all attendees.

Overview of Changes to the SIG

Anitra Petrollini with Qwest provided an overview of the changes that have been made to the Service Interval Guide. The Service Interval Guide redlined document can be reviewed at http://www.qwest.com/wholesale/cmp/teammeetings.html under Team Meeting Distribution Packages, PC120402-1 SIG for Resale, UNE, & Interconnection Services. The change request and detailed document can be viewed using the "Product Process Interactive Reports" link on the Wholesale web site, located at http://qwest.com/wholesale/cmp/changerequest.html. Within the Interactive Report do a find on "PC120402-1".

Anitra said that the changes that have been made were made to improve the document and to provide clarity to the document. Each section of the SIG was reviewed and was opened up for discussion and questions. The following lists each section reviewed, the questions, and action items:

Questions and Answers by Section

Global Changes: Anitra explained that there were changes made to the SIG in all sections of the document changing capitalization of Qwest, changing references to "Service Interval Guide for Resale, UNE, and Interconnection Services", adding UNE to the footer for clarity and changing Co-Provider to CLEC, adding the Qwest Trademark and changing the standard format for intervals.

General Information Introduction: Anitra explained that this section contains no new information and that the information has been re-ordered to provide clarity.

General Information Due Date Calculation: Anitra reviewed this section. Several CLECs agreed to provide suggested language to Linda Sanchez-Steinke, ljsanch@qwest.com.

General Information Disconnect Information: Cliff Dinwiddie with Qwest provided an overview of this section. Barb Carlson with Qwest reviewed the detailed changes in this section. Bonnie Johnson with Eschelon requested that there be clear documentation in the SIG when changing a due date that have to re-negotiate the critical dates. At the follow up call, Cliff will answer Bonnie’s question about changing the due date to request a less than standard interval. Barb Carlson with Qwest will provide additional information explaining why the last row of matrix on page 8 is there or remove. The matrix is pertaining to supps to LSR in delayed order situation.

Liz Balvin with Worldcom commented that the interval for LSRs received manually add additional 24 hours, reference page 9. Liz also said that she liked the old language better because the old FOC let them know facilities are available, reference page 12.

General Information Definitions: Anitra reviewed this section.

All Product Specific Sections: Anitra gave an overview of changes made to these sections.

Unbundled Network Elements Platform (UNE-P): Janean Van Dusen with Qwest reviewed changes in this section.

Enhanced Extended Loop: Anitra provided an overview of the changes in this section.

Resale: Janean Van Dusen with Qwest reviewed changes in this section. Bonnie Johnson suggested that in the SIG it may be helpful to have a link added, which would take the reader to AIN features. Bonnie also asked why removed where ICB facilities not available. Janean answered that the language was redundant.

Directory Listings: Anitra provided an overview of changes in this section.

Interconnection Other Services: Pat Finley, Jane Lacy and Anitra Petrollini reviewed this section. Bonnie Johnson suggested that there be a special conditioning link in the SIG document.

Liz Balvin with Worldcom had a question about what interval they should follow if in their interconnection agreement does not have forecasting. Qwest SME was not available to answer the question during the meeting and Qwest will send e-mail to Liz Balvin.

Unbundled Services: Anitra and Cliff provided an overview of this section.

The meeting was concluded and all participants agreed to continue meeting to review the remainder of the SIG; LIS Trunking and Network Identified Wire Center / MSA/ Zone 1/ Zone 2 Lists and definitions. There will be a notification sent to CLECs asking for available meeting times.

Questions and suggestions for wording can be e-mailed to Linda Sanchez-Steinke, ljsanch@qwest.com. Qwest advised that the minutes would be posted to CR PC120402-1 on the CMP Web site.

12/18/02 December CMP Meeting - Anitra Petrollini and Cliff Dinwiddie with Qwest presented this CR. Anitra explained that Qwest submitted this CR because there are many changes to the Service Interval Guide and although there are no process or product changes, there are changes on nearly every page of the SIG. A summary of the changes is included with the change request and the entire Red-lined SIG document will be placed on the CMP site for review. Qwest would like to hold a meeting with CLEC particiption to explain the changes to the SIG. A notification will be sent to CLECs asking for preference of either January 8th or January 10th and please e-mail to Linda Sanchez-Steinke, ljsanch@qwest.com your preference for the date of the meeting. Terry Bahner with AT&T asked if there would be changes to LNP. Cliff Dinwiddie said there are changes to the SIG header and footer and changes on every page for document clarity, but there is no impact to LNP. This CR will be moved to Presented status.


CenturyLink Response

February 6, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at February’s CMP Meeting

SUBJECT: Qwest’s Change Request Response - CR # PC120402-1 Modification of the Service Interval Guide (SIG) for Clarity

At the December 18, 2002 CMP Meeting, Qwest introduced Change Request PC120402 – 1, Modification of the Service Interval Guide (SIG) for Clarity. Qwest has modified the SIG to improve document consistency and clarity. Ad hoc meetings occurred on January 10 and January 27, 2003 and all interested parties participated in a dialog regarding the document changes.

Comments were made in the General Section of the document. The CLEC community will provide a language modification for that section to clarify the issues that we brought to the table during the ad-hoc meeting. The SIG document will be available for review in late February 2003.

Sincerely,

Anitra M. Petrollini Wholesale Product Strategy & Financial Support Qwest Corporation

Cc: Clifford Dinwiddie, Wholesale Product Strategy & Financial Support

January 6, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at January’s CMP Meeting

SUBJECT:Qwest’s Change Request Response - CR # PC120402-1 Modification of the Service Interval Guide (SIG) for Clarity

At the December 18, 2002 CMP Meeting, Qwest introduced Change Request PC120402 – 1, Modification of the Service Interval Guide (SIG) for Clarity. Qwest has modified the SIG to improve document consistency and clarity. An ad-hoc meeting has been set up for January 10, 2003 for all interested CLEC’s to allow comments and feedback of those changes.

Although these changes do not affect products or processes, due to the magnitude of the changes, this Change Request will be treated as a Level 4 change.

Sincerely,

Anitra M. Petrollini Wholesale Product Strategy & Financial Support Qwest Corporation

Cc: Clifford Dinwiddie, Wholesale Product Strategy & Financial Support


Open Product/Process CR PC102502-1CM Detail

 
Title: Change to the CMP Document Section 12.0 "Date TBD" Trouble Tickets
CR Number Current Status
Date
Area Impacted Products Impacted

PC102502-1CM Completed
10/25/2002
CMP Document Production Support Process
Originator: Notarianni, Lynn
Originator Company Name: Qwest Corporation
Owner: Notarianni, Lynn
Director:
CR PM: White, Matt

Description Of Change

Currently, Section 12.3 of the Qwest Wholesale Change Management Process Document has an IT Trouble Ticket closure disposition code of ‘Date TBD’ for IT Trouble Tickets that are not scheduled to be resolved in a patch, change or otherwise. Once the trouble ticket is closed in this manner, CLECs are provided status of the ticket at the Monthly Systems CMP Meetings, even if a date for resolution has been determined. Qwest would like to propose a change to the language to have “Date TBD” reflect a hold status to end the need for Event Notifications but not actually close the IT Trouble Ticket. Once the fix has been scheduled, Qwest can then provide an update to the IT Trouble Ticket, close the ticket with one of the four closure disposition codes, and only bring forward those tickets remaining in a hold status (‘Date TBD’) to the Monthly Systems CMP Meeting.

The proposed update to Section 12 is available in Supplemental Information.

Expected Deliverable

Change Sectoin 12


Status History

10/25/02 - CR Submitted

10/25/02 - CR Acknowledged

10/31/02 - Clarification Meeting Scheduled for 11/4/02

11/4/02 - Clarification Meeting held

11/20/02 - Presented at the Monthly CMP Product/Process Meeting

11/21/02 - Vote Notification distributed

12/18/02 - CR voted on at the CMP Meeting. Approved by unanimous vote.


Project Meetings

12/18/02 - CMP Monthly Product/Process Meeting

White-Qwest described the voting process. Van Meter–AT&T asked that Qwest recap the issue because she had missed the November CMP Meeting. Notarianni-Qwest described the change. Van Meter-AT&T asked if this would change the date the ticket was closed to when the patch was successfully implemented. White-Qwest and Zulevic-Covad stated that this change was only to remove “Date TBD” as a valid closure status for a trouble ticket. There were no further questions. White-Qwest conducted the vote. The change passed by unanimous vote 7 "Yes" and 0 "No." White-Qwest proposed that the change to the CMP Document be made in combination with the change from CR PC100201-1CM in a January 6, 2002, Level 1 notification. The attendees agreed. The CR status was updated to Completed.

==================================================================

11/20/02 - CMP Monthly Product/Process Meeting

Notarianni-Qwest presented the CR. White-Qwest reviewed the process to change the CMP Document. He asked the participants if anyone wished to have any meetings before the vote to discuss the proposed change. No participants asked for input meetings. White-Qwest asked if the participants could agree that the vote be held at the December 2002 Monthly CMP Product/Process Meeting. The attendees agreed. White-Qwest stated that Qwest would distribute a vote notification. The CR status was updated to Presented.

==================================================================

CLEC Change Request – PC102502-1CM Clarification Meeting 2:00 PM (Mountain Time) / Monday, November 4, 2002

1-877-550-8686 2213337#

Attendees Matt White – CRPM Lynn Natorianni - Qwest Jeff Thompson - Qwest Beth Foster - Qwest

Introduction of Attendees White-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Natorianni-Qwest reviewed the CR.

Confirm Areas and Products Impacted White-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted. Confirm Right Personnel Involved White-Qwest confirmed with the attendees that the appropriate Qwest personnel were involved.

Identify/Confirm CLEC’s Expectation White-Qwest reviewed the request to confirm Qwest's expectation.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for Qwest to present the CR at the November Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


Open Product/Process CR PC012103-1 Detail

 
Title: Update Operator Services/Directory Assistance (OS/DA) Questionnaire on Website
CR Number Current Status
Date
Area Impacted Products Impacted

PC012103-1 Completed
6/18/2003
Ordering Operator Services, Directory Assistance
Originator: Bruggeman, Kathy
Originator Company Name: Qwest Corporation
Owner: Bruggeman, Kathy
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

The OS/DA questionnaire needs to be updated as detailed below.

1) New fields have been added to Reference Sheet A (required if adding Local and IntraLATA Operator Assistance

Format changes have been added to Reference Sheet B (a required form if customer is ordering Local Operator assistance only) which is a required section of the OS/DA Questionnaire:changed or added as follows.

1) New fields have been added to Reference Sheet A (required if ordering Local and IntraLATA Operator Assistance)

Section impacted:

Add the following new values to the required "Type of Signaling" section:

- Multi Frequency (MF) Signaling Yes No

- SS7 Yes No

- Release Link Trunking Yes No

Add the following new values to the required "Type of Calls" section:

- Type of Calls - Added InterLATA

2) Format change only to Reference Sheet B as follows:

- Operator Surcharge - Replaced the old format with a table (same as Serving Area Section in General).

3) Added two new required sections to Reference Sheet D (required form if adding Directory Assistance)

- Added new required section "Type of Signaling"

- Added new required section "Trunk Group Type"

Expected Deliverable:

Revised form-Replace existing questionnaire with new questionnaire as soon as possible


Status History

01/21/03 - CR Submitted by Qwest

01/21/03 - CR acknowledged by P/P CMP Manager

01/24/03 - CR posted to web site

01/28/03 - Held clarification meeting

02/19/03 - February CMP Meeting - Qwest clarified this CR. Meeting minutes will be posted to this CR's Project Meetings section.

03/12/03 - Qwest Draft Response posted to the web site

03/19/03 - March CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

04/08/03 - Qwest issued PROD.04.08.03.F.03373.Operator_Service update to Wholesale Product Catalog includes new/revised documentation for Operator Services V8.0.

04/16/03 - April CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

05/02/03 - Final Notice issued PROD.04.08.03.F.03373.Operator_Service will be effective 5/19/03

05/21/03 - May CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.

06/18/03 - June CMP Meeting - Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

06/18/03 June CMP Meeting Linda Sanchez-Steinke with Qwest said that the Operator Service / Directory Assistance Questionnaire was effective 5/19/03. LeiLani Hines asked if the date on the document will remain 1/21/03. Linda said that 1/21/03 was the date the CR was opened and will remain on the questionnaire. There were no more questions and this CR was moved to Completed status.

05/21/03 May CMP Meeting Linda Sanchez-Steinke with Qwest said that the Operator Service / Directory Assistance documents became effective yesterday 5/19/03. There were no questions and this CR will move to CLEC Test status.

04/16/03 April CMP Meeting Kathy Bruggeman with Qwest said that the Operator Service / Directory Assistance documents are on the document review web site and asked if there were any questions. There were no questions and this CR will remain in Development status.

03/19/03 March CMP Meeting Kathy Bruggeman with Qwest presented the draft response. This CR was moved to Development status.

02/19/03 February CMP Meeting Kathy Bruggeman with Qwest presented this CR. New fields have been added on Reference Sheet A for MF, SS7 and Release link trunk signaling. Reference Sheet B has been reformatted and two new required fields; type of signaling and trunk group type, have been added to Reference Sheet D. This CR will be moved to Presented status.

CLEC Change Request Clarification Meeting

1:30 p.m. (MT) / January 28, 2003

1-877-554-8688 1930099 # PC012103-1 Update Operator Services/Director Assistance (OS/DA) Questionnaire on Website Attendees: Kathy Bruggeman, Qwest Product Manager Elizabeth Hamilton, Qwest Sr. Process Analyst Linda Sanchez-Steinke, Qwest Change Request Project Manager

Introduction of Attendees Introduction of participants on the conference call was made and the purpose of the call discussed.

Review Requested (Description of) Change The description of the change requested in the CR was reviewed. Kathy Bruggeman explained that there has been a new required field added to Reference Sheet D, Directory Assistance, Type of Signaling. There have also been valid values added to the existing required fields of the form.

Confirm Areas & Products Impacted Operator Services, Directory Assistance

Confirm Right Personnel Involved The correct personnel are involved.

Identify/Confirm CLEC’s Expectation Qwest would like to replace the existing questionnaire with the new questionnaire as soon as possible.

Identify any Dependent Systems Change Requests There are no dependent systems change requests.

Establish Action Plan (Resolution Time Frame) Kathy Bruggeman will present this CR at the February CMP Meeting.


CenturyLink Response

March 4, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at March’s CMP Meeting

SUBJECT: Qwest’s Change Request Response PC012103-1 Update Operator Services/Director Assistance (OS/DA) Questionnaire on Website

At the February 19, 2003, CMP meeting Qwest introduced updates to the Operator Service and Directory Assistance questionnaire. The questionnaire, which is available via link from both the Operator Services and Directory Assistance Product Catalogs, (PCATs), is being updated to add the following required sections to Reference Sheet D (required if adding Directory Assistance):

- Type of Signaling - Trunk Group Type

The new questionnaire will be placed on the Qwest Document Review website in late March.

Sincerely,

Kathy Bruggeman Product Manager Global Wholesale Product Markets Qwest Corporation


Open Product/Process CR PC112701-2 Detail

 
Title: Grandparent SwitchNet 56
CR Number Current Status
Date
Area Impacted Products Impacted

PC112701-2 Withdrawn
12/12/2001
Switched Service - SwitchNet 56
Originator: Olson, Skip
Originator Company Name: Qwest Corporation
Owner: Olson, Skip
Director:
CR PM:

Description Of Change

We are going to grandparent SwitchNet 56 (SN56) as of 12/31/2001 (changed to January 14, 2002). After that date, no new SN56 may be installed. We'll have a sunset clause of 12/31/2004. On that date, all SN56 must be disconnected. SN56 is a switched digital data product that runs at 56 K/bps. There are no voice capabilities with SN56.


Status History

11/27/01 - CR discussed with Qwest originator and entered into CR P&P database.

11/27/01 - Draft response received and posted in CMP database.

11/28/01 - CR Status changed to "Evaluation". CR response under internal review with Wholesale Document Control.

11/29/01 - Document control verified that Switchnet 56 is an available product under Qwest Resale.

11/30/01 - The effective date for grandparenting of Switchnet 56 has changed from 12/31/01 to 01/14/01. Response modified to reflect date change. Letter mail-out scheduled for 12/05/01.

12/06/01 - Notification Letter transmitted to Qwest SwitchNet56 customers.

12/12/01 - CMP Meeting - Judy Schultz, Qwest withdrew CR from the CMP process."CR Status" changed to "Withdrawn."


Project Meetings


CenturyLink Response

November 30, 2001 DRAFT RESPONSE For Review by CLEC Community and Discussion in the December 2001 CMP Meeting

November 30, 2001

Dear Valued Customer:

We're writing to inform you of a change to our SwitchNet 56® product offering.

Pending approval of your State’s Public Utility Commission, no orders for new SwitchNet 56 lines will be accepted as of January 14, 2002. Customers using the service on a monthly basis may, however, continue to use it for a period of three years. For these customers, SwitchNet 56 will be discontinued on December 31, 2004.

Qwest will continue to honor all SwitchNet 56 contractual agreements by making the service available to contracted customers for the length of the existing contract. Additions, rearrangements, changes or moves of existing installations for contracted customers will continue to be made where the required equipment and facilities are available.

To replace SwitchNet 56, Qwest offers ISDN Single Line Service (in most areas). ISDN provides these benefits:

- Universal standards, proven technology, world-wide availability - Handles all kinds of communications simultaneously (voice, data, video) - Inter-working with existing telephony and packet networks - Fast connect time … in milliseconds, speeds up to 512 Kbps with compression - Replaces multiple voice, fax and modem lines

Please contact your Qwest sales representative or call 1-800-743-3793 for further information on ISDN Single Line Service or other services that may meet your data needs. ISDN Single Line Service information may also be found on our web site (http://www.qwest.com/isdn).

Thank you for using Qwest. We look forward to continuing to serve your telecommunications needs.

Qwest®

SwitchNet 11/01 The letter for Colorado needs to include the following paragraph: "A copy of the filing made with the Colorado PUC is available for viewing at Qwest, 1005 17th Street, Room 200, Denver, CO 80202. You may obtain additional information by calling Qwest at (need to insert residential and/or business 800 numbers), or you may contact the PUC at 303-894-2070 or 1-800-456-0858. Customers may file a written objection with the PUC by writing to the Colorado PUC, Office Level 2, 1580 Logan Street, Denver, CO 80203 at least ten days prior to the proposed effective date."

The letter for Oregon needs to include the following paragraph: A copy of this filing is available for viewing at Qwest, 421 SW Oak, Room 8S7, Portland, OR 97204. Additional information is also available by calling the Commission at 1-800-522-2404. Customers may file a written objection with the Commission by writing to the Oregon Public Utility Commission, 550 Capitol Street NE, Salem, Oregon 97310-1380.

The letter for Washington needs to include the following paragraph: "The Commission encourages your written comments, either in favor of or in opposition to the filing. You may write or call the Commission's toll-free number listed below:

Secretary Washington Utilities and Transportation Commission P.O. Box 47250 Olympia, Washington 98504-7250 1-800-562-6150 (toll-free) E-mail: comments@wutc.wa.gov"


Open Product/Process CR PC112901-1 Detail

 
Title: Standardize Process of Receiving Jeopardy Notices
CR Number Current Status
Date
Area Impacted Products Impacted

PC112901-1 Withdrawn
12/12/2001
Other (Provisioning Process) Centrex, EEL (UNE-C), LNP, Private Line, Resale, Unbundled Loop, UNE-P, Other
Originator: Martain, Jill
Originator Company Name: Qwest Corporation
Owner: Martain, Jill
Director:
CR PM:

Description Of Change

Qwest currently offers CLECs multiple methods for receiving jeopardy notices. CLECs can receive jeopardy notices via the tool in which the LSR was processed, i.e. EDI or GUI. They also have the option of receiving jeopardy notices via e-mail or fax.

Qwest plans to move to a consistent, mechanized method of sending jeopardy notices. Jeopardy notices will be sent to the CLEC through the same tool that was used to submit the LSR. This will allow Qwest to enhance its internal jeopardy notification process leading to more consistent and timely notifications for the CLECs.


Status History

11/29/01 - CR Submitted from Jill Martain

12/12/01 - CMP Meeting: Qwest withdrew this CR. Status changed to Withdrawn.


Project Meetings


Open Product/Process CR PC100101-5ES Detail

 
Title: Clarification of Additional Testing Process
CR Number Current Status
Date
Area Impacted Products Impacted

PC100101-5ES Completed
7/12/2002
Repair EEL, UDIT, Unbundled Loop
Originator: Smith, Debra
Originator Company Name: Qwest Corporation
Owner: Augustson, Cathy
Director:
CR PM:

Description Of Change

Currently, CLECs’ are responsible for testing UNE’s prior to submitting a trouble report to Qwest. CLECs’ are to provide test diagnostics including specific evidence that the trouble is in the Qwest Network along with the associated Qwest circuit identification number. If the CLEC elects not to perform the necessary UNE testing, Qwest will offer to do such testing on CLECs’ behalf. If such testing is requested by the CLEC, Qwest will perform the additional testing and bill the CLEC the appropriate charges that are in their Interconnection agreement.

If the CLEC does not provide test diagnostics and elects not to have Qwest perform additional testing on their behalf, Qwest will not accept a trouble report. Additional Charges may apply when the testing determines the trouble is beyond the Loop Demarcation Point

This additional testing option is available on the Unbundled Loop Product Suite, Unbundled Dedicated Transport (UDIT), Enhanced Extended Loop (EEL) and Loop Mux.


Status History

10/01/01 - CMP receives CR from Deb Smith, Qwest (Subject Matter Expert (SME))

10/01/01 - CMP CR status changed to 'Submitted.'

10/01/01 - CMP forwards updated CR to Deb Smith, Qwest.

10/17/01 - CMP Meeting: Qwest introduced "Description of Change" and agreed to provide detailed package for CLEC review. Walk through meeting to be scheduled by Qwest in the late October/early November 2001 time frame.

10/26/01 - Notification forwarded to the CLEC community regarding presentation of CR in the 10/31/01 CMP Re-Design Meeting.

10/31/01 - CR presented to the participating CLECs at the CMP Re-Design Meeting. CLECs were requested to provide comments.

11/08/01 - Qwest Notification (Document No. PROD.11.08.R.00197.Mtce&Repair Language; Subject: Update to Product Information on Maintenance and Repair Language within EEL, UDIT, LMC and Unbundled Loop General) transmitted to CLEC community.

11/08/01 - PCAT Documents posted to the Qwest Wholesale CMP Document Review WEB page [http://www.qwest.com/wholesale/cmp/review.html]. Comments from CLEC community due in 15 calendar days (11/23/01), as stated in 'Interim External Change Management Process for Qwest Initiated Product/Process Changes, Version 6, 11/26/01."

11/12/01 - Qwest and Eschelon personnel met to review the information shared in the 10/31/01 CMP Re-Design meeting and to answer additional questions.

11/13/01 - Notification prepared for transmittal to CLEC community regarding follow-up meeting scheduled for 11/26/01.

11/14/01 - CMP Meeting - Qwest advised CLEC community that PCAT documents currently are available for comment.

11/24/01 - No comments were received from the CLEC community regarding PCAT documents posted to the Qwest Wholesale CMP Document Review WEB page.

11/26/01 - Qwest conducted a follow-up meeting with the CLEC community to discuss any technical issues with the CR (primarily operational and testing issues). Responses to questions were prepared for posting on the Qwest Wholesale WEB page.

11/28/01 - "Questions & Answers for Additional Testing 11/26/01" document posted to Qwest Wholesale WEB page [http://www.qwest.com/wholesale/cmp/changerequest.html].

11/28/01 - "Additional Testing Process Document - 11/09/01" and "Additional Testing Process Presentation - 11/09/01" posted to Qwest Wholesale WEB page [http://www.qwest.com/wholesale/cmp/changerequest.html]. These documents were previously posted in the Qwest Wholesale CMP Re-Design WEB page [http://www.qwest.com/wholesale/cmp/redesign.html].

11/30/01 - Qwest IT Wholesale Communicator, November 30, 2001, Document No. SYST.11.30.01.F.02444_CEMR_UG_Update, CEMR User’s Guide Update prepared for transmittal to Qwest Wholesale Customers

12/05/01 - Formal Escalation received from Eschelon regarding implementation of CR.

12/06/01 - Qwest response sent acknowledging receipt of Formal Escalation from Eschelon (PC100101-5-E01).

12/07/01 - KMC Telecom notified Qwest to participate in the formal escalation initiated by Eschelon.

12/07/01 - Qwest publishes "QWEST - INTERNAL NOTIFICATION; Announcement Date: December 7, 2001; Effective Date: December 21, 2001; Document Number: I.PROD.12.07.01.F.00603.Pending-_ULL_EEL_LMC_UDIT; Notification Category: Product Notification; Target Audience: CLECs, Resellers; Subject: Pending Updates to Unbundled Local Loop General, EEL, LMC and UDIT Product Catalogs; Change Request Number: CR PC100101-5" for distribution to CLEC community. Notice indicates an effective date of subject updates as December 21, 2001. A fifteen-(15) day notice is provided to the CLEC community.

12/12/01 - CMP Meeting - Qwest advises CLEC community that a formal escalation has been received & that a formal escalation response is forthcoming.

12/13/01 - Qwest transmitted formal escalation response (via e-mail) to the originating CLECs (i.e., Eschelon Telcom, Inc., Covad Communications, and Allegiance Telecom Inc.) [response posted in Qwest Wholesale CMP WEB page; http://qwest.com/wholesale/cmp/escalations.html ].

12/21/01 - Eschelon reply received responding to the Qwest formal escalation response (dated 12/13/01) [reply posted in Qwest Wholesale CMP WEB page; http://qwest.com/wholesale/cmp/escalations.html ].

01/16/02 - CMP Meeting - Qwest provided status update indicating that CR is in "Escalated" status, and that Qwest is reviewing Eschelon reply (received 12/21/01).

02/20/02 - Qwest provided status update. CR remains in "Escalated" status. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

03/20/02 - CMP Meeting - Qwest advised that the CR was still in an Escalated status. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

04/17/02 - CMP Meeting - Qwest advised that the CR was still in an Escalated status.

05/15/02 - CMP Meeting - Qwest advised that the CR was still in an Escalated status. CLECs next step would be to go to Dispute Resolution.

06/19/02 - CMP Meeting - Qwest advised that the CR was still in an Escalated status.

07/08/02 - Per the agreement reached with the CLECs in Junes Product and Process CMP meeting, regarding escalated status this CR will carry the appropriate status prior to the escalation


Project Meetings

10/31/01 - CR presented to the participating CLECs at the CMP Redesign Session. Meeting minutes to be incorporated when posted to Wholesale CMP Re-Design WEB page [ http://www.qwest.com/wholesale/cmp/redesign.html].


Open Product/Process CR PC091201-2 Detail

 
Title: Systems Action Item 272 Feature Verification for Large CSRs Send a notice out to CLEC's concerning how they would do a feature verification for large CSRs (Formerly Systems Action Item 272)
CR Number Current Status
Date
Area Impacted Products Impacted

PC091201-2 Completed
10/17/2001
TBD
Originator: Powers, Lynne
Originator Company Name: Qwest Corporation
Owner: Coyne, Mark
Director:
CR PM:

Description Of Change

Process to CLEC’s concerning how they would do a feature verification for a large CSR’s (Customer Service Record)

Determine a process and contact(s) that will be available to provide CSR feature verification.


Status History

06/18/01 - Mark Coyne is working on the response for the CLECs.

06/20/01 - This is related to item # 210 and # 254

07/13/01 - Notice was sent 6/20/01 on limitations for doing FV for large CSR's, see #254

07/18/01 - Qwest will develop a process for doing Feature Verification on Large CSRs in the future

09/05/01 - Draft Position response sent to Eschelon (Kathy Stichter)

09/13/01 - Notification to Eschelon, Kathy Stichter, that change request was assigned PCCR091201-2 as log number, replacing Action Item 272.

Included request if Eschelon had opportunity to review Qwest response of 9-5-01.

09/19/01 - CMP Meeting - Eschelon acknowledged Qwest's response and agreed to move CR into CLEC Test.

09/25/01 - Qwest response, dated 09/05/01, issued to CLEC Community

10/17/01 - CMP Meeting: It was agreed that the CR could be "Closed."


Project Meetings


CenturyLink Response

September 5, 2001 Wholesale Product Marketing Kathleen Stichter ILEC Relations Manager Eschelon Telecom, Inc

This letter is being sent in response to Action Item #272. Action Item #272 pertains to a request for a notice to be sent to the CLECs, regarding how they would do feature verification for large CSRs.

Response: CLEC accounts that have Large CSRs (50 pages GUI/75 pages EDI) cannot be retrieved in IMA Feature Verification. If the CLEC attempts Feature Verification for a Large CSR, they will receive the following error message CSR too Large for Feature Verification Processing CSR may be retrieved in Pre Order. When this error message is received, CLECs must follow the new process for Large CSR Feature Verification.

Requests for Large CSR Feature Verification will be submitted by the CLEC to a designated e-mail address or fax number in the ISC center. The CLECs will submit their requests to the ISC center that normally processes their LSRs.

The appropriate e-mail addresses and fax numbers for Large CSR Feature Verification follow: Denver Center e-mail: kwalden@qwest.com; fax number (303) 383-7197, Minneapolis Center e-mail: lahend1@qwest.com, rdrier@qwest.com, gfinnem@qwest.com or cranta@qwest.com; fax number (612) 663-0502.

The commitment interval for completing and responding to Feature Verification requests will be determined either by the number of pages in the CSR or individual negotiation. The standard interval for a CSR with less than 85 pages is 3-5 business days. The standard interval for a CSR with more than 85 pages is 5-7 business days. Individual negotiation for a commitment interval may be required during peak periods or for extremely large CSRs.

When the verification process is complete, the center SDC will send a response e-mail or fax (determined by how the request was received) to the CLEC that includes the verification process findings and any corrective action taken.

Sincerely

Monica Manning Process Specialist


Open Product/Process CR PC090501-1 Detail

 
Title: Determine a call back interval for the help desk to respond to CLECs
CR Number Current Status
Date
Area Impacted Products Impacted

PC090501-1 Completed
10/17/2001
Repair N/A
Originator: Thompson, Jeff
Originator Company Name: Qwest Corporation
Owner: Loftus, Lynn
Director:
CR PM: Thomte, Kit

Description Of Change

Determine a call back interval for the Help Desk to respond to CLECs. Publish a list of definitions for both Tier and Severity levels.


Status History

07/17/01 - The current call process is that a call back will be generated whenever the Ticket status is changed. Jeff Thompson is working with the Help Desk to establish a standard call back interval for all tickets

7/18/01 - There is a 30 minute call back time for the Sierra Vista Held Desk on Tier 1 issues. No commitment yet on the Tier 2 issues.

08/21/01 - Action item discussed with Qwest CR PM, submitter, owner. SME assigned.

08/22/01 - Meeting with CR PM and SME.

08/28/01 - Clarification meeting with CR PM and SME.

08/30/01 - Response completed.

09/19/01 - Response Accepted at the 09/19/2001 CMP Forum

09/19/01 - CLEC Test status agreed upon at the 09/19/2001 CMP Forum

10/17/01 - CR closed based on discussion during October 2001 CMP Monthly Meeting


Project Meetings

Tuesday, August 28, 2001, Clarification Meeting with CR PM and SME. Attendees: Peggy Esquibel-Reed and Lynn Loftus / Qwest Reviewed response.

Wednesday, August 22, 2001, Status Meeting with CR PM and SME. Attendees: Peggy Esquibel-Reed and Lynn Loftus / Qwest Lynn is currently investigating interval guidelines. Methods and Procedures have been developed and distributed to Help Desk personnel. Will also check into a document (Communicator) previously provided to Qwest Wholesale Customer's.

Tuesday, August 21, 2001, Internal clarification meeting. Attendees: Peggy Esquibel-Reed, Jeff Thompson, and Todd Mead / Qwest CR PM obtained status of investigation from IT Director. Lynn Loftus assigned as the SME.


CenturyLink Response

August 30, 2001 Information Technologies Qwest is pleased to announce improvements in our response times for the IT Wholesale Systems Help Desk. We hope the following general information will be helpful regarding our efforts to improve response times, and in working with the IT Wholesale Systems Help Desk. You may have already noticed some of these improvements, but they officially take place September 10th.

The IT Wholesale Systems Help Desk supports Competitive Local Exchange Carriers who have questions regarding connectivity, outputs, and system outages. The Help Desk serves as your first point of contact for reporting trouble. If the Help Desk is unable to assist you, they will refer information to the proper subject matter expert, also known as Tier 2 or Tier 3 support, who may call you directly. Often, however, an IT Wholesale Help Desk representative will contact you to provide information or to confirm resolution of your trouble ticket. General Information IT Wholesale Systems Help Desk Telephone Number (888) 796-9102 IT Wholesale Systems Help Desk Hours of Operation Monday-Friday 6:00 a.m. - 8:00 p.m. Mountain time Saturday 7:00 a.m. - 3:00 p.m. Mountain time

Ticket Response Times and Severity Levels The chart below indicates the response intervals a CLEC can expect to receive after reporting a trouble ticket to the IT Wholesale Systems Help Desk on a single outage. Response intervals are based on the severity level of the ticket. An explanation of severity levels is included in this Communicator. Normal business hours of operation apply to all specified time frames.

Severity Level 1: Response interval for initial ticket is immediate acceptance. Response interval for any change in status is within 1 hour. Response interval for no change in status is 1 hour. Response interval upon resolution is within 1 hour.

Severity Level 2: Response interval for initial ticket is immediate acceptance. Response interval for any change in status is within 1 hour. Response interval for no change in status is 1 hour. Response interval upon resolution is within 1 hour.

Severity Level 3: Response interval for initial ticket is immediate acceptance. Response interval for any change in status is within 4 hours. Response interval for no change in status is 48 hours. Response interval upon resolution is within 4 hours

Severity Level 4: Response interval for initial ticket is immediate acceptance. Response interval for any change in status is within 8 hours. Response interval for no change in status is 48 hours. Response interval upon resolution is within 8 hours.

A response interval is defined as the time between when a subject matter expert contacts the IT Wholesale Help Desk with new information or the resolution details of your trouble ticket, and the time the IT Wholesale Help Desk representative notifies the affected CLEC. The response intervals apply to single company tickets.

Severity Levels An outage is a critical or serious loss of functionality. Severity level is a means of assessing and documenting the impact of the loss of functionality to the customer and the impact to the business. The severity level gives restoration or repair priority to problems causing the greatest impact to the customer or business.

The guidelines for determining severity levels are listed below. Examples of some trouble ticket situations follow. Please keep in mind these are guidelines, and each situation is unique. The IT Wholesale Systems Help Desk representative will make the determination of the severity level based on the individual situation.

Severity 1 is a Critical Impact which includes high visibility, a large number of orders or customers are affected, affects online commitment, production or cycle stopped - priority batch commitment missed, major impact on revenue, major component not available for use, many and/or major files lost, major loss of functionality, problem can not be bypassed, no viable or productive work around available. Examples: Major network backbone outage without redundancy, environmental problems causing multiple system failures, large number of service or other work order commitments missed.

Severity 2 is a Serious Impact and includes moderate visibility, moderate to large number of customers, or orders affected, potentially affects online commitment, serious slow response times, serious loss of functionality, potentially affects production - potential miss of priority batch commitment, moderate impact on revenue, limited use of product or component, component continues to fail. Intermittently down for short periods, but repetitive, few or small files lost, problems may have a possible bypass; the bypass must be acceptable to the customer, major access down, but a partial backup exists. Examples: Frequent intermittent logoffs, service and/or other work order commitments delayed or missed.

Severity 3 is a Moderate Impact and includes low to medium visibility, low customer, or order impact, low impact on revenue, limited use of product or component, single client device affected, minimal loss of functionality, problem may be bypassed; redundancy in place. Bypass must be acceptable to the customer, automated workaround in place and known. Workaround must be acceptable to the customer. Example: Equipment taking hard errors, no impact yet.

Severity 4 is Minimal Impact and includes low or no visibility, no direct impact on customer, few functions impaired, problem can be bypassed. Bypass must be acceptable to the customer, system resource low; no impact yet, preventative maintenance request. Examples: Misleading, unclear system messages causing confusion for users, device or software regularly has to be reset, but continues to work.

System Event Notification - Planned/Unplanned Outages

Qwest recently announced a new System Event Notification process in Release Notification SRN060101- 4, dated June 1, 2001. The System Event Notification provides e-mail notifications regarding unplanned outages. You may subscribe to the System Event Notification list via e-mail at majordomo@qwest.com. The required subject line is "Add to wshdnoti mail list". A copy of the June 1st Communicator is attached with more details.

Qwest provides several additional ways for you to find out about severe outages affecting more than one area or company. The IT Wholesale Systems Help Desk VRU at 888-796-9102, Option 2, provides a list of current known system outages and is updated with new information as soon as it becomes available. Improvements are being made to the present VRU notification system to provide for more detail.

IMA has the capability to provide pop-up windows detailing system outage information to users of a given system. You will receive the information when trying to log on to the system. If you are already logged on to IMA however, this information will not appear unless you try to log on to the system again.

For scheduled outages, e-mail notifications are sent by the IT Wholesale Systems Communications Manager. The e-mail contains basic details of the planned outage, such as the systems affected, restore time if known, and a referral to the VRU for updated information. This e-mail distribution is for scheduled outages where at least 48 hours notice can be given. Please contact your Service Manager to be placed on this e-mail distribution list.

We hope the information in this Communicator will assist you when calling the IT Wholesale Systems Help Desk. Please see the attached Communicator dated June 1, 2001, containing all details of the System Event Notification. You are always welcome to discuss any questions with a Help Desk representative, or contact your Service Manager for assistance.

COMMUNICATOR INFORMATION To: Qwest Wholesale Customers From: Tina Hubis, Qwest IT Wholesale Systems Communications Manager Dated: June 1, 2001 Subject: System Event Notification Process

This Communicator is to advise you that effective June 5, 2001, Qwest plans to begin a new System Event Notification process. The process will provide e-mail notification regarding system events. The Qwest systems covered in this process include, Interconnect Mediated Access, (IMA)-EDI and GUI Interfaces, TELIS/EXACT, E-Commerce Gateway, Customer Electronic Maintenance and Repair (CEMR), Resale Product Database (RPD), Mediated Access (MEDIACC).

To receive e-mail notifications regarding system events, you may subscribe yourself to the notification list via e-mail. To subscribe to the notifications: 1. Send an e-mail to majordomo@qwest.com 2. The required subject line for your e-mail is: Add to wshdnoti mail list 3. In the text area of the e-mail enter only the following required command: subscribe wshdnoti 4. Send the e-mail to complete the process.

NOTE: There are a number of points to consider before you subscribe to this new notification list: The e-mail address of the sender will be added to the distribution list so be sure to send the request from the e-mail address you want the notifications sent to. Those who subscribe to the list will receive notifications on all the included systems. It is not possible to request only specific systems. To ensure timely receipt of these notifications, Qwest recommends that each company have at least two people subscribe to the list. This information will be of most value to those personnel in your operations centers. These may not be the same people who currently receive notifications through the Co-Provider Industry Change Management Process (CICMP).

If you need to remove yourself from the notification list at a later time: 1. Address an e-mail to majordomo@qwest.com 2. The required subject line for your e-mail is: Changes to wshdnoti mail list 3. In the text area of the e-mail enter only the following required command: unsubscribe wshdnoti 4. Send the e-mail to complete the process.

If you need to change your e-mail address at a later time: 1. Address an e-mail to majordomo@qwest.com 2. The required subject line for your e-mail is: Changes to wshdnoti mail list 3. In the text area of the e-mail enter the first required command: unsubscribe wshdnoti This is will remove your old e-mail address. 4. Enter a second required command: subscribe wshdnoti to subscribe your new e-mail address. 5. Send the e-mail to complete the process.

If you need any further assistance on this process, please contact the Qwest Wholesale Systems Help Desk at 1-888-796-9102 and select Option 3.

Prepared by: Jeffery Thompson, Information Technologies Director


Open Product/Process CR PC090501-2 Detail

 
Title: How should custom Ring TN be handled in the Service Centers today and after IMA 8.0
CR Number Current Status
Date
Area Impacted Products Impacted

PC090501-2 Completed
1/16/2002
Ordering N/A
Originator: Thompson, Jeff
Originator Company Name: Qwest Corporation
Owner: Coyne, Mark
Director:
CR PM:

Description Of Change

How should Custom Ring TN be handled in the Service Centers today and after IMA 8.0? Eschelon would like the Custom Ring ordering process documented and made available on the web. Eschelon does already have some information. Eschelon will close out Action 310 after the documentation appears on the web. Tentative close date, from Eschelon, is October 5, 2001.

08/30/01 - Eschelon would like the Custom Ring ordering process documented and made available on the web.


Status History

07/13/01 This procedure is currently being reviewed with the External documentation team. Will have update by Sept 28

08/20/01: Action item discussed with Qwest CR PM, submitter and owner.

08/22/01: External documentation SME assigned.

08/23/01: Meeting with CR PM and external documentation SME.

08/24/01: Alignment meeting held.

08/27/01: Response prepared.

08/30/01: Response emailed to Kathy Stichter & Bonnie Johnson at Eschelon.

09/06/01 - Email received from Kathy Stichter asking if Custom Ring will be identified as a number or feature. If Custom Ring did not change with the IMA 8.0 release this will satisfy Eschelon.

09/06/01 - Sent email to Kathy Stichter advising that Custom Ring is still ordered as a feature and was not changed with the IMA 8.0 release.

09/07/01 - Email received from Kathy Stichter advising their request has been answered.

09/10/01 - Confirmed with Qwest External Documentation group that the internal reviews are beginning today. All is on schedule for the September 28th date for the documentation to be out on the web site.

09/12/01 - Update from External Documentation Group

09/19/01 - Documentation reviews completed by the Qwest External Documentation Group. Documentation on schedule for the September 28, 2001 implementation date

09/19/01 - Response Accepted at the CMP Forum, CR now in Development status.

09/28/01 - Documentation posted to the web.

10/03/01 - Custom Ring documentation appear on the web at URL http://www.qwest.com/wholesale

10/17/01 - CMP Meeting: It was agreed that the CR could move to CLEC Test.

10/17/01 - CMP Meeting: Eschelon stated that the web documentation does not contain information on ordering the Custom Ring feature. MarkCoyne/Qwest referenced several areas in the documentation that pertain to ordering of custom ringing. Eschelon would like CR in CLEC Test status.

11/14/01 - CMP meeting: CR will remain in CLEC Test while Qwest investigates the inconsistencies between IMA and the documentation on the web.

12/12/01 - CMP Meeting: External documentation will be updated by 12/21/01. CLECs to review before January CMP meeting.

12/21/01 - Web Document updated. See: http://www.uswest.com/wholesale/clecs/features/customringing.html

01/16/02 - January CMP meeting. CLECs have reviewed documentation on the web and agreed to close CR. CR status changed to "Completed"


Project Meetings

11/14/01 CMP Meeting Stichter-Eschelon stated that the information on the Web was different from what IMA will accept. She stated that Qwest was working to correct the problem. Coyne-Qwest stated that Qwest had issued an UR to fix the inconsistencies, and that a projected completion date was not yet available. Schultz-Qwest stated that the CR would remain in CLEC test.

09/12/01 - Update from External Documentation Group The features are listed in the UNE-P PCAT and when you click on a particular feature in the UNE-P PCAT, it will take you to the specific feature documentation. CLEC's will have formal notification of Web Posting on 09/26/01

Friday, August 24, 2001, Alignment Meeting Attendees: Richard Martin, Kate Spry, Peggy Esquibel-Reed, Lynn Stecklein, Todd Mead, Jerri Brooks, Dave Maier, Pete Wirth / Qwest, and Kathy Stitcher / Eschelon CLEC Expectations: Kathy advised that the question is as to when the Custom Ringing documentation will be available on the web site. There is no question regarding the actual content.

The IMA 8.0 release did not impact how the Custom Ring feature is ordered or requested. Qwest will publish documentation on the Custom Ring feature, including how it is to be ordered. This documentation will be available to the CLECs on September 28, 2001 at the Qwest web site, URL: http://www.qwest.com/wholesale Action Plan: The draft of the Custom Ring feature document will be completed September 7, 2001. Internal reviews/walk through's of the Custom Ring feature documentation will be conducted, beginning on September 10, 2001. This documentation will be reviewed by Qwest personnel, which will include Product Management and Senior Management. Revisions to the document will then be made, if applicable, and approved by September 26, 2001.The document will be sent to the Qwest web group by September 27, 2001.The documents will be posted to the web site and available to the CLECs on September 28, 2001. Thursday, August 23, 2001, Meeting with Qwest External Documentation SME Attendees: Peggy Esquibel-Reed and Janice Cuba / Qwest Documentation on features, including Custom Ringing, is currently being developed and will be available on the external web site on September 28, 2001. This documentation will include ordering information. Internal reviews will be held with Product and Senior Management. Once approval is received, the documents will be sent to the Qwest web group and will appear on the web site on September 28th. The web site URL is http://www.qwest.com/wholesale


CenturyLink Response

08-27-01 The IMA 8.0 release did not impact how the Custom Ring feature is ordered or requested. Qwest will publish documentation on the Custom Ring feature, including how it is to be ordered. This documentation will be available to the CLECs on September 28, 2001 at the Qwest web site, URL: http://www.qwest.com/wholesale The draft of the Custom Ring feature document will be completed September 7, 2001. Internal reviews/walk through’s of the Custom Ring feature documentation will be conducted, beginning on September 10, 2001. This documentation will be reviewed by Qwest personnel, which will include Product Management and Senior Management. Revisions to the document will then be made, if applicable, and approved by September 26, 2001. The document will be sent to the Qwest web group by September 27, 2001. The documents will be posted to the web site and available to the CLECs on September 28, 2001.


Open Product/Process CR PC090601-2 Detail

 
Title: Access to DSL pre qualification information (Formerly Systems Action Items 309 & 319)
CR Number Current Status
Date
Area Impacted Products Impacted

PC090601-2 Completed
10/17/2001
TBD
Originator: Thompson, Jeff
Originator Company Name: Qwest Corporation
Owner: Raible, Julie
Director:
CR PM: Thomte, Kit

Description Of Change

AI - 309 - Get with Julie Raible on Eschelon examples for CR 5578937

AI - 319 - Call Karen Clauson at Eschelon to discuss the fix going in for MegaBit (Qwest DSL) LoopQual and make sure that it addresses Eschelons concerns.

Call Karen at Eschelon to discuss the fix going in for Megabit (Qwest DSL) Loop Qual and make sure that it addresses Eschelon’s concerns. This was listed as item AI 319 but was subsequently merged with AI 309


Status History

8-20 Julie Raible sent an e-mail notifying Eschelon that Qwest had reviewed the data that had been provided. Analysis of the data did not provide any insight regarding the problem they were seeing and Julie verified with Brad that he is only accessing systems that are accessible by IMA

The IMA release 8.0 went in on 8-18 and some of the issues might be addressed in that release.

08/27/01 - Qwest email response submitted to Eschelon

8-30 Eschelon advised that more problems had been identified on 8-23 after the 8.0 release. She provided an e-mail late in the day I will forward to Julie.

09/12/01 - Walk-Through on Qwest's responses held with Eschelon

09/19/01 - CMP Meeting -Eschelon advised that they acknowledged Qwest's responses and the CR could be placed into CLEC Test.

10/17/01 - CMP Meeting: It was agreed that the CR could be closed.


Project Meetings

09/12/2001 11:33 AM - Email Subject: Megabit PreQual Tool Action Item 309 SCR 090601-1

Introductions were made from Qwest and Eschelon. In attendance Kathy Stichter, Ann G, Jenny D, Kit Thomte, Ric Martin, Julie Raible, Lane Jones and Russ Urevig.

We read the initial statement associated with the CR. Julie Raible explained her e-mail response to Eschelon.

Kit outlined the most recent problem that had been identified by Kathy. This outlined a scenario (Engineering Economics) where it appeared that internal systems might be providing a different response to inquiries than external sources. The information provided by Lane and Russ did not indicate inconsistencies. The group agreed it was not relevant to pursue this specific case.

Kathy indicated they were having for specific areas with problems. 1. When they install a loop, the TN is not in the system for 3days to 2 weeks after the five day requirement. Qwest requested examples of items that don't show up within the standard interval for the product.

2. They consistently get "undetermined status" with no explanation approximately 90% of the requests. Julie indicated that once the 8.0 release was installed that they should only put in the TN not TN and Address. Eschelon indicated they would track post 8.0 issues and send examples. Julie explained when LFACs data anomalies occur the capability exists to send an e-mail to Qwest for manual updates.

3. Eschelon gets a No status in Megabit and a Yes in Unbundled ADSL. Julie indicated that the Unbundled tool would advise if a lower speed DSL might be available.

4. The tools are so inaccurate that they are sending numerous examples to Brad. Qwest requested that examples be provided to allow research into the issue. Julie indicated that Brad does not use any system that is not available via IMA.

Julie reviewed some of the changes that were implemented with the 8.0 release. These changes were originally scheduled for 9.0 but were moved to 8.0.

In closing it was agreed that Eschelon accepted our previous e-mail responses. Qwest would document the discussion that took place in this working session. The CR would be left open for 2 weeks pending any other issues. Other issues would be forwarded to Kit.

Thanks Kit Thomte

08/30/2001 03:56 PM Email Kathleen Thomte To: klstichter@eschelon.com

Subject: For Action 309

Kathy,

I believe that the response that Julie Raible provided on August 20th addressed many of the issues that existed prior to the 8.0 IMA release. It is Quest's belief that Julie Raibels e-mail and the 8.0 release have addressed the issues associated with systems action items 309 and 319. However as we discussed today, since that release Eschelon has identified one or more specific issues that need to be addressed. I would like to use our meeting on September 11th to work through those issues. If other items are identified that can be reviewed in that session I would appreciate some information in advance so we can research the issue and make this more of a working session.

Thanks, Kit Thomte 303 896-6776


CenturyLink Response

08/27/2001 12:05:29 PM Julie Raible on To: kthomte@qwest.com Subject: For Action 309

Content-Type: multipart/mixed; boundary=" This is a multi-part message in MIME format. Content-Transfer-Encoding: 7bit Content-Type: text/plain; charset=us-ascii

Kathy,

Attached is the list of Addresses/TNs that you sent to Qwest. I did some analysis on the list and added a Qwest Comments Column. Also, we did some further analysis on the numbers we couldn't find and that document is also attached.

We also checked with Brad Butturff and verified that he is not using any system that IMA does not access for Loop Qualification and RLD. He is mainly using QSERV, which is the same system used for IMA Megabit Loop Qual. He sometimes uses Facility Check when the CLEC requests an Unbundled Data Loop Qualification which is the same system used for IMA Unbundled ADSL Loop Qualification.

Please call me with any questions and let me know if you would like me to set up a conference call to discuss the results. My number is 303-965-4261.

Thanks, Julie


Open Product/Process CR PC072009-2 Detail

 
Title: Eliminate Qwest Connections Guide Program
CR Number Current Status
Date
Area Impacted Products Impacted

PC072009-2 Completed
10/21/2009
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest will be eliminating the Qwest Connections Guide Program in all 14 state tariffs. There are currently no Retail or Wholesale Customers impacted.

The proposed implementation date is 9/30/09


Status History


Project Meetings

10/21/09 Product/Process CMP Meeting

Mark Coyne-Qwest said this CR was effective on 10/5/09 and asked if there was any objection to closure. There were no objections.

9/16/09 Product/Process CMP Meeting

Mark Coyne-Qwest said the level 2 announced 9/14/09 with an effective date of 10/5/09.

8/19/09 ProductProcess CMP Meeting

Cindy Schwartze-Qwest said we will be eliminating the Qwest Connections Guide Program in all 14 states tariffs with an implementation date of 10/5/09. She said there is currently no retail or wholesale customers and we would like to reduce this from a level 4 to a level 2 notification. Bonnie Johnson-Integra asked what this program is. Cindy Schwartze-Qwest said this program was there in mid 2005 and was a trial for residential only marketing program. It allowed the company to provide incentives through realtors and moving and mortgage reps. to market Qwest services to Qwest residential customers. Susan Lorence-Qwest said we will proceed with a level 2.


Open Product/Process CR PC071009-2IGX Detail

 
Title: Elimination of Qwest internal 10 business day Switch Homing Arrangement (SHA) Grace Period to ensure Qwest adherence to industry guideline LERG effective date.
CR Number Current Status
Date
Area Impacted Products Impacted

PC071009-2IGX Completed
9/16/2009
NA
Originator: Rodgers, Todd
Originator Company Name: Qwest Corporation
Owner: Rodgers, Todd
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest has an internal practice for tandem Switch Homing Arrangement (SHA) changes that is no longer practical nor in compliance with industry guidelines. That practice allowed a "grace period" of 10 business days to accept traffic at the "old" tandem and continue termination to the final destination.

See ATIS (Alliance for Telcom Industry Solutions) document 0300037, Network and Routing Resources Educational Document: Intercompany Responsibilities in the Telecommunications Industry.

Excerpt:

Effective Date - The date by which routing and rating changes within the PSTN must be complete for the assigned thousands-block or the assigned CO Code. Also, the date by which the thousands-block becomes an active block. (Also referred to as “the LERG effective date.”) (Emphasis added by Qwest.)

Each provider determines the LERG effective date that is to be implemented. Qwest has no control over that date. Qwest will no longer provide a grace period and will make appropriate changes to our switching fabric on the LERG® (Local Exchange Routing Guide) effective date.

Industry Forum - ATIS


Status History


Project Meetings

9/16/09 ProdProc CMP Meeting

Mark Coyne-Qwest said this CR was effective on 8/26/09 and would like to close. There were no objections.

8/19/09 ProdProc CMP Meeting

Susan Lorence-Qwest said the level 4 announced on 7/20/09 and there were no formal comments. The final notice was sent on 8/11/09 with an effective date of 8/26/09.

7/15/09 Systems CMP Meeting

Todd Rodgers-Qwest said there is an internal practice for tandem Switch Homing Arrangement (SHA) changes that is no longer practical nor in compliance with industry guidelines. That practice allowed a "grace period" of 10 business days to accept traffic at the "old" tandem and continue termination to the final destination. See ATIS (Alliance for Telcom Industry Solutions) document 0300037, Network and Routing Resources Educational Document: Intercompany Responsibilities in the Telecommunications Industry. Excerpt: Effective Date - The date by which routing and rating changes within the PSTN must be complete for the assigned thousands-block or the assigned CO Code. Also, the date by which the thousands-block becomes an active block. (Also referred to as “the LERG effective date.”) (Emphasis added by Qwest.) Each provider determines the LERG effective date that is to be implemented. Qwest has no control over that date. Qwest will no longer provide a grace period and will make appropriate changes to our switching fabric on the LERG® (Local Exchange Routing Guide) effective date. Kim Isaacs-Integra asked what system is changing and why this was submitted as an Industry Guideline CR. Lynn Stecklein-Qwest said that per the CMP document an Industry Guideline CR is presented as a System CR and if no system work is needed, the CR is crossed over to Product and Process.


Open Product/Process CR PC072909-1 Detail

 
Title: Eliminate USOCs in Montana
CR Number Current Status
Date
Area Impacted Products Impacted

PC072909-1 Completed
10/21/2009
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest will be eliminating USOC’s – TM4 (In Only Trunk- Message Call Option), TM2 (Two Way Trunk-Message Call Option), EQA (Two Way- Network Access Register), EQB (In Only –Network Access Register), and EQC (Out Only-Network Access Register) in Montana.. There are currently no Wholesale Customers with these USOCs.

The proposed implementation date is 10/12/09


Status History


Project Meetings

10/21/09 Product/Process CMP Meeting

Mark Coyne-Qwest said this CR was effective on 10/12/09 and asked if there was any objection to closure. There were no objections.

9/16/09 Product/Process CMP Meeting

Mark Coyne-Qwest said we will proceed with a level 2 that will announce on 9/21/09 with an effective date of 10/12/09.

8/19/09 ProductProcess CMP Meeting

Cindy Schwartze-Qwest said we will be eliminating USOC’s – TM4 (In Only Trunk- Message Call Option), TM2 (Two Way Trunk-Message Call Option), EQA (Two Way- Network Access Register), EQB (In Only –Network Access Register), and EQC (Out Only-Network Access Register) in Montana. There are currently no Wholesale Customers with these USOCs and are proposing an implementation date of 10/12/09. Cindy said that we would like to reduce this from a level 4 to a level 2 notification. Bonnie Johnson-Integra asked if there were any wholesale customers with these USOCs. Cindy Schwartz-Qwest said there are no wholesale customers. Susan Lorence-Qwest said that we will proceed with a level 2


Open Product/Process CR PC081709-1 Detail

 
Title: Eliminate One Number Service
CR Number Current Status
Date
Area Impacted Products Impacted

PC081709-1 Completed
11/18/2009
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest will be eliminating One Number Service, which is named Wireless Extension in all 14 state tariffs. The USOCs associated with this service are HME and HMP. The proposed implementation date is 10/31/09.


Status History


Project Meetings

11/18/09 Product/Process CMP Meeting

Mark Coyne-Qwest said this change was effective on 10/31/09 and asked if there were any objections to closure. There were no objections.

9/16/09 Product/Process CMP Meeting

Mark Coyne-Qwest said we will proceed with a level 2 to announce on 10/10/09 with an effective date of 10/31/09

8/19/09 ProductProcess CMP Meeting

Cindy Schwartze-Qwest said we will be eliminating One Number Service, which is named Wireless Extension in all 14 state tariffs. The USOCs associated with this service are HME and HMP. The proposed implementation date is 10/31/09. Cindy said there are no wholesale customers and would like to reduce this from a level 4 to a level 2 notification.

Julia Redman-Carter-PAETEC asked if this was being grandfathered and if there were any wholesale customers.

Cindy Schwartze-Qwest said this is an elimination and there are no wholesale customers.

Susan Lorence-Qwest said we will move forward with a level 2.


Open Product/Process CR PC082709-1 Detail

 
Title: Grandfather or Eliminate USOCs in Oregon
CR Number Current Status
Date
Area Impacted Products Impacted

PC082709-1 Completed
11/18/2009
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest will be grandfathering the following USOCs in Oregon – JUF (Joint User Service), and OBK6X, OAPXX, OVM1A, OVM1M, OVDXX (LATA Calling Plans). Qwest will be eliminating USOCs S1W1X (Split Intercept – 1 Month) and SIWCX ( Split Intercept – Change in name or message).


Status History


Project Meetings

11/18/09 Product/Process CMP Meeting

Mark Coyne-Qwest said this change was effective on 11/9/09 and asked if there were any objections to closure. There were no objections.

10/21/09 Product/Process CMP Meeting

Mark Coyne-Qwest said the level 4 notice announced on 9/25/09 with an effective date of 11/9/09 and will revisit in the November CMP Meeting.

9/16/09 Product/Process CMP Meeting

Lynn Stecklein-Qwest said that Qwest will be grandfathering the following USOCs in Oregon – JUF (Joint User Service), and OBK6X, OAPXX, OVM1A, OVM1M, OVDXX (LATA Calling Plans). Qwest will be eliminating USOCs S1W1X (Split Intercept – 1 Month) and SIWCX (Split Intercept – Change in name or message).

Kim Isaacs-Integra asked if there were any CLECs with these USOCs.

Mark Coyne-Qwest said we will get with Cindy Schwartze (Qwest) and provide the response in the minutes.

Kim Isaacs-Integra asked if Qwest was eliminating the Split Intercept 1-month and Split Intercept – Change in name or message or will there be different USOCs for that product.

9/17/09 Qwest Response Provided by Cindy Schwartze For the grandfathered USOC JUF, there are Wholesale customers. With all of the other USOCs, there are no Wholesale customers. Qwest will be eliminating the Split Intercept – 1 month and the Split Intercept – Change in name or message USOCs.


Open Product/Process CR PC100909-1CM Detail

 
Title: Modify CMP document section 12.8 to combine current Tier 1 and 2
CR Number Current Status
Date
Area Impacted Products Impacted

PC100909-1CM Completed
1/20/2010
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Lorence, Susan

Description Of Change

Due to reduced call volumes into the CSIE for Tier 2 escalations and a desire to increase the responsibility of Call Center personnel as described in the CMP document, Qwest is proposing changes to section 12.8. See attached redlined document.


Status History


Project Meetings

01/20/10 ProdProc CMP Meeting Kim Isaacs – Integra questioned the status of the CR.

Mark Coyne-Qwest requested that we close this CR. He relayed that a Level 2 notice was distributed 12/1/09 with an effective date of 12/22/09. The level 1 notice associated with the CMP document update was sent 12/22/09 with the same effective date. There were no objections to closing the CR.

12/16/09 ProdProc CMP Meeting

Mark Coyne-Qwest said that the CMP vote was originally scheduled for the November CMP meeting but due to discussion was delayed. On 12/01/09, Qwest received unanimous approval to accept the proposed changes. The results of the vote were sent 12/3/09 via a CMP notice. A Level 2 notice was distributed 12/1/09 to update the Expedites and Escalations business procedure with a planned effective date of 12/22/09. Mark said Qwest will be submitting a level 1 notice to update the CMP document associated with the 12/22/09 effective date.

11/18/09 ProdProc CMP Meeting

Mark Coyne-Qwest said this CR was presented in the October meeting and during the meeting, we asked for comments on the redline to move forward on the vote. A vote notification went out approximately advising that a vote in the November CMP meeting. Integra provided revisions to the redline that need to be reviewed before a vote can be conducted and are posted to the Wholesale calendar. Mark said based on discussion today, we can determine how to move forward.

The 1st item discussed was the change Integra submitted associated with notifying ‘All Call Handling Centers’. Mark said there is only one call center.

Bonnie Johnson-Integra said that Qwest may have to engage repair, systems etc. She said she is willing to change it from all to appropriate.

Mark Coyne-Qwest said impacted or appropriate call center will work.

Janean Van Dusen-Qwest said they are not called call centers. She said provisioning centers don’t take calls and would not be appropriate.

Bonnie Johnson-Integra asked if a parenthetical could be added that says, for example, repair or provisioning.

Janean Van Dusen-Qwest asked if there was a reason to identify those centers because this is business as usual.

Bonnie Johnson-Integra asked why Qwest removed this information.

Janean Van Dusen-Qwest said it was removed because there is only one call handling center and they are the ones that forward it to the process specialist and there is no reply back. The process specialist notifies all appropriate centers of the reported trouble and current status. Bonnie Johnson-Integra said it could be changed to say that the process specialist will notify all impacted or appropriate centers of the reported trouble.

Janean Van Dusen-Qwest said that was acceptable.

Julia Redman-Carter-PAETEC said Qwest (11/30/09 – Comments to minutes received from PAETEC in BOLD) PROPOSED STATEMENT INCLUDED appropriate centers and contacts and asked if centers imply contacts.

Janean Van Dusen-Qwest said yes, and that this is business as usual for Qwest internally. She said we work and notify the appropriate center and is all encompassing.

Mark Coyne-Qwest said Qwest prefers to leave it as center and is more appropriate than contact.

Bonnie Johnson-Integra said that call center would include contact.

Janean Van Dusen-Qwest agreed.

Mark Coyne-Qwest asked if there was consensus that the document will say – ‘The process specialist will notify all appropriate centers of the reported trouble and current status’.

Integra and PAETEC agreed with this change.

Mark Coyne-Qwest said the 2nd item to be discussed was the elimination of the word agent. Mark said tier 1 agent was removed because of the rollup of the tier 1 and 2 groups of people that will be used at tier 1 which could include the CSIE representatives, coaches, process specialists and team leaders. Qwest took agent out because that is no longer applicable to those at tier 1 handling the request.

Bonnie Johnson-Integra asked if we could use personnel or representatives.

Mark Coyne-Qwest said we could use personnel or representatives and asked Janean for her input.

Janean Van Dusen-Qwest said representative was more appropriate.

Bonnie Johnson-Integra said representative would be added to the redline to replace agent and could be plural.

Janean Van Dusen-Qwest referred to the 2nd paragraph in section 12.8.2. She said based on the discussion today, the sentence will read ‘Tier 1 will advise the appropriate centers, other appropriate Tier 1 representatives and applicable Service Managers (Tier 2)’.

Mark Coyne-Qwest said that the redline will be updated to include appropriate before center.

Janean Van Dusen-Qwest referred to the 1st paragraph where center coaches, team leads and process specialist was removed and asked Integra if this implied that they were going to call the team leads, coaches, etc. to open a ticket.

Bonnie Johnson-Integra said no, what they were trying to achieve is to ensure that because you are eliminating tier 2, this will now occur at tier 1.

Janean Van Dusen-Qwest said she understood that but we don’t want it to read that team leads, coaches etc. have the ability to open tickets because they don’t.

Bonnie Johnson-Integra said that wasn’t Integra’s intent.

Susan Lorence-Qwest said that is why we added that in the 1st paragraph to not give the impression that was part of tier 1 because they won’t actually be answering the phone.

Bonnie Johnson-Integra said she doesn’t read it that way but tier 1does include that group of people.

Mark Coyne-Qwest suggested that in the 1st paragraph, we add in parenthesis Tier 1 (CSIE) will open a call center database ticket for all reported trouble.

Bonnie Johnson-Integra said adding CSIE behind tier 1 would be fine.

Janean Van Dusen-Qwest agreed with the change.

Susan Lorence-Qwest said we will keep CSIE and could we say with support of center coaches, team etc.

Bonnie Johnson-Integra said you are removing tier 2 and putting everything from tier 2 into tier 1.

Janean Van Dusen-Qwest said this is what happens today and tier 1 was going to tier 2 anyway.

Bonnie Johnson-Integra said she understands how Qwest is operating today and is not trying to change that. Bonnie said if you are eliminating tier 2 and putting it all under tier 1 it should be noted. Bonnie said it doesn’t say anywhere in the tier what the process is for calling, it just identifies the personnel.

Janean Van Dusen-Qwest said if we were going to do that there are a lot more people listed in tier 1.

Bonnie Johnson-Integra said she doesn’t see a need to put anymore but doesn’t want to include any less.

Julia Redman-Carter said if the center coaches, team leads, etc. aren’t the same people at tier 1, then we do want to list them because (11/30/09 – Comments to minutes received from PAETEC in BOLD) OTHERWISE we are narrowing the scope.

Janean Van Dusen-Qwest said the team leads, coaches etc are the same and when the call comes in to tier1 and before it ever went to tier 2 under the old structure, the CSIE rep would already be going to team leads and coaches to get assistance on the tier 1 ticket.

Julia Redman-Carter said with that said, Mark’s suggestion of inserting after CSIE (all calls direct) would be clear because tier 1 does comprise everything in tier 1, 2 because it’s done behind the scenes. Julia said with Mark’s clarification of calling the coaches separately is just a clarification and they are all part of tier 1.

Janean Van Dusen-Qwest said she didn’t disagree but didn’t want a new CLEC looking at the document and have them think that when they call tier 1, they can call directly to a team lead, coach, etc to open a ticket.

Bonnie Johnson-Integra said that a new CLEC has never been able to call directly to them.

Kim Isaacs-Integra ASKED IF the option of asking to speak to a coach or have a coach on line is something that is still available to them. She said they are going to overload their service managers and need to know that we would be loading the service manager down when things could have been resolved.

Susan Lorence-Qwest referred to the 1st bullet tier 1 and proposed language which includes CSIE center coaches, team leads etc.

Julia Redman-Carter said if you do that it appears that they can call in directly.

Susan Lorence-Qwest said the primary number is a tier 1 number.

Bonnie Johnson-Integra said that she doesn’t understand the concern because the process for calling the CSIE is outlined in the PCAT and it gives a number

Janean Van Dusen-Qwest said she has received direct calls from CLECs and said she can’t open tickets.

Bonnie Johnson-Integra asked what you did

Janean Van Dusen-Qwest said she called the CSIE to open a ticket.

Bonnie Johnson-Integra said she didn’t think that this language will drive that behavior and is not their intent.

Mark Coyne-Qwest asked if we’ve agreed to add anything to the 1st paragraph or the tier 1 bullet.

Bonnie Johnson-Integra said they are willing to add tier 1 (CSIE).

Mark Coyne-Qwest said we will update the redline document based on the discussion today and send out a notification for the vote.

10/21/09 ProdProc CMP Meeting

Janean Van Dusen-Qwest said due to reduced call volumes into the CSIE for Tier 2 escalations and a desire to increase the responsibility of Call Center personnel as described in the CMP document, Qwest is proposing changes to section 12.8. The redlined document is attached. Janean said we are increasing the Tier 1 responsibilities to contact coaches and team leads that would happen at Tier 2 anyway.

Brenda Bloemke-Comcast asked what Tiers responsibility was being increased.

Janean Van Dusen-Qwest said Tier 1 and 2 are the same group and that we would like to increase the responsibility by combining Tiers which will make it quicker and easier rather than sending it to another person in the same center.

Kim Isaacs-Integra said Tier 1 would have increased responsibility.

Mark Coyne-Qwest agreed and said no responsibility is being taken away and that we are just combining the Tiers. Mark asked everyone to take a look at the changes and send any concerns to the cmpcr@qwest.com mailbox. Mark said that we would like to conduct a vote on this change in the November CMP Meeting.

Kim Isaacs-Integra asked if they should also send any redline changes to cmpcr@qwest.com.

Mark Coyne-Qwest said yes.


Open Product/Process CR PC110209-1 Detail

 
Title: Discontinue GeoMax Interface USOCs in FCC RSS 1 and AZ, MN & NE State tariffs
CR Number Current Status
Date
Area Impacted Products Impacted

PC110209-1 Completed
2/10/2010
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest plans to restructure GeoMax service. As part of the restructure, Qwest will no longer offer the following GeoMax interfaces: ESCON, ETR, FDDI, ISC, Fibre Channel – 133, 266, 531 Mbps, D1 Video and the Additional Shelf element.

The USOCs associated with these interfaces are:

CPSHP & FGOHP (ESCON - 200 Mbps – Protected)

CPSHW & FGOHW (ESCON - 200 Mbps -Unprotected)

CPSKW & FGOKW (ETR - 16 Mbps - Unprotected)

CPSDP & FGODP (FDDI - 125 Mbps – Protected)

CPSDW & FGODW (FDDI - 125 Mbps - Unprotected)

CPSJP & FGOJP (ISC - 1.06 Gbps - Protected)

CPSJW & FGOJW ( ISC - 1.06 Gbps - Unprotected)

CPSMP & FGOMP (Fibre Channel - 266 Mbps - Protected)

CPSMW & FGOMW (Fibre Channel - 266 Mbps - Unprotected)

CPSBP & FGOBP ( Fibre Channel - 133 Mbps - Protected),

CPSBW & FGOBW ( Fibre Channel – 133 Mbps – Unprotected)

CPSNP & FGONP (Fibre Channel – 531 Mbps – Protected)

CPSNW & FGONW (Fibre Channel – 531 Mbps – Unprotected)

CPSQP & FGOQP (D1 Video - 270 Mbps - Protected )

DM2XS &DM2XW (Shelf)

CPSQW & FGOQW (D1 Video - 270 Mbps - Unprotected)

There are currently no wholesale customers with these USOCs.

Expected Deliverables/Proposed Implementation Date (if applicable):

The proposed implementation date is 12/16 /09


Status History


Project Meetings

1/20/10 Product/Process CMP Meeting Mark Coyne-Qwest requested that we close this CR. The Level 2 final notice announced on 12/9/09 with an effective date of 12/16/09. There were no objections.

12/16/09 Product/Process CMP Meeting Mark Coyne-Qwest said the level 2 final notice announced on 12/9/09 and will become effective on 12/16/09.

11/18/09 Product/Process CMP Meeting Cindy Schwartze-Qwest said Qwest plans to restructure GeoMax service. As part of the restructure, Qwest will no longer offer the following interfaces: ESCON, ETR, FDDI, and ISC, Fibre Channel – 133, 266, 531 Mbps, D1 Video and the Additional Shelf element.

The USOCs associated with these interfaces can be located in the CR description at: http://www.qwest.com/wholesale/cmp/cr/CLECQwestCMPProductProcessInteractiveReport.html

There are currently no wholesale/resale customers with these USOCs and the proposed implementation date is 12/16 /09.

Julia Redman-Carter-PAETEC asked if this is the GeoMax product that is part of the broadband forbearance.

Cindy Schwartze-Qwest said it is.

Julia Redman-Carter-PAETEC asked that (11/30/09 – Comments to minutes received from PAETEC in BOLD) NOTING the products listed in Attachment A of QWEST’S the petition that existed at that time if the changes TO THE GEOMAX are significantly restructured, is it still Qwest’s position that this GEOMAX PRODUCT is STILL a part of forbearance even with the changes.

Cindy Schwartze-Qwest said that we would take an action item to work with the Product Manager to answer that question.

Bonnie Johnson-Integra asked if any of these products were in the ICA.

Cindy Schwartze-Qwest said GeoMax is a resold product and is under Section 6.0 of the ICA. She said the interface will be replaced with another interface.

Bonnie Johnson-Integra said if it is part of the ICA, a change in law is required.

Cindy Schwartze-Qwest said it’s not specific to GeoMax in the ICA and would go under all other services and falls under the PLT category.

Julia Redman-Carter-PAETEC said (11/30/09 – Comments to minutes received from PAETEC in BOLD) SHE THOUGHT the template mentioned GeoMax and references the terms of the exiting activity under forbearance. Julia said if GEOMAX is no longer COVERED under forbearance, it would need to go through a different process. Cindy Schwartze-Qwest said she will review the template and provide a response in the minutes.

Susan Lorence-Qwest said that once the questions are answered Qwest would like to propose a level 2 notification because there are no Wholesale customers and asked if everyone was agreeable.

Julia Redman-Carter-PAETEC said she needs to understand if this product (11/30/09 – Comments to minutes received from PAETEC in BOLD) WITH THE CHANGES, still falls under forbearance.

Bonnie Johnson-Integra said Integra won’t agree until she gets an answer to their question regarding ICAs.

Barb Fanning-Qwest joined the call.

Julia Redman-Carter-PAETEC said GeoMax is part of forbearance and with these changes that appear to be significant, is wondering if they are significant enough and at what point do they no longer qualify as the products that were granted with the broadband forbearance.

Barb Fanning-Qwest said GeoMax is a product that you can order the interface, i.e. Sonnet, and there are options for the customer. She said we are removing those with no demand and in some cases with the shelf we are using a different technology and helping the customer. Barb said this is for large bandwidth and for large customers that order, for example, OC192.

Julia Redman-Carter-PAETEC said she needs to understand the (11/30/09 – Comments to minutes received from PAETEC in BOLD) CHANGES IN access where they are coming in and who they go to.

Julia Redman-Carter-PAETEC asked for clarification that with the changes Qwest is making, they are not changing the product.

Barb Fanning-Qwest said we are not changing the product, only the interfaces.

Julia Redman-Carter-PAETEC said Attachment A (11/30/09 – Comments to minutes received from PAETEC in BOLD) OF QWEST’S PETITION is very specific. Julia said the commission said that only those services outlined that existED AS OF QWEST’S PETITION would qualifY FOR FORBEARANCE. I AM TRYING TO UNDERSTAND IF GEOMAX with these changes change the parameters OF GEO MAX from which the forbearance has been granted.

Barb Fanning-Qwest said the changes don’t change parameters granted on forbearance.

Bonnie Johnson-Integra said their concern is that if any of the services are offered in the ICA, Qwest can’t remove without a change in law.

Cindy Schwartze-Qwest said that she checked in the ICA, Exhibit A, and they do not reside there. She said the only place we would have identified GeoMax is under PLT and it’s not spelled out. She said we would consider it an intrastate resold GeoMax and these USOCs/ interface are not in the ICA.

Bonnie Johnson-Integra said that Integra and Qwest don’t always agree on what’s in the ICA. She said if this is the case Integra would object and disagree on what’s in the ICA and if Qwest is removing something there needs to be a change in law.

Cindy Schwartze-Qwest said there are no wholesale/resale customers with GeoMax. Cindy said this is in the RSS 1 and AZ, MN and NE State tariffs. She said this is only sold under section 6 of the ICA and we don’t get that specific because everything is out of the tariff.

Bonnie Johnson-Integra said it is retail product.

Cindy Schwartze-Qwest said we come to CMP when retail chooses to grandfather or remove a product or service.

(11/30/09 - Comments to minutes received from Integra in BOLD) BONNIE JOHNSON-INTEGRA SAID YES AND THERE IS NOT A CHANGE TO WHERE THE PRODUCT IS LOCATED.

Julia Redman-Carter-PAETEC asked if GeoMax is under the detariffed tariff.

Julia Redman-Carter-PAETEC asked if (11/30/09 – Comments to minutes received from PAETEC in BOLD) THE CHANGES TO GEOMAX would be consistent in all detariffed tariffs APPLICABLE TO ALL STATES.. Julia said that all states defineD AND APPLIED forbearance ORDER and she thought QWEST was being removING GEOMAX from AZ, MN NE state tariffs and changing the product itself.

Barb Fanning-Qwest said GeoMax exists today in the interstate AZ, MN, NE and we aren’t changing the GeoMax product. We are only changing the interface. i.e. the shelf is new technology and not changing the service.

Susan Lorence-Qwest said that Qwest is only grandfathering by eliminating and syncing up with the tariff. Susan said in order to match the tariff dates and since there are no customers, Qwest would like to submit a level 2 notice. Susan said we are eliminating those interfaces no longer available and not ordered by Wholesale customers

Julia Redman-Carter-PAETEC said as (11/30/09 – Comments to minutes received from PAETEC in BOLD) long as QWEST IS only grandfathering, i.e. the shelf for new technology, AND THERE ARE NO CUSTOMERS CURRENTLY USING THE GRANDFATHERED SHELF, PAETEC doesn’t have a problem with the change.THIS MEANS THAT THE GRANDFATHERED CHANGES DON’T CHANGE THE PRODUCT IN LIGHT OF QWEST’S PETITION ATTACHMENT A TO WHICH THE QWEST FORBEARANCE ORDER APPLIES. Julia said if the change is doing more than that, (i.e. changing the product) she would have a problem with this change AND PAETEC WOULD OBJECT..

Barb Fanning-Qwest said that all we are doing is going with a new technology and THIS is why are getting rid of the shelf.

Susan Lorence-Qwest asked if everyone was comfortable with the level 2 notice

Bonnie Johnson-Integra said she would like to review internally and will send a response back to Qwest.

Mark Coyne-Qwest said that the sooner we receive Integra’s response the better to meet the implementation date. Mark said based on Integra’s response, we can agree on the level 2 notice.

Bonnie Johnson-Integra said that would be her hope.

11/19/09 Response received from Bonnie Johnson/Integra: I checked a couple of ICAs and was not able to find the term GeoMax in the few ICAs I checked. However, as is often the case, Qwest’s product name is not mentioned but there may be provisions in the ICA described as something else or a change could impact a different provision that may connect to GeoMax. Qwest said they checked ICAs and this change does not impact any ICA, however, Qwest has said that before (expedites for example) and we don’t agree with Qwest.

I know Qwest wants to move forward with this change and I do not have the bandwidth right now to dig deeper. Integra does not object to Qwest implementing this as a level two changed, based on Qwest’s comments that no CLECs ICA is impacted with this change and, there are no customers with these USOCs. If in the future Integra determines that is not the case, Integra will take the appropriate action. .


Open Product/Process CR PC120909-1 Detail

 
Title: Eliminate Call Router Traffic Study
CR Number Current Status
Date
Area Impacted Products Impacted

PC120909-1 Completed
2/17/2010
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest will be eliminating the Call Router Traffic Study Optional Feature

(USOCs VTM1X, VTM2X, SEPV5) which is part of the Business Voice Messaging Service in all 14 state tariffs. There are currently no Resale/ Wholesale Customers with these USOCs.

Proposed Implementation Date - 2/1/10


Status History


Project Meetings

2/17/10 Prod/Proc CMP Meeting Mark Coyne-Qwest relayed that a Level 2 notice was sent 1/11/10 with an effective date 2/1/10 and said we would like to close this CR. There were no objections.

01/20/10 Product/Process CMP Meeting Mark Coyne-Qwest relayed that a Level 2 initial notice was sent 1/11/10 with an effective date 2/1/10.

12/16/09 Product/Process CMP Meeting Cindy Schwartze-Qwest presented this CR. Cindy relayed that Qwest will be eliminating the Call Router Traffic Study Optional Feature USOCs VTM1X, VTM2X, SEPV5 which is part of the Business Voice Messaging Service in all 14 state tariffs and the proposed effective date was 2/1/10. Cindy identified that there are currently no Resale/ Wholesale Customers with these USOCs and requested this be reduced to a Level 2 notice.

Bonnie Johnson –Integra questioned if a Level 2 was necessary to meet the February 1 date.

Susan Lorence –Qwest identified that we typically request a level 2 notice when there are no customers.

Bonnie Johnson –Integra responded that if there are no customers, Integra does not object to a Level 2 notice.


Open Product/Process CR PC121109-1 Detail

 
Title: Eliminate USOCs in Washington
CR Number Current Status
Date
Area Impacted Products Impacted

PC121109-1 Withdrawn
8/15/2012
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest will be eliminating two intercept USOCs – S1WCX (Split Intercept – Change in name or message) and S1W1X (Split Intercept – 1 month) in the Washington tariff . There are currently no Resale/Wholesale Customers with these USOCs.

The proposed implementation date is 3/5/10


Status History


Project Meetings

08/15/12 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed that in the July meeting, CenturyLink had asked the owner of each Deferred CR to determine if it should remain in Deferred status, is it should be Withdrawn, or whether it should be re- evaluated. Mark then reviewed the status of each CR as listed on the Attachment:

PC121109-1 - Eliminate USOCs in Washington - CR is in pending withdrawal status. There were no objections to withdrawing this CR.

02/17/10 Product/Process CMP Meeting Mark Coyne-Qwest relayed that a level 4 notice was sent February 5 with a 3/22/10 effective date.

01/20/10 Product/Process CMP Meeting Mark Coyne-Qwest relayed that notification will be sent early February with a 3/22/10 effective date.

12/16/09 Product/Process CMP Meeting Cindy Schwartze-Qwest presented this CR. Cindy relayed Qwest will be eliminating two Split intercept USOCs – S1WCX (Split Intercept – Change in name or message) and S1W1X (Split Intercept – 1 month) in Washington and there are currently no Resale/Wholesale Customers with these USOCs. Cindy relayed that the proposed implementation date has been changed from 3/5/10 to 3/22/10.

Bonnie Johnson –Integra questioned whether there will be any Intercept options remaining in Washington.

Cindy Schwartze-Qwest relayed that yes, there will be several others available as indicated in the Intercept PCAT.

There were no other questions.


Open Product/Process CR PC020210-1 Detail

 
Title: TP 77385 – Power standards updates
CR Number Current Status
Date
Area Impacted Products Impacted

PC020210-1 Completed
8/21/2013
Other - Network
Originator: Ashton, Curtis
Originator Company Name: Qwest Corporation
Owner: Ashton, Curtis
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest is updating this document to upgrade Power standards to agree with Telcordia GR-513, Issue 2, effective late February 2010. The main area of update to this Tech Pub is associated with List 1 and List 2 drains.


Status History


Project Meetings

8/21/13 Product/Process CMP Meeting Mark Coyne– CenturyLink said that the effective date for the Tech Pub 77385 update was July 25 and that the CR is in CLEC Test. Mark said there was a related update to the Collocation General PCAT which was also effective on July 25. There were no CLEC comments on either update. Mark said we would like to move this CR to a Completed status. There were no objections.

7/17/13 Product/Process CMP Meeting Mark Coyne– CenturyLink said that CenturyLink sent the initial level 4 notice on June 10, 2013. No CLEC comments were received. The final notice was sent on July 10 with a planned effective date of July 25. The CR will then be moved to CLEC Test.

6/19/13 Product/Process CMP Meeting Mark Coyne– CenturyLink said there was a second ad hoc meeting on June 5 where CLEC questions from Integra and Windstream were reviewed. Mark relayed the CLEC questions and the minutes from the meeting are posted to the Wholesale calendar. CenturyLink had some additional updates from the June 5 meeting. On June 10, CenturyLink sent out a level 4 notice to provide a formal comment cycle. The planned effective date of the notice/TP 77385 update is July 25. Mark asked if there were any questions. There were none.

5/15/13 Product/Process CMP Meeting Susan Lorence– CenturyLink said this CR was moved out of Deferred status in April and relayed that an ad hoc call had occurred on May 1. Susan said the majority of the discussion was focused on the CLEC impacting changes. The meeting minutes are posted to the calendar as well as the Tech Pub updates that are as a result of the discussion in the meeting. During the call, it was determined that CLECs would have some time to review the changes with their engineers and submit questions in writing this week. Susan said there were CLECs requests to extend the review period so the next ad hoc call is now scheduled for June 5 from 9:30 to 10:30 AM MT. The revised documents are posted to the calendar with a 5-1-13 date. Susan asked if there were any questions.

Kim Isaacs – Integra expressed thanks for the additional review time.

5/1/13 Ad Hoc Meeting Attendees: Al Finnell – Windstream, Kim Isaacs – Integra, Curtis Ashton – CenturyLink, Rita Urevig – CenturyLink, Mark Coyne – CenturyLink, John Hansen – CenturyLink, Susan Lorence – CenturyLink

Susan Lorence - CenturyLink began the meeting by providing a brief history of this Change Request (CR). It was opened in February of 2010 and several ad hoc meetings were held in March and April. The meeting minutes from those meetings are included in the CR. Then the CR was placed in a Deferred status in April 2010. The CenturyLink SMEs subsequently worked on combining legacy CenturyLink power standards into the Tech Pub. Susan said we would like to approach this meeting by providing a high level review of the minor changes and then focus the call on reviewing the history log of the CLEC impacting changes.

Curtis Ashton - CenturyLink said the changes were driven by combining company standards across the various legacy companies. Curtis said the legacy CenturyLink did have standards but not actual Tech Pubs and that CenturyLink is looking at standardizing certain Tech Pubs across the company. The changes listed in the “minor change” history log for the Tech Pub 77385 were those that did not have anything to do with collocation or were minor updates associated with combining company standards. Curtis said the reason for this Tech Pub was to document CenturyLink standards for Power Equipment vendors and detailed power engineering vendors and some updates were to respond to requests for clarification in various sections of the document.

Kim Isaacs – Integra asked if there was a way to tell which entries in the history logs were associated with the Telcordia GR-513 update and which were related to combining companies.

Curtis Ashton - CenturyLink said he would point out which updates go with which change as he reviews the document. He said updates to the Telcordia GR-513 and, in turn, the Tech Pub was because power standards across the world are changing.

Kim Isaacs – Integra asked Curtis to point out differences as to how power is measured which will impact customer rates. Kim asked if Curtis had looked at the ICAs before making updates to the Tech Pub to insure the Tech Pub and ICA language matched. Kim used the example of AC Power and convenience outlets and the use of the term “may”.

Curtis Ashton - CenturyLink said those are good catches and to point those out during the review. He said there was no way he could review all of the ICAs as part of this Tech Pub standardization effort and that it was difficult to make the Tech Pub universal. He said he would make that update on the convenience outlets.

Kim Isaacs – Integra asked if the Tech Pub includes the statement that the “ICA rules”.

Al Finnell – Windstream agreed that would be good to add.

Curtis Ashton - CenturyLink said that was a good point and that he would include the “ICA rules” statement in Section 1.4 of the document. Curtis then began review of the history log of CLEC impacting changes which was in reverse order. He said the history log provided an overview of the specific wording in the Tech Pub.

Kim Isaacs – Integra said she was trying to cross reference Tech Pubs to insure things lined up and referred to Tech Pub 77351 Section 7.C.3 titled “Standalone rechargeable units”.

Susan Lorence - CenturyLink said before the group gets too far along in the review, she would like to confirm that for the meeting minutes for the call, the history logs would be used as reference and that she would capture questions and action items vs. the very detailed discussion.

Kim Isaacs – Integra said she understood though wished the detail was available.

Susan Lorence - CenturyLink said if there was something specific on the history log, we could capture it.

Kim Isaacs – Integra said she had Integra SMEs reviewing the document and that she may have more questions as the document is reviewed. Curtis Ashton - CenturyLink asked how CLEC feedback would be handled after the call.

Susan Lorence - CenturyLink said the plan was for Curtis to provide a high level review of the changes, allow for CLEC questions during the meeting and we would then determine if further Tech Pub updates were required. Susan said if there are CLEC questions prior to the next ad hoc meeting, those should be sent to the CMPCR mailbox.

Curtis Ashton - CenturyLink continued to review the changes associated with each line of the history log of CLEC impacting changes:

Section 1.5 – Related to Fuse coordination – Required for certain systems to minimize the impacts of an outage. CenturyLink requires this for our equipment but this is not required for collocators – See 7th paragraph in Section 1.5. This is more clear in Chapter 9, Section 9.6 where it identifies that feeds to CLECs are exempt from this requirement (just prior to Section 9.7). Section 1.6 – Updates made to make the document more generic and clarify NEBS spaces vs. non-NEBS spaces in CenturyLink network. For CLECs, requirements relate to their ICA. Kim Isaacs – Integra questioned whether the document identifies that the Tech Pub now applies to all CenturyLink states and would like that added.

Curtis Ashton - CenturyLink said he would put that information in Section 1.2.

Section 2.3 – Existing power standards policy is now stated in this Tech Pub. Section 2.4 – Changes were driven by Telcordia GR-513. Industry meetings took place over several years which is why there are multiple updates over a period of time. Curtis said that heat release requirements are a very important part of NEBS. Section 2.4.1 was updated to include equipment examples for both CenturyLink and vendors.

Al Finnell – Windstream questioned the 1st paragraph of Section 2.4 and how calculations occur.

Kim Isaacs – Integra said this has been an area of contention.

The Section 2.4 issue was summarized as follows: List 1 drains are not necessarily fully utilized based on anticipated growth. They can be calculated based on forecasted use vs. full population or usage.

Curtis Ashton - CenturyLink said Section 2.4 Bullet 1 includes some minor changes as to how things were sized but also includes a major change relating to cable voltage drop which in some cases is 125%.

Al Finnell – Windstream said he was going to refer this document to his engineers especially this section.

Curtis Ashton - CenturyLink asked if there were any other questions on List 1 and 2 drains since this has been a big issue in the past. There were none but Curtis said we can come back to this section if necessary.

Section 3.6 – Ni-Cd battery usage was added to make customers aware of how they are being used. Also removed references to polymer batteries since they have been removed from the CenturyLink network. Section 4 – Added information that collocators can place converters in CenturyLink network. Section 5 – Added information about inverters in the CenturyLink network. Section 6.3 – Clarified information about breaker coordination and added that in some instances EPO (emergency power off) switches may exist but not in a CO. Section 9.2 – Relates to voltage drop and rules. This is a carryover from previous ad hoc calls and relates to legal actions in some states. CenturyLink will use CLEC equipment order to size the cables. It also provides information on how CenturyLink is sizing batteries. Section 9.4 – Relates to standards for DC leads; the main reason this was added was for wireless backhaul. There is also information on red and black power wiring. Section 9.5 – Relates to Protectors and how they are sized. This section was part of the 2010 ad hoc meetings. The 200% language came out of AT&T. The rule does not apply inside the collocator cage. Section 9.6 – The List 1 drain estimating method was removed. Estimating now occurs in the CenturyLink lab.

Al Finnell – Windstream asked if this relates to the equipment that the CLEC installs and asked how CenturyLink would estimate that.

Curtis Ashton - CenturyLink said we don’t make any assumptions or estimates on the CLEC side. He said CenturyLink does not know what the CLEC will put in.

Al Finnell – Windstream said the best way to describe it in the history log would be to just say “Removed the use of a List 1 drain estimating method.”

Curtis Ashton - CenturyLink said he would update the history log entry.

Section 9.6 continued – The BDFB maximum was changed to 100 amps which used to be 70 amps. This does not apply to CLECs.

Al Finnell – Windstream questioned why it did not apply to CLECs.

Curtis Ashton - CenturyLink said the reason to include this is to relay that CLECs will not be fed from a BDFD if more than 100 amps are ordered.

Section 13.4 – The BDFB threshold and load was clarified regarding the A and B side due to lessons learned in the 90’s. An alarm will go off at 40% to allow time to react. Al Finnell – Windstream asked what happens to orders if the 40% alarm is reached.

Curtis Ashton - CenturyLink said that was an excellent point and said that orders will not be refused if the 40% alarm occurs. 50% is still the rule.

Section 17.1 – GR-513 was added as a reference.

Curtis Ashton - CenturyLink asked what the next steps would be for this CR.

Susan Lorence - CenturyLink said our proposal would be to give the CLECs some time to review the document with their engineers and then schedule another ad hoc call. Susan asked whether one or two weeks would be appropriate.

Al Finnell – Windstream said he would like two weeks to allow sufficient time for internal review and then have another ad hoc call.

Susan Lorence - CenturyLink said the plan for the next ad hoc meeting would be to review any specific CLEC questions vs. reviewing the whole document. Susan asked if CLEC questions could be submitted in two weeks and then an ad hoc call could be scheduled for the week of May 20.

Al Finnell – Windstream and Kim Isaacs – Integra agreed.

Susan Lorence - CenturyLink said assuming there is no need for an additional ad hoc call following the one later in May, the next step would be to submit the notice and Tech Pub updates for formal review which would include a 15 day formal CLEC comment cycle, 15 day CenturyLink response period and 15 day final notice prior to the effective date.

Curtis Ashton - CenturyLink said he had four action items and would get those completed in a day or so.

Susan Lorence - CenturyLink said the revised Tech Pub updates would be posted to the calendar for today’s meeting. Any CLEC questions and any additional Tech Pub updates would be posted to the subsequent ad hoc meeting. Susan said she would set up another ad hoc meeting for the week of May 20 and that she appreciated everyone staying on the call longer than planned to get through the material.

The meeting was adjourned at 11:45 AM MT.

4/17/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CR was opened in February 2010. The CR originator, Curtis Ashton, placed the CR in Deferred status while he worked on combining legacy CenturyLink power standards into the document. Mark said the CR has moved out of Deferred and we will be scheduling ad hoc meetings to review the planned updates. The first ad hoc call is scheduled for May 1 from 9:30 to 10:30 AM MT. The meeting notice is planned for Friday, April 19, to relay details and provide redline documents.

Curtis Ashton – CenturyLink relayed that he has responsibility for four technical publications. The first one submitted last year was TP 77355, Grounding - Central Office and Remote Electronic Equipment Environments, which did not have any issues as it progressed through CMP. TP 77385 had been reviewed previously during ad hoc meetings and had CLEC comments. More changes are being made to combine Legacy CenturyLink into the document. Curtis said that we will cover all of the planned documentation updates on the May 1, 2013 call but focus will be on those areas the CLECs will likely be most interested in. More ad hoc calls can be scheduled as needed. Curtis asked if there were any questions. There were none.

8/15/12 Product/Process CMP Meeting Deferred CR list – Product Process Mark Coyne – CenturyLink relayed that in the July meeting, CenturyLink had asked the owner of each Deferred CR to determine if it should remain in Deferred status, is it should be Withdrawn, or whether it should be re- evaluated. Mark then reviewed the status of each CR as listed on the Attachment:

PC020210-1 - TP 77385 – Power standards updates – CenturyLink will retain this CR in Deferred status. CL SMEs are working on combining Legacy CTL power standards into this document. CR will then be reactivated.

5/19/10 Product/Process CMP Meeting Bonnie Johnson – Integra indicated that last month she had inquired about PC020210-1, TP77385 – Power standards updates and why the CR was placed in a Deferred status. Bonnie questioned whether Qwest had any more information on this.

Mark Coyne – Qwest relayed he did not have any more information on this and questioned Susan Lorence – Qwest if she had any more information.

Susan Lorence – Qwest indicated that she thought Curtis Ashton –Qwest had some other Tech Pub updates that were taking his time.

4/21/10 Product/Process CMP Meeting Mark Coyne – Qwest relayed that Curtis Ashton was not able to attend today’s meeting due to other meeting conflicts. Mark identified Qwest would move this CR into a deferred status.

Bonnie Johnson – Integra asked why is this in deferred status.

Mark Coyne – Qwest relayed he was not sure why but he assumed it was to do more evaluation.

04-01-10 Ad hoc meeting minutes APRIL 15, 2010 NOTE: THE REDLINED EDITS TO THE DRAFT MEETING MINUTES THAT WERE PROVIDED BY PAETEC HAVE BEEN INCLUDED IN CAPS/BOLD OR ARE IDENTIFIED WITH STRIKETHROUGH. SEE WHOLESALE CALENDAR FOR VERSION WITH STRIKETHROUGH.

Attendees: Julia Redman-Carter-PAETEC, Patrick Phipps – QSI Consulting, Inc. (on behalf of PAETEC), Diane Bowers – PAETEC, Al Finnell – PAETEC, Bryan Vanyo – PAETEC, Ross Nielsen – PAETEC, Robert Fuller – PAETEC, Bonnie Johnson - Integra, Kim Isaacs – Integra, Doug Denney – Integra, Mike McCarthy – Minnesota Dept. of Commerce, Curtis Ashton - Qwest, John Hansen - Qwest, Susan Lorence - Qwest

Susan Lorence – Qwest relayed that the last ad hoc call had been held on March 19, 2010. Following that call, Curtis Ashton – Qwest made some updates to the Tech Pub based on the discussion in the last call. Susan relayed a revised version of the Tech Pub was posted to the calendar. Susan relayed that she thought we left off on Section 9.2 and that we would begin there.

Curtis Ashton – Qwest said in Section 9.2, we would begin with the next paragraph that talks about other voltage after the formula discussion from the prior meeting. Curtis said he made some clarifications for 24 V and 130 V battery plants and converter plants that had not been covered before. He added voltage drop rules at the end of this paragraph and clarified the different voltages which apply.

Curtis Ashton – Qwest said in Section 9.4, an addition was made which applies to DC circuits from one cabinet or building to another. This is for when circuits are exposed to lightning because they are connected to DC plant. Some rules were built that apply to Qwest but do not really affect CLECs.

Curtis Ashton – Qwest said in Section 9.5, he added information about the maximum sizing rules (200%). Curtis said we always had the 125% minimum sizing rule and provided an example.. Ross Nielsen – PAETEC asked how that affected the CLEC: If they are only using 10 amps on A and 10 amps on B? Curtis Ashton – Qwest said if the order is for a 100 amp feed regardless of what it is drawing, they will be sized at 125% of the request. Curtis said from a Qwest perspective, it is not related to the draw either. Ross Nielsen – PAETEC asked if this is new regulation that is getting pushed down, will it come back up. Curtis Ashton – Qwest it is not a regulation issue. In many cases, when Qwest reused the feeder, or the feeder was decreased in size, the question was whether we can reuse the cable and the protector. This clarifies that we can reuse the protector if it is not more than 200% of the new request. Ross Nielsen – PAETEC said he wanted to insure that it was not an actual draw. Curtis Ashton – Qwest confirmed that was correct, it is based on the CLEC request. Patrick Phipps – QSI/PAETEC said the wording “ultimate expected” current is confusing or inaccurate. List 2 is the worst case scenario draw. Curtis Ashton – Qwest questioned if he took out “ultimate expected”, would that help? Curtis asked for alternate verbiage. Patrick Phipps – QSI/PAETEC said THE PROPOSED REFERENCE TO “CLEC REQUEST” IN SECTION 9.5 it does not seem to ADD do anything. Qwest equates a CLEC POWER feed ORDER to a List 2 DRAIN requirement. Curtis Ashton – Qwest said he will remove “peak current”. He said peak current meant “start up” current. Patrick Phipps – QSI/PAETEC said this is a situation where two reasonable people disagree. In the Iowa case, the court found that Qwest equates A CLEC POWER FEED the order to the list 2 drain. Doug Denney – Integra said he had a question on CLEC DC Power reduction, does Qwest change the fuses? Curtis Ashton – Qwest then said it was a good question and provided an example. If the CLEC originally ordered 90 amps, the fuse protector would be 125 amps. If the customer downsized to 65 amps, then 90 amps is the proper protector (closest to 125%) however Qwest only requires it to be less than 200%. In this case, the 125 amp protector is less than 200% of the 65 amp order so no change is required. There is a small window that does not have to be changed. Julia Redman-Carter - PAETEC ASKED THE PAETEC WHETHER said we need to be specific as to when the CLEC doES and does not need to make a change and questioned whether there was any need to clarify the language due to the discussion. Curtis Ashton – Qwest said this section applies to both equally – when downsizing or upsizing between 125 and 200%. Julia Redman-Carter - PAETEC questioned if that was the only time to change fuse and if that was what Doug was talking about. Ross Nielsen - PAETEC said this does not deal with plant but deals with cable. The 125 - 200% is clear. There is no need to deal with changing the language. He said that the one thing that is confusing is List 2 drain or CLEC request. Curtis Ashton – Qwest said it is List 2 drain for Qwest or the request for CLECs.

Ross Nielsen - PAETEC questioned even if the CLEC downsizes the order, the cable does not have to change?

Curtis Ashton – Qwest said that was a good question. Not every fuse position is capable of accepting the new fuse size. In a lot of situations, even when we do not have to run cable to a new power distribution board, we have to change the drop cable to reach the new fuse position. It is generally right that the main cable run does not change. Patrick Phipps – QSI/PAETEC said add clarifying language. T the trouble with the change is that BY REFERRING TO it is list 2 drain or CLEC request whichever is applicable, THE LANGUAGE. It is a problem to createS a distinction between Qwest’S EQUIPMENT and the CLEC equipment. Access should not be denied based on the owner of the equipment.

Curtis Ashton – Qwest said he would leave in whichever is “applicable”. He said he does want to make a change to be distinct. Curtis Ashton – Qwest next addressed the change that shows differences between local and national later in Section 9.5 where Qwest inserted “(or 1.88 for NNS sites)” which was added for National Network Sites.

At the end of Section 9.6, there was one other change to add the wording “for Qwest equipment” to clarify allowing estimation for a List 1 drain. 04-15-10 NOTE FROM QWEST IN REGARD TO THE REDLINED MEETING MINUTES: FOR READABILITY, THE FOLLOWING PARAGRAPH PROVIDES A STRIKETHROUGH VERSION OF THE MINUTES AS QWEST CAPTURED THEM. THE NEXT PARAGRAPH PROVIDES THE SAME PARAGRAPH AND THE ADDITIONS FROM PAETEC IN ALL CAPS.

STRIKE THROUGH PARAGRAPH Patrick Phipps – QSI/PAETEC then addressed his objection associated with the change toward the end of Section 9.6 which stems from the dispute related to estimating List 1 drains. Patrick then provided an explanation of the contention between Qwest and PAETEC. He relayed that problem is that some of Qwest technical document conflicts with other technical documents but these are filed as “confidential” in Iowa. He said there is nothing in the industry documents that justifies the difference. In Qwest’s previously filed testimony, it was ruled and upheld that estimation could be done for CLECs. He pointed to an AT&T document in another jurisdiction that allows estimating of CLEC List 1 drains. Patrick said Curtis said it could not be estimated, and now Qwest is trying to make the change to support a public policy position and codify language in the Tech Pub that supports treating CLECs differently. Patrick said he disagrees with Qwest’s later testimony that it should not be done.

Patrick Phipps – QSI/PAETEC then addressed his objection associated with the change toward the end of Section 9.6 WHERE QWEST PROPOSES CHANGES INDICATING THAT QWEST CAN ESTIMATE LIST 1 DRAIN ONLY FOR QWEST EQUIPMENT (PRESUMABLY EXCLUDING CLEC EQUIPMENT). Patrick then explained THAT THIS ISSUE IS IMPORTANT BECAUSE IT WAS ADDRESSED IN THE COMPLAINT PROCEEDINGS INVOLVING Qwest and PAETEC RELATED TO DC POWER. He DESCRIBED FOUR PRIMARY PROBLEMS WITH QWEST’S PROPOSED LANGUAGE REGARDING ESTIMATING LIST 1 DRAINS. FIRST, QWEST’S PROPOSED LANGUAGE THAT WOULD EXCLUDE CLEC EQUIPMENT FROM THIS ESTIMATION METHOD CONFLICTS WITH OTHER Qwest technical documentATION THAT QWEST filed as “confidential” in Iowa. SECOND, QWEST’S PROPOSED LANGUAGE HAS NO BASIS IN TELCORDIA GR-513, WHICH MAKES NO SUCH DISTINCTION BETWEEN QWEST EQUIPMENT AND CLEC EQUIPMENT. THIRD, QWEST’S PROPOSED LANGUAGE CONFLICTS WITH PRIOR QWEST TESTIMONY SUBMITTED IN IOWA WHICH INDICATED THAT LIST 1 DRAIN CAN BE ESTIMATED AND MADE NO DISTINCTION ABOUT EQUIPMENT OWNERSHIP. HE ADDED THAT it was ruled and upheld IN IOWA that estimation could be done for CLECs. FOURTH, QWEST’S PROPOSED LANGUAGE CONFLICTS WITH TECHNICAL PUBLICATIONS OF OTHER ILECS, SUCH AS AT&T. He pointed to an AT&T document in another jurisdiction that allows estimating of CLEC List 1 drains. Patrick said THAT AFTER MR. ASHTON TOOK OVER THE WITNESSING DUTIES ON THE DC POWER ISSUES IN THE COMPLAINT PROCEEDINGS BETWEEN QWEST AND MCLEODUSA, MR. ASHTON BEGAN CLAIMING THAT QWEST COULD ONLY ESTIMATE LIST 1 DRAIN FOR ITS OWN EQUIPMENT AND COULD NOT estimate LIST 1 DRAIN FOR CLEC EQUIPMENT. Patrick said he disagrees with Qwest’s later testimony that it should not be done. PATRICK ADDED THAT QWEST IS APPARENTLY ATTEMPTING TO MATCH UP ITS TECHNICAL PUBLICATIONS WITH THE ADVOCACY POSITION MR. ASHTON IS TAKING IN LITIGATED PROCEEDINGS, and codify language in the Tech Pub that ATTEMPTS TO JUSTIFY QWEST treating CLECs differently THAN ITSELF IN RELATION TO DC POWER. HE ADDED THAT THIS DIFFERENT TREATMENT WOULD RESULT IN HIGHER COSTS FOR CLECS, OR IN OTHER WORDS, THIS IS QWEST’S ATTEMPT TO JUSTIFY DISCRIMINATORY TREATMENT OF CLECS. Curtis Ashton – Qwest responded that he had eight separate legal cases in six states. He knows what Iowa found but it was found differently in different states. Curtis said WE COULD CHOOSE ONE OF TWO OPTIONS:the issue is either leave the language the way it is or remove the sentence around estimating entirely. He said GR-513 does not talk about estimates. Patrick Phipps – QSI/PAETEC said he does not want to risk sharing confidential information, SO HE COULD NOT DESCRIBE IN ANY LEVEL OF DETAIL THE DOCUMENT FROM IOWA THAT CONFLICTS WITH QWEST’S PROPOSED CHANGE TO SECTION 9.6. HOWEVER, HE EXPLAINED THAT Either Qwest can estimate List 1 drains or IT they cannot, AND SINCE ITS CURRENT LANGUAGE INDICATES THAT IT CAN ESTIMATE LIST 1 DRAINS, IT MAKES NO SENSE TO ENTIRELY DELETE That it cannot be both ways. Why take out the requirement. Curtis Ashton - Qwest explained when estimation is done which is almost never. He relayed Qwest sizes based on testing done in the lab. He said he was OK to take out the language since it is not necessary because Qwest is not going to estimate. He offered both options. Patrick Phipps – QSI/PAETEC said that is a false choice: I.E., WHETHER TO LEAVE IN QWEST’S PROPOSED LANGUAGE “FOR QWEST EQUIPMENT” OR DELETE THE SENTENCE ABOUT ESTIMATING LIST 1 DRAIN ALTOGETHER. Currently he had no position since both are equally problematic. Julia Redman-Carter - PAETEC described Patrick’s and Curtis’s points AND SUMMARIZED HER POSITION. IT APPEARS THAT CHANGES TO THE GR-513 NOR ANY OTHER INDUSTRY STANDARD PROVIDES AN OBJECTIVE BASIS FOR CHANGING THIS SENTENCE. AND TO MAKE EITHER OF CHANGES THAT QWEST IS PROPOSING WOULD BE BASED SOLELY ON QWEST’S ADVOCACY AND NOT ON ANY OBJECTIVE STANDARD. IF, INDEED, THE PRACTICE OF “ESTIMATING” HAS NOT BEEN DONE FOR A WHILE AND THE LANGUAGE HAS NOT IMPEDED QWEST’S ACTIONS; AND QWEST HAS NOT HAD A REASON PROPOSE A LANGUAGE CHANGE BEFORE NOW, THEN THERE SHOULD BE NO HARM IN LEAVING THE LANGUAGE AS IT IS. and said ACCORDINLY, PAETEC wants the language to stay as it is WITHOUT ANY REDLINED CHANGES. Curtis Ashton – Qwest said estimating is done sparingly or never and occurs. In the 1993-1996 timeframe, it may have been done but Qwest never estimates anymore because we now have labs to test for true list 1 drains so the sentence is obsolete. Patrick Phipps – QSI/PAETEC said QWEST’S OPINION THAT THIS LANGUAGE IS it only became obsolete due to CAME ONLY AFTER THE court cases and that DECISION IN IOWA; IF THE SENTENCE WAS ACTUALLY OBSOLETE, there has been ample time FOR QWEST to change it previously. It is now being changed to support Qwest advocacy. Julia Redman-Carter - PAETEC said for the record she wanted the language to remain as is. No redline changes for the reasons stated. Curtis Ashton – Qwest said that Qwest would decide what they wanted to do. He then addressed the remaining review of the changes to the Tech Pub. He questioned the process for CLEC final review. Susan Lorence – Qwest said the CLECs would have a chance to formally review the changes and comment during the CLEC comment cycle as part of the CMP notice or that we could have another ad hoc meting to review the additional changes. Julia Redman-Carter - PAETEC said she would like to see the changes before the formal comment cycle begins. Susan Lorence – Qwest said that is not following the CMP process to have an extended comment cycle. Julia Redman-Carter - PAETEC again said she wanted to see the language first AND THOUGHT but that we may not need another ad hoc meeting. BUT THAT COULD BE DETERMINED BETTER AT THE END OF THIS CALL. Curtis Ashton – Qwest then continued the review of the remaining changes starting at the last change in Section 9.6. Curtis said this change exempted CLECs from fuse coordination. Ross Nielsen - PAETEC asked for clarification that this is not just because Qwest can’t control CLEC fuse size. The previous discussion also relates to this. Curtis Ashton – Qwest said that is correct. That is also the reason for the change. Curtis Ashton –Qwest then reviewed the changes in Chapter 12.2 Curtis explained the difference between emergency and clarified that task lighting is only required in buildings larger than 500 square feet so the technician does not have to hold the flashlight in their teeth. Curtis Ashton –Qwest then reviewed the changes in Chapter 13 where he clarified the Title in the tables in Part 1A and 1B apply to lead acid batteries. Previously only the voltage range was provided. In Table Part 1B, clarification was also added that this applies to batteries at a normal temperature. When outside where the temperature varies a lot, this helps protect them from thermal runaway. These are temperature compensated. In regard to Table 1C, the word “Thresholds” was added to make it clearer. In the next paragraph where there were changes, Curtis said he clarified what constant current charging means. In Table 13-5, Part 1D, Curtis relayed Qwest is just starting to deploy lithium batteries and that we are learning as we go. These changes provide additional information. In Section 13-5, Part 2, new information was added for low gravity cells which have similar thresholds to the old 23 cell strings. A new paragraph was added here also to clarify how temperature compensation should be done. In Table 13-7, a standard message was added for surge arrestor. Qwest is just starting to deploy SNMP protocol in outside plant power equipment. This is not in COs yet but is also in the customer premises world. Curtis Ashton –Qwest then reviewed the changes in Chapter 16. This chapter covers the definitions and acronyms used in the document and Curtis said he added a couple acronyms that were added to the text in the last 10 years or so but not defined. Patrick Phipps – QSI/PAETEC questioned whether the ones added were the ones shown in red. Was just OSHA added? There were no definitions shown as redline. Curtis Ashton – Qwest said that was good point. Some of the changes were shown in redline but really were not added. When he was redoing this section and some of the tables, the pages were split and now show as redline but the updates are not really added. Curtis said the only one added was ONU – Optical Network Unit. Curtis Ashton – Qwest then went to Chapter 17 where he added GR-513. Patrick Phipps – QSI/PAETEC said he takes exception TO with this change as he did not see the basis for it. QWEST’S PROPOSED DEFINITIONS OF LIST 1 AND LIST 2 DRAIN, AS WELL AS QWEST’S PROPOSED CHANGES TO DISTINGUISH QWEST EQUIPMENT FROM CLEC EQUIPMENT HAVE NO BASIS IN TELCORDIA GR-513. Curtis Ashton – Qwest said he did not copy the document word for word. There documents are used as seed docs to build the Tech pubs. Julia Redman-Carter- PAETEC questioned the reason why the LSS GR section 13 was added. Curtis Ashton – Qwest said it was part of the actual title of the document and it is part of a bigger family of documents. Curtis Ashton – Qwest said he now wanted to go back to Section 2.4 where he used GR-513. He said that the language that Qwest used here in certain sections follows the spirit of the document but does not quote the document exactly. For example, AT&T added language to GR-513 about list 2x drains but Qwest does not use these so did not put them in.

04-15-10 NOTE FROM QWEST IN REGARD TO THE REDLINED MEETING MINUTES: FOR READABILITY, THE FOLLOWING PARAGRAPH PROVIDES A STRIKETHROUGH VERSION OF THE MINUTES AS QWEST CAPTURED THEM. THE NEXT PARAGRAPH PROVIDES THE SAME PARAGRAPH AND THE ADDITIONS FROM PAETEC IN ALL CAPS. SEE WHOLESALE CALENDAR FOR VERSION WITH STRIKETHROUGH.

STRIKETHROUGH PARAGRAPHPatrick Phipps – QSI/PAETEC said in Section 2.4, he would first like to explain his concerns. Patrick described the concerns that have been brought up previously in this meeting and other arenas in regard to how the Qwest changes in this Tech Pub are an attempt to justify discrimination against the CLEC community and define List 1 drains differently for Qwest vs. the CLECs. He went into his concerns of why this causes the CLECs to pay more than Qwest does. In Iowa, Patrick stated that PAETEC showed no basis for the differences yet Qwest proposed different language for drains. Patrick relayed that Qwest said it would insert verbatim the GR-513 language but did not. Patrick said the new/specific changes that Qwest provided are generally accurate but that he objected to the wording in the old third paragraph that allows Qwest to treat CLECs differently. He said he needed to think about what to do in that paragraph but that dropping it was a good thing. He said the second set of changes were more problematic than the first set. The second set said Qwest will size to CLEC equipment which is a big problem for PAETEC and so he disagrees with both changes to Section 2.4. Patrick stated that Qwest has an obligation to provide non-discriminatory access to power and per the ICA, Section 2.4 updates violate that. His final point was if Qwest insists on making the changes then he just wants language added that states that CLECs won’t pay higher costs for power than Qwest.

Patrick Phipps – QSI/PAETEC said in Section 2.4, he would first like to explain his concerns. Patrick STATED THAT QWEST’S PROPOSED LANGUAGE FOR SECTION 2.4 (BOTH SETS OF QWEST REVISIONS), LIKE QWEST’S PROPOSED LANGUAGE IN SECTION 9.6, IS an attempt BY QWEST to justify discrimination against the CLEC community. HE SAID THIS IS PLAIN TO SEE BECAUSE QWEST’S LANGUAGE ATTEMPTS TO DEFINE LIST 1 DRAIN DIFFERENTLY FOR QWEST’S EQUIPMENT THAN FOR CLEC EQUIPMENT. HE EXPLAINED THAT IN LITIGATED PROCEEDINGS, QWEST HAS ATTEMPTED TO JUSTIFY ITS APPLICATION OF DC POWER RATES TO AMPS OF ORDERED CABLE CAPACITY BY CLAIMING THAT QWEST SIZES POWER PLANT DIFFERENTLY FOR CLECS THAN IT DOES FOR QWEST’S OWN EQUIPMENT (I.E., QWEST CLAIMS IT SIZES POWER PLANT TO LIST 1 DRAIN FOR ITSELF AND TO ORDERED CABLE CAPACITY – REPRESENTING A HIGHER LIST 2 DRAIN – FOR CLECS). SINCE LIST 2 DRAIN IS SIGNIFICANTLY HIGHER THAN LIST 1 DRAIN, QWEST’S LOGIC RESULTS IN CLECS PAYING SIGNIFICANTLY more for DC power than Qwest PAYS. In Iowa, Patrick stated that PAETEC showed THAT QWEST DID NOT ACTUALLY SIZE POWER PLANT TO CLEC POWER CABLE ORDERS, AND AS SUCH, THERE IS no basis for TREATING CLECS differenTLY IN THIS REGARD OR FOR Qwest’’S proposed language THAT DEFINES LIST 1 DRAIN DIFFERENTLY DEPENDING ON THE OWNERSHIP OF EQUIPMENT. Patrick STATED THAT THERE IS NO BASIS FOR QWEST’S PROPOSED LANGUAGE IN EXISTING TECHNICAL PUBLICATIONS OR INDUSTRY STANDARDS, INCLUDING THE TELCORDIA GR-513, AND THE FACT THAT QWEST’S PROPOSED LANGUAGE IN SECTION 2.4 DIFFERS FROM THE DEFINITION IN TELCORDIA GR-513 SHOWS THAT QWEST’S PROPOSED CHANGES CONFLICT WITH THE MOST RECENT INDUSTRY STANDARDS. HE ADDED THAT AT THE PRIOR MEETING, Qwest said it would insert verbatim the GR-513 DEFINITION OF LIST 1 DRAIN but did not DO SO. Patrick said QWEST’S second set of changes TO THIS SECTION Are more problematic than QWEST’S first set OF CHANGES. WHEREAS IN QWEST’S FIRST SET OF REVISIONS, QWEST PROPOSED DEFINITIONS OF LIST 1 AND LIST 2 DRAIN THAT WERE generally accurate AND CONCENTRATED THE LANGUAGE MOST OBJECTIONABLE TO CLECS IN A SEPARATE third paragraph, QWEST’S SECOND SET OF REVISIONS RE-DEFINE LIST 1 DRAIN TO INCLUDE THE OBJECTIONABLE LANGUAGE IN THE DEFINITION ITSELF. AS SUCH, he disagrees with both SETS OF QWEST’S changes to Section 2.4. Patrick stated that Qwest has an obligation to provide non-discriminatory access to power UNDER THE ACT and per the ICA, WHICH REQUIRES QWEST TO PROVIDE DC POWER TO CLECS AT RATES, TERMS AND CONDITIONS THAT ARE EQUAL TO HOW QWEST PROVIDES DC POWER TO ITSELF; QWEST’S PROPOSED Section 2.4 updates violate that. His final point was if Qwest insists on making changes THAT COULD RESULT IN QWEST TREATING CLECS DIFFERENTLY THAN ITSELF FOR DC POWER, then QWEST SHOULD, AT A MINIMUM, ALSO ADD LANGUAGE INDICATING that CLECs won’t pay higher costs for power than Qwest. Curtis Ashton – Qwest said to start off with, PAETEC revised the minutes from the first meeting and added a lot of detail that Qwest did not capture word for word and that they must have a better memory then he had. Curtis said there is a continued reference to Iowa and he wanted to make something clear, he/Qwest has no intention of discriminating - and emphasized EVER – against the CLEC. He said Patrick was correct in what was relayed about Iowa but Curtis said Arizona found exactly the opposite. Curtis reiterated that Qwest would not discriminate against the CLECS and that Patrick relayed the Tech pub changes would allow Qwest to treat CLECs differently but he said the updates do not address CLECs at all. Curtis said he was leaving things positively open since every state has different rate cases and that Qwest has to follow each.of the 14 states. Patrick Phipps – QSI/PAETEC stated that QWEST’S SUGGESTION THAT ITS ENGINEERS USE A COST DOCKET ORDER FROM A STATE PUC TO SIZE POWER PLANT CAPACITY IN THE REAL WORLD IS FRANKLY HARD TO BELIEVE AND MAKES NO SENSE.never shared that the cost docket requires Qwest to size in a certain way. Qwest needs to charge in different ways. He said this is where two reasonable people disagree. Curtis Ashton – Qwest said he drastically changed the first paragraph and was there anything in the first paragraph that could stay. Patrick Phipps – QSI/PAETEC said he would have to look BECAUSE HE HAD NOT PERFORMED A LINE-BY-LINE COMPARISON OF QWEST’S SECOND SET OF REVISIONS TO THE TELCORDIA GR-513 DEFINITION – major concerns. Curtis Ashton – Qwest said he did not want to vary too far. Patrick Phipps – QSI/PAETEC said when you got past the first paragraph things looked very similar. Curtis Ashton – Qwest questioned whether it was OK to remove “serve Qwest equipment” and wondered if there was a need for another opportunity to do a stare and compare of the document updates. Patrick Phipps – QSI/PAETEC said that was fair. Curtis Ashton – Qwest questioned what to do about List 2 drains. Patrick Phipps – QSI/PAETEC said he had not had the time to review and was not prepared to comment. He said thereAT QWEST’S PROPOSED DEFINITION OF LIST 2 DRAIN APPEARS TO BE was lots of similarity to GR-513 but wanted to reserve comment. Curtis Ashton – Qwest suggested a short meeting in the future to review the updates. Patrick Phipps – QSI/PAETEC said he did have comments but they are not on list 2 drains. It was clear that Qwest would interpret A CLEC POWER CABLE ORDER as A list 2 DRAIN REQUIRMENT (or, AS MR. ASHTON HAS PUT IT, A proxy FOR LIST 2 DRAIN). Patrick then focused on List 1 drain. Julia Redman-Carter- PAETEC said she needed to look again at the updates. Curtis Ashton – Qwest said in Section 9.2 we needed to look at the formula. Curtis said Ross Nielsen – PAETEC said during the last meeting that the formula “I” needed to be broken out and listed as bullets. Curtis wondered if anyone had any comments on what had been done there. Julia Redman-Carter- PAETEC said she was not sure everyone saw the language. Ross Nielsen - PAETEC said he pulled the version off the calendar. Does the hour discharge rate apply only to battery cable sizing? Otherwise he had no problems with this. Curtis Ashton – Qwest said good point. Julia Redman-Carter- PAETEC questioned whether the bullets corresponded to the big paragraphs BELOW THE BULLETS and asked if they were in the same order. Curtis Ashton – Qwest said more detail is provided below but they were not in the same order. Julia Redman-Carter - PAETEC ASKED said on the paragraph below, FOR EXAMPLE, the second bullet, I cannot tell which drain PROXY is the applicable one AND I DON’T BELIEVE THAT THEY ARE INTERCHANGEABLE. WOULD ANY TECH They can BE ABLE TO derive THE CORRECT PROXY TO BE USED FROM the information BELOW?. Curtis Ashton – Qwest said he thought so. Curtis Ashton – Qwest said he could propose the review and finalization of the changes in two ways: 1) Submit the level 4 and allow the comment period, or 2) Schedule another short ad hoc call to review. Julia Redman-Carter- PAETEC said she preferred a short 30 minute call to review section 2.4 updates and the next set of changes. Susan Lorence – Qwest said she would like to get the remaining questions ahead of time to insure we specifically addressed them in the time period. Julia Redman-Carter- PAETEC said she was not sure that was possible but could identify the sections. Susan Lorence – Qwest said she rather then leaving it open, that we would like to have them in advance. Julia Redman-Carter- PAETEC said she THOUGHT WE MIGHT BE ABLE TO PROVIDE SOME QUESTIONS, AND Would like to see the final redlines of the Tech Pub. HOWEVER, OUR DECISION NOT TO PROVIDE QUESTIONS IS NOT TO LIMIT OUR DISCUSSION OR OUR ABILITY TO ADDRESS ANY OF THE LANGUAGE CHANGES PROPOSED IN THE NEXT AD HOC MEETING. Susan Lorence – Qwest said we would send those out with the meeting minutes and then schedule a short ad hoc call ABOUT five days later. Patrick Phipps – QSI/PAETEC said he had two ADDITIONAL issues as far as the final version of the Tech Pub: 1) Insure theAT ANY updates regarding “CLEC REQUEST” OR “CLEC ORDER” CLARIFY THAT IT IS cable sizing for CLECs always referRING to the “CLEC power feed order”, and 2) Suggest in the Notice section of the document, that the changes for 2010 are clearly delineated from what was there since 1996. He said there needed to be a history log of the changes made in 2010, ESPECIALLY FOR ANY CHANGES QWEST IMPLEMENTS REGARDING LIST 1/LIST 2 DRAINS. Curtis Ashton – Qwest said to look at Section 1.2, Reason for Reissue. He questioned whether that would be a better place to identify the changes than the Notice section. Patrick Phipps – QSI/PAETEC said it was a good suggestion and agreed TO CONSIDER HOW BEST TO INCORPORATE THIS LANGUAGE. Curtis Ashton – Qwest requested attendees to review the language of Section 1.2, Reason for Reissue, and propose what to put there.

03-19-10 Ad hoc meeting minutes APRIL 1, 2010 NOTE: THE REDLINED EDITS TO THE DRAFT MEETING MINUTES THAT WERE PROVIDED BY PAETEC HAVE BEEN INCLUDED IN CAPS/BOLD OR ARE IDENTIFIED WITH STRIKETHROUGH. SEE WHOLESALE CALENDAR FOR VERSION WITH STRIKETHROUGH.

Attendees: Julia Redman-Carter-PAETEC, Patrick Phipps – QSI Consulting, Inc. (on behalf of PAETEC), Diane Bowers – PAETEC, Al Finnell – PAETEC, Bryan Vanyo – PAETEC, Ross Nielsen – PAETEC, Bonnie Johnson - Integra, Kim Isaacs – Integra, Rebecca Beaton – Washington Commission, Eugene Evans - New Mexico Commission, Carolee Hall – Idaho Commission, Curtis Ashton - Qwest, John Hansen - Qwest, Susan Lorence - Qwest

Susan Lorence – Qwest relayed that the last ad hoc call had been held on March 8, 2010. During that call, we agreed that another ad hoc call was necessary to review the remainder of the document and any updates that Curtis Ashton – Qwest would make based on the discussion in the last call. Susan relayed a revised version of the Tech Pub was posted to the calendar.

Curtis Ashton – Qwest relayed that he had a discussion with legal and discussed the paragraph that was of most concern. He said he had removed some content from Section 2.4 and made changes to List 1 and 2 drains to follow the spirit of GR-513. Curtis said he would start where we left off and then go back to the changes that were made. Curtis Ashton – Qwest relayed in the section regarding sizing the rectifier plant, the acronym NNS was defined since it was the first time it occurred. NNS is the unregulated side of Qwest as opposed to the regulated side. Ross Nielsen – PAETEC asked about sizing the rectifier plant and whether it was based on the actual load. He questioned when sizing the rectifier, is Qwest going by the actual List 1 load. Julia Redman-Carter - PAETEC questioned if it is possible to make a clarification to the language ADDRESSING THIS. Curtis Ashton – Qwest identified it is as being the busy hour load. Ross Nielsen – PAETEC said he suspected it was based on battery busy hour load and that he was OK with that. Julia Redman-Carter PAETEC said if Ross Nielsen (PAETEC) was good WITH THE LANGUAGE, she was good. Curtis Ashton – Qwest said the next area of change is section 2.6 just below the bulleted items. The update is to clarify that there can be more than one power plant controller when adding newer switch mode rectifiers to a Ferro resonant plant. Curtis said rather than replace whole power plant, it was more economical to grow the plant with switch mode. Curtis said the switch mode required its own controller. There is still a master conventional controller for Ferro resonant rectifiers but there is now a separate sub-controller for the switch modes. He confirmed one master controller is common. Curtis said he can internally mix rectifier plants. Ross Nielsen - PAETEC questioned whether we were really talking separate power plants or parallel. Curtis Ashton – Qwest said in a way, two types of power plant are paralleled: One master and one sub controller. CURTIS ASHTON – QWEST SAID THAT Section 3.6 associated with Battery Types was discussed next – associated with Nickel Cadmium. Curtis Ashton-Qwest said Nickel Cadmium batteries used to be only deployed in engine start applications but are now placed in desert outdoor locations due to longer life. In regard to the section on Lithium, Curtis said he removed all references to Lithium metal polymer batteries since they are no longer commercially available. Curtis said that there was also a change to indicate that Li-ion batteries do not need to be cylindrically wound but can be rectangular as well. Next Curtis Ashton – Qwest NEXTsaid that he added a paragraph on Super Ultra Capacitors. He said they are not new and are generally used for short backup purposes.

Patrick Phipps – QSI/PAETEC questioned whether this was a paragraph that was moved from later pages and Curtis said yes.

Curtis Ashton – Qwest SAID YES. HE next addressed the change at the end of Section 3.9 where he deleted a paragraph. He said he removed it because there was no reason to include it since the information was already in Figure 3.2 and in Chapter 9. The change to Section 3.10 was to add the word “lead-acid” for clarification on end voltage because lithium and NiCd have different numbers. Julia Redman-Carter - PAETEC said she noticed the capitalization of the word ampacity was changed. Curtis ASHTON - QWEST provided some history on the term ampere and relayed that both capitalized and not capitalized usage is correct. Julia Redman-Carter- PAETEC questioned was there a definition ASSOCIATED WITH THE CAPITALIZATION OF THE TERM ‘AMPACITY’ that was deleted or adjusted. Curtis Ashton – Qwest relayed no and that ampacity refers to how much current cables or bus bars can carry before becoming too warm. Eugene Evans – New Mexico Commission questioned whether it was just an engineering correctionand Curtis said no, it was more a grammatical correction. Curtis Ashton – Qwest SAID NO, IT WAS MORE A GRAMMATICAL CORRECTION. HE said the next change is Section 6.3.to clarify that the fuse and breaker coordination is Qwest responsibility. Patrick Phipps – QSI/PAETEC agreed it was Qwest responsibility and questioned whether thE FUSE COORDINATION LANGUAGE is was associated with all fuses between collocation and power plant. HE INDICATED IT WAS HIS UNDERSTANDING THAT QWEST WOULD SIZE FUSES WITHIN ITS CONTROL AND A CLEC WOULD SIZE THE FUSE WITHIN ITS CONTROL. Curtis agreed that it is Qwest responsibility to coordinate all fuses within their control not the CLECs. Patrick Phipps – QSI/PAETEC said it is the CLEC responsibility to size the 1st fuse within their control. Curtis Ashton - Qwest said the NEC code requires fuse coordination for certain systems and but even where not required, it is a good practice. Patrick Phipps – QSI/PAETEC said GR-513 talks of fusing coordination but does not make a distinction between the CLEC and Qwest. Curtis Ashton – Qwest said there is no external legal requirement to coordinate; it is only a Qwest requirement. Qwest coordinates all Qwest owned fuses and breakers. Patrick Phipps – QSI/PAETEC identified the issue is the smallest fuse will blow first. Curtis Ashton – Qwest said that was correct and it is to minimize the impact of an outage. Curtis Ashton – Qwest then reviewed Section 8.2.1 which talks to the required points that will be monitored. Curtis said this only applies to new points; Qwest cannot retroactively fix old. When put in new, points are required to monitor alarms. There is one minor change associated with collocation circuits at power board; it used to say 75 which is not consistent. The current wording took 125% of 60 amps, which is not true. You really need to take 125% of 61 amps. Curtis said the language was contradictory and was a math error. Curtis Ashton – Qwest then discussed changes toward the end of Section 8.2.3. He said that the updates were made to provide additional clarification. In a Battery String Disconnect, you don’t have to monitor individual breakers, you can daisy chain them. You just need to know the breaker is tripped. Curtis also said two binary points were added for little Li-ion smart batteries. Lead acid is not smart. Two points were added for major and minor alarms. Curtis Ashton – Qwest said for changes in Section 8.5, Qwest does not generally allow power monitors to start and stop rectifiers because Qwest does not want two controllers fighting each other. There needs to be an exception for large sites. Curtis relayed for some sites that are co-owned with AT&T, they do have some sequence of rectifier start due to the size of engines. This rectifier sequencing is to allow power to come up slowly. The next section Curtis Ashton – Qwest SAID THE NEXT SECTION discussed was Section 8.6.3 where clarification was added associated with cell temperature. If the plant is already measuring, you don’t have to run more probes. Curtis also said that at the end of this section, a statement was repeated regarding the Disconnect breaker that they can be daisy chained. Curtis Ashton – Qwest then addressed the change in Section 9.2 where there was a clarification regarding the formula for calculating Voltage drop that is already covered in the next two pages. Curtis relayed “I” defines amperes and sometimes is the List 2 drain and sometimes not. For example, between the chandelier and the return bus, this size of the shunt is used. Curtis said this is obviously of most concern. To size the voltage drop for the CLEC order is based on the CLEC order. Patrick Phipps – QSI/PAETEC questioned the CLEC order, what order? Curtis Ashton – Qwest relayed that it was the CLEC power feed order and will clarify that. Patrick Phipps – QSI/PAETEC said the only observation is that Qwest interprets the power feed order as List 2. Curtis Ashton – Qwest said that is sort of true; it is a proxy for List 2. Patrick Phipps – QSI/PAETEC SAID that QWEST’S PROPOSED the language IN SECTION 9.2 SHOWS THAT QWEST said collocation is generally interpretedS A CLEC POWER FEED ORDER as a List 2 drain requirement. Curtis Ashton – Qwest said to be clear, will use the term proxy. He said the only information that Qwest has is what is on the order. Patrick Phipps – QSI/PAETEC said the CLEC order raises red flags. He said that it does represent List 2 drains. He questioned if it is necessary. If it is a proxy for List 2 drain, the original language should be sufficient. Curtis Ashton – Qwest said Qwest does not know if it is a List 2 drain for CLECs. This is not a universal statement so the ordered amount is used as a proxy. It may or may not be a List 2 drain. Patrick Phipps – QSI/PAETEC said it must be. Curtis Ashton – Qwest said when sizing cable to a List 2 drain, it is easy to do for individual shelf feeds. When feeding upstream aggregation devices, such as a BDFB from a PBD, we don’t know what is going in in the future so there is no way to calculate List 2 drain upfront. Qwest has to use a proxy for List 2 drain. For a BDFB fused at 600 amps, we never load one side greater than 300 amps so proxies are not just for CLECs. They are also feeding secondary protection. It might be List 2 or it might be proxy. Many CLECs don’t know what their List 1 and List 2 are. Patrick Phipps – QSI/PAETEC said he did not know whether the bottom line is that this current represents a List 2 drain requirement. Tthe language is not clear AND NOT NECESSARY BECAUSE MR. ASHTON PREVIOUSLY TESTIFIED THAT QWEST INTERPRETS A . The CLEC POWER FEED order AS language is List 2 drain. Curtis Ashton – Qwest said he testified it is a proxy for a List 2 requirement. It is not clear. There is disagreement about whether CLEC power feed order is List 2 and by inserting CLEC, it makes clear what order we are talking about. If language goes in, Curtis said it needs to be specific to say CLEC power feed order. Ross Nielsen - PAETEC questioned when doing battery cable sizing for capacity, do you use two hour discharge? Curtis Ashton – Qwest said we use four hour discharge. Ross Nielsen - PAETEC said when feeding CLEC from BDFB, are you using the full CLEC order for voltage drop calculations. Curtis said yes when feeding CLEC owned BDFB. CURTIS ASHTON – QWEST SAID YES WHEN FEEDING CLEC OWNED BDFB. Ross Nielsen - PAETEC questioned on the CLEC voltage drop, do you have to use breaker size? Curtis Ashton – Qwest said we do two calculations for breaker size. The cable has ampacity. If 100 ampere order, if size for voltage drop, will size cable based on circular mills. Curtis said there is a 2nd check to insure that the ampacity meets or exceeds 350kcmil. In our example 100 amp order, if the voltage drop calculation required a 350 kcmil cable, we would then check to insure it equals at least 125 amps. Ross Nielsen - PAETEC said the key was to break out the “I” values to make them more clear. Curtis Ashton – Qwest said he had summarized it in a parenthetical. He said a better way would be to put sub- bullets under “I”. Ross Nielsen - PAETEC said three things come into play. The main thing is to break down between the elements. Curtis Ashton – Qwest said he would rewrite the section and send it out again. Julia Redman-Carter- PAETEC had a suggestion to have ampere represent List 2 drain. Half protector size, battery discharge rate: all are proxy for List 2 drain. She had a question whether it is appropriate if you have the actual List 2, use it. If List 2 is not available, use a proxy. Julia said it should specify what should be used in which scenario. Specify which proxy in which scenario. Patrick Phipps – QSI/PAETEC said the fact that Qwest interprets Power feed as List 2 NECESSARILY MEANS THAT QWEST, why would NOT you also size the power plant to the same. If QWEST INTERPRETS A take CLEC power feed order as List 2 drain, Qwest should not use THAT ORDER same drain to size the power plant. POWER FEEDS AND POWER PLANT These are sized to TWO different standards in all publications. The group decided a 1 ½ to 2 hour meeting was needed to finish the review. Patrick Phipps – QSI/PAETEC said the couple sections that were of PARTICULAR concern TO HIM are 2.4 and 9.6 and that HIS we need to focus IS on policy ISSUES AND NOT vs. engineering ISSUES. Susan Lorence - Qwest questioned whether we need to continue to review change by change or just go over those sections where there were concerns. Eugene Evans – New Mexico Commission said he was interested in where others had questions and thought it was best to go through line by line. Julia Redman-Carter- PAETEC said she was not an engineer but would prefer to go through line by line. Patrick Phipps – QSI/PAETEC reiterated that if Qwest is going to use CLEC power feed order as proxy for List 2 drains, Qwest should not also use this order to also size power plant components.

3/19/10 Additional EMAIL RESPONSE to Qwest from Integra/PAETEC associated with redline updates to Ad Hoc Meeting minutes for 3/8/10

Susan,

Though Qwest may believe that the “meeting minutes that Qwest captured for the March 8 call were … an accurate yet concise summarization of the discussion in the ad hoc call,” the revisions by PAETEC indicate otherwise. PAETEC found that the meeting minutes did not capture most of the “key points” that we made during the discussion, and what was captured tended to dilute and/or misstate the point. PAETEC disagrees with Qwest’s suggestion that PAETEC expanded on what we said in the meeting notes. Obviously since the minutes are not verbatim, its not “exactly what was said”, but all of the points added in the minutes were stated on the call. Based on the CMP document, we don’t expect “a verbatim transcript,” but the minutes should be reflective of the discussion. Again, PAETEC did not “expand content” in our redlines of Qwest’s meeting minutes. Unlike Qwest that omitted key details, PAETEC did not change the discussion or the context of the statements.

In response to your comment about litigation, PAETEC is especially concerned that the meeting minutes accurately reflect the actual conversation. In the recent complaints concerning this very issue of collocation power, Qwest cited its November 2003 CMP meeting minutes to claim that McLeodUSA should have known that Qwest was agreeing to only bill DC power usage based on a measurement of the CLEC’s power usage. However, the CMP meeting minutes on this topic also noted that Qwest told the CLECs that it would not require an ICA amendment for a CLEC to have measured usage. Yet, Qwest later changed its mind and insisted that CLECs in fact had to execute such an amendment, without any modification to the CMP minutes. Had a CLEC relied on the CMP minutes that included that inaccurate statement regarding the necessity of an ICA amendment, the CLEC would have reasonably believed that they were entitled to measured power without an ICA amendment. Thus, the accuracy of CMP minutes is critical seeing as though Qwest itself has shown a propensity to use them as proof as to what exactly was the debate between the Qwest and CLEC position, and what was or was not agreed to.

Finally, PAETEC and Integra agree that there continues to be disagreement as what constitutes meeting minutes. In the 4/13/07 Qwest CMP Oversight Committee meeting referenced below, Qwest’s stated; “Susan said that the intent was to capture action items and the end result. She said that in the past there was a difference in the detail Qwest provided on product/process and system meeting minutes and in good faith started providing detail for both.” Becky Quintana from the Colorado PUC, who was a part of the CMP redesign team, responded “…that she disagreed with the last statement. Meeting minutes from redesign and CMP have always been very detailed and did include ‘he said, she said’.”

Julia

3/19/10 EMAIL RESPONSE from Qwest to Integra/PAETEC associated with redline updates to Ad Hoc Meeting minutes for 3/8/10 Bonnie and Julia,

Unfortunately, based on your email, there continues to be disagreement on what constitutes “meeting minutes” from a CMP perspective – especially when there is litigation involved.

Section 3.2 of the CMP document states: 3.2 Meeting Minutes for Change Management Process Meetings Qwest will record and distribute meeting minutes for all Change Management Process meetings, unless otherwise noted in this CMP.

Qwest will summarize discussions in meeting minutes and include any revised documents such as issues, action items and statuses….

The meeting minutes that Qwest captured for the March 8 call were provided in good faith as an accurate yet concise summarization of the discussion in the ad hoc call. To suggest otherwise is very inappropriate. As required by CMP, the Qwest meeting minutes focused on capturing the key points of the discussion and were not intended to be a verbatim transcript of the entire discussion. Qwest disagrees that the intent of the discussion was lost. Nor was there any omission of detail in the minutes that was material in nature as you suggest.

As has been the Qwest process, we will include these redline revisions to these minutes by documenting the Integra/PAETEC changes in all caps. Because Qwest does not tape record meetings, we do not have the ability to verify the significantly expanded content that has been redlined. No one from Qwest that attended the March 8 call recalls that your edits reflect exactly what was said. However, we do have concern that what was said on the call has been considerably expanded in the redlined changes. That particular issue of elaborating on content is significant and was addressed in the 4/13/2007 CMP Oversight meeting minutes that were referenced in your email. Specifically, as Integra stated in that meeting, changing the discussion or the context of the statements is not appropriate.

Finally, there was agreement in the 4/13/2007 meeting minutes that summarization was fine as long as it was complete and accurate. Qwest believes the summarization was complete and accurate in the minutes that were submitted for review.

Going forward, as we have in the past, Qwest will continue to capture in a concise, accurate manner a summary of the discussion that occurs in CMP meetings. Susan Lorence

3/17/10 EMAIL RESPONSE from Integra/PAETEC associated with redline updates to Ad Hoc Meeting minutes for 3/8/10

Susan/Qwest/CMP, I am attaching the joint redlined changes for PAETEC and Integra. As you can see from the attached document, the changes were significant. PAETEC and Integra were quite surprised that Qwest failed to capture all or portions of complete conversations, or what Qwest did provide did not reflect the entire conversation so in some cases the intent of the comments were lost.

The CMP Oversight Committee discussed the level of detail Qwest was required to provide for ad-hoc call meeting minutes in a CMP Oversight meeting regarding CMP meeting minutes. Becky Quintana from the Colorado PUC, who attended CMP Redesign, commented on the level of detail Qwest should provide. You can find that discussion in the April 13, 2007 CMP Oversight Committee meeting minutes located on Qwest’s website at http://www.qwest.com/wholesale/cmp/escdisp.html.

While we understand the conversation was of a very technical nature, the omissions were material in nature. PAETEC and Integra would appreciate any effort Qwest could make to provide more complete and accurate minutes for the ad-hoc call scheduled for this Friday. As CLECs have communicated in the past, when you are talking, it is difficult to take notes. Thanks, Bonnie and Julia

3/17/10 Product/Process CMP Meeting Susan Lorence-Qwest relayed that there had been an ad hoc meeting on March 8, 2010. The meeting minutes were out for review and will be posted by Friday. The next ad hoc meeting is scheduled for 3/19 at 10AM MT. Susan relayed that Curtis Ashton–Qwest had provided a revised Tech Pub 77385 due to some follow-up from the ad hoc call. That document is posted to the Wholesale calendar.

March 8, 2010 Ad hoc meeting minutes

MARCH 19, 2010 NOTE: THE REDLINED EDITS TO THE DRAFT MEETING MINUTES THAT WERE PROVIDED BY INTEGRA AND PAETEC HAVE BEEN INCLUDED IN CAPS/BOLD OR ARE IDENTIFIED WITH STRIKETHROUGH. SEE WHOLESALE CALENDAR FOR VERSION WITH STRIKETHROUGH.

Attendees: Julia Redman-Carter-PAETEC, Patrick Phipps – QSI CONSULTING, INC.(ON BEHALF OF PAETEC), Diane Bowers – PAETEC, Robert Fuller – PAETEC, Jim Gabberd – PAETEC, Al Finnell – PAETEC, Bryan Vanyo – PAETEC, Ross Nielsen – PAETEC, Bonnie Johnson-Integra, Doug Denney – Integra, Rod Cox – TDS Metrocom, Joe Eldrege – Cbeyond, Loriann Burke – XO Communication, Warren Wendling – Colorado PUC, Suzanne Smith – Oregon PUC, Mike Ripperger – New Mexico Commission, Eugene Evan - New Mexico Commission, Mike McCarthy – Minnesota Dept. of Commerce, Greg Doyle - Minnesota Dept. of Commerce, Curtis Ashton-Qwest, John Hansen-Qwest, Susan Lorence-Qwest

Susan Lorence - Qwest began the meeting by relaying that Curtis Ashton from Qwest presented the Qwest CR PC020210-1 in the February CMP monthly meeting. The ad hoc meeting is to review the planned updates to Technical Publication (Tech Pub) 77385 which is posted to the Wholesale calendar entry in addition to an excerpt from Telcordia GR-513.

Bonnie Johnson – Integra SAID QWEST SENT OUT EXCERPTS OF THE GR-513 CHANGES AND asked if this was the only change being made in GR-513.

Curtis Ashton - Qwest said the document had been significantly expanded. It used to be a 15 page document and now is over a 70 page document.

Bonnie Johnson – Integra asked whether QWEST WAS MAKING ALL OF THE GR-513 CHANGES IN THE there were any other Tech Pubs that are impacted.

Curtis Ashton - Qwest said no, THISother Tech Pubs WAS were not impacted by the multiple changes proposed. Curtis relayed GR-513 covered more areas of power and said that the updates were driven to reflect power standards in AT&T, Qwest and Verizon Tech Pubs, like the AT&T 767-200. It was updated to include a consensus of standards and rules that already existed.

Curtis Ashton - Qwest provided additional background on this Tech Pub update. Last year, updates to Tech Pub 77385 were submitted via a Level 2 notification. Due to CLEC comments, each individual change was reviewed during various ad hoc meetings and it was jointly decided what should be a level 2, level 3 and finally a level 4 change. The level 4 changes were removed from the update last year and have been incorporated in this CR.

Curtis Ashton - Qwest began reviewing the updates by relaying that the primary changes were associated with List 1 and 2 drains. He said he would come back to the Reason for Reissue and began by reviewing Table 1-2 which he said is the same table but now has a title. The next area of review was Section 1.5 on page 1-7 associated with fuse coordination. The document already had fuse coordination in it. This really only applies to Qwest. Curtis said last year Chapter 9 was fixed but now Chapter 1 is being fixed.

Julia Redman-Carter - PAETEC questioned the added phrase “feeding Qwest equipment” and the position that CLECs are not treated differently THAN QWEST TREATS THEMSELVES OR IS and that Qwest CLARIFYING THAT IT is not imposing a Qwest requirement on CLEC equipment.

Patrick Phipps – PAETEC QUESTIONED THE LOCATION OF THE FUSES/BREAKERS AND WHETHER THEY WERE FUSES THAT QWEST OR THE CLEC CONTROLS AND said CLECs don’t have control over Qwest fuse siZe.

Curtis Ashton - Qwest said this is at the shelf on circuits that Qwest controls. Curtis said at the end of Section 1.5 on page 1-9 that the changed wording applies only to Qwest. It is a clarification to what would be allowed for Qwest equipment.

Curtis Ashton - Qwest then pointed to Section 2.4 associated with List 1 and 2 drain changes that the coalition addressed in GR-513. Curtis said in Section 1.7 that there is a Note that is being removed. He said the reasoning for removing the Note is that it was adequately covered in the table which gives a good summary of NEBS. The Note was redundant and not necessary to state in text.

Curtis Ashton –Qwest began discussion of Section 2.4. He said the GR was last issued in 1995 and it did not address the primary equipment deployed today. The change was made to reflect more than just POTS and better defines the criteria for List 1 and 2 drains.

Patrick Phipps – PAETEC questioned how the definitions compared to the previous edits.

Curtis Ashton - Qwest relayed the edits are the same as last year.

Patrick Phipps – PAETEC questioned if the purpose was to synch up with GR-513. NOTED THAT QWEST’S CHANGE REQUEST INDICATED THAT THE PURPOSE OF THESE UPDATES IS TO AGREE WITH TELCORDIA GR-513, WHICH WAS ISSUED IN EARLY 2010. PAETEC QUESTIONED HOW THE PURPOSE OF THESE UPDATES COULD BE RELATED TO TELCORDIA GR-513 (ISSUED IN EARLY 2010) WHEN QWEST INITIALLY PROPOSED THE SAME EDITS IN EARLY 2009 (BEFORE THE MOST RECENT VERSION OF TELCORDIA 513 WAS ISSUED).

Curtis Ashton - Qwest said work started on GR-513 in January 2009 but the final published version of GR-513 was not until January 2010. Qwest first started proposing the update to Tech Pub 77385 last March. Curtis said they say the same thing but GR-513 now has more wording. Curtis said he was willing to copy what GR-513 said.

Patrick Phipps – PAETEC said it is the decision of the engineers. There is a dispute between Qwest and PAETEC. The definition in GR-513 is not in the Tech Pub. He said there is good information in GR-513 that is not in the Qwest document. PAETEC NOTED THAT THE UPDATED DEFINITIONS OF LIST 1 AND LIST 2 DRAIN PROPOSED BY QWEST WERE NOT THE SAME DEFINITIONS AS IN TELCORDIA GR-513. PAETEC QUESTIONED WHY QWEST’S DEFINITIONS WOULD BE DIFFERENT THAN THE DEFINITIONS IN TELCORDIA GR-513 IF THE PURPOSE OF THE UPDATES IS TO AGREE WITH GR-513. PAETEC NOTED THAT THE CONCEPTS OF LIST 1 DRAIN AND LIST 2 DRAIN ARE PART AND PARCEL OF LITIGATED PROCEEDINGS BETWEEN QWEST AND CLECS RELATED TO DIRECT CURRENT (“DC”) POWER RATES. PAETEC FURTHER NOTED THAT SOME OF THE LANGUAGE IN THE DEFINITION OF LIST 1 DRAIN FROM GR-513 (WHICH QWEST OMITTED FROM ITS UPDATES) APPEARS TO LEND A DEGREE OF REASONABLENESS TO THE CLECS’ POSITIONS IN THOSE LITIGATED PROCEEDINGS. PAETEC EXPRESSED CONCERN THAT QWEST’S UPDATES TO THE DEFINITIONS OF LIST 1 DRAIN AND LIST 2 DRAIN IN ITS TECHNICAL PUBLICATION 77385 WERE MADE TO SUPPORT QWEST’S ADVOCACY AND UNDERMINE THE CLECS’ ADVOCACY IN THE ONGOING DC POWER RATE PROCEEDINGS. IN RESPONSE TO MR. ASHTON’S SUGGESTION THAT THE DEFINITIONS OF LIST 1 DRAIN AND LIST 2 DRAIN FROM GR-513 BE COPIED VERBATIM INTO QWEST TECHNICAL PUBLICATION 77385, PAETEC INDICATED THAT THIS WAS A DECISION FOR THE ENGINEERS TO MAKE. PAETEC ADDED, HOWEVER, THAT, GIVEN QWEST’S STATED PURPOSE FOR THE CR, IT SEEMS LOGICAL THAT THE DEFINITIONS OF LIST 1 DRAIN AND LIST 2 DRAIN IN QWEST’S TECHNICAL PUBLICATION 77385 SHOULD “AGREE” WITH THOSE IN TELCORDIA GR-513, AND THAT UPDATES TO THESE DEFINITIONS SHOULD NOT BE SELECTIVELY CHOSEN BASED ON WHATEVER LANGUAGE MAY SUPPORT QWEST’S ADVOCACY IN THE ONGOING DC POWER RATE PROCEEDINGS.

Curtis Ashton - Qwest questioned how best to handle. He said he could rewrite Section 2.4. Curtis questioned the CMP process AND THOUGHT THAT THE CLECS COULD RESPOND IN THE FORMAL COMMENT PORTION OF THE CMP PROCESS.

Patrick Phipps – PAETEC said he did not see anything wrong with adding the wording. There would then be no reason to disagree if it was updated to be in agreement. He said lots do not have access to GR-513 REASON TO DISAGREE WITH QWEST’S PROPOSED UPDATES TO THE DEFINITIONS OF LIST 1 DRAIN AND LIST 2 DRAIN AND THAT THEY ARE CONSISTENT WITH HOW THESE TERMS HAVE BEEN TRADITIONALLY DEFINED; HOWEVER, THE POINT IS: QWEST’S UPDATED DEFINITIONS ARE DIFFERENT THAN WHAT IS IN TELCORDIA GR-513 AND DO NOT INCLUDE ALL INFORMATION IN THE TELCORDIA DEFINITIONS. HE STATED THAT THERE WOULD THEN BE NO REASON TO DISAGREE WITH THE DEFINITIONS OF LIST 1 DRAIN AND LIST 2 DRAIN IN QWEST’S TECHNICAL PUBLICATIONS IF THEY WERE UPDATED TO BE IN AGREEMENT WITH TELCORDIA GR-513, BUT HE DEFERRED TO THE ENGINEERS AS TO THE TECHNICAL MERITS OF MAKING QWEST’S DEFINITIONS IDENTICAL TO TELCORDIA’S. HE NOTED THAT THE MAJOR DISAGREEMENT PAETEC HAS WITH QWEST’S UPDATED DEFINITIONS PERTAINS TO THE LANGUAGE QWEST IS PROPOSING TO ADD ABOUT :COLLOCATOR LIST 1 AND 2 DC DRAINS…”, NOT SO MUCH QWEST’S PROPOSED UPDATES TO THE DEFINITIONS OF LIST 1 DRAIN AND LIST 2 DRAIN UNDER THE BULLETPOINTS IN SECTION 2.4. HE ADDED THAT, WHILE PAETEC HAS PURCHASED AND REVIEWED THE TELCORDIA GR-513, OTHERS DO NOT HAVE ACCESS TO GR-513. Susan Lorence - Qwest said it was OK to add the wording since the document had not been sent out for formal comment. She said we could either send the revised wording out for formal comment or have another ad hoc meeting.

Curtis Ashton - Qwest said he would add the GR-513 text and send out revised language.

Julia Redman-Carter - PAETEC said she would like another ad hoc meeting TO REVIEW AND DISCUSS THE NEW QWEST LANGUAGE PROPOSAL. THE LANGUAGE AND FORMAL COMMENT PERIOD CONTEMPLATES THAT THE CLEC CONCERNS AND FEEDBACK HAVE ALREADY BEEN INCORPORATED INTO THE LANGUAGE.

Curtis Ashton - Qwest said we will now get to the problem paragraph. Curtis said that “not generally known” was meant “to Qwest.” He questioned whether adding the words “to Qwest” would help. Curtis said it does not change that the Commission can order and that Qwest can choose to oversize.

Patrick Phipps – PAETEC said that with the phrase “and DC plant components” is the problem wording. If a person read GR-513 in detail, there are no distinguishing characteristics. ” WAS THE PRIMARY PROBLEM WITH THE ADDED LANGUAGE, AND THAT PAETEC CANNOT AGREE WITH THIS PARAGRAPH WITH THIS PHRASE INCLUDED. HE INDICATED THAT THIS ISSUE GOES TO THE HEART OF THE DISPUTE BETWEEN QWEST AND CLECS REGARDING DC POWER RATES. HE EXPLAINED THAT QWEST HAS CLAIMED IN THESE PROCEEDINGS THAT IT SIZES DC POWER PLANT COMPONENTS BASED ON THE CLEC ORDER FOR POWER FEEDS, AND ACCORDING TO QWEST, IT IS THEREFORE APPROPRIATE FOR QWEST TO CHARGE CLECS FOR DC POWER PLANT BASED ON THE SIZE OF THEIR POWER FEED. HE EXPLAINED THAT CLECS DISAGREE WITH QWEST ON THIS POINT AND HAVE SHOWN IN THESE PROCEEDINGS THAT QWEST’S CLAIM (ABOUT SIZING DC POWER PLANT TO CLEC CABLE FEEDS SIZE) IS NOT SUPPORTED BY ITS OWN TECHNICAL PUBLICATIONS, AND IN FACT, CONFLICTS WITH THOSE TECHNICAL PUBLICATIONS. HE EXPLAINED THAT THIS PROPOSED LANGUAGE IS AN APPARENT EFFORT TO BOLSTER QWEST’S ADVOCACY (AND UNDERCUT CLEC ADVOCACY) IN THE ONGOING DISPUTES WITH CLECS BY INSERTING LANGUAGE INTO ITS TECHNICAL PUBLICATIONS INDICATING THAT QWEST SIZES POWER PLANT AS IT CLAIMS IT DOES IN THOSE DISPUTES. IN OTHER WORDS, QWEST IS ATTEMPTING TO FILL THE HOLE IN ITS ADVOCACY EXPOSED BY THE CLECS IN THE ONGOING DISPUTES – I.E., THAT THERE IS NO QWEST TECHNICAL PUBLICATION THAT SUPPORTS THE WAY QWEST CLAIMS IT SIZES POWER PLANT IN THOSE ONGOING DISPUTES. PAETEC ALSO NOTED THAT IT HAD REVIEWED THE ENTIRE TELCORDIA GR-513 AND QWEST’S PROPOSED LANGUAGE HAS NO BASIS IN THAT DOCUMENT, NOR DOES TELCORDIA GR-513 DISTINGUISH BETWEEN CLEC EQUIPMENT AND ILEC EQUIPMENT WHEN DISCUSSING LIST 1 DRAIN AND LIST 2 DRAIN.

Curtis Ashton - Qwest said he is not claiming that we put the paragraph in due to GR-513 AND ACKNOWLEDGED THAT THIS PARAGRAPH REFLECTED QWEST’S ADVOCACY POSITIONS IN THE ONGOING DC POWER RATE PROCEEDINGS AND THAT HE WAS AWARE THAT CLECS DISAGREED WITH QWEST’S POSITION. He said that is how Qwest sizes.

Patrick Phipps – PAETEC said when we get into Cost Dockets, the state PUC looks at the ILEC engineering design standard. Patrick said one could make the case that Qwest has sized according to the standard. He has never seen it in AT&Ts. He said the state commission does not allow Qwest to recover oversizing. He said there is no basis for it and that he is saying sizing power plant and power raises problems. PAETEC RESPONDED TO MR. ASHTON’S STATEMENT THAT THIS LANGUAGE DOES NOT CHANGE WHAT A STATE COMMISSION COULD ORDER REGARDING A DC POWER RATE. PAETEC EXPLAINED THAT IN TELRIC PRICING PROCEEDINGS, COSTS ARE DEVELOPED BASED ON A MODELED NETWORK, AND TYPICALLY A STATE PUC LOOKS AT THE ILEC ENGINEERING DESIGN STANDARD TO EVALUATE THE REASONABLENESS OF THE MODELED NETWORK. HE EXPLAINED THAT WHEN MODELING A DC POWER PLANT FOR TELRIC COST STUDY PURPOSES, THE STATE PUC MAY LOOK AT THE LANGUAGE QWEST IS PROPOSING TO ADD, AND THAT LANGUAGE WOULD GIVE QWEST THE OPPORTUNITY TO MAKE THE CASE THAT QWEST HAS SIZED POWER PLANT ACCORDING TO ITS STANDARD – EVEN THOUGH QWEST’S LANGUAGE WOULD RESULT IN AN OVER-SIZED POWER PLANT. HE EXPLAINED THAT WHILE TELRIC DOES NOT PERMIT QWEST TO RECOVER COST OF AN OVER-SIZED POWER PLANT, THE CONCERN IS THAT ADDING THIS LANGUAGE TO THE TECHNICAL PUBLICATION WOULD GIVE QWEST THE OPPORTUNITY TO ARGUE THAT SIZING POWER PLANT TO CLEC ORDERS IS NOT OVER-SIZING. PAETEC ADDED THAT THIS LANGUAGE DOES NOT EXIST IN AT&T’S TECHNICAL PUBLICATIONS.

Curtis Ashton - Qwest said he wants what Qwest wants IS ADVOCATING which is to codify how Qwest sizes power plant.

Patrick Phipps – PAETEC said it gives Qwest a leg up on advocacy by codifying it in the Technical publication. HE ADDED THAT QWEST SHOULD NOT CODIFY ITS ADVOCACY POSITIONS IN ITS TECHNICAL PUBLICATIONS, PARTICULARLY WHEN there is no basis for it in standards.

Curtis Ashton - Qwest said that is the sticking point. He said he has not been through what Qwest can and cannot do. Qwest sets the rules on why things are sized the way they are.

Patrick Phipps – PAETEC said Qwest should not codify QWEST ADVOCACY it in the Tech Pub.

Curtis Ashton - Qwest said he is aware THAT THE LANGUAGE IN THE QWEST TECH PUB IS QWEST’S of the advocacy.

Patrick Phipps – PAETEC said this is Qwest choice ALSO TOOK ISSUE WITH OTHER LANGUAGE IN THIS PARAGRAPH: “COLLOCATOR LIST 1 AND 2 DC DRAINS ARE NOT GENERALLY KNOWN…” PAETEC EXPLAINED THAT IT DISAGREED WITH THIS LANGUAGE BECAUSE QWEST MAY, IN FACT, KNOW THE LIST 1 AND 2 DRAINS OF COLLOCATED EQUIPMENT. FURTHER, PAETEC EXPLAINED THAT IF QWEST DOES NOT KNOW COLLOCATOR LIST 1 AND 2 DRAINS, THEN THAT IS QWEST’S CHOICE BECAUSE QWEST COULD EASILY ASK FOR THIS INFORMATION ON THE COLLOCATION ORDER FORM OR PICK UP THE PHONE AND CALL THE COLLOCATOR AND REQUEST THAT INFORMATION. PAETEC ADDED THAT IF QWEST ACTUALLY NEEDED THIS INFORMATION IN ORDER TO SIZE POWER PLANT FOR CLECS THE SAME WAY QWEST DOES FOR ITSELF, IT SHOULD BE QWEST’S RESPONSIBILITY TO ACQUIRE THAT INFORMATION – QWEST SHOULD NOT WRITE AN EXCEPTION INTO ITS TECHNICAL PUBLICATION THAT APPLIES ONLY TO CLECS THAT RESULTS IN DIFFERENT TREATMENT AND HIGHER COSTS TO CLECS FOR DC POWER PLANT.

Curtis Ashton - Qwest said even if we ask, there is not enough experience COLLOCATORS FOR LIST 1 AND LIST 2 DRAIN INFORMATION, QWEST CANNOT BE SURE THAT THE INFORMATION CLECS WOULD PROVIDE COULD BE RELIED UPON BECAUSE QWEST DOES NOT HAVE ENOUGH EXPERIENCE WITH THAT EQUIPMENT. If Qwest chooses to oversize, it helps the CLEC.

Julia Redman-Carter - PAETEC questioned if Qwest oversizes, could it increase cost?

Curtis Ashton - Qwest said it depends.

Julia Redman-Carter - PAETEC said this TYPE OF Tech Pub update could increase cost on CLECs. She said if they agree to update the Tech pub, she does not see an update to the ICA. TO CLECS AND IT WOULD NOT BE REFLECTED AS A NEGOTIATED POINT IN THE ICA ITSELF BECAUSE THE ICAS INCORPORATE THE TECH PUBS. SO THE TECH PUB UPDATE CAUSES A COST INCREASE THAT IS NOT NEGOTIATED OR AGREED TO BY CLECS, AND, IS NOT REFLECTED SEPARATELY IN THE ICA.

Curtis Ashton - Qwest said it does not change the cost at all. The rates are already ordered.

Doug Denny - Integra said there is some disagreement REGARDING THE IMPACT OF THE TECH PUB ON RATES. and HE questioned whether QWEST’S STATEMENT ON COSTS that is factually true. SINCE Qwest will use the Tech Pub update for advocacy.

Curtis Ashton - Qwest said he has been involved in every one of the cost dockets. The rules are not in there and they cannot be used to advocate.

Doug Denny - Integra said it is the only reason QWEST WISHES to put THIS LANGUAGE it is in IS for advocacy.

Patrick Phipps – PAETEC said users should pay for it. The CLEC advocacy is that the rate should be billed and cost incurred based on power usage. He said we would argue about what Qwest charges. When Collo submits the request, Qwest will build to the Tech Pub and say there is no reason CLECs should not pay. It is inconsistent with sizing. If sizing power plant as required, no reason for this rule. EXPLAINED THAT THE WAY QWEST’S PROPOSED UPDATES COULD INCREASE CLECS COSTS IS THAT QWEST IS ATTEMPTING TO ADD LANGUAGE IN ITS TECHNICAL PUBLICATIONS TO COMBAT MEASURED-USAGE BASED DC POWER RATES. HE EXPLAINED THAT CLECS ARE ADVOCATING FOR MEASURED USAGE-BASED DC POWER RATES BECAUSE SUCH RATES RESULT IN EACH USER PAYING FOR ITS FAIR SHARE OF THE POWER PLANT, SIGNIFICANT COST SAVINGS FOR CLECS AND WOULD SOLVE THE CONCERN RAISED BY CLECS OF QWEST OVERCHARGING AND DISCRIMINATING AGAINST THEM BY APPLYING DC POWER RATES TO CABLE FEED SIZE. HE EXPLAINED THAT BY ADDING LANGUAGE THAT STATES THAT QWEST SIZES DC PLANT COMPONENTS TO A CLEC POWER FEED ORDER, QWEST IS ATTEMPTING TO JUSTIFY CHARGING CLECS FOR DC POWER BASED ON THE SIZE OF THEIR POWER CABLE FEEDS (AND AT THE SAME TIME, UNDERMINE MEASURED USAGE-BASED DC POWER RATES). IN OTHER WORDS, QWEST’S PROPOSED UPDATES COULD PROVIDE QWEST A LEG UP IN ARGUING FOR HIGHER DC POWER CHARGES FOR CLECS. PAETEC NOTED THAT QWEST’S LANGUAGE WAS INCONSISTENT WITH CURRENT STANDARDS ON POWER PLANT SIZING AND THAT THERE IS NO REASON FOR A NEW RULE GIVEN EXISTING DOCUMENTATION ABOUT SIZING POWER PLANT.

Curtis Ashton – Qwest said Qwest is not sizing that way. THAT QWEST’S PROPOSED LANGUAGE ABOUT SIZING DC POWER PLANT TO CLEC ORDERS REFLECTS THE WAY QWEST ACTUALLY SIZES POWER PLANT

Patrick Phipps – PAETEC said the Iowa Board disagrees and it creates disagreement on whether we size in a different way. PAETEC RESPONDED TO QWEST’S CLAIM THAT THIS LANGUAGE REFLECTS HOW QWEST ACTUALLY SIZES POWER PLANT. PAETEC EXPLAINED THAT THE IOWA UTILITIES BOARD (AND REVIEWING COURT) FOUND THAT QWEST DID NOT, IN FACT, SIZE POWER PLANT TO A CLEC ORDER FOR POWER FEEDS, AND AS SUCH, QWEST’S PROPOSED LANGUAGE CONFLICTS WITH THE FACTS.

Bonnie Johnson – Integra said she did not know a lot about List 1 and 2 drains but that CURTIS SAID QWEST it was putting advocacy in the Tech Pub. BONNIE SAID THIS IS IN CONFLICT THAT Qwest claims the Tech PubS ARE is in line with Industry StandardS of GR-513.

Curtis Ashton - Qwest said GR-513 does not address CLEC drains in it.

Julia Redman-Carter - PAETEC said THE INFORMATION IS NOT UNKNOWN TO QWEST AND THAT LANGUAGE IN THE GR-513 STATES THAT THE requirements are provided by equipment manufacturers. WHY IS THAT NOT INCLUDED IN THE TECH PUB?

Curtis Ashton – Qwest said Qwest does not take manufacturer’s word for it. He said he does not think GR-513 addresses the issue. Qwest measures the drain itself in our Labs. On List 2 drains, there is not an argument. List 1 drains vary and are much harder to figure out which becomes the big sticking point.

Patrick Phipps – PAETEC questioned is there a reason why Qwest does not reference List 2X drain IN ITS PROPOSED UPDATES?

Curtis Ashton - Qwest said this is an AT&T thing and that he had never heard of List 2X drains until AT&T brought it up. List 2X drain only has to do with A and B feeds and loss of one of those. Curtis said he will put it in the Tech Pub.

Patrick Phipps – PAETEC said List 2X is a new concept to Qwest. He questioned what is the difference between projected peak vs. total peak AND WHY QWEST’S TECHNICAL PUBLICATION USES “PROJECTED PEAK” WHEN TELCORDIA GR-513 USES “TOTAL PEAK”?

Curtis Ashton - Qwest said Qwest would use projected peak but agree total peak is better. He will work to make it agree with GR-513. From a legal perspective, there is disagreement about the 3rd paragraph. The question is whether Qwest can legally make the change. CLECs will have a comment period. Curtis said is it amenable to have the lawyers handle the question?

Julia Redman-Carter - PAETEC said let’s make language we can agree on. She said the first part of the phrase and the last part should be reviewed. Julia agreed this was not the place to have a legal argument. SHE SAID THAT PAETEC’S POSITION IS THAT THE FIRST PHRASE AND THE LAST PHRASEOF THE SENTENCE SHOULD BE REMOVED. THESE COMMENTS ARE NOT AN OBJECTIVE STANDARD AND THERE ARE ISSUES AS TO THE PROCESS, AND THIS IS OF PARTICULAR CONCERN IF QWEST BELIEVES THE DETERMINATION RESTS ON QWEST’S LEGAL REVIEW RATHER THAN ENGINEERING. JULIA AGREED THIS TECH PUB WAS NOT THE PROPER PLACE TO HAVE THIS LEGAL ARGUMENT, SO THOSE CHANGES SHOULD NOT BE INCORPORATED.

Ross Nielsen – PAETEC said when you are lumping in the DC plant component, Qwest is not actually going to size to that. AB is not clear . THE LAST PHRASE OF THE SENTENCE REGARDING LUMPING IN THE DC PLANT COMPONENTS WITH THE CLEC REQUEST SIZE IS INACCURATE. QWEST IS NOT GOING TO AUGMENT THEIR DC PLANT COMPONENTS TO THE FULL CAPACITY OF THE REQUESTED FEEDS SUMMED. FOR EXAMPLE, IF A CLEC ORDERS A 100 AMP A AND 100 AMP B FEED SET THE DC PLANT COMPONENTS WILL NOT BE EXPANDED TO PROVIDE 200 AMPS ASSUMING PROPER USAGE OF THE A AND B FEEDS.

Curtis Ashton - Qwest said when Qwest sizes the DC component, we size per List 1 for ourselves. The way we size for CLECs is based on the amount that is ordered. CLEC fuses are sized at 125%. We will clarify that point and discuss with legal on whether we remove the first and last part of the SENTENCE phrase. He said he will take that feedback and based on that, will rewrite section 2.4.

Julia Redman-Carter – PAETEC said this CHANGE is not due to GR-513 but is due to sizing.

Bonnie Johnson- Integra said THAT WITH the way CMP works, Qwest will implement anyway. BONNIE ASKED CURTIS IF HE WAS SAYING THAT EVEN IF CLECS OBJECTED THAT QWEST WILL PUBLISH THE CHANGES ANYWAY?

Curtis Ashton - Qwest said YES if we decide to leave it in. Every state is different especially MN and OR and possibly CO based on what is going on in the cost docket.

Julia Redman-Carter – PAETEC said she would like to see the proposed changes FOR THIS LANGUAGE before the next meeting SO THAT WE CAN DISCUSS THEM AT THE NEXT MEETING.

Curtis Ashton - Qwest said we would schedule another ad hoc meeting to review the rest of the changes which are not contentious, AND THEN COME BACK TO THIS SECTION. THIS WAY WE COULD GET THROUGHT THE REMAINDER OF THE DOCUMENT. ALSO and that he appreciated the calm discussion that had occurred.

Warren Wendling – CPUC said he wanted to make a suggestion. If the discussion hits upon a note where the language is inflexible, some measuring language should be included. He said that effort should be made to work hard at putting wording in where knowledge can be measured.

Susan Lorence – Qwest said she would set up another ad hoc meeting.

The meeting was adjourned.

2/17/10 Product/Process CMP Meeting Curtis Ashton-Qwest said this is the follow-up to the change to the Tech Pub 77385 that occurred last year. (2/25/10 Comments to minutes received from PAETEC in CAPS) PRIOR TO LAST YEAR, this Tech Pub had not been updated for six years. We initially proposed changes on a level 2 notice last year. After a detailed review of the changes, Qwest issued a level 3 notice and removed updates that were viewed as a level 4. As promised, these are the level 4 changes that include about 20 changes in the document. Curtis said he is happy to have an ad hoc meeting to review the changes. Curtis relayed that Telcordia GR-513 was re-issued in January and the TP update reflects those changes that are primarily to do with drain changes.

Julia Redman Carter-PAETEC said she would like an ad hoc meeting and wanted to know what issue of the Telcordia document. Curtis Ashton-Qwest said it is Issue 2 of Telcordia GR-513 that came out in January. Mark Coyne-Qwest said we would schedule an ad hoc meeting.


Open Product/Process CR PC022410-1 Detail

 
Title: Grandfather Residential Packages
CR Number Current Status
Date
Area Impacted Products Impacted

PC022410-1 Completed
7/21/2010
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest will be grandfathering the Qwest Choice Home Packages (PGO1H, PGO2H, PGO1P, PGO2P, PGO2N, PGO2O) in Arizona, Colorado, Iowa, Idaho-South, Minnesota, Nebraska, North Dakota, Oregon, Utah, South Dakota, Washington and Wyoming. Additionally, Qwest will be grandfathering the Custom Choice (PGOCC & PGOCA) and ValueChoice (PCV6X & PGOVB) Packages in Idaho-North.


Status History


Project Meetings

07/21/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that final notice went out on June 3, 2010 with an effective date of June 18, 2010. Mark asked if anyone was opposed to closing this CR. There were none.

06/16/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that final notice went out on June 3, 2010 with an effective date of June 18, 2010. We will revisit this in the July CMP meeting.

05/19/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that this CR was presented last month. There is a Level 4 notice that went out on May 4, 2010 with an effective date of June 18, 2010.

04/21/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that a notice was going out around May 1, 2010 with an effective date of June 18, 2010.

03/17/10 Product Process CMP Meeting Cindy Schwartze-Qwest relayed Qwest will be grandfathering the Qwest Choice Home Packages that are associated with USOCs PGO1H, PGO2H, PGO1P, PGO2P, PGO2N and PGO2O in Arizona, Colorado, Iowa, Idaho-South, Minnesota, Nebraska, North Dakota, Oregon, Utah, South Dakota, Washington and Wyoming. Additionally, Cindy relayed Qwest will be grandfathering the Custom Choice USOCs of PGOCC & PGOCA and ValueChoice USOCs of PCV6X & PGOVB Packages in Idaho-North. Cindy relayed the proposed effective date is June 8, 2010. NOTE: THE EFFECTIVE DATE IS JUNE 18 vs June 8 as was relayed in the meeting. There is no planned sunset date. There are wholesale customers.

Bonnie Johnson – Integra requested clarification: when Qwest said Grandparent, did that mean that if anyone had those products that they could not order new.

Cindy Schwartze-Qwest said that was correct.


Open Product/Process CR PC032910-1 Detail

 
Title: Elimination of eight USOCs in New Mexico
CR Number Current Status
Date
Area Impacted Products Impacted

PC032910-1 Completed
6/16/2010
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest will be eliminating the following USOCs in New Mexico:

4FB – 4 Party Flat-Rated Line

1P9 – Coinless Subscriber Service – One Way Outgoing – Collect

EQA – Network Access Registers - Two Way

EQB – Network Access Registers - One Way – Incoming

EQC – Network Access Registers - One Way – Outgoing

EN5 – Network Access Registers - Two Way Used with resale and /or sharing of local exchange

EN6 – Network Access Registers - One Way – Incoming used with resale and /or sharing of local exchange

EN8 - Network Access Registers - One Way – Outgoing used with resale and /or sharing of local exchange

Currently there are no wholesale/resale customers with these USOCs.


Status History


Project Meetings

06/16/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that final notice went out on May 28, 2010 with an effective date of June 4, 2010. Mark asked if anyone was opposed to closing this CR. There were none.

05/19/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that this CR was also presented last month. There were no wholesale customers so it was agreed that a Level 2 could go out on this. The notice did go out on May 14, 2010 with an effective date of June 4, 2010.

03/17/10 Product Process CMP Meeting Mark Coyne – Qwest relayed that Cindy Schwartz would present this CR.

Cindy Schwartz – Qwest indicated that Qwest will be eliminating 8 USOCs in the New Mexico retail tariff: 4FB – 4 Party Flat-Rated Line, 1P9 – Coinless Subscriber Service, and 6 USOCs regarding Network Access Registers. A notice will go out with an effective date of June 4, 2010. There are no resale or retail customers with these USOCs and because of this, Cindy requested the notice go from a CMP Level 4 to a Level 2. Cindy asked if there were any questions. There were none.

Mark Coyne – Qwest indicated that Cindy was good to go with a level 2 on this one.


Open Product/Process CR PC050510-1 Detail

 
Title: Removal of Internet Protocol (IP) Centrex Station Lines from the tariffs.
CR Number Current Status
Date
Area Impacted Products Impacted

PC050510-1 Completed
8/18/2010
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest will be removing the Internet Protocol (IP) Centrex Station Lines product from the Arizona, Colorado, Minnesota, Nebraska and New Mexico tariffs. The USOCs associated with this product are: EJOBP, EJONP, ETOBP, ETONP, NJCKX, NJ7KX, NSCKX, NS7KX, NJCLX, NJ7LX, NSCLX, NS7LX. Currently there are no wholesale/resale customers with this product. The proposed implementation date is August 2, 2010.


Status History


Project Meetings

08/18/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that the final notice went out on July 12, 2010 with an effective date of August 2, 2010. Mark stated that there were no comments. Qwest would like to change this to Completed. There were no objections.

07/21/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that final notice went out on July 12, 2010 with an effective date of August 2, 2010. Mark stated we will revisit this in the August CMP meeting.

06/16/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that this was agreed to go out as a Level 2 with an effective date of August 2, 2010. Mark identified that the notice has not been sent out but that it will be coming in the July timeframe.

05/19/10 Product Process CMP Meeting Cindy Schwartz – Qwest presented this new CR. Cindy indicated that Qwest will be removing the Internet Protocol (IP) Centrex Station Lines product from 5 tariffs – AZ, CO, MN, NE and NM. There are 12 USOCs associated with that product and they are listed on the CR. Qwest currently has no wholesale, resale or retail customers with this product. Qwest is proposing to remove this product from tariffs on August 2, 2010. Qwest would like to reduce this to a Level 2 since there are no customers.

Mark Coyne – Qwest asked if there were any objections to this as a Level 2. There were none.


Open Product/Process CR PC060210-1 Detail

 
Title: Phase II – Mechanization Update – CLEC/Resale Questionnaire
CR Number Current Status
Date
Area Impacted Products Impacted

PC060210-1 Completed
7/20/2011
Other - Customer questionnaire
Originator: Hauck, Paulette
Originator Company Name: Qwest Corporation
Owner: Hauck, Paulette
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest will be modifying and updating the current electronic CLEC/Resale Questionnaire to provide additional information. Unnecessary sections will be removed and section titles updated to be more meaningful. Some sections will be modified to clarify the data provided to Qwest.


Status History


Project Meetings

7/20/11 Product Process CMP Meeting Mark Coyne – CenturyLink relayed that final notice had been sent on May 17, 2011 with an effective date of June 13, 2011. Last month Kim Isaacs indicated she would like to leave open until she finished some updates. (7/28/11 Updates received from Integra in CAPS) KIM DID FIND A FEW ISSUES WITH THE QUESTIONNAIRE THAT WERE RESOLVED BY PAULETTE HAUCK.

Kim Isaacs – Integra said she completed the updates and is OK to close.

Mark Coyne – CenturyLink said the CR would be moved from CLEC test to Completed.

6/15/11 Product Process CMP Meeting Mark Coyne – Qwest relayed that final notice had been sent on May 17, 2011 with an effective date of June 13, 2011. He said the CR was in CLEC test and Qwest would like to move it to Completed.

Kim Isaacs – Integra said she had some questionnaire updates to complete and requested Qwest leave the CR open.

Mark Coyne – Qwest said the CR would be revisited in July.

5/18/11 Product Process CMP Meeting Mark Coyne – Qwest relayed that Paulette Hauck-Qwest reviewed the final draft of the updated questionnaire at the end of the Product Process and Systems meeting in April and that the notice was sent with a Powerpoint doc and a document with a link to the questionnaire that was reviewed. Mark relayed that the implementation is planned for June 13, 2011 and there will be one day, June 10th, when no updates can be made to allow for the implementation.

4/20/11 Product Process CMP Meeting Mark Coyne – Qwest relayed that Paulette Hauck will be providing a detailed review of the updated questionnaire at the end of the systems meeting. A document is on the calendar that links to the Questionnaire. Mark said Qwest would like to send the notice as a level 2 notice if all goes well during the review.

[At the end of the System Mtg] Paulette Hauck – Qwest then walked through a draft version of the Resale Questionnaire. The draft version of the Questionnaire was available via the link on the Wholesale calendar entry for the meeting at http://wholesalecalendar.qwestapps.com/detail/290/2011-04-20 . Paulette reviewed each section of the draft Questionnaire and pointed out the changes compared to the current version including identifying the new sections and where they may have moved from as compared to the previous version of the questionnaire; she talked about new data fields and new features. (4/26/11 Updates received from Integra in CAPS) PAULETTE INDICATED THE RSID WOULD BE COMPLETED BY QWEST, MULTIPLE ACNAS WOULD BE ALLOWED AND QWEST WAS ELIMINATED SECTION G5 THE QWEST CONTRACT NUMBERS. There will be no change to the login. QWEST WILL BRING OVER THE OLD DATA INTO THE NEW FORMAT. Paulette said there is an option to print the questionnaire or individual section or subsections. At the end of the section review, Paulette said once implemented, there was no requirement to fill in the questionnaire right away; it could be filled in as needed. Paulette said if we go with a level 2 notice around the first of May, we would have a May 21 effective date but the suggested approach was to go with a June 1 effective date.

(4/26/11 Updates received from Integra in CAPS) KIM ISAACS – INTEGRA, DURING QWEST WALK THROUGH OF THE DRAFT ASKED A NUMBER OF QUESTIONS. KIM ISAACS – INTEGRA INQUIRED ABOUT THE IMPORTANCE OF THE PRODUCT SECTION (P.1 AND P.2). PAULETTE INDICATED THESE SECTIONS ARE ONLY IMPORTANT IF YOU ARE A NEW CLEC OR ROLLING OUT A NEW PRODUCT. KIM ISAACS – INTEGRA STATED SHE HEARD THAT QWEST WAS GOING TO ADD COMMINGLING AS A PRODUCT ON THE QUESTIONNAIRE BUT DIDN’T SEE THE COMMINGLING IN THE REVISED QUESTIONNAIRE. PAULETTE HAUCK – QWEST INDICATED THAT NO ONE HAD APPROACHED HER TO ADD COMMINGLING AS A PRODUCT ON THE QUESTIONNAIRE JULIA REDMAN-CARTER – PAETEC STATED SHE DIDN’T SEE LMC WITH UNE MUX EITHER AND STATED SHE WAS CONCERNED THAT IF THE PRODUCT WASN’T ON THE QUESTIONNAIRE THERE WOULD BE ISSUES WITH PRODUCT AVAILABILITY. PAULETTE HAUCK - QWEST REPEATED THAT FOR CLECS ALREADY DOING BUSINESS AND ORDERING THE PRODUCTS THE QUESTIONNAIRE ISN’T REALLY IMPORTANT. NOTHING BAD IS GOING TO HAPPEN IF A PRODUCT ISN’T SELECTED ON THE QUESTIONNAIRE. PAULETTE HAUCK – QWEST MOVE TO SECTION B.2 AND INDICATED QWEST IS HOPING AT ADD THE TAX EXEMPTION FORMS TO THE QUESTIONNAIRE ON A FUTURE UPDATE. JULIA REDMAN-CARTER – PAETEC ASKED IF THE FORMS WOULD CONTAIN THE SAME LANGUAGE AS TODAY PAULETTE HAUCK – QWEST STATED YES KIM ISAACS – INTEGRA POINTED OUT THAT THE VIEW BILLING CONTACTS POP UP DOES NOT STAY OPEN LONG ENOUGH TO VIEW THE CONTACT INFORMATION. PAULETTE HAUCK – QWEST STATED SHE COULD FIX THAT. PAULETTE HAUCK – QWEST INDICATED THAT IN SECTION B.4 QWEST ADDED A NEW BAN FIELD. KIM ISAACS – INTEGRA STATED THAT NEW BANS ARE GENERATED QUITE FREQUENTLY AND ASKED WHAT QWEST’S EXPECTATIONS FOR NEW BAN FIELD ARE. PAULETTE HAUCK – QWEST STATED THAT QWEST WOULD PREFER IN NEW BANS WERE ADDED TO THE QUESTIONNAIRE BUT NOTHING BAD WILL HAPPEN IF THE BANS ARE NOT ADDED. PAULETTE HAUCK – QWEST REVIEWED THE NEW ABW.1 SECTION KIM ISAACS – QWEST ASKED QWEST IF THEIR EXPECTATIONS FOR THE NPA/NXX FIELD HAD CHANGED PAULETTE HAUCK – QWEST STATED THAT THERE WAS NO CHANGE IN QWEST’S EXPECTATIONS. PAULETTE HAUCK – QWEST STATED THE OLD OPERATOR SERVICES QUESTIONNAIRE HAD BEEN INCORPORATED INTO THE ELECTRONIC QUESTIONNAIRE AND THE CLECS WOULD HAVE TO COMPLETE THE NEW SECTIONS OD.2 – OD.7

Julia Redman-Carter – PAETEC said she wanted to further consider the level 2 notice approach to determine if there was any objection and would let Qwest know by Friday.

Paulette Hauck – Qwest said she would leave the draft questionnaire website up a couple of weeks. Any questions around the questionnaire should be sent to the CMPCR mailbox.

3/16/11 Product Process CMP Meeting Mark Coyne – Qwest relayed that Paulette Hauck had been preparing to provide a detailed review of the updated questionnaire but there have been some technical problems with a URL or screen print file that was to be made available. Paulette Hauck then relayed the problems with the link have just been resolved. The plan is to conduct the Questionnaire review at the end of the System Distribution package review.

At the completion of the 3/16/11 System Review meeting: Susan Lorence – Qwest relayed that there was a document posted to the calendar entry that has a link to the test location for the questionnaire review.

There was then discussion on whether to proceed with Paulette Hauck’s review of the CLEC Questionnaire updates. It was determined based on CLEC schedules that the review would be delayed and a separate Ad hoc call established.

2/16/11 Product Process CMP Meeting Mark Coyne – Qwest relayed that the development team is still working on the updates that were reviewed in the December CMP meeting. Paulette Hauck is preparing to provide a detailed review of the updated questionnaire before the next CMP meeting, probably early March. If everything looks good during the ad hoc review, we would propose in the March monthly meeting that we go move forward with a Level 2 notification. Mark asked if there were any questions. There were none.

1/19/11 Product Process CMP Meeting Mark Coyne – Qwest relayed that this CR was presented a couple of months ago and an ad hoc meeting was held following the December meeting. Paulette Hauck and the development team are continuing to work on the Questionnaire updates. The best estimate for implementation is the mid March time frame.

Bonnie Johnson – Integra asked if this update is going to include identifying to the CLEC what the changes are so the CLECs don’t have to spend a ton of time reviewing it.

Paulette Hauck – Qwest asked if Bonnie was asking about the escalation worksheet.

Bonnie Johnson – Integra apologized and said yes.

Mark Coyne – Qwest indicated that this is actually the CLEC Resale Questionnaire discussion and that if necessary, we can talk later about the escalation worksheet question. Mark said the Questionnaire changes will be laid out in a notice and asked if there were any other questions. There were none.

12/15/10 Product Process CMP Meeting Mark Coyne – Qwest relayed that last month we announced that we would have an ad hoc meeting around November 30. We decided to address this as part of the CMP meeting so it will be covered at the conclusion of the Systems package. Mark said if attendees are interested in providing input on that questionnaire, they should stay on the line after the Systems package is completed. Mark relayed there a PowerPoint document attached to the calendar that will be covered as part of that review plus a link to a blank questionnaire.

12/15/10 Systems Meeting Mark Coyne – Qwest said Paulette Hauck will review a PowerPoint document that is available on the calendar http://wholesalecalendar.qwestapps.com/detail/260/2010-12-15 associated with the Questionnaire CR.

Paulette Hauck – Qwest said almost two years ago, Qwest mechanized the Word document version of the Questionnaire. The approach was to mechanize it as cleanly as possible to make the transition easier. Paulette said the plan was to come back at a later date and update it further so that we are not asking for data that is really not needed anymore or that we do not have to call to get the data that we need, and to improve the clarity of the document. This is Phase II of the online Questionnaire to clear up some of the issues. Paulette said Qwest has been working on the changes that we believe need to be made to help us better serve the CLEC community and that she wants to review those and appreciates any ideas as each section is reviewed. Paulette said Qwest will consider each idea and if it can be done, we will unless there is a problem with the idea that makes it physically impossible or if there is a issue with programming or production. Paulette said she would like this to be a discussion and to ask questions as she reviews each section. The PowerPoint document is intended to provide how we are going to reorganize the questionnaire and what sections are changing.

Paulette Hauck – Qwest then reviewed the Overview page and each of the planned changes identified there. She asked if there were any questions about where we are going with the questionnaire and there were none.

Paulette Hauck – Qwest then reviewed the change in the order of the Questionnaire which is because some sections were merged and some were split into multiple sections. Paulette then reviewed the pages associated with the individual sections and the planned changes. Paulette asked if there were any questions in regard to the General section and there were none.

Paulette Hauck – Qwest reviewed the Product section which is a new section and discussed where the data was coming from.

Kim Isaacs – Integra asked if Qwest was going to require revenue amounts even if a customer is already doing the product.. Kim said today it is a requirement that you put something in that field. Paulette Hauck – Qwest said only if you are going to do the product. Paulette said you could put a buck in there. If you are already doing it with us, Qwest knows that. Paulette said when you put in a new product to include a reasonable amount of revenue there.

Bonnie Johnson – Integra asked if the interconnection agreement requires the revenue numbers to be provided.

Paulette Hauck – Qwest indicated only so we can build a BAN number and said she would have to talk to the Contract people since she was not familiar with the contract language. Paulette said if a customer is going to purchase a product from us, if an estimated revenue amount is not provided, we cannot build a BAN number. She did not know whether the contract requires it or not but can find out that answer. Paulette clarified that for those that have completed an online questionnaire, the intent is to move all data to the new version. No re-input will be required unless a new product is included that has not already been identified.

Paulette Hauck – Qwest reviewed the changes planned for the next section is billing. This is a section that was broken out so it is better identified and clearer in regard to various outputs. Paulette asked if there were any questions in regard to this section and there were none.

Paulette Hauck – Qwest reviewed the PAP section which is a new section but not new data and the TAP section which was part of the General section which was moved to its own section. Paulette said the issue with this section is that it requires an electronic signatures which is difficult so at this point, it remains as it is today. Paulette then reviewed the Output data section changes which will just be about output now. Paulette said the Loss and Completions section is generally been rewritten and reviewed the planned changes there. She asked if there were questions and there were none.

Paulette Hauck – Qwest reviewed the remaining changes to the Output sections and then reviewed the new Network section and the section titled Access/Billable Worksheet section. There were no questions about these sections. The next section reviewed was the new section Data Input which Paulette said she is still trying figure out the name. This will be a new section to complete. The next sections reviewed were the Resident and Business Account Information, Directory Publisher and Operator Services/Directory Assistance sections. Paulette said the remaining section is the Information section; no input is required in this section, it is helpful information.

Paulette Hauck – Qwest said we have provided a Submit to Qwest button to clear up any confusion with the previous submit process. The last section is the Print section which provides a draft view of the print section will look like and also provides an idea of the type of physical changes in the planned Questionnaire updates. Paulette asked if there were any questions and or input on what was being planned and there were none.

Mark Coyne – Qwest said this is an opportunity to provide Paulette input.

Susan Lorence – Qwest suggested if there are questions or comments that these be submitted to the CMPCR mailbox.

Mark Coyne – Qwest indicated that would be fine.

Paulette Hauck – Qwest relayed that the team is in the middle of drafting the GUI and that hopefully within the next 30 days, there would be a GUI to review. This could possibly occur via a conference call. Paulette said she hoped Qwest is on the right path with these changes which is no small undertaking to mechanize and then to make these changes.

Mark Coyne – Qwest thanked Paulette and reminded those on the call to submit any questions to the CMPCR mailbox and we will get them to Paulette for review. Mark asked if there were any other final comments. There were none.

11/17/10 Product Process CMP Meeting Mark Coyne – Qwest relayed that last month we indicated that there would be an ad hoc meeting set up the first part of November. That was pushed out and is currently scheduled for November 30. A notice will be going out the end of this week for that meeting. The current plan is to try and get this implemented in mid to late January.

10/20/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that Paulette has scheduled an ad hoc on November 4, 2010 to review the planned questionnaire updates. Based on the outcome of meeting, Qwest is looking at implementing this in mid to late December or possibly January. Mark asked if there were any questions. There were none.

09/15/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that this was presented a couple of months ago by Paulette Hauck. Per discussion with Paulette, the ad hoc meeting will likely be in early October. Mark said this work was placed on hold due to other priorities. The current plan is for implementation in the November or December timeframe.

08/18/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that Paulette Hauck originally presented this CR. An August ad hoc meeting was planned but this is being put off until September. Mark relayed that implementation is still planned for the November timeframe. Mark questioned whether there was any preference for setting up a separate ad hoc meeting or combining the review of the updates to the Questionnaire with the CMP meeting next month. He asked if anyone was opposed to covering this in the CMP Meeting. No one was opposed.

07/21/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that Paulette Hauck - Qwest is currently working on proposed changes and that we will be setting up an Ad Hoc meeting during the August timeframe.

06/16/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that this was a new CR submitted by Qwest.

Paulette Hauck – Qwest indicated that what we are planning to tighten up the CLEC/Resale Questionnaire. We will be adding some fields for additional data that will help when requesting Qwest to create new BANs or new products. Paulette relayed that we will be reorganizing the questionnaire and re-sectioning it due to the growth of document from 11 pages to the current 25 pages in length. We have had feedback from CLECs asking for additional pieces. The biggest issue is the print function for page print and an entire document print. Qwest has gone through the initial data gathering and we are now doing initial planning for programming. The plan is to go live with the new questionnaire in the October/November time frame. Paulette relayed that if customers have already completed a questionnaire, they will not have to complete another one. The data will be moved over to the new version. New fields will be empty and the next time a customer goes in, those fields will need to be populated.

Bonnie Johnson – Integra asked if Qwest was going to give CLECs the option to review the changes.

Paulette Hauck – Qwest relayed that yes but we have just finished gathering data internally and just have the raw data now. We on working on Section I but it is not complete yet. Paulette relayed that the plan is to have meetings with the CLECs and that will probably happen in August. Paulette said she has been receiving feedback from customers over the 12-16 months that is being considered.

Mark Coyne – Qwest reiterated that sometime in August there will be external meetings with CLECs to go through questionnaire before update is posted for comment.

Paulette Hauck – Qwest indicated that this is the plan. We want to find out what parts are confusing and if we are asking the correct questions and if it is in the correct format. This will help Qwest so that we can process updates faster and eliminate all the phone calls.

Bonnie Johnson – Integra relayed that this sounds good and that she was glad to hear that data will be carried over to new form. Bonnie relayed that it still seems to be a challenge to get information in the right place. This will assist Qwest personnel in getting data to the correct place.

Paulette Hauck – Qwest indicated that she will own questionnaire going forward. Paulette relayed she can get with the right people to make it a cleaner process.

Bonnie Johnson – Integra relayed that this sounds good.

Mark Coyne – Qwest asked if there were any other questions. There were none.


Open Product/Process CR PC060210-2 Detail

 
Title: Implement Manual Ordering Process For Independent Foreign White Page Listings (IFWPLs)
CR Number Current Status
Date
Area Impacted Products Impacted

PC060210-2 Completed
11/17/2010
Ordering, Billing
Originator: Gomez, Lee
Originator Company Name: Qwest Corporation
Owner: Gomez, Lee
Director:
CR PM: Lorence, Susan

Description Of Change

Implement a manual process for Wholesale customers to request stand alone accounts (Primary Listing not required) for Independent Foreign White Page Listings (IFWPLs).

Example:

CLEC - An IFWPL would be required if a CLEC is requesting a Foreign Listing for their end user that crosses regions. For example, ABC Provider has an end user who’s primary account is in Colorado and they would like a Foreign Listing into a Nebraska directory. Since this crosses both the Central and Eastern region, an IFWPL is used to establish the listing.

ILEC - An IFWPL would be required for an ILEC who does not provide local service to a customer with an 800 number that must be listed in the ILEC section of the Qwest directory. (If the listing is to appear in the Qwest section of the book, then Qwest issues the order for the IFWPL).

Additional information: Since this is a stand alone account without a Primary Listing, it cannot be submitted via IMA GUI/XML.

Implement a manual process for all Wholesale customers (FBDL, RSID/ZCID and ILEC) to contact the Listing Operations Center (LOC) to establish an IFWPL manually directly into the Listing Database. The LOC will open a FBDL Help Ticket and request a copy of the saved IMA GUI order via email or fax (for record keeping) and will update the listing database with the stand alone IFWPL. The LOC will submit paperwork to LEXCIS to ensure billing is complete for the IFWPL. NOTE: RSID/ZCID customers will receive a LEXCIS invoice for the IFWPL and will not be billed via CRIS.


Status History


Project Meetings

11/17/10 Product Process CMP Meeting Mark Coyne – Qwest said the CR is related to the IMA Release 29.0 that was effective October 25. Qwest would like to change this to Completed. There were no objections.

10/20/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that the status on this is the same as last month. A Level 2 notice went out on September 27, 2010 and is part of the upcoming IMA Release 29.0 with an effective date of October 25, 2010.

09/15/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that we talked about this last month and this CR is related to IMA Release 29.0 with an effective date of October 25, 2010. The notice will go out towards the end of September.

08/18/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that this was related to IMA Release 29.0. This will go into effect on October 25, 2010. The notice will go out towards the end of September.

07/21/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that this was presented last month by Lee Gomez – Qwest and was related to IMA Release 29.0 This will go into effect on October 25, 2010.

Jeff Sonnier - Sprint asked if this change was for wireline numbers only.

Lee Gomez – Qwest indicated that this was only for wireline listings. Qwest does not support wireless listings at this time.

06/16/10 Product Process CMP Meeting Lee Gomez – Qwest provided a background on this change. Typically this is a standalone account that consists of a foreign listing only. There is no primary listing on the account. In Qwest, this has been common for an independent telephone company customer who wants to appear in the Qwest section of a directory. They need to come through Qwest and set up that account. We establish the IFWPL. In the Wholesale CLEC environment, we didn’t have a similar process. For example, if you had an end user who had primary service with you in the Central region and they also wanted to have a foreign listing appear in a Nebraska phone book, we can’t cross regions between Central and Eastern. We need to set up a standalone account for that foreign listing. That would be referred to as an IFWPL. IMA won’t allow this because you need a primary listing for each account. We are proposing a process that would allow the CLEC to contact the Listing Operations Center and request this Independent Foreign White Page Listing. The listing would be added in the backend system. We would use the current FBDL process and that foreign listing would be billed via the LEXCIS process. This request is to offer CLECs a similar type of process that is available for Retail today. Lee asked if there were any questions and there were none.


Open Product/Process CR PC061110-1 Detail

 
Title: Grandfather Residential Packages in New Mexico
CR Number Current Status
Date
Area Impacted Products Impacted

PC061110-1 Completed
10/20/2010
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest will be grandfathering the Qwest Choice Home Packages (PGO1H, PGO2H, PGO1P, PGO2P, PGO2N) in New Mexico


Status History


Project Meetings

10/20/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that final Level 4 notice went out on September 24, 2010. The effective date was October 9, 2010. Qwest would like to change this to Completed. There were no objections.

09/15/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that there was a Level 4 notice that was sent out on August 25, 2010. The final notice is due out on September 24, 2010 with an effective date of October 9, 2010.

08/18/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that this CR was presented last month. The proposed effective date is October 9, 2010. This notice will be going out as a Level 4 on August 25, 2010.

07/21/10 Product Process CMP Meeting Cindy Schwartze – Qwest presented this CR. Qwest will be grandfathering the residential Qwest Choice Home Packages. USOCs associated with this are PGO1H, PGO2H, PGO1P, PGO2P and PGO2N. The proposed effective date is October 9, 2010. We do have wholesale and resale customers with these packages. This notice will be going out as a Level 4.


Open Product/Process CR PC062310-1 Detail

 
Title: Grandfather Custom Ringing Plus Colorado and Wyoming
CR Number Current Status
Date
Area Impacted Products Impacted

PC062310-1 Completed
1/19/2011
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest will be grandfathering the Custom Ringing Plus Feature in Colorado and Wyoming. The USOCs associated with this feature are: DRS1+, DRS2+ , DRS3+.

REVISION RECEIVED 10/27/10 Revised implementation date is 12/18/10.


Status History


Project Meetings

1/19/11 Product Process CMP Meeting Mark Coyne – Qwest indicated the Level 4 final notice was sent on December 3, 2010 with an effective date of December 18, 2010. Qwest would like to close this. There were no objections.

12/15/10 Product Process CMP Meeting Mark Coyne – Qwest indicated the final notice was sent out on December 3, 2010 with an effective date of December 18, 2010.

11/17/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that the Level 4 notice was sent out early November. The CR was revised on October 27, 2010 to reflect a new effective date of December 18, 2010. The comment cycle will end on November 18, 2010 with the final notice going out on December 3.

10/20/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that the Level 4 notice is going out later this month. The proposed effective date is December 10, 2010.

09/15/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that there will be a Level 4 notice that will be sent out in late October. The effective date is December 10, 2010.

08/18/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that this CR was presented last month. The proposed effective date was August 30, 2010 but has been pushed out until December 10, 2010. Notice will be forthcoming.

07/21/10 Product Process CMP Meeting Cindy Schwartze – Qwest presented this CR. Qwest will be grandfathering this feature. USOCs associated with this are DRS1+, DRS2+ and DRS3+. The proposed effective date is August 30, 2010. We do have wholesale customers with this feature.

Bonnie Johnson – Integra asked if the Level 4 notice has gone out on this.

Cindy Schwartze – Qwest relayed that it has not.

Bonnie Johnson – Integra asked if there is enough time to get a Level 4 notice out.

Cindy Schwartze – Qwest indicated that Qwest will reduce our comment response cycle to meet an August 30 date. 7/27/10 NOTE: There has been a change to the effective date which is now planned for December 10, 2010.


Open Product/Process CR PC062410-1 Detail

 
Title: REVISED 07/21/10 Grandfather Custom Calling Feature Packages Idaho North ORIGINAL TITLE: Grandfather Custom Ringing Plus Idaho North
CR Number Current Status
Date
Area Impacted Products Impacted

PC062410-1 Completed
10/20/2010
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest will be grandfathering the Custom Calling Feature Packages – USOCs ESB, ETC and ET8 and will be eliminating Custom Calling Feature Packages – USOCs ESA, ESR, ESG, ET3, ES3 and ES5 in Idaho-North. Currently there are no wholesale/resale customers with these packages.


Status History


Project Meetings

10/20/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that effective date was October 4, 2010. Qwest would like to change this to Completed. There were no objections.

09/15/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that there was a Level 2 notice sent out on September 13, 2010 that has an effective date is October 4, 2010.

08/18/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that this CR was presented last month. The proposed effective date was September 18, 2010 but has been pushed out until October 4, 2010. This notice will be going out as a Level 2 in mid September.

07/21/10 Product Process CMP Meeting Cindy Schwartze – Qwest presented this CR. She indicated that title should actually be Grandfather Custom Calling Feature Packages - Idaho North. Qwest will be grandfathering this package. USOCs associated with this are ESB, ETC, ET8, ESA, ESR, ESG, ET3, ES3 and ES5. We have no wholesale or resale customers with this package. The proposed effective date is September 18, 2010. Since there are no wholesale or resale customers, Cindy requested a reduction to a Level 2 notice.

Bonnie Johnson – Integra relayed that they have no objections to this going out as a Level 2. Bonnie questioned whether Qwest notified CLECs that they have USOCs or does Qwest expect CLECs to search their records?

Cindy Schwartze – Qwest said CLECs could just not order this anymore. Cindy stated that if a retail customer were to convert to a reseller with this grandfathered USOC, Qwest would convert as is.

Susan Lorence – Qwest questioned if it was OK for this to go out as a Level 2.

Bonnie Johnson – Integra relayed that this could go out as a Level 2.


Open Product/Process CR PC072010-1ES Detail

 
Title: 4/11/11 REVISED Change in process for xDSL Capable Loops, e.g., Non Loaded and ADSL Compatible Loops (aka xDSL services)
CR Number Current Status
Date
Area Impacted Products Impacted

PC072010-1ES Withdrawn
8/20/2014
Pre-Ordering, Ordering, Billing, Mntnce/Repr, Prov Loop
Originator: Mohr, Bob
Originator Company Name: Qwest Corporation
Owner: Mohr, Bob
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest will be making a change specific to Minnesota to add information regarding new optional processes for Facility Assignment, Conditioning, and Performance Testing of the following services: Unbundled Local Loop - 2-Wire or 4-Wire Non-Loaded Loop and Asymmetric Digital Subscriber Line (ADSL) Compatible Loop. The enhanced optional processes will include:

- defined parameters for assignment of copper pairs

- assignment of the pair with the least amount of loss in the cross box

- new levels of conditioning (near and far bridge tap and remove all options)

- enhanced tests for specific types of NCI codes.

092310 REQUEST FROM ORIGINATOR Please revise the Level 4 CR PC072010-1 to also include the state of Montana. Changes in this CR will apply to both Minnesota and Montana and be reflected accordingly in the PCAT documentation.

110910 REVISION CR to apply to Minnesota only. Remove the reference to Montana

12/21/10 REVISION Title change - previous title was

"110910 ADD’L REVISION Change in process in Minnesota for Non Loaded and ADSL Compatible Loops used to provide xDSL services. 092310 REVISED Change in process in Minnesota AND MONTANA for Non Loaded and ADSL Compatible Loops used to provide xDSL services"

Previous title 12/21/10 REVISED Change in process in Minnesota for xDSL Capable Loops, e.g., Non Loaded and ADSL Compatible Loops (aka xDSL services)

Expected Deliverables/Proposed Implementation Date is November 22, 2010


Status History


Project Meetings

8/20/14 Product/Process CMP Meeting Mark Coyne– CenturyLink said that on August 11, 2014, the CR was requested to be moved to a “withdrawn” status by Jamal Boudhaouia – CenturyLink. Mark then read the wording that was included in the Status History section of the CR associated with the MN 1066 Settlement Agreement specific to this CR. Mark said CenturyLink is requesting that we move forward with Withdrawing this CR and asked if there were any questions. There were none.

Bonnie Johnson – Minnesota Department of Commerce said she wanted to thank Jamal and Mark.

Jamal Boudhaouia – CenturyLink responded with a Thank You as well.

7/16/14 Product/Process CMP Meeting Mark Coyne– CenturyLink said there was nothing new to report.

6/18/14 Product/Process CMP Meeting Mark Coyne– CenturyLink said there was nothing new to report.

5/21/14 Product/Process CMP Meeting Mark Coyne– CenturyLink said there was nothing new to report.

4/16/14 Product/Process CMP Meeting Mark Coyne– CenturyLink said there was nothing new to report.

3/19/14 Product/Process CMP Meeting Mark Coyne– CenturyLink said there was nothing new to report.

2/19/14 Product/Process CMP Meeting Mark Coyne– CenturyLink said there was nothing new to report.

1/15/14 Product/Process CMP Meeting Mark Coyne– CenturyLink said there was nothing new to report.

12/11/13 Product/Process CMP Meeting Mark Coyne– CenturyLink said there was nothing new to report.

11/20/13 Product/Process CMP Meeting Mark Coyne– CenturyLink said there was nothing new to report.

10/16/13 Product/Process CMP Meeting Mark Coyne– CenturyLink said there was nothing new to report.

9/18/13 Product/Process CMP Meeting Mark Coyne– CenturyLink said there was nothing new to report.

08/21/13 Product/Process CMP Meeting Mark Coyne– CenturyLink said there was nothing new to report.

07/17/13 Product/Process CMP Meeting Mark Coyne– CenturyLink said there was nothing new to report.

06/19/13 Product/Process CMP Meeting Mark Coyne– CenturyLink said there was nothing new to report.

05/15/13 Product/Process CMP Meeting Susan Lorence– CenturyLink said there was nothing new to report.

04/17/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said there was nothing new to report. Mark reminded everyone that the full CR was posted to the calendar.

03/20/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said there was nothing new to report. Mark reminded everyone that the full CR was posted to the calendar.

02/20/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said there was nothing new to report. Mark reminded everyone that the full CR was posted to the calendar.

1/16/13 Product/Process CMP Meeting Mark Coyne – CenturyLink said there was nothing new to report. Mark reminded everyone that the full CR was posted to the calendar.

12/12/12 Product/Process CMP Meeting Mark Coyne – CenturyLink said there was nothing new to report.

11/14/12 Product/Process CMP Meeting Mark Coyne – CenturyLink said that there was nothing new to report. Mark reminded everyone that the CR detail was not included in the Distribution package but was attached to the calendar entry.

10/17/12 Product/Process CMP Meeting Mark Coyne – CenturyLink stated that there was nothing new to report. Mark reminded everyone that, as discussed last month, the CR had been removed from the Distribution package and was attached to the calendar entry. Mark said this was done to cut down on print pages and said he hoped that worked for everyone.

There were no comments.

09/19/12 Product/Process CMP Meeting Mark Coyne – CenturyLink stated that there was nothing new to report. Mark asked, because of the number of pages, if we could remove the detail for this CR from the Product Process package and place it on the calendar as a separate document where it would still be available. Mark said doing this would save time and paper. Mark asked if there were any objections to doing this.

Kim Isaacs – Integra said she had no objections.

Mark Coyne – CenturyLink said we would start doing this next month then.

08/15/12 Product/Process CMP Meeting Mark Coyne – CenturyLink stated that there was nothing new to report.

07/18/2012 Monthy CMP Prod/Proc Meeting Mark Coyne – CenturyLink stated that there was nothing new to report.

06/20/2012 Product Process Monthly Meeting Mark Coyne – CenturyLink stated that there was nothing new to report. Last month it was reported that a Level 2 final notice was sent and was effective on May 25, 2012.

Kim Isaacs – Integra stated that the notice was not related to the xDSL.

Mark Coyne – CenturyLink agreed that it was general cleanup that was not associated with the CR.

05/16/12 Product Process Monthly Meeting Mark Coyne – CenturyLink said in regard to the Tech Pub 77384, a level 2 notice was sent on Friday, May 4, associated with the clarification and documentation cleanup updates not related to the xDSL CR. Some CLEC comments were received which are generally requests for further clarification. Mark said the level 2 CMP Final notice and CenturyLink response to comments will be sent on 5/18/12 with an effective date of 5/25/12.

4/18/12 Product Process Monthly Meeting Mark Coyne – CenturyLink reminded everyone that the Technical Publication 77384 was reviewed at the end of the March monthly meeting and the revised chapters had been posted to the CMP calendar. Mark said CenturyLink had proposed we move forward with a notice on the changes that had been reviewed to date however, several CLECs indicated that they disagreed with that approach. Mark said CenturyLink is proposing that updates be made to the Technical Publication to make updates and corrections that are not associated with the xDSL CR in an effort to clean up the document, for example, removal of SONET, change from “metallic” to “copper”, etc. Mark said CenturyLink is planning to move forward with a Level 2 notification in the near future and will be specific regarding the changes that are being made to clean up the document. Bonnie Johnson – Integra stated that they would take a look at the changes and would comment if necessary. Bonnie asked if CenturyLink was going to address the follow-up items from March and whether CenturyLink planned to discuss the PCAT and the Conditioning download. Mark Coyne – CenturyLink read the following statement as a result of the March action item after discussion with the CenturyLink legal and SME team. It describes the company’s position on the status of the PCAT and Conditioning download: CenturyLink has checked with our SME and legal team and it is our position that the Unbundled General PCAT and the xDSL Conditioning Download that are currently operational do not have any content that conflicts with the processes required for customers who request xDSL conditioning, including those customers that have signed the xDSL Services Amendment. The current PCAT and download documents are compliant with the Amendment and support the processes that went into effect and have been in place since 1st quarter 2011. With respect to issues that are currently pending in the Minnesota docket which have also been raised as CMP issues, the pleadings and testimony of CenturyLink which are on file in that docket in Minnesota represent CenturyLink’s position on such issues. If parties to the Minnesota docket believe that such issues can be resolved for CMP purposes in a manner that is different from the pleadings and testimony in the Minnesota docket, then CenturyLink is willing to consider such ideas. Bonnie Johnson – Integra asked if the statement would be posted to the minutes. Mark Coyne – CenturyLink said the statement would be included in the meeting minutes. Bonnie Johnson – Integra asked if CenturyLink was stating that the current xDSL documentation is accurate and without errors. Mark Coyne – CenturyLink stated that CenturyLink believes itself to be compliant with the amendment and that it does support the processes that went into effect in January, 2011. Bonnie Johnson – Integra stated that Integra disagrees in some, but not all, respects. Al Finnell – Windstream said Windstream concurs with Integra’s position. CenturyLink™ Wholesale Change Management Process (CMP) Meeting Minutes 04/25/2012 Page 3 of 3 Mark Coyne – CenturyLink asked if there were any other CLECs that agreed or disagreed with the CenturyLink position. There were none. He stated that we would send the Tech Pub 77384 non-xDSL updates as Level 2 notice toward the end of the month and would address any CLEC comments.

3/21/12 Product Process Monthly Meeting Mark Coyne – CenturyLink stated that as discussed in the February meeting, CenturyLink sent out notification on 3-12-2012 with the CenturyLink updates to the Technical Publication. The plan is to complete the agendas for Product/Process and System meetings, take a short break, and then reconvene to discuss those updates.

Bonnie Johnson – Integra asked when CenturyLink plans to discuss the PCAT Conditioning download.

Mark Coyne – CenturyLink responded that it was not planned for today and that CenturyLink would check to see if it was something that could be put on the agenda for April.

Bonnie Johnson – Integra stated that it was provided in January.

Mark Coyne – CenturyLink said that CenturyLink SME team had spent their time working on the updates to the Technical Publication in preparation for review today. Mark said the documents for review are posted to the calendar for todays meeting.

(4/2/12 Updates received from Integra in CAPS) NOTE: CENTURYLINK NEEDS TO MOVE THE TECH PUB MEETING MINUTES THAT IT CURRENTLY HAS AFTER THE SYSTEM MEETING MINUTE DISCUSSION HERE SO IT REMAINS WITH THIS CR. I REMOVED THEM FROM THE SYSTEM MINUTES AND ADDED THEM HERE, THEN REDLINED THEM. ALTHOUGH THE DISCUSSION TOOK PLACE AFTER THE SYSTEMS MEETING, THE MINUTES SHOULD REMAIN WITH THE ASSOCIATED CR.

Following a short break (4/2/12 Updates received from Integra in CAPS) FOLLOWING THE CONCLUSION OF THE SYSTEMS PORTION OF THE MONTHLY CMP MEETING, the CMP monthly meeting reconvened for a review of the CenturyLink proposed updates to the Technical Publication 77384 and the associated Footnote matrix in response to the Integra updates sent January 24, 2012. The results of the review are included in the STATUS column of the CenturyLink Tech Pub 77384 Footnote matrix. The Tech Pub 77384 discussion is captured below with the specific rows identified if applicable.

NOTE: The resulting Tech Pub 77384 Chapter updates that were made as a result of the discussion are available on the Wholesale Calendar for the March meeting. The chapters are dated March 28, 2012 with the additional updates highlighted in yellow. Two new chapters are posted that include updates associated with an action item to review how the terms “channel” vs “loop” are used.

Mark Coyne – CenturyLink relayed he was going to turn the meeting over to Jeff Farra – CenturyLink to begin the review of the revisions to the Technical Publication 77384 Chapters, including the Tech Pub Footnote matrix.

Bonnie Johnson – Integra expressed concern (4/2/12 Updates received from Integra in CAPS) WHETHER [delete THAT] the CenturyLink Tech Pub Footnote matrix would work and that though it identified the changes that CenturyLink MADE AS A RESULT OF THE FOOTNOTES [delete HAD MADE], she SAID [delete FELT] there were also Tech Pub updates that CENTURYLINK [delete HAD BEEN] made that were not [delete DISCUSSED] DISCLOSED in the matrix and those need to be discussed as we review the changes.

Mark Coyne –CenturyLink relayed CenturyLink felt that the matrix was the most concise way to identify the CenturyLink changes. Mark said if it was viewed that CenturyLink had made other changes, those changes would also be discussed.

Susan Lorence – CenturyLink identified that the Tech Pub Chapters and related documents to be reviewed were available on the Wholesale Calendar and how CenturyLink planned to review them.

Mark Coyne – CenturyLink stated the focus of the call today was to review the Tech Pub changes that were not pending in the Minnesota Docket.

Doug Denney – Integra asked what the CenturyLink intent was with regard to the Minnesota Docket and will the Docket resolve the issues from a CMP view (4/2/12 Updates received from Integra in CAPS) AND IF WE WERE AT IMPASSE IN CMP.

Mark Coyne – CenturyLink said depending on the outcome of the Minnesota Docket, CenturyLink will then determine the next steps.

Doug Denney – Integra asked if it will apply across the region and asked whether open issues should be discussed for other than Minnesota.

Mark Coyne – CenturyLink said the Docket would apply to Minnesota only and that CenturyLink was not prepared to discuss the other states.

(4/2/12 Updates received from Integra in CAPS) DOUG DENNEY – INTEGRA STATED THEN SHOULDN’T WE BE TALKING ABOUT THESE ISSUES FOR OTHER STATES?

Al Finnell - Windstream asked for the purpose of the call today and said if the Docket only applies to Minnesota, then the discussion can address the issues for the other states.

Mark Coyne – CenturyLink said today’s call was to review the CenturyLink responses to Integra outside of those addressed by Minnesota. Mark said he will need to check with the CenturyLink legal team on the question regarding other states. He said the focus today would be to review the CenturyLink Tech Pub chapters which incorporate at least 90% of the newly requested CLEC changes and to get a clean document to move forward. Doug Denney – Integra asked for CenturyLink to (4/2/12 Updates received from Integra in CAPS) [delete HAVE A FOLLOW UP] TAKE BACK WHAT DOES DEFERRED TO THE MINNESOTA DOCKET MEAN [delete TO CONSIDER THE IMPACT OF THE MINNESOTA DOCKET].

Al Finnell - Windstream asked for subsequent discussion regarding the other states on issues not discussed in the meeting today.

Mark Coyne – CenturyLink said that CenturyLink will need to meet with legal on these questions.

Jeff Farra – CenturyLink began review of each row in the Footnote matrix and the CenturyLink response included there.

Bonnie Johnson – Integra said in Section 1.2, Reason for Reissue, CenturyLink has identified that the changes are due to the xDSL Services Amendment however some Tech Pub changes are outside the scope of the Amendment. Bonnie said that CenturyLink needs to be specific on each reason for change and either make the unrelated change at a different time or specifically identify those changes separately (4/2/12 Updates received from Integra in CAPS) IN THE REASON FOR REISSUE.

Jeff Farra – CenturyLink (4/2/12 Updates received from Integra in CAPS) AGREED AND said CenturyLink will address that when we reissue the Tech Pub.

Susan Lorence – CenturyLink said a column had been added to the Footnote matrix regarding “Status” and that as each Footnote/response is reviewed, unless there are questions, CenturyLink will add an A to indicate that change was accepted.

Doug Denney – Integra asked about how CenturyLink is using the terms “channel” vs. “loop” across the Tech Pub and referred to an email exchange between Integra and CenturyLink . Doug said it does not appear that CenturyLink is using the terms consistently within the Tech Pub. (4/2/12 Updates received from Integra in CAPS) DOUG SAID CENTURYLINK SAID AN UNBUNDLED LOOP WAS A COPPER LOOP. THIS IS NOT NECESSARILY SO IN ALL CASES FOR EXAMPLE HI-CAP LOOPS CAN BE PROVIDED ON HYBRID LOOPS. WHAT IS THE INTENT OF VOICEBAND CHANNEL VS. LOOP? IS LOOP ONLY COPPER?

Susan Lorence – CenturyLink said the email exchange is posted to the calendar which differentiates how CenturyLink used the various terms. Susan asked if Integra’s question was that loops are “not limited” to copper?

Bonnie Johnson – Integra said the definition of “channel” in the email is different than what is used in Tech Pub Chapter 8.

Kim Isaacs – Integra said the terms “channel” and “capable loop” not used consistently between Chapters 1 and 5 which is confusing.

Bonnie Johnson – Integra asked if “channel” and “capable loop” are different things (4/2/12 Updates received from Integra in CAPS) BECAUSE A LOOP IS A LOOP and asked if CenturyLink was trying to limit one thing over another. Bonnie suggested putting something up front to explain how the terms are used.

Jeff Farra – CenturyLink said we had tried to be distinct but would review again for consistency. Jeff said in a loop environment, the terms are somewhat interchangeable but we will clarify.

Jeff Farra – CenturyLink said there were a number of changes throughout the chapters that would be addressed under the Reason for Reissue: removal of the product SONET due to a TRO change, “Unbundled” would be retained, and the word “Interconnection” would be removed.

Bonnie Johnson – Integra asked how CenturyLink placed the definitions included in the Tech Pub. She said it seems that terms specific to the xDSL Services Amendment are in Section 1.6.1 and that general definitions are in Chapter 8.

Jeff Farra – CenturyLink agreed.

Bonnie Johnson – Integra said in regard to Chapter 1, Footnote 24, and the first paragraph following the heading in Section 1.6.1, CenturyLink had added the wording “executed by the parties” in that first paragraph associated with the Amendment. Integra asked about the intent and said they did not believe the wording was necessary or correct and instead proposed the wording “is an agreement available to all CLECs and is based on…” Another option suggested by Integra was that the wording inserted by CenturyLink should be removed. In that same paragraph, Integra questioned the words inserted by CenturyLink “contemplated by.” CenturyLink agreed to review each of the proposed phrases with the CenturyLink legal team.

Also in Section 1.6.1, Bonnie Johnson – Integra questioned how the terms “interconnection agreement” and “ICA” are used throughout the Tech Pub Chapters, how they are not consistently capitalized/not capitalized, and that the terms are not defined. CenturyLink agreed to search the Tech Pub, review the use of the terms for consistency, determine whether they should be capitalized or not, and make the appropriate updates.

Again in Section 1.6.1 related to Chapter 1, Footnote 21, Bonnie Johnson – Integra questioned the paragraph related to the terms NC and NCI and the insertion by CenturyLink of the sentence “The following information regarding NCI codes is specific to xDSL Capable Loops as they relate to the xDSL Services Amendment.” (4/2/12 Updates received from Integra in CAPS) BONNIE ASKED IF CL INTENDED THAT WHAT WAS FOLLOWING THAT SENTENCE WAS ONLY MEANT FOR THOSE THAT SIGNED THE AMENDMENT.

(4/2/12 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA CenturyLink SAID NO AND agreed to remove the sentence.

Bonnie Johnson – Integra said (4/2/12 Updates received from Integra in CAPS)THAT ALTHOUGH CL SAID IT WOULD NOT DISCUSS THE THINGS IT IDENTIFIED AS IN THE MN 1006 CASE, in regard to the Definitions included in Section 1.6.1 being specific to the xDSL Services Amendment, Integra does not understand why CenturyLink will not include the definition of “conditioning” from the Amendment.

Bonnie Johnson – Integra said in regard to Chapter 1, Footnote 10 and 11, Integra objects to the wording related to Spectrum Management being included in this section.

Jeff Farra – CenturyLink said that the Spectrum Management language was in the Tech Pub from before and was not part of the discussion.

Jeff Farra – CenturyLink said that Chapter 1, Footnote 12-15, relates to the term “copper” replacing the term “metallic” that occurred throughout all Tech Pub Chapters. Jeff said that CenturyLink was aligning with the Amendment which uses the term copper.

Bonnie Johnson – Integra asked if CenturyLink considers copper to be metallic.

Jamal Boudhaouia – CenturyLink said CenturyLink would again review the use of the terms metallic and copper and the loop vs. channel vs. line to insure the terms accurately represent loop makeup. Jamal said that copper is part of the metallic family and that from the loop perspective, there is only copper or fiber.

Jeff Farra – CenturyLink said where it used to be metallic there was no change of intent: metallic was not referring to fiber.

It was agreed in regard to the Reason for Reissue that once the Tech Pub changes are agreed to and finalized, then CenturyLink will go back and update the reason for the change. Back to Chapter 1, Footnote 21, there was again discussion around the second sentence added by CenturyLink.

Kim Isaacs – Integra identified that the wording associated with NC/NCI applies to everyone and questioned why the sentence was added.

Mike McCarthy – MN DOC stated that the added CenturyLink wording implies that the xDSL Services Amendment alters the application of NC/NCI codes.

Jamal Boudhaouia – CenturyLink (4/2/12 Updates received from Integra in CAPS) SAID YOU ARE RIGHT AND agreed it should not alter the definition. Jamal proposed that we take the paragraph out and only show the definitions in Chapter 8.

Bonnie Johnson – Integra said Integra would not agree to that since the definitions are different and the definition in 1.6.1 is from the Amendment. The Integra proposal is to remove the second sentence inserted by CenturyLink.

CenturyLink agreed to remove the sentence in question. Bonnie Johnson – Integra asked if CenturyLink assigned the best available loop even if a customer has not signed the Amendment.

Jamal Boudhaouia – CenturyLink said yes, there is an algorithm that applies the best available loop based on the NC/NCI code.

Bonnie Johnson – Integra (4/2/12 Updates received from Integra in CAPS) SAID SO [delete ASKED IF] CenturyLink had denied their CR but did it anyway.

Jamal Boudhaouia – CenturyLink said no comment.

Bonnie Johnson – Integra said that for Chapter 1, Footnote 30, the last sentence in the paragraph that CenturyLink added is already addressed. Bonnie said CenturyLink can either add the “including” back in or suggest other language.

Kim Isaacs – Integra identified that Chapter 6.1 already includes the language regarding additional (4/2/12 Updates received from Integra in CAPS) TESTING.

Bonnie Johnson – Integra suggested deleting the last sentence and adding “additional testing” following “Furthermore” in the prior sentence.

Jamal Boudhaouia – CenturyLink suggested adding wording from Chapter 6 on page 6-3 that includes the specific testing process that is in place instead of the last sentence to that paragraph.

Doug Denney – Integra identified that the approach may not make sense in Chapter 1.

Jamal Boudhaouia – CenturyLink said it is best not to have a variation in the tests that are performed but to have a uniform test process for the technicians; the tests are not limited to the CLECs that have signed the Amendment. Jamal described the process where the Service Manager tracks the additional tests that are performed and stated that if it is determined that the additional tests will benefit all customers then the tests will be added to the current process.

Bonnie Johnson – Integra (4/2/12 Updates received from Integra in CAPS) [delete QUESTIONED WHETHER OR NOT] ASKED IF the standard tests [delete WILL BE] WERE changed [delete AND] would the Tech Pub also be changed.

There were several suggestions as to how to address the additional tests however it was eventually agreed that CenturyLink would consider the language originally suggested by Integra which was to add “additional testing” following “Furthermore” in the prior sentence and that the last sentence in that paragraph be deleted.

Kim Isaacs – Integra suggested that following what was agreed to in Chapter 2, Footnote 21, that the words “but not limited to” be added to the paragraph in Section 2.3 that starts “Characteristics associated…” Kim said what is included is not consistent with the definitions.

Jamal Boudhaouia – CenturyLink suggested an alternative which is to end the sentence after the reference to Section 1.6.1.

It was agreed to go with that approach and also remove all of the bullets that follow.

Jeff Farra – CenturyLink relayed that in Chapter 3, following Footnote 7, that CenturyLink had replaced the reference to Telcordia with a reference to the ANSI standard since the Telcordia reference was no longer current.

Bonnie Johnson – Integra said Integra would look at the ANSI standard reference and identify any concerns.

Bonnie Johnson – Integra questioned why the words “entirety of the” had been added in the first paragraph following Section 3.1.1.

Jamal Boudhaouia – CenturyLink responded that CenturyLink wanted to be clear.

Mike McCarthy – MN DOC stated he was not opposed to the addition.

Bonnie Johnson – Integra suggested they were not opposed to CenturyLink stating that they would use the entire NC and NCI code and it was determined that CenturyLink would change it to “entirety of both the ..”

Mike McCarthy – MN DOC asked what “take into account” means.

Jamal Boudhaouia – CenturyLink responded that when assigning the loop characteristics, there are a number of different parameters that must be considered.

Mike McCarthy – MN DOC asked whether the phrase “apply to effect” could replace “take into account”.

Jamal Boudhaouia – CenturyLink said he was not sure of that meaning.

Mike McCarthy – MN DOC said in the last part of document but mainly in Chapter 6, the NC/NCI wording was struck and now refers to Section 3.1.1.

Jamal Boudhaouia – CenturyLink said CenturyLink is looking at the NC/NCI codes specifically from an engineering perspective in the Tech Pub.

Mike McCarthy - MN DOC said he will tentatively yield to this wording but may reopen it later based on (4/2/12 Updates received from Integra in CAPS) CONSEQUENCES OF THE Spectrum Management discussion.

Bonnie Johnson – Integra said in this same paragraph in 3.1.1, it needs to be tied to the Embedded base or it does not make sense. Bonnie agreed to send an email with language she would propose.

Bonnie Johnson – Integra said the wording in Section 3.4.3 under Table 3-4 needs correction from “NCIs” to “NCI codes”.

Jamal Boudhaouia – CenturyLink agreed.

Kim Isaacs – Integra identified that around Chapter 3, Row 28, CenturyLink begins to vary on the use of the term channel vs. loop.

Bonnie Johnson – Integra identified that in Chapter 5.3, that CenturyLink had appended the sentence “They terminate using digital interfaces.” to the prior paragraph and felt it was incorrect.

Jeff Farra – CenturyLink agreed.

Mike McCarthy - MN DOC questioned several lines being deleted at the end of page 6 -1 and also at the beginning of page 6-2.

Susan Lorence – CenturyLink said the wording beginning with “Qwest reserves the right…” was deleted back on 11-3-2011. The next paragraph was deleted on 10-28-11 with the December 2011 updates. Susan said the changes are referenced in the CenturyLink matrix dated 12-7-11.

Mike McCarthy - MN DOC asked if any CLEC recalled why this occurred.

Susan Lorence – CenturyLink referred Mike to the 12-7-11 CenturyLink Matrix, Row 20, Section 6.1 and said the deletion was at CLEC request and CenturyLink had agreed to it.

Kim Isaacs – Integra brought up a question regarding a cross reference to Section 1.6.1 and mentioned that some of the info is not there, e.g., load coils. Kim said with the conditioning paragraph mentioning load coils, she was ok with no update.

Bonnie Johnson – Integra said she did not have any updates to Chapter 8 under Definitions. She said she did not like the xDSL services listed alphabetically vs. grouping them together.

Susan Lorence – CenturyLink said they had been placed alphabetically at CLEC request. Other options were discussed but it was identified they are listed out on page 8.4.

Bonnie Johnson – Integra said she could live with the display.

Mark Coyne – CenturyLink said he wanted to acknowledge all of the work that had gone into reviewing the Tech Pub for updates. Mark said he is aware that there are still open points based on Minnesota but would like to suggest that CenturyLink move forward with the Level 3 notifications to get the changes that have been agreed upon to date implemented. This would allow a clean copy to move forward.

Bonnie Johnson – Integra said she has concerns about the Level 3 notice and that CenturyLink needed to respond to the follow-up points first. Bonnie said she then wanted another review to insure Integra agreed to them first.

Mark Coyne – CenturyLink said there were not many take backs and said he thought CenturyLink would agree to the changes that had been discussed today. Mark said that we could allow the review prior to issuing the level 3 notice.

Kim Isaacs – Integra asked what happens with Spectrum Management and the conditioning language.

Mark Coyne – CenturyLink said that language would stay as it is but that it was not in a final state.

Bonnie Johnson – Integra said there could be updates on either side from what occurs in Minnesota. She said if CenturyLink is (4/2/12 Updates received from Integra in CAPS) [delete HOLDING ON] PUNTING some of the updates pending the results in Minnesota, then CenturyLink will have to wait to finalize the Tech Pub. Bonnie said what is agreed to now may not be agreeable later. She said she is fine to identify where the document is to date but will not make them final until Spectrum Management and Conditioning are included.

Mike McCarthy - MN DOC said when the settlement occurred in 2010, the CLEC benefit was to get a fully applied NCI code and it would apply to Spectrum Management. CenturyLink would benefit from the “remove all” and an associated rate increase. Mike said we are left today with the two issues of Spectrum Management and conditioning which was the original purpose.

Mark Coyne – CenturyLink said he agrees there could be changes on both sides depending on the Minnesota outcome but does not want to rehash wording but wanted to work from a clean copy.

Bonnie Johnson – Integra said she is OK to (4/2/12 Updates received from Integra in CAPS) WORK COLLABORATIVELY TO DETERMINE WHERE WE ARE NOW [delete DO THAT] but not via a level 3 notice AND MAKE THE CHANGES FINAL. Bonnie said they are not willing to piecemeal it.

Mark Coyne – CenturyLink said CenturyLink needs to create a clean version and then determine next steps with the SME and legal.

Al Finnell - Windstream said he agreed with Integra.

Mark Coyne – CenturyLink asked if it was worthwhile to develop a clean copy.

Bonnie Johnson – Integra said that was fine but that the current updates and the Minnesota related updates needed to be made together.

Mark Coyne – CenturyLink said everyone understood there will be additional changes and the document would not be final.

Bonnie Johnson – Integra said she would not agree to any notification but will continue to work with CenturyLink.

Mark Coyne – CenturyLink said there are a number of groups that have input on the CenturyLink direction but that we will work toward creating clean documents and determining next steps.

Mike McCarthy - MN DOC said that it is CenturyLink that is deferring on these issues pending resolution in Minnesota and that these are not new issues but were initially discussed last April and May. Mike said there is apparently no rush within CenturyLink to move forward on these two issues that have been open 17 months.

Al Finnell - Windstream asked if the deferred issues only apply in Minnesota.

Mark Coyne – CenturyLink said that is true but that they could impact other states.

Al Finnell - Windstream asked what happens to other states.

Susan Lorence – CenturyLink said that is why we want to move forward. There have been no Tech Pub updates yet and we want something in production that reflects the Amendment.

Jamal Boudhaouia – CenturyLink said the majority of the Tech Pub updates have been in practice since January 15, 2011. Jamal said 99% of the processes are in place today to provision, maintain and operate the network. The issues that remain are the definition of Conditioning and Spectrum Management.

Bonnie Johnson – Integra said those two issues are a huge part of the Amendment.

Jamal Boudhaouia – CenturyLink said the Amendment has much more than that. Jamal said we deliver the best loop, maintain it and apply standards as required.

Bonnie Johnson – Integra said if that is the case, why not include the definitions.

Jamal Boudhaouia – CenturyLink said he is not a lawyer and cannot answer that.

Mark Coyne – CenturyLink asked whether having the definition would change the process.

Bonnie Johnson – Integra said that is the problem and that she will not agree to publish until Minnesota is resolved but will work with CenturyLink to get a clean copy.

Mark Coyne – CenturyLink said CenturyLink wants to get on record that we disagree on the impact of the open points.

Bonnie Johnson – Integra said that the impact is unknown.

Jamal Boudhaouia – CenturyLink said that we agree to disagree.

The (4/2/12 Updates received from Integra in CAPS) [delete MARCH 2012 CMP MEETING AND ]discussion of Technical Publication 77834 adjourned at 4:30 PM MT.

FROM SYSTEM MEETING MINUTES - after Attachment N The March CMP Systems Meeting was followed by a discussion of Technical Publication 77384.

CENTURYLINK NOTE: AT THE REQUEST OF INTEGRA, THE DISCUSSION OF THE TECH PUB 77384 WAS MOVED TO THE PRODUCT PROCESS MEETING MINUTES. THE DISCUSSION IS INCLUDED UNDER ATTACHMENT D OF THE PRODUCT PROCESS MEETING MINUTES ASSOCIATED WITH CR PC072010-1ES.

2/15/12 Product Process Monthly Meeting Mark Coyne – CenturyLink stated that in the January monthly meeting, CenturyLink said that a review of the Technical Publication matrix and chapters that had been distributed on 12-7-11 would be addressed in the February monthly meeting. Due to CLEC comments received on 01-24-2012, 01-30-2012 and 02-02-2012, CenturyLink needed additional time to address those issues and subsequently sent a notification on 2-8-12 stating that the issues would be addressed in the March face-to-face meeting. Mark said the CLEC comments had been posted to the calendar for March and stated that the updated CenturyLink matrix would be made available to the CLECs prior to the March meeting.

Bonnie Johnson – Integra asked if CenturyLink would respond to the matrix before the March meeting.

Mark Coyne – CenturyLink responded that the CenturyLink response would be included in the March package.

Bonnie Johnson – Integra asked if the response was available sooner, could it be distributed sooner to allow CLECs time to review. Bonnie said having the responses sooner would allow for all participants to have a more meaningful discussion in March.

Mark Coyne – CenturyLink stated that the SME team is currently reviewing the CLEC comments and if the response was available sooner, CenturyLink would distribute it. Mark said CenturyLink would try to distribute the CenturyLink response by 3-12-12.

Bonnie Johnson – Integra asked if CenturyLink would notify them when it was made available.

Susan Lorence – CenturyLink stated that a notice to the full CLEC community would be distributed so that everyone was aware of the availability of the CenturyLink response to the matrix. She also clarified that the March Face to Face meeting discussion would only be in regard to the Technical Publication 77384 matrix and chapters.

Mark Coyne – CenturyLink said the March review would be similar to what occurred in October for the PCAT.

Bonnie Johnson – Integra said that it was (02/22/12 Updates received from Integra in CAPS) REALLY important to get the CenturyLink updates sooner than later.

Al Finnell – Windstream stated that he echoed Integra’s request to receive the CenturyLink response as soon as possible and inquired how long the March Face to Face meeting would last.

Mark Coyne – CenturyLink stated that the Denver March meeting was scheduled until 5:00 PM MT and he suggested planning for at least until 4:00 PM MT.

1/18/12 Product Process Monthly Meeting Mark Coyne – CenturyLink recapped that a notice was distributed on December 7, 2011 that provided some additional updates to the Tech Pub chapters. Mark said that during recent meetings, it was to be determined when the Tech Pub matrix was to be reviewed. Mark asked if there was any objection to reviewing the Tech Pub matrix in February.

Kim Isaacs – Integra relayed that their intent was to provide an Integra response in January and that, barring any problems, the February meeting would be a good time to review the matrix.

Julia Redman-Carter – Windstream said her company was in a transition period but that she would shoot for February. If she was not able to be prepared for the February meeting, Julia said she would identify that in writing one week before the February meeting.

Mark Coyne – CenturyLink said at this point we would plan to review the Tech Pub matrix in the February meeting. Mark also relayed that on December 29, CenturyLink had sent a notice that included an update on the Conditioning matrix to provide an additional response to # 17 on modifying the PCAT definition of conditioning. The updated document is posted to the Customer Notice Letter Archive (CNLA). On January 6, Integra had provided a response associated with Item 8 on the PCAT matrix which was posted to the CMP calendar. Mark asked if there were any questions; there were none.

12/14/11 Product Process Monthly Meeting Mark Coyne – CenturyLink recapped the Change Request and said that after a discussion in the November meeting regarding the removal of instances of “Unbundled” and “Interconnection”, the matrix with updated comments and a redline of the Technical Publication went out with a notice on December 7, 2011. Mark said that a discussion was to be held in either January or February 2012 and asked if there was consensus as to when this could occur.

Bonnie Johnson – Integra stated that since the documents were just received, they did not know the scope of what their response (12/27/11 Updates received from Integra in CAPS) WOULD HAVE TO BE and with the holidays and the hearings in Colorado or Washington THE WEEK OF CMP, January does not work.

Mark Coyne – CenturyLink said we could target February and then revisit the issue in the January meeting.

Bonnie Johnson – Integra stated that (12/27/11 Updates received from Integra in CAPS) they [delete WOULD] SHOULD have an idea of the scope by then and said others may have questions today.

Mark Coyne – CenturyLink asked if there were other questions.

Julia Redman-Carter – Windstream stated she would need to at least February as well with their transitions and the holidays.

11/16/11 Product Process Monthly Meeting Mark Coyne – CenturyLink stated that the download matrix for the Technical Publication matrix was sent out on November 9th and that other related documents were also posted. He said in the October meeting, there was discussion on whether to discuss the Tech Pub matrix in January or February 2012. He asked if there were any preferences as to when to meet.

Bonnie Johnson – Integra stated that from what she could tell, she thought that there (11/28/11 Updates received from Integra in CAPS) WOULD be SOME movement on CenturyLink’s part, but it appears CenturyLink simply restated its position. She said she thought Integra would be responding sooner but due to the upcoming holidays, it was hard to say. She said January could be targeted, but that she could not commit to an absolute date.

Mark Coyne – CenturyLink asked what others thought, in particular, PAETEC.

Julia Redman-Carter – PAETEC agreed they would try for January meeting but could not promise.

Mark Coyne – CenturyLink offered to touch base in the December meeting to see if January or February would be best.

Bonnie Johnson – Integra said that would work but that there were unexplained changes made to the Technical Publication and had sent an email requesting information on that.

Mark Coyne – CenturyLink stated that CenturyLink had received an email from Integra that questioned why we had removed the terms “unbundled” and “interconnection” in the Technical Publication. Mark said the Integra email had been posted to the calendar for the CMP meeting and asked if Bonnie wanted to clarify the question. Bonnie Johnson – Integra stated that the email was fairly self-explanatory. She said nothing in the matrix explained the reason for the change.

Jamal Boudhaouia – CenturyLink asked Bonnie to restate the question again before he responded.

Bonnie Johnson – Integra stated CenturyLink had struck “unbundled” and “interconnection” in some places in the Tech Pub and it was unclear why.

Jamal Boudhaouia – CenturyLink responded that the Technical Publication encompasses multiple services and network elements and that when CenturyLink reviewed the document, some sections were defining a finished service (11/28/11 Updates received from Integra in CAPS) SUCH AS DS1 AND ISDN and some were defining a loop. Jamal said generally, a loop is not for interconnection which implies an exchange of traffic. Anywhere CenturyLink felt that the loop was not specific to interconnection or where it was defining a finished service, those words were removed. He also mentioned that some instances may have been missed AND HE DID NOT MAKE 100% OF THE CHANGES, but that was the concept behind the changes.

Bonnie Johnson – Integra asked if that explanation could be provided in an email

Mark Coyne –CenturyLink said yes but what about including it in the meeting minutes.

Bonnie Johnson – Integra said she preferred an email to get it sooner.

Mike McCarthy – MN Department of Commerce (11/28/11 Updates received from Integra in CAPS) SAID IT SOUNDS LIKE JAMAL IS THE RIGHT PERSON AND asked for clarification and referred to page 1-5 and brought up new edits to a previous edit in July. The Qwest responsibilities USED TO SAY BASED ON THE NC/NCI CODE [delete HAD INCLUDED REFERENCE TO THE NC/NCI CODES IN AN EARLIER UPDATE], but had been updated now to refer to Section 1.6.2 instead which included the “old fuzzy language” that stated that Qwest would “take this into account”. He asked if we had completed a cycle back to the spring of 2011 about the use of the NC/NCI codes WHICH SHOULD RELIABLY TRANSMIT A SIGNAL FOR XDSL SERVICE AND A PERSON MIGHT CONSTRUE THAT TO MEAN WE ARE WHERE WE WERE LAST SPRING.

Jamal Boudhaouia – CenturyLink said it did not make sense.

Mike McCarthy – MN Department of Commerce stated he wanted to understand if this was just an error in editing.

Jamal Boudhaouia – CenturyLink stated that it would be readdressed.

Julia Redman-Carter – PAETEC requested to be copied on the response and asked if they had questions, where should they be sent.

Mark Coyne – CenturyLink said to send them to the CMPCR mailbox.

Liz Tierney – Covad (now Megapath) asked that by removing the language, (11/28/11 Updates received from Integra in CAPS) IT WAS NOT MOVE RESTRICTIVE AND did the document cover more than just the unbundled product.

Jamal Boudhaouia – CenturyLink said yes the Tech Pub does not restrict the product at all.

Julia Redman-Carter – PAETEC asked that if it wasn’t restricting it, would customers have to go to a different Technical Publication for unbundled loops?

Jamal Boudhaouia – CenturyLink stated that unbundled loops would be sections of the Tech Pub and some sections would not be unbundled (11/28/11 Updates received from Integra in CAPS) LIKE DS1 AND ISDN.

Julia Redman-Carter – PAETEC asked for clarification with “interconnection”.

Jamal Boudhaouia – CenturyLink said interconnection is to connect two networks together. An unbundled loop is not used for interconnection. The term “interconnection” has the connotation that a loop would be used to exchange traffic with CenturyLink and in the loop environment, there’s no exchange of traffic. A loop is delivered in a collocation.

Julia Redman-Carter – PAETEC stated that she understood but was concerned about being able to have a product delivered over the loop. She didn’t want to limit a certain product from being sent through the network.

Jamal Boudhaouia – CenturyLink stated that under the context of 251, CenturyLink delivers the loop based on the NC/NCI codes and what the CLEC does with it is up to them, assuming that the signal is compliant. The CLEC is free to do what they wish with it once the circuit is delivered. CenturyLink does not see the signal and has no way to verify what is being transmitted (11/28/11 Updates received from Integra in CAPS) AND WE WOULD NOT KNOW WHAT THE IP PACKETS WERE.

Mike McCarthy – MN Department of Commerce asked if in terms of Spectrum Management, does that mean that CenturyLink will have (11/28/11 Updates received from Integra in CAPS) UNEXPECTED mysterious impacts on its system due to the traffic sent by CLECs.

(11/28/11 Updates received from Integra in CAPS) [delete JAMAL BOUDHAOUIA – CENTURYLINK STATED THAT WE WOULD NOT KNOW WHAT THE IP PACKETS WERE.]

Julia Redman-Carter – PAETEC stated her ICA allows for enough power to be able to send the signal to their customer and that she wanted to make sure that removing “interconnection” did not impact the Spectrum Management range for these products.

Jamal Boudhaouia – CenturyLink said we are talking about the context of 251. From a loop perspective, CenturyLink is not interconnecting with the CLEC. If there was interconnection with CenturyLink, we would have to agree on protocols to accept between the two networks.

Julia Redman-Carter asked that this be clarified in the response.

Bonnie Johnson – Integra said she knows her ICA and DS1 and ISDN services are unbundled and that Integra will object to the change. Whether or not CenturyLink considers it finished services, they are still unbundled loops in her ICA.

Julia Redman-Carter – PAETEC said she has the same concern but would wait to see it in writing.

Jamal Boudhaouia – CenturyLink clarified that he believed that Bonnie was talking about the definition of a loop.

Julia Redman-Carter – PAETEC stated that she understood the concept of the changes and that when she looks at the document, she understands it is from an engineering perspective. By leaving the terms in, it would help clarify points rather than pulling them out for an interpretation issue. Julia said it seems like CenturyLink is setting itself up for a legal argument based on interpretation. She would like to see the response in writing and how these changes do not impact Spectrum Management.

Jamal Boudhaouia – CenturyLink said based on what Julia said, regarding engineering terms and design, perhaps nothing should be included regarding interconnection, but rather pure network facility information. Engineering and technicians only deal with the network. Jamal said he was not advocating it, but if we were to go purely engineering terms then the network should only be defined as network, no interconnect or unbundled, just a facility.

Bonnie Johnson – Integra replied that whether or not Integra would agree to the changes, she has a real concern about Jamal stating that CenturyLink may not have captured all of the changes. She will look at the CenturyLink response but did not think Integra would be agreeable to removing any of them.

Jamal Boudhaouia – CenturyLink said he would like an explanation of why “interconnection” should be kept.

Mike McCarthy – MN Department of Commerce said there is an open docket in Minnesota about what is an unbundled element in regard to copper loops used for xDSL services. Mike said the watershed disagreement appears to be the (11/28/11 Updates received from Integra in CAPS) SHAPING UP ON THE difference between what is a finished service versus what is an unbundled copper loop. Mike said there is sensitivity on this and said it appears CenturyLink is redefining the product in the Tech Pub which is the [delete BASIS FOR THE CENTURYLINK AND CLEC DISAGREEMENT] LITERALLY THE NUB OF THAT DOCKET.

Jamal Boudhaouia – CenturyLink (11/28/11 Updates received from Integra in CAPS) SAID OH REALLY AND thanked Mike for his comments.

Kim Isaacs – Integra asked for clarification regarding reference to finished services. Kim said the changes made to the Tech Pub are not to DS1 and ISDN products, but rather to the xDSL loop and asked if it was the intent to change the definition of the xDSL product.

Jamal Boudhaouia – CenturyLink replied that unbundled xDSL is a dry copper wire.

Kim Isaacs – Integra replied that it was conditioned to provide the broadband services based on the NC/NCI codes.

Jamal Boudhaouia – CenturyLink confirmed that when conditioning was requested, CenturyLink would condition to transmit reliably the service ordered.

Kim Isaacs – Integra asked (11/28/11 Updates received from Integra in CAPS) FOR JAMAL TO TELL HER the difference between an unbundled xDSL Capable Loop and an xDSL Capable Loop.

Jamal Boudhaouia – CenturyLink stated that a loop was a loop; there was no difference from an engineering perspective. A dry copper loop is an unbundled loop.

Kim Isaacs – Integra asked why take out “unbundled”.

Jamal Boudhaouia – CenturyLink replied that he needed to look at what happened during the last weeks of revisions. In the multiple re-workings of the Tech Pub chapters, Jamal said there could have been instances where words were (11/28/11 Updates received from Integra in CAPS) INADVERTENTLY [delete INCORRECTLY] removed and he would clean it up.

Kim Isaacs – Integra stated that CenturyLink inserted “unbundled” in Chapter 5 and is taking it out in Chapter 3. Kim said it seems CenturyLink is trying to tell CLECs something.

Jamal Boudhaouia- CenturyLink said there was no intent but that we were trying to clean it up.

Mark Coyne – CenturyLink stated that we would respond to the email questions and that SMEs would make sure the documents were consistent.

Jamal Boudhaouia – CenturyLink stated that was correct.

Julia Redman-Carter asked that if corrections are made, to please send a notice since it would impact their response. Susan Lorence – CenturyLink said if changes are made, CenturyLink would send another Change Management notice with all of the documents.

Julia Redman-Carter said that was fine as long as the changes are specifically identified.

Mark Coyne – CenturyLink asked if there were any other comments. There were none. Mark said there was an action item from the October meeting regarding issuing a Change Request for conditioning during repair and an email exchange with Integra is posted to the CMP calendar. Mark said that CenturyLink has determined that there are some basic differences between the installation and repair processes and the efficiencies may not be that great on the CenturyLink side. Mark said the CLECs should issue the CR to express the benefit from their perspective.

Bonnie Johnson – Integra stated that Integra disagrees and that the Amendment is clear it should be done and that CenturyLink should be doing it. Bonnie said (11/28/11 Updates received from Integra in CAPS) IT IS NOT THEIR JOB TO CORRECT IT if a process was implemented that was contrary to the Amendment they should not have to submit a CR but will do so with their objection identified.

Mark Coyne – CenturyLink acknowledged their position.

Julia Redman-Carter – PAETEC stated that they were in agreement with Integra.

10/19/11 Product Process Monthly Meeting Mark Coyne – CenturyLink said he indicated in the last meeting that CenturyLink was working on the responses to CLEC concerns. The Conditioning matrix, PCAT and download are in the package with the CenturyLink response. Mark said CLECs had not had a lot of time to review the documents since last Friday; they were also sent out in Word the day before. Mark said he thought we have agreement on 90-95% of the matrix regarding language and that he would like to have Bob Mohr review the matrix and cover the issues that CenturyLink is in agreement with CLECs. He said there is still disagreement on a couple issues which will need discussion but due to sensitivity, those should be handled in writing vs. in the meeting. Mark proposed keeping the discussion to the first column and last two columns of the matrix.

Bob Mohr – CenturyLink addressed each issue in numerical order as included in the distribution package and CenturyLink’s actions in response to CLEC’s requests.

(10/28/11 Updates received from Integra in CAPS)BOB MOHR – CENTURY LINK STATED FOR ISSUE #1 CENTURYLINK ACCEPTED LANGUAGE AND PUT IT IN THE PCAT. ISSUE #2 CENTURYLINK ACCEPTED LANGUAGE AND ADDED AS RED-LINE TO THE CONDITIONING DOWNLOAD. ISSUE #3 CENTURYLINK UPDATED THE CONDITIONING DOWNLOAD ISSUE #4 CENTURYLINK CHANGED “WILL” TO “MAY” IN THE PCAT ISSUE #5 CENTURYLINK IMPLEMENTED SCA OPTION 3 (CONDITIONING AND/OR REMOVE ALL CONDITIONING) ON 10/17/11 IN IMA RELEASE 31.0 ISSUE #6 CENTURYLINK WILL MAKE THE CHANGES IN THE 10/31/11 ADDENDUM TO IMA RELEASE 31.0

Bonnie Johnson – Integra asked a question about line item #8 and CenturyLink’s determination that no changes were necessary in the process for requesting conditioning during repair. Bonnie asked if CenturyLink thinks this is something that CLECs can already do.

Bob Mohr –CenturyLink replied no, it is either or.

Bonnie Johnson – Integra stated that it doesn’t benefit either company or the end user to submit a repair ticket, dispatch the technician, determine that more conditioning is required, have the CLEC submit another ticket and dispatch the tech again. She said it is not logical and delays customer repair and asked how we get around this.

Bob Mohr – CenturyLink replied that he understood and that the issue had been discussed internally. Bob said if CenturyLink received a Change Request, it would be investigated.

Bonnie Johnson – Integra asked what that meant and said she felt that CenturyLink had already made a decision on this issue (10/28/11 Updates received from Integra in CAPS)AND WOULD DENY A CR.

Bob Mohr – CenturyLink replied that no decision had been made and that it would be investigated if a CR was received.

Bonnie Johnson – Integra stated that this is basically the same process as Installation and that the same technicians were doing the work. She stated that the Amendment allows CenturyLink to charge in the same manner.

Bob Mohr – CenturyLink asked if there was a concern issuing a CR? Bonnie Johnson – Integra stated that often they are told to submit a CR when it is not needed. She referred to the CMP document and a related document that describes the roles and responsibilities of the Service Manager. She said if there was an issue, the Service Manager was to submit a CR.

Liz Tierney – Covad asked if it was true CenturyLink would dispatch twice.

Mark Coyne – CenturyLink said yes and asked if Integra had taken this to their Service Manager.

Bonnie Johnson – Integra said they do not think a CR is required (10/28/11 Updates received from Integra in CAPS) AND THE AMENDMENT IS SUFFICIENT. If she agreed to submit a CR, they would want it expedited and that it would be submitted with objections.

Bob Mohr – CenturyLink stated that the process for repair is set up is an “either or” and that it would be a process change.

(10/28/11 Updates received from Integra in CAPS) MARK COYNE – CENTURYLINK STATED THIS IS FEASIBLE BUT YOU NEED A CHANGE REQUEST?

(10/28/11 Updates received from Integra in CAPS) BOB MOHR – CENTURYLINK SAID YES.

Julia Redman-Carter – PAETEC asked for clarification as to how CenturyLink handled its own customers. Does CenturyLink dispatch out twice and bill two dispatches.

Jamal Boudhaouia – CenturyLink said he does not believe CenturyLink does “remove all” for CenturyLink customers.

Bonnie Johnson – Integra said she knows it is feasible since it is done on installation (10/28/11 Updates received from Integra in CAPS) AND IN THE SPIRIT OF THE AMENDMENT THIS SHOULD APPLY TO REPAIR AS WELL.

Mark Coyne – CenturyLink said we would take this off line to work with Service Management to determine how a CR would be submitted and to decide if CenturyLink would need to come back to Integra to submit one.

Bob Mohr – CenturyLink continued reviewing the matrix (10/28/11 Updates received from Integra in CAPS) ISSUE #9 CENTURYLINK WILL USE THE “INF” CODE FOR TICKET CLOSURE. CENTURYLINK WILL BE EXPANDING THE INF DEFINITION TO INCLUDE CONDITIONING ON REPAIR UNDER THE XDSL AMENDMENT.

(10/28/11 Updates received from Integra in CAPS) SUSAN LORENCE – CENTURYLINK – STATED THE NOTICE WOULD BE SENT OUT AS A LEVEL 2 NOTICE

(10/28/11 Updates received from Integra in CAPS) BOB MOHR – CENTURYLINK INDICATED THAT THE NOTICE WOULD BE GOING OUT IN THE NEXT COUPLE OF DAYS. BOB MOHR CONTINUED TO REVIEW THE MATRIX. ISSUE #10 LANGUAGE HAS BEEN ADDED. ISSUE #11 LANGUAGE HAS BEEN INSERTED IN THE CONDITIONING DOWNLOAD PAGE 6, ISSUE #12 LANGUAGE HAS BEEN ADDED AS PROPOSED. ISSUE #13 DELETED LANGUAGE HAS BEEN REMOVED. ISSUE #14 FOR THE K JEP VERSUS C JEP ISSUE. CENTURYLINK IS PROPOSING TO IMPLEMENT A NEW JEP COD. IN THE INTERIM CENTURYLINK WILL IDENTIFY AN EXISTING CODES THAT DOES NOT ASSIGN THE JEP TO CLEC’S RESPONSIBILITY. ISSUE #15 INSERTED LANGUAGE ON PAGE 8. ISSUE #16 INSERTED LANGUAGE ON PAGE 8. In regard to line item 17, Bob stated that was being deferred.

(10/28/11 Updates received from Integra in CAPS) BONNIE JOHNSON – INTEGRA SAID ARE WE GOING TO ADDRESS THE ELEPHANT IN THE ROOM.

Mark Coyne – CenturyLink clarified that with line item 17 (definition of Conditioning), it is one of the sensitive issues that would have to be addressed by the stakeholders on the CenturyLink side.

(10/28/11 Updates received from Integra in CAPS) BONNIE JOHNSON – INTEGRA STATED WE HAVE MADE OUR POSITION CLEAR THERE IS AN FCC DEFINITION OF CONDITIONING AND THAT DEFINITION SHOULD BE USED.

(10/28/11 Updates received from Integra in CAPS) MARK COYNE – CENTURYLINK STATED THIS IS AN ISSUE THAT WILL NEED WRITTEN RESPONSES. MARK [delete HE]e stated that a lot of progress had been made and that much of the agreed upon language could move forward and be added to the documentation. He asked if there was an opinion as to how much time would be needed to review the matrix and respond if there were any other concerns.

Kim Isaacs – Integra questioned the matrix on Technical Publication 77384.

Mark Coyne – CenturyLink agreed that it was a separate matrix and that it was quite long and detailed and would be handled separately from the matrix which was just reviewed. Mark said we planned on sharing the approach for the Technical Publication matrix in the November meeting.

Mike McCarthy – Minnesota Department of Commerce said that since the matrix discussed today cross references Technical Publication 77384, would it be wise to review them side-by-side before they were wrapped up.

Mark Coyne – CenturyLink said he was premature in saying the PCAT updates could be sent out. He said we would wait to submit the changes just discussed until the Tech Pub matrix was reviewed. Bonnie Johnson – Integra stated that she thought Mike was indicating that the PCAT changes related to the Tech Pub and that the PCAT changes should wait until the Tech Pub matrix was reviewed.

Mike McCarthy – Minnesota Department of Commerce said he needed to digest the content that was just reviewed and that the deferred item #17 Conditioning was a cross-over and that it was not known the standard of conditioning that would be used.

(10/28/11 Updates received from Integra in CAPS) BOB MOHR – CENTURYLINK STATED THEY WERE MOVING FORWARD WITH PROCESS CHANGES

Julia Redman-Carter – PAETEC stated that she was not necessarily agreeing with everything that had been (10/28/11 Updates received from PAETEC in CAPS) REVIEWED [delete DISCUSSED] on the xDSL Conditioning Matrix JULIA STATED THAT SHE DID NOT WANT HER SILENCE TO CONSTRUED AS AGREEMENT until resolutions IS MET ON THE XDSL were agreed upon in regard to the Tech Pub matrix and reserved the right to re-address issues WITH XDSL MATRIX AND PCAT during AND delete [OR] after the Technical Publication issues were discussed.

(10/28/11 Updates received from Integra in CAPS) MARK COYNE – CENTURYLINK SAID YOU ALWAYS HAVE THAT RIGHT. (10/28/11 Updates received from PAETEC in CAPS) MARK COYNE – CENTURYLINK SAID THAT IS ALWAYS THE CASE.

(10/28/11 Updates received from Integra in CAPS) BONNIE JOHNSON – INTEGRA SAID QWEST HAS COME BACK BEFORE AND SAID WE DID NOT ADDRESS THAT AT THE TIME OF REVIEW AND WOULD NOT ACKNOWLEDGE THE CONCERN.

(10/28/11 Updates received from PAETEC in CAPS) BONNIE JOHNSON – INTEGRA STATED THAT HASN’T ALWAYS BEEN THE CASE. PREVIOUS SITUATIONS WHEN WE HAVE ASKED TO ADDRESS AN ISSUE CENTURYLINK HAS STATED THAT THERE WERE NO OBJECTIONS BY CLEC’S SO WE THOUGHT WE REACHED AGREEMENT AND IT WAS CLOSED.

(10/28/11 Updates received from Integra in CAPS) JULIA REDMAN-CARTER – PAETEC DISCUSSED RESERVATION OF RIGHTS AGAIN.

(10/28/11 Updates received from PAETEC in CAPS) JULIA REDMAN-CARTER – JULIA REDMAN CARTER SAID, FOR THE RECORD, PAETEC RESERVES OUR RIGHT TO COMMENT ON ANY ISSUES OR ADDRESS NEW ISSUES, INCLUDING THOSE THAT HAVE BEEN CLOSED PREVIOUSLY, RELATED TO THE XDSL MATRIX, PCAT, TECHNICAL PUBLICATIONS AND ANY OTHER DOCUMENTS RELATED TO XDSL UNTIL THE TECHINICAL PULICATION OR RELATED DOCUMENTS HAVE BEEN VETTED AND AGREED UPON.

Mark Coyne – CenturyLink agreed. He asked (10/28/11 Updates received from Integra in CAPS) IF THE DECEMBER CMP MEETING WAS APPROPRIATE FOR CLECS TO WEIGH IN ON EVERYTHING [delete FOR A REASONABLE TIME FRAME TO READDRESS THE MATRIX SINCE THE TECHNICAL PUBLICATION MATRIX WOULD HAVE TO BE CONSIDERED A PART OF THE REVIEW].

Bonnie Johnson – Integra stated that since(10/28/11 Updates received from Integra in CAPS) NOVEMBER AND December would be busy, perhaps the January 18 CMP meeting would be more logical.

Julia Redman-Carter – PAETEC stated that, provided they get the Technical Publication matrix by the first of November, they (10/28/11 Updates received from Integra in CAPS) VERY TENTATIVELY may be able to provide a response by the January meeting, but it might not be feasible due to the upcoming holidays.

Julia Redman-Carter – PAETEC stated that, provided they get the Technical Publication matrix by the first of November, (10/28/11 Updates received from PAETEC in CAPS) WE MAY TENTATIVELY [delete THEY MAY] be able to provide COMMENTS TO THE XDSL MATRIX [delete A RESPONSE] by the January meeting. PAETEC IS NOT ABLE TO COMMIT TO THAT DATE BECAUSE IT’S VERY DIFFICULT TO COORDINATE SME’S. IT MAY [delete BUT IT MIGHT] not be feasible due to the upcoming holidays.

Mark Coyne – CenturyLink asked to be able to consider the January meeting as a goal and to look at the PCAT and Tech Pub updates side by side and to provide written feedback. Mark said that he did not want to hold up the(10/28/11 Updates received from Integra in BOLD or CAPS) 95 % agreed upon updates to documentation due to [delete ONE OR TWO] A FEW issues that could not be easily agreed upon. He suggested that perhaps, if CLECs and CenturyLink could not agree upon a definition of Conditioning, perhaps it would not be included at this point in time as an interim resolution.

Bonnie Johnson – Integra stated that whether the definition of Conditioning was not included, it would still need to be addressed at some point and not ignored.

Mark Coyne – CenturyLink concurred and said not having the definition does not prevent CenturyLink providing service under the amendment.

Julia Redman-Carter – PAETEC stated that she can see moving forward with (10/28/11 Updates received from PAETEC in CAPS) SOME OF the agreed upon documentation updates but reserves the right to object or re-open ANY RELATED DOCUMENTATION if there is an issue that comes up later.

(10/28/11 Updates received from Integra in CAPS) MARK COYNE – CENTURYLINK ASKED MIKE IF THEY ADDRESSED HIS CONCERNS.

(10/28/11 Updates received from PAETEC in CAPS) MARK COYNE – CENTURYLINK ASKED MIKE MCCARTHY IF WE HAD SATISFIED HIS CONCERNS.

Mike McCarthy – Minnesota Department of Commerce said his issue had been acknowledged.

9/21/11 Product Process Monthly Meeting Mark Coyne – CenturyLink said based on email exchanges, CenturyLink had agreed to extend the review period to September 1, 2011 and that CenturyLink had received CLEC comments. Mark said those comments are currently being reviewed by SMEs to identify where CenturyLink agrees and doesn’t agree so that we can determine how to move forward.

Bonnie Johnson – Integra asked when CenturyLink expected to respond.

Mark Coyne – CenturyLink replied that without talking to the SME teams, he couldn’t provide a definite answer but thought it would be a few more weeks. He said he hoped there could be a discussion in the October meeting but couldn’t promise that.

Bonnie Johnson – Integra asked if it could be made a priority to talk about it in October.

Mark Coyne – CenturyLink said it could be put at the top of the list and hopefully the discussion can occur in October.

Julia Redman-Carter – PAETEC said if possible, she would like the information in writing before the meeting to allow time for review and discussion.

Mark Coyne – CenturyLink said (9/30/11 Updates received from PAETEC in CAPS) HE UNDERSTOOD OUR CONCERN AND THAT we would not want to provide it the day of the meeting.

8/17/11 Product Process Monthly Meeting Mark Coyne – CenturyLink said this is the CR associated with the change in process for xDSL capable loops, non-loaded and ADSL compatible loops, AKA xDSL services. As identified in the July meeting, a notification was sent on 7/22/2001 that provided the CLECs with draft documents and provided the date of 8/15/2011 for responding with comments. Mark said that based on some additional emails following the call last month regarding the 8/15 date, the date was extended to 9/1. A notification was sent on 8/15 informing all CLECs that the date had been pushed out until 9/1. Mark said once we receive those comments back on 9/1, we will work with the SME team to determine next steps. Mark also said an objection from Integra had been received which has been posted to the calendar for today’s meeting.

Bonnie Johnson – Integra said last month there was a “pat plan” to move forward but now you indicate that you will look at comments to determine next steps. Bonnie asked whether CenturyLink was now considering more calls to work collaboratively to resolve differences.

Mark Coyne – CenturyLink said that he could not commit until the SME team had time to review any comments that were received. Mark said in the July meeting, we said we (8/26/11 Updates received from Integra in CAPS) COMMITTED TO REVIEW THE CLEC COMMENT BEFORE WE would determine the next steps [delete BASED ON THE CLEC COMMENTS]. He said that the plans are to move forward with the Level 3 notice, but that we will review the comments before determining next steps.

Bonnie Johnson – Integra said thank you and that their request for a collaborative effort is an ongoing request.

Mark Coyne – CenturyLink said that we have that documented and asked if there was anything else on this CR. There was none.

7/20/11 Product Process Monthly Meeting Mark Coyne –CenturyLink (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) PROVIDED AN [Deleted RELAYED THE] update TO THE CHANGE REQUEST. [Deleted AS] CenturyLink held several ad hoc calls going through and reviewing the proposed documentation updates for this CR. Most of that time was spent reviewing TECH PUB (TP) 77384 revisions. As a result of those calls and email exchanges [Deleted CENTURYLINK HAS CAPTURED IN] two matrices WERE CREATED THAT CAPTURED [TO CAPTURE] the concerns and issues the CLECs brought forward for both the TECH PUB and the conditioning download. After further CENTURYLINK review and discussion BY CENTURYLINK about those concerns CenturyLink’s next steps WILL BE [Deleted ARE] to send a response with the two matrices detailing where CenturyLink has made the necessary revisions to address the CLECs concerns. Between the two matrices over 80% [Deleted 805] of the suggested updates by the CLECs will be included. Those responses along with the matrices will be going in the next few days. Following that CenturyLink will proceed forward with updating both the TECH PUB and the conditioning download and send out A level 3 notices. The CLECs under this approach will have two opportunities to comment on the revisions. One under the email response with the matrices and two under the formal level 3 comment cycle. We will be issuing a level 3 notice for the TP and also one for the conditioning download. We will also be issuing a level 1 notice for the process option associated with escalation #47 regarding conditioning during loop delivery and acceptance as was previously suggested by CenturyLink.

Bonnie Johnson – Integra, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED IT APPEARS CENTURYLINK IS [Deleted DEEP BREATH] sending OUT THEIR [Deleted OUT YOUR] position, CHANGING THE [Deleted CHANGE] PCAT, AND STATING THAT THE collaborative process ON THE TP, DOWNLOADS, AND PCATS THAT CENTURYLINK [DELETED IS OVER THAT YOU] committed to work through IS OVER [Deleted TP, DOWNLOAD AND PCAT} and CENTURYLINK IS [Deleted YOU’RE] going to make those changes THEY WANT whether it’s 20% or 75% over CLEC objection.

Mark Coyne – CenturyLink, (7/28/11 Updates received from Integra in CAPS) STATED THERE IS still opportunities for CLECs to submit comments.

Bonnie Johnson – Integra (7/28/11 Updates received from Integra in CAPS) STATED WE’VE BEEN THERE. THE COMMENTS ORIGINALLY went [Deleted THERE] back and forth and we asked for collaborative process where THE CLECS AND CENTURYLINK could sit down and talk about changes TO ENSURE that THE CHANGES ARE [Deleted WERE] consistent with the XDSL provisions in amendment. Integra DID [Deleted DOES] not agree with many of THE CHANGES CENTURYLINK PROPOSED.. BONNIE REITERATED THAT regardless [Deleted THOSE. REGARDLESS] of PCAT, ICA controls. CENTURYLINK INDICATED THAT YOUR [Deleted YOUR] goal was to include PROCESSES IN THE [Deleted PROCESS FOR] amendments in the PCATs. I AM[Deleted AND] really disappointed that Qwest has taken different turn and IS refusing to be collaborative on ad hoc basis or IN CMP MEETINGS [Deleted MEETING] to get language that ALL PARTIES can agree on. CENTURYLINK IS BACK [Deleted BACK] to THE approach of sending level 3 NOTICES [Deleted NOTICE] as long YOU [Deleted WE] wait appropriate time in CMP, THE changes will be made over CLEC objections.

Mark Coyne – CenturyLink, (7/28/11 Updates received from Integra in CAPS) STATED we have been collaborative in holding several ad hoc calls to discuss updates and revisions to XDSL.

Bonnie Johnson – Integra, (7/28/11 Updates received from Integra in CAPS) [Deleted DON’T] agree. WE [deleted , ] had calls and WERE half way through THE TP. WE [Deleted AND] haven’t talked about downloads or PCATs. WE ABSOLUTELY [Deleted ABSOLUTELY] don’t agree WITH CENTURYLINKS POSITION.

Mark Coyne –CenturyLink, (7/28/11 Updates received from Integra in CAPS) STATED I can note your comment. We believe we did get through TP and issues were identified. CENTURYLINK PLANS [Deleted PLAN] to send out RECOMMENDATIONS ON [Deleted RECOMMENDATION] the MATRIX, OUR response TO [Deleted WITH] all ISSUES AND RECOMMENDATIONS [Deleted RECOMMENDATION] from [Deleted CLEC FROM] the CLECS PRESENTED IN THE ad hoc meetings and what CENTURYLINK’s approach is going forward. WE WILL PROVIDE [Deleted PROVIDING] additional opportunities FOR THE CLECS to comment and we feel we have been collaborative.

Bonnie Johnson – Integra (7/28/11 Updates received from Integra in CAPS) STATED [Deleted IF] refusing to have ADDITIONAL meetings IS [Deleted YOU’RE] not being collaborative, you are unilaterally making changes that CLECs don’t agree with. We want collaborative meetings to get language we agree on in the PCATs.

Mark Coyne – CenturyLink (7/28/11 Updates received from Integra in CAPS) STATED OUR [Deleted OUR] effort has been anything but unilateral in this case. We have offered up ad hoc meetings, discussed, reviewed the changes we’ve listened to and documented CLEC concerns. We acted upon those issues and concerns and revised our documentation accordingly. I HAVE A HARD [Deleted HARD] time saying this is a unilateral change when we’ve collaborated with the CLECs.

Bonnie Johnson – Integra, (7/28/11 Updates received from Integra in CAPS) STATED THERE HAS not BEEN [Deleted HAD] one ad hoc call for download or PCATs. BACK [Deleted SENT BACK] in April, INTEGRA SENT a redline of THE download that Qwest has never responded to. WE HAVE [Deleted HAVE] asked on several occasions for response to that.

Mark Coyne – CenturyLink, (7/28/11 Updates received from Integra in CAPS) STATED yes, part of the response going out in next several days will include all those suggested changes by the CLEC on that download. It will be a matrix like the TP MATRIX. CENTURYLINK WILL [Deleted WILL] provide AN outline of changes agreed to by CenturyLink AND [Deleted TO] modify the language according to what CLECs have recommended.

Bonnie Johnson – Integra, (7/28/11 Updates received from Integra in CAPS) STATED our REQUESTS [Deleted REQUEST] for ad hoc calls and collaborative effort on the PCATs and download are ongoing.

Liz Tierney – Covad (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED CenturyLink IS only agreeing to 80% of changes, so WE ARE not quite there.. THERE NEEDS TO BE [Deleted NEED] additional discussion to make sure 100% of language is concurrent or collaborative.

Mark Coyne – CenturyLink, (7/28/11 Updates received from Integra in CAPS) STATED the 80% is what we took from the CLECs,

Liz Tierney – Covad, (7/28/11 Updates received from Integra in CAPS) SAID sorry, THERE IS STILL 20% THAT IS OPEN SO [Deleted 20%] you’re not there.

Julia Redman-Carter – PAETEC, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] THE MEETINGS WERE POSTPONED, WHILE WE WERE still working on TECH PUB AND STILL had several sections OF THAT to go through. PAETEC [Deleted WILL] temporarily AGREED [Delete AGREE] on couple of THE EARLIER points based on how LANGUAGE WAS TO BE INTEGRATED [Deleted INTEGRATE] into the LATER [Deleted DIFFERENT] sections. THE MEETINGS WERE [Deleted MEETINGS] put off and WE WERE waiting for other responses from CenturyLink before continuing calls. WE ARE CONCERNED THAT [Deleted CONCERNED] we did not get through entire piece. THIS CONCERNS [Deleted CONCERNS] me greatly because TP’s are AUTOMATICALLY INCORPORATED [Deleted INTEGRATED in our ICAs AND THIS CAN CAUSE ISSUES IF THE TECH PUB IS NOT CONSISTENT WITH THE ICA LANGUAGE. IT IS IMPORTANT [Deleted IMPORTANT] to go through ALL OF THE TECH PUB AND RELATED DOCUMENTS in an ad hoc meeting.

Mark Coyne – CenturyLink, (7/29/11 Updates received from PAETEC in italicized CAPS) SAID [Deleted STATED] we did get through TECH PUB. (7/28/11 Updates received from Integra in CAPS) THERE ARE STILL [Deleted STILL]some open items on the matrix and CENTURYLINK will be RESPONDING [Deleted RESPONDED] in the response that goes out IN THE next few days.

Susan Lorence – CenturyLink, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED THAT SHE CONFIRMED [Deleted CONFIRM] that we did get through all the items on the TECH PUB matrix.

Bonnie Johnson – Integra, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] we reviewed THE ITEMS IN TP MATRIX but did not come to consensus. Now Qwest is saying it is not going to talk about it anymore. THE CHANGES [Deleted CHANGES] will be made whether CLECS [Deleted WE] agree or not. IT DOESN’T [Deleted DOESN’T] matter if WE’VE [CENTURYLINK AND THE CLECS HAVE] been meeting for a year if THE job isn’t FINISHED [COLLABORATIVELY], THERE HAS NOT BEEN [Deleted FINISHED. NOT], [THEN IT IS NOT] a collaborative approach.

Julia Redman-Carter – PAETEC, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) [SAID] STATE I DON’T [Deleted DON’T] want to commit TO ANY CHANGES BEFORE I SEE THEM but I would like to see CENTURYLINK’S redline responses before WE MEET [Deleted MEETING] again. I AM WILLING [Deleted WILLING] to say THAT once we see what’s been incorporated and what hasn’t, WE then can narrow down THE issues AND HAVE ADDITIONAL [Deleted HAVE] ad hoc MEETINGS to address those issues. Hopefully, WE CAN focus on issues where THERE still is not CONSISTENCY [Deleted CONSISTENT].

Bonnie Johnson – Integra, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED WE WILL [SAID WE STILL] need to talk about the 20%.

Mark Coyne – CenturyLink, (7/28/11 Updates received from Integra in CAPS) STATED I hear you, AND THIS IS not a bad idea but I WILL need to confer with SME team. Let CLECs take a look at the matrices, see what points they feel are still outstanding that we cannot reach resolution on through this process then talk about next steps. I WILL DISCUSS THIS APPROACH WITH THE SME TEAM BUT I CANNOT [Deleted CANNONT] commit at this point.

Julia Redman-Carter – PAETEC, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] I AM trying to get to next step. I DON’T [Deleted DON’T] want to agree that comments will be sufficient. I DON’T [Deleted DON’T] want to stop DISCUSSIONS [Deleted DISCUSSION] or come to halt. WE NEED TO [Deleted AS LONG CAN] get information and agree on next steps. We think is premature TO STOP [Deleted OF] the collaborative process.

Mark Coyne – CenturyLink, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] I hear what you’re saying. WE PLAN [Deleted PLAN] on sending out responses and matrices in next few days.

Susan Lorence – CenturyLink, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] WE ARE putting final changes on some documents and plan to send THEM IN THE next few days. RESPONSES TO EMAIL ARE [Deleted EMAIL RESPONSE] incorporated into THE documentation. AREAS [Deleted THAT PARTS] where CLECs had concerns were reviewed and some WERE accepted and ON some CENTURYLINK is not willing to move forward on and further discussion will not change that approach. Some of THE ISSUES [Deleted THOSE] are ongoing. One is the name of the amendment, WE WENT back and forth ON THE NAME OF THE AMENDMENT and CenturyLink is not willing to make that change [PAETEC deleted AT THIS TIME] at this time. We’ve talked about it and continuing TO TALK will not make a difference. THE CLECS SHOULD SEE [Deleted SEE] what THE CENTURYLINK responses are and see what CenturyLink is willing to change and what we aren’t and then WE WILL do a check. [Deleted POINT]

Julia Redman-Carter – PAETEC, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] I AM willing to look at that. I WILL NEED AN [Deleted WOULD LIKE] explanation ON why CenturyLink IS not willing TO CONSIDER change on some of those points. AN DETAILED EXPLANATION [Deleted EXPLANATION] would help us to understand CENTURYLINK’S [Deleted THE] basis for not changing. THE EXPLANATION WILL PROVIDE [Deleted GET] a head start to keep THE PROCESS moving forward.

Susan Lorence – CenturyLink, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] WE provided THE REASONS WHY CENTURYLINK IS [Deleted WHY] not willing to make name change to the amendment. CENTURYLINK WILL REVIEW [Deleted SEE] what CLECS [Deleted WE] send back before we decide THE next steps.

Bonnie Johnson – Integra, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [ASKED] will Qwest agree not to send out level 3 notices .

Mark Coyne – CenturyLink, (7/28/11 Updates received from Integra in CAPS) ASKED until we hear back on the matrix?

Julia Redman-Carter – PAETEC, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] until we have a chance to determine what the next step is. For both of us let’s get the feedback and see what next step SHOULD [Deleted WOULD] be. If CENTURYLINK SENDS A level 3 notices NOW [Deleted ARE ALREADY GOING OUT] with A comment period NOW, THEN we’re already at your NEXT step AND THE CLEC IS NOT. [Deleted NOT] able to come back and say WE WOULD LIKE AN ad hoc MEETING ON [Deleted OR] an issue. [PAETEC offered similar language in updates]

Mark Coyne – CenturyLink, (7/29/11 Updates received from PAETEC in italicized CAPS) SAID [Deleted STATED] CenturyLink is not intending to issue level 3 notices on the heels of sending out the responses and matrices. So as long as CLECs take THE opportunity to review and provide feedback in timely fashion, we’ll take a look at that.

Bonnie Johnson – Integra, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED THAT [SAID IT WOULD BE] most appropriate and helpful. BONNEI ASKED IF CENTURYLINK would be to send OUT the redline TECH PUB AND OTHER DOCUMENTS also. Sometimes what’s in matrix and what you do IN THE TP [IN THE ACTUAL DOCUMENTS] don’t coincide WITHOUT [Deleted .WITHOUT] [IT IS HARD TO TELL WITH JUST] a level 3 notice just attaching [ATTACHED] to the email.

Mark Coyne – CenturyLink, (7/28/11 Updates received from Integra in CAPS) SAID we can look at that and provide that.

Susan Lorence – CenturyLink, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] that was the intent that the matrices would go OUT as well as the redlines.

Mark Coyne – CenturyLink, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] I knew that FOR [Deleted ON] the TECH PUB. Are we also doing that on the conditioning download as well?

Susan Lorence –CenturyLink, (7/28/11 Updates received from Integra in CAPS) SAID yes

Mark Coyne – CenturyLink, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] you will get the redline version of both of those documents with the matrices.

Bonnie Johnson – Integra, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) ASKED what about the PCATs? There are 3 PCATs, the Unbundled Loop General , THE ADSL and the 2-Wire Non-Loaded [UNLOADED] Loop.

Mark Coyne – CenturyLink, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] our CR is not calling for changes to those PCATs. WE ARE only CHANGING the conditioning download.

Bonnie Johnson – Integra, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] we believe there are inaccuracies in the PCATs also. Is your intent to leave THE INNACURACIES IN those 3 PCATs [Deleted AS THEY ARE TODAY) ?

Susan Lorence – CenturyLink, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) SAID those [3 PCATs] are not changing. It’s the JUST THE conditioning download and the TECH PUB THAT ARE CHANGING.

Mark Coyne – CenturyLink, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] that’s true as of today.

Julia Redman-Carter – PAETEC, (7/29/11 Updates received from PAETEC in italicized CAPS) ASKED what’s a reasonable time to respond?

Susan Lorence – CenturyLink, (7/29/11 Updates received from PAETEC in italicized CAPS) ASKED what would think is reasonable?

Bonnie Johnson – Integra, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED THAT considering [SAID THE SAME] amount of time Qwest has taken to respond TO THE CONDITIONING DOWNLOAD WE SENT IN APRIL, BUT we don’t need that much time. BUT I AM [Deleted BUT I’M] on vacation for week and a half.

Julia Redman-Carter – PAETEC, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED I AM [SAID I HAVE][Deleted ON] on vacation as well. THIS IS SOMETHING [Deleted SOMETHING] that takes FOLKS a couple of WEEKS TO WORK ON, ADD [Deleted WEEKS. ADD] vacation TIME in and we’re looking at 3-4 weeks AT LEAST.

Bonnie Johnson – Integra, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] that’s where I was going also.

Mark Coyne – CenturyLink, (7/28/11 Updates received from Integra in CAPS) ASKED is 3 weeks the right number? 21 calendar days?

Julia Redman-Carter – PAETEC, (7/28/11 Updates received from Integra in CAPS) ASKED so you’re looking at the 12th of August?

Bonnie Johnson – Integra, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) RESPONDED IT IS [SAID] actually the 15th.

Julia Redman-Carter – PAETEC, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] that WOULD [Deleted WILL] work BETTER SINCE it gives me the weekend.

Mark Coyne – CenturyLink, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] based on responses we’ll determine next steps

Bonnie Johnson – Integra, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED SHE [SAID] HAD [A] ONE final point that regardless of what’s in the documentation if IT IS not consistent with amendment then THE amendment controls. If Qwest is training process off documentation THAT IS and not consistent WITH THE AMENDMENT, THEN OUR AMENDMENT CONTROLS.

Mark Coyne – CenturyLink, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] THE amendment controls in that situation.

Julia Redman-Carter – PAETEC, (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] THE TP IS IN OUR ICAS AND THE concern is if TECH PUB IS not consistent with amendment, that’s where concern AND ISSUES comes in. TECH PUB is a big deal.

Mark Coyne – CenturyLink, (7/28/11 Updates received from Integra in CAPS) ASKED IF THERE WERE any final comments or questions on that CR?

No additional comments.

6/15/11 Product Process Monthly Meeting Mark Coyne – Qwest said that there had been a number of Ad hoc meetings and the next meeting is June 23. Mark said the documentation had been posted to the calendar and that the hope was to complete the review of the Tech Pub on June 23.

Karen Clauson – Integra questioned whether Qwest had completed their action items from the last call.

Susan Lorence – Qwest said yes, the SME team had completed a review of the Tech Pub updates and that the calendar included an agenda, the updated matrix and Tech Pub chapters.

Karen Clauson – Integra said there were action items that may not have been on the matrix and asked where that information was.

Susan Lorence – Qwest said that was included under Row 0 on the matrix.

Mark Coyne – Qwest asked if there were any more questions and there was none.

5/18/11 Product Process Monthly Meeting Mark Coyne – Qwest relayed there had been multiple ad hoc meetings on the Tech Pub updates and that the minutes from the last Ad hoc on May 11, 2011 were due today but that Qwest was requesting an extension to Monday 5/23 in exchange for allowing the CLECs extra time to comment.

Bonnie Johnson – Integra said she would be on vacation the next week. She said the problem is preparing for the Ad hoc and not have the meeting minutes from the last meeting. She asked when the documentation for the next meeting would be available.

It was determined that based on the upcoming holiday and various folks being on vacation and returning from vacation, the June 2 Tech Pub meeting would be moved to the first full week of June and that the related documentation would be out the week before to allow time for CLEC review. Qwest would send a notice to identify the change in the Ad hoc meeting date.

5/11/11 Ad hoc Meeting ORIGINAL ENTRY Pending updates of CLEC redlines in a format that is retainable in the CR database. In the interim, refer to Wholesale calendar at http://wholesalecalendar.qwestapps.com/detail/323/2011-05-11 for Qwest draft and CLEC combined redlined meeting minutes.

5/11/11 Ad hoc Meeting Attendees: Brandy Walton – RIO Networks, Julia Redman Carter- PAETEC, Mike McCarthy -Minnesota Department of Commerce, Bruce Linscheid - Minnesota Department of Commerce, Andy Bahn - Minnesota Department of Commerce, Greg Doyle -Minnesota Department of Commerce, Brenda Bloemke-Comcast, Bonnie Johnson-Integra, Doug Denney-Integra, Karen Clauson-Integra, Joyce Pederson - Integra, Kim Isaacs – Integra, Karrie Willis – POPP, Adam King – KTF Telecom, Carrie Lorenz – tw telecom; Evette Hendricks – cbeyond, Nicole Colvin – cbeyond, Mark Masi – cbeyond, Tony Insinga – cbeyond, Mitch Moore-Oregon PUC, Cindy Orenstein – Qwest, Jeff Farra – Qwest, Jamal Boudhaouia-Qwest, Rita Urevig – Qwest, Bob Mohr-Qwest, Linda Harmon-Qwest, Mark Coyne-Qwest, Mark Nickell – Qwest, John Hansen-Qwest, Carolyn Hammack-Qwest, Susan Lorence-Qwest

Susan Lorence - Qwest reviewed the agenda for the call; Spectrum Management would be the focus followed by a review of the document for consistency. She said due to the full agenda, the review of the Conditioning Download would be held for the Face to Face CMP meeting on May 18, 2011.

Bonnie Johnson - Integra questioned if the Qwest redline of the Integra proposed updates to the Conditioning Download would be received prior the meeting. Bonnie said the response is needed to allow time to review before any discussion occurs.

(6/2/12 Updates received from Integra in CAPS) SUSAN LORENCE – QWEST INDICATED THAT QWEST WILL REGROUP AND TRY TO HAVE THE RESPONSE BY THE END OF THE WEEK AND WILL CONFIRM VIA EMAIL.

(6/2/12 Updates received from Integra in CAPS) BONNIE JOHNSON – INTEGRA ASKED BY FRIDAY YOU WILL LET ME KNOW? SHE SAID WE WILL NEED THE RESPONSE PRIOR TO MEETING IF WE ARE GOING TO DISCUSS ON THE MAY 18TH CMP CALL.

(6/2/12 UPDATES RECEIVED FROM INTEGRA IN CAPS) SUSAN LORENCE – QWEST SAID YES.

(6/2/12 Updates received from Integra in CAPS) BONNIE JOHNSON – INTEGRA ASKED QWEST IF THE INTEGRA’S 5/11/11 MATRIX WAS POSTED.

(6/2/12 Updates received from Integra in CAPS) SUSAN LORENCE – QWEST SAID YES.

Jamal Boudhaouia-Qwest proposed the discussion continue by reviewing the matrix line by line.

Karen Clauson-Integra referred everyone to the posted matrix from Integra dated 5-11-11 (6/2/12 Updates received from Integra in CAPS) INDICATING THAT THE ROW NUMBERS WERE ADDED FOR EASE OF REFERENCE and said Spectrum Management was added as Row 0 in the matrix but it is also addressed in rows 14 and 33. Karen said Spectrum Management is addressed in Section 9.2.6.10 of the xDSL Services Amendment and IT STATES PARTIES AGREE TO FOLLOW THE ACT AND THE AMENDMENT, WHICH REQUIRES QWEST TO TAKE THE NCI CODE INTO ACCOUNT. KAREN said THAT, in the last meeting, Mike McCarthy of the Minnesota Department of Commerce (MN DOC) had referred to the T1 417 document in Section 3.1.45 to provide a definition OF SPECTRUM MANAGEMENT. Karen suggested the Spectrum Management definition be included in a new Section 1.8 and then it can be referred to in later sections of the Tech Pub. Karen said there are references to T1 417 in customers’ ICAs and it is referenced in 9.2.6.1 of the template and the Eschelon contract. Karen read the proposed Integra definition in the matrix and referred to the two sentences added by Integra and the related footnote. (See Integra 5-11-11 matrix Row 0 and footnote 3 for details of Integra proposed Section 1.8, Title, and Section references available at http://wholesalecalendar.qwestapps.com/detail/323/2011-05-11.)

Jamal Boudhaouia-Qwest proposed that the industry standard (6/2/12 Updates received from Integra in BOLD) T1 417 definition provided by Mike McCarthy-MN DOC be included in the General Section 1.7 as the guiding principal for other Tech Pub sections and said he thought that would be cleaner (6/2/12 Updates received from Integra in CAPS) AND SECTION 6 COULD BE MORE GRANULAR. JAMAL INDICATED QWEST WOULD LIKE TO LEAVE THE GENERAL SECTION DEFINITIONS AS THEY ARE.

(6/2/12 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA SAID, UNDER THAT THOUGHT, WHERE WOULD THE REMAINDER OF INTEGRA’S PROPOSED LANGUAGE GO? ARE YOU SUGGESTING 6.1 GENERAL SECTION?

(6/2/12 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST [delete JAMAL SUGGESTED] SAID YES, AFTER A SENTENCE IN SECTION 6.1, BUT the additional Integra [delete DEFINITIONS] DEFINITION WOULD be included in the Definition section of the General Section. Jamal suggested the second sentence of the Integra proposed language be included in Section 6.1 and would be updated to include the additional wording that Integra proposed.

Karen Clauson-Integra said (6/2/12 Updates received from Integra in CAPS) IT WAS INTERESTING THAT YOU WOULD POINT TO THAT SENTENCE BECAUSE, on Row 20 of the matrix, Qwest agreed on April 20, 2011 to delete two paragraphs that included the wording “QWEST RESERVES THE RIGHT TO MAKE SOME CABLES UNAVAILABLE …but remotely possible …NOTIFIED,” but they are still in the redlined document.

(6/2/12 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA-QWEST SAID ONE THING AT A TIME.

(6/2/12 Updates received from Integra in CAPS) KAREN CLAUSON-INTEGRA SAID QWEST AGREED TO REMOVE IT.

Jamal Boudhaouia-Qwest said if we agreed to remove it then we will remove it.

Karen Clauson-Integra confirmed the proposal: The heading and first sentence of (6/2/12 Updates received from Integra in CAPS) THE INDENTED LANGUAGE in Row 0 of the matrix would be placed in Section 1.7 of the Tech Pub. The next two sentences would move to Section 6.1 before the bullets. [delete KAREN SAID THE INTENT IS TO REFLECT THE AMENDMENT AND REFERRED TO OTHER SECTION HEADINGS.]

Jamal Boudhaouia-Qwest said (6/2/12 Updates received from Integra in CAPS) YES. JAMAL SAID he did not want to modify the T1 417 language but wanted to keep it exactly like the standard to say just “Spectrum Management”. Jamal said he was OK with modifying like Karen suggested but said it is not to the customers’ benefit to make it specific to “xDSL Capable Loop”. [delete JAMAL SAID IF HE HAD A T1 AMI SIGNAL, IT WOULD INTERFERE WITH OTHER BINDER GROUPS WHICH IS WHY HE IS SUGGESTING TO LEAVE IT AS IN THE STANDARD AS SPECTRUM MANAGEMENT. ]

(6/2/12 Updates received from Integra in CAPS) KAREN CLAUSON-INTEGRA SAID THE INTENT IS TO REFLECT THE AMENDMENT AND REFERRED TO OTHER SECTION HEADINGS. THIS WOULD BE IN 1.7, AND THERE IS A HEADING IN 3.1.45 AND THEN IT IS CONSISTENT WITH THE FORMAT OF THE DOCUMENT.

(6/2/12 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID THEN THERE IS AGREEMENT THE DEFINITION IS IN 1.7.

(6/2/12 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA SAID YES LOOK AT 3.`1.45 AND IT SHOULD BE FORMATTED JUST LIKE THAT.

(6/2/12 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST Jamal said if he had a T1 AMI signal, it would interfere with other binder groups, which is why he is suggesting to leave it as in the standard as Spectrum Management. Karen Clauson-Integra said that clarification was helpful and (6/2/12 Updates received from Integra in CAPS) [delete AGREED] SAID FOR THE HEADING to JUST SAY [delete LEAVE IT AS] 1.7 Spectrum Management, AND SHE ASKED IF THAT WOULD ADDRESS CONCERNS. Karen said Qwest relayed the purpose of the Tech pub changes was to reflect the contract.

Jamal Boudhaouia-Qwest said he wanted to leave the definition as it was in the standard so it covers all technology and that is as it is defined in T1 417. Jamal asked Mike McCarthy if that was the intent.

Mike McCarthy – MN DOC said yes.

Karen Clauson-Integra confirmed the proposal again on how to deal with (6/2/12 Updates received from Integra in CAPS) THE INDENTED LANGUAGE IN Row 0: The title would be Spectrum Management, and IT AND the first sentence would be placed in Section 1.7 of the Tech Pub. The next two sentences would move to Section 6.1 before the bullets. Karen said the group needed to talk about where the NC/NCI codes would go and asked what was the proposal for [delete THE] footnote 3 IN THE MATRIX.

Jamal Boudhaouia – Qwest (6/2/12 Updates received from Integra in CAPS) AGREED THAT [delete SAID] the NC/NCI information DESCRIBED IN FOOTNOTE 3 would go in the Tech Pub,[delete AND] BUT that he needed to find a place for them.

(6/2/12 Updates received from Integra in CAPS) KAREN CLAUSON-INTEGRA CONFIRMED IT IS AGREED TO INCLUDE THE INFORMATION BUT WE WILL NEED TO DECIDE ON PLACEMENT.

(6/2/12 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID ABSOLUTELY.

(6/2/12 Updates received from Integra in CAPS) There was agreement to place (6/2/12 Updates received from Integra in CAPS) THE PLACEMENT OF THE AMENDMENT LANGUAGE DESCRIBED IN [delete THE] footnote 3 [delete LANGUAGE] (SECTION 9.2.2.3.5.5 OF THE AMENDMENT) on HOLD until a place was found for it.

Karen Clauson-Integra said (6/2/12 Updates received from Integra in CAPS) THAT, on the last Ad hoc call, Mike McCarthy – MN DOC wanted to discuss the definition.

Mike McCarthy – MN DOC said (6/2/12 Updates received from Integra in CAPS) HE WANTED TO MAKE SURE THE PARTIES WERE USING THAT DEFINITION. HE SAID he thought the group was going where it needed to go and that the goal was for all parties to have their signal transmitted reliably and that there was reciprocity. HE SAID THAT SO FAR THE DEFINITION DOES THAT. Mike said NOW, AS WE MOVE FORWARD, the group needed to insure how Spectrum Management comported with Clause 5 of T1 417. HE SAID WE HAD TO BE SURE WE ARE USING SPECTRUM MANAGEMENT CLASSES AS THEY RELATE TO CLAUSE 5.

(6/2/12 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA-QWEST SAID HE AGREED.

(6/2/12 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA ASKED JAMAL IF HE AGREED WITH MIKE’S DESCRIPTION OF THE DEFINITION.

(6/2/12 Updates received from Integra in CAPS) ) JAMAL BOUDHAOUIA -Qwest SAID YES, I AM TAKING IT WORD FOR WORD.

(6/2/12 Updates received from Integra in CAPS) KAREN CLAUSON–INTEGRA SAID MIKE STATED THAT SIGNALS TRANSMIT RELIABLY, DO YOU AGREE?

Jamal Boudhaouia-Qwest (6/2/12 Updates received from Integra in CAPS) AGREED AND asked MIKE what reciprocity meant.

Mike McCarthy – MN DOC said (6/2/12 Updates received from Integra in CAPS) THE INTENT OF THE DEFINITION, AS I UNDERSTAND IT, IS there are multiple wire pairs and multiple companies using them – QWEST AND OTHERS. THE INTENT OF THE DEFINITION OF Spectrum management means that, IF IT IS JUST THE TWO OF US AND 2 WIRE PAIRS, QWEST WILL MANAGE the signals [delete WOULD BE MANAGED] so MY SIGNAL WILL NOT MESS WITH YOURS AND YOUR SIGNAL WILL NOT MESS WITH MINE. [delete AS NOT TO MESS EACH OTHER’S SIGNALS UP] THERE IS AN INTENT THAT EVEYONE’S SIGNAL TRANSMITS [delete AND THAT ALL SIGNALS TRANSMITTED] reliably for both to have success.

Jamal Boudhaouia-Qwest said as long as the equipment hooked up to the wires from both sides meets the standards in T1 417, he had no issues.

Mike McCarthy - MN DOC said (6/2/12 Updates received from Integra in CAPS) THAT IS WHERE WE HOPE TO START, WITH AN UNDERSTANDING THAT ALL PARTIES HAVE RESPONSIBILITIES AND the goal is to insure all parties clearly understand their responsibilities.

Jamal Boudhaouia – Qwest said absolutely. (6/2/12 Updates received from Integra in CAPS) HE SAID, IF WE’RE IN AN OCEAN AND CAN’T SWIM, WE’LL ALL DROWN and that all parties need to adhere to certain processes. Jamal said he would put the definition in Section 1.7 to match T1 417. JAMAL ASKED KAREN IF WE HAVE AGREEMENT.

(6/2/12 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA SAID THAT, IF THAT IS AS WE DISCUSSED IN 1.7, AND KAREN READ THE INTEGRA-PROPOSED DEFINITION, THEN YES.

(6/2/12 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID YES.

(6/2/12 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA SAID WE HAVE MORE QUESTIONS, BUT IT HELPFUL TO START WITH THE DEFINITION.

Mike McCarthy - MN DOC (6/2/12 Updates received from Integra in CAPS) SAID THAT THE INTENT IS FOR THIS TO BE A STARTING POINT.[delete AND KAREN CLAUSON - INTEGRA BOTH AGREED.]

Julia Redman Carter- PAETEC said she agreed with the definition and proposal but wanted to (6/2/12 Updates received from PAETEC in CAPS) [delete CLARIFY] RESERVE THE POSSIBILITY that there may be a need to revisit it depending on the language AND WHERE IT WAS INSERTED in Section 6.1.

NOTE: DUPLICATE PARAGRAPH WITH 6/2/12 Updates received from Integra in CAPS) Julia Redman Carter- PAETEC said she agreed with the definition and proposal TO MOVE THE SECOND PART AND THE FOOTNOTE INFORMATION TO 6.1 AS AN EARLY AGREEMENT. SHE SAID SHE [delete BUT] wanted to clarify that there may be a need to revisit it depending on HOW the language in Section 6.1 LOOKS. JULIA SAID THAT SHE WANTED TO RESERVE HER RIGHT TO REVISIT THIS IN THE FUTURE.

Susan Lorence - Qwest said it sounded like there was agreement on wording in Section 1.7 and everyone was OK to move forward. (6/2/12 Updates received from Integra in CAPS) SUSAN ASKED WHAT OTHER QUESTIONS INTEGRA HAS.

Karen Clauson-Integra said (6/2/12 Updates received from Integra in CAPS) WE WILL START OFF, AND THE OTHER CLECS CAN JOIN IN THEY HAVE QUESTIONS. The Integra questions are addressed in Rows 0, 14 and 33. ONE OF OUR QUESTIONS IS THE BIG PICTURE QUESTION: WHERE IS QWEST GOING WITH THE LANGUAGE? On Row 33, IN SECTION 6.5, QWEST SAID: “QWEST CANNOT ENSURE THAT TYPICAL ADSL INTERFERING SIGNALS, E.G., T1 REPEATERED LINES OR BRI ISND LINES ARE NOT OR WILL NOT BE IN THE SAME OR ADJACENT CABLE BINDER GROUPS AS AN ADSL LOOP.” QWEST PROPOSED TO TAKE OUT “OR WILL NOT BE.” Karen asked ABOUT THE DIFFERENCE BETWEEN WHAT HAS BEEN IN THE PAST AND WHAT WILL BE GOING FORWARD . SHE ASKED that Jamal walk through the changes that will be different going forward with Spectrum Management. SHE SAID THERE SHOULD NOT BE [delete AND TO INSURE THERE IS NO] discrimination against any [delete ONE] carrier.

Jamal Boudhaouia-Qwest (6/2/12 Updates received from Integra in CAPS) SAID THAT, [delete REVIEWED WHAT HAS OCCURRED] in the past, [delete FOR] for any CLEC that had requested unbundled loop and Qwest correctly identified the NC/NCI, if there was interference, Qwest would always take care of any problems, including BINDER GROUP SEPARATION reinforcing a section of cable, or IN SOME CASES EVEN Putting new cable in the ground. HE SAID THAT QWEST DOES EVERYTHING POSSIBLE TO ENSURE CLEC SERVICES KEEP RUNNING IF THERE IS AN INTERFERENCE ISSUE. Jamal said THAT WHAT QWEST IS TRYING TO SAY HERE IS THAT, IF THERE ARE SERVICES RUNNING today, WHEN LFACS PICKS A LOOP BASED ON NC/NCI CODE, LFACs does not see in the binder group, and when the technicianS [delete GOES TO] GO IN the field, they may assign a different cable if they see there is interference DURING INSTALLATION. If there is interference AT A later DATE, LIKE T1’S RUNNING IN THE SAME BINDER GROUP AND, ESPECIALLY WHEN A REMOTE TERMINAL - DSLAM –IS DEPLOYED, QWEST WILL REINFORCE THE CABLE OR Qwest looks for a different pair IN A NEW BINDER GROUP. Jamal said the process has not changed since 2000 or before. When Qwest struck “or will not be..”, Qwest always took care of the problem. Going forward, the process of Spectrum Management will take into consideration that fact that Qwest has deployed remote DSLAM in the network, T1 AMI WILL NOT BE IN THE BINDER GROUP WITH XDSL CO BASED DSL CAN RUN IN THE SAME BINDER GROUP.

(6/2/12 Updates received from Integra in CAPS) KAREN CLAUSON-INTEGRA SAID THERE ARE QUESTIONS BUT NOT SURE IF THAT WAS DONE.

Julia Redman Carter- PAETEC questioned how is that different, and why (6/2/12 Updates received from Integra in CAPS) [delete IS] “or will not be” IS being deleted. WHAT IS DIFFERENT?

Jamal Boudhaouia-Qwest said there were not a lot of (6/2/12 Updates received from Integra in CAPS) REMOTE TERMINAL (RT) deployments previously but, as Qwest has deployed fiber to the node AND MORE REMOTE TERMINALS, there was more chance of spectrum management issues within the cross box. AS THERE IS MORE AND MORE RT-BASED DEPLOYMENT, WE ANTICIPATE MORE SPECTRUM MANAGEMENT ISSUES. IN ANTICIPATION OF THOSE ISSUES, Qwest [delete TRIED] TRIES to ACTIVELY segregate signals within one or two binder groups running from the CO. [delete JAMAL SAID THE DESCRIPTION WAS SENT IN CLAUSE 5 AND IT WAS IDENTIFIED AND WAS POSTED TO THE WHOLESALE CALENDAR FOR THE MEETING.]

(6/2/12 Updates received from Integra in CAPS) JULIA REDMAN CARTER – PAETEC SAID I UNDERSTAND THE DESCRIPTION.

(6/2/12 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA - QWEST SAID SUSAN SENT THE CLAUSE 5 DESCRIPTION REFERRED TO, AND IT WAS POSTED TO THE WHOLESALE CALENDAR FOR THE MEETING.

Julia Redman Carter- PAETEC said she (6/2/12 Updates received from PAETEC in CAPS) STILL did not understand HOW THE EXPLANATION APPLIES TO the PROPOSED deletion of “or will not be.” BUT THE CONVERSATION COULD MOVE ON AND SHE WOULD SEE IF IT MADE BETTER SENSE LATER.

Karen Clauson-Integra said (6/2/12 Updates received from Integra in CAPS) THAT, in earlier statements by Qwest, they were told BY QWEST REPEATEDLY that the NC/NCI codes were informational only and that Qwest did not load the NC/NCI CODES (AND SHE REFERRED TO FOOTNOTE 7 TO MATRIX ROW 14) but only looked at the NC code AND DID NOT LOOK AT WHAT THE CLEC DEPLOYED. Karen referred to Row 14 and said she understood that THE AMENDMENT SOLVED THAT AND, with the Amendment, [delete THAT] Qwest will use both the NC and NCI code to understand the protocol options and will look at the flavors of DSL. Karen said THAT, IN THE PAST, QWEST DID NOT USE THEM IN THE SAME MANNER AS IT WILL GOING FORWARD AND, SINCE QWEST DID NOT DO THAT, THERE MAY BE SOME CASES WHERE THE SERVICES ARE ARRANGED IN A DIFFERENT MANNER. [delete the] The difference is in the way they are looked at in the past vs. in the future, going from reactive to proactive SPECTRUM MANAGEMENT.

Jamal Boudhaouia-Qwest said he wanted to be clear and wanted to put it to rest that Qwest will take into account the NC/NCI in its entirety(6/2/12 Updates received from Integra in CAPS) INCLUDING THE PROTOCOL OPTIONS that is provided to Qwest in INSTALLING, provisioning, and managing spectrum management processes. Jamal said CLECS PROVIDED QWEST THE CODES THROUGH IMA OR OTHER MEANS, AND the information was retained IN THE SYSTEM in the past but not used FOR PROVISIONING downstream. In the future, Qwest will use THEM. IN ADDITION, FOR SPECTRUM MANAGEMENT, WE WILL USE IT IN ITS ENTIRETY TO FIGURE OUT WHAT PROTOCOLS – FLAVOR – OF SPECTRUM MANAGEMENT CLASS IS RUNNING ON THE COPPER PLANT. GOING FORWARD – “OR WILL NOT BE” – THE PROCESS WILL TAKE INTO ACCOUNT the entirety of the NC/NCI codes WHEN ASSIGNING LOOPS [delete TO DETERMINE WHAT IS RUNNING IN THAT COPPER PLANT].. Julia Redman Carter- PAETEC said she had a concern that it is not just (6/2/12 Updates received from PAETEC in CAPS) FOR provisioning and that it would also be used in [delete A] repair situationS for the embedded base CONSISTENT WITH THE XDSL AMENDMENT. [delete AND] SHE ALSO CLARIFIED that [delete IT HAD] THIS HAS been a problem since 2007.

NOTE: DUPLICATE PARAGRAPH WITH 6/2/12 Updates received from Integra in CAPS)Julia Redman Carter- PAETEC said THAT SOUNDS GREAT BUT YOU SAID WHEN WE PROVISION LOOPS. SHE ASKED, WHAT ABOUT REPAIR? [delete she]She EXPRESSED [delete HAD] a concern that it is not just provisioning and that it would also be used in a repair situation for the embedded base SO THEY ARE CORRECTED, and that THIS [delete IT] had been a problem THAT PAETEC HAS BEEN REPORTING TO QWEST since 2007.

Jamal Boudhaouia-Qwest said (6/2/12 Updates received from Integra in CAPS) THAT, FOR REPAIR AS WELL, QWEST WILL TAKE INTO ACCOUNT THE NC/NCI CODES. HE SAID THAT THERE MAY BE [delete IT IS ALSO REPAIR THAT IS] a spectrum management issue and that THE KEY IS TO [delete ALL WOULD] agree that it is the NC/NCI in its entirety OF THE SPECTRUM MANAGEMENT CLASS, FOR QWEST OR CLEC, FOR COPPER that is critical for provisioning, maintenance and repair.

(6/2/12 Updates received from Integra in CAPS) [delete KAREN CLAUSON-INTEGRA PROVIDED A REPAIR EXAMPLE THAT WAS PRIOR TO WHEN QWEST SAID IT WAS USING THE FULL NC/NCI CODE IN ITS ENTIRETY.]

(6/2/12 Updates received from Integra in CAPS) KAREN CLAUSON-INTEGRA ASKED ABOUT THE EXAMPLE INTEGRA PROVIDED ON PAGES 22-23 OF THE MATRIX ROW 33. SHE ASKED ABOUT A REPAIR EXAMPLE WHEN THERE IS INTERFERENCE ON A LOOP THAT WAS INSTALLED 2 YEARS AGO, BEFORE THE AMENDMENT, WHEN QWEST INDICATED THE NCI CODES WERE ONLY INFORMATIONAL. WILL THERE BE TIMES WHEN QWEST WILL INDICATE THAT THERE IS NO BINDER GROUP AVAILABLE FOR THE EMBEDDED BASE CIRCUITS?

Jamal Boudhaouia-Qwest said again, on the embedded base, in the past, issues have been taken care of to keep the customer going. If (6/2/12 Updates received from PAETEC in CAPS) [delete QWEST DETERMINES] there was an interference issue (6/2/12 Updates received from Integra in CAPS) BASED ON BINDER GROUP AND CABLE LOOP PLANT, then Qwest would look at the NC/NCI code in its entirety, even FOR THE EMBEDDED BASE AND EVEN when Qwest said in the past that it was informational only. JAMAL SAID QWEST WOULD LOOK AT IT; THE CODES ARE PROVIDED TO QWEST. Jamal said that is how they KNEW THE CODE WAS NOT THE RIGHT ONE AND identified problems in PAETEC.

Karen Clauson - Integra (6/2/12 Updates received from Integra in CAPS) ASKED WHETHER THE ANSWER TO HER QUESTION WAS NO (THERE WILL NOT BE TIMES WHEN QWEST WILL INDICATE THAT THERE IS NO BINDER GROUP AVAILABLE FOR THE EMBEDDED BASE). SHE requested confirmation that NC/NCI codes would not be TREATED AS informational ONLY going forward and that, for the embedded base, Qwest would make it work TO WHAT WAS DEPLOYED.

Jamal Boudhaouia-Qwest said yes, (6/2/12 Updates received from Integra in CAPS) IF IT HAS BEEN WORKING, WE WILL MAKE IT WORK GOING FORWARD. HE [delete BUT] said there may be the situation when the binder group separation was not working, that Qwest has fixed the problem in the past, AND THAT QWEST WILL REINFORCE CABLE OR PLOW THE GROUND AND PUT DOWN NEW CABLE.

Julia Redman Carter- PAETEC questioned what would happen if there is no binder group available and that reinforcing the ground cable would not fix it, what would happen (6/2/12 Updates received from Integra in CAPS) TO MY LINE.

Jamal Boudhaouia – Qwest said that, for the embedded base in the past, it would always be taken care of, including reinforcing the cable, and that is true going forward. Jamal said, for new installs, there may be instances (6/2/12 Updates received from Integra in CAPS) [delete WHERE THERE IS NO PLANT AVAILABLE] WHEN NO LOOPS MEET REQUIREMENTS. WHEN NO PLANT IS AVAILABLE, The customer has options – CRUNEC or cancel the order. QWEST WILL DO EVERYTHING IT CAN TO KEEP THE EMBEDDED BASE WORKING.

Julia Redman Carter- PAETEC (6/2/12 Updates received from Integra in CAPS) [delete CONFIRMED] ASKED, if there is no binder group available on an embedded base, Qwest will reinforce the cable AT QWEST’S COST but, on new customers, the option is to cancel the order or pay?

(6/2/12 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID YES.

(6/2/12 Updates received from Integra in CAPS) JULIA REDMAN CARTER- PAETEC ASKED - FOR NEW?

(6/2/12 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID IT IS THE EXISTING PROCESSES.

(6/2/12 Updates received from Integra in CAPS) Karen Clauson-Integra questioned what it means GOING FORWARD IF [delete WHEN] no binder group separation [delete WOULD BE] IS available?

(6/2/12 Updates received from Integra in CAPS) Jamal Boudhaouia-Qwest said what he meant was that, IF Qwest cannot find a pair THAT WOULD MEET NC/NCIS, EVEN IF QWEST MOVED OR REARRANGED TO GET A PAIR, THERE IS NO WAY OF PUTTING DIFFERENT SERVICES IN DIFFERENT BINDER GROUPS AND, based on binder group separation, QWEST [delete AND] would rearrange the cable if no pair was available.

(6/2/12 Updates received from Integra in CAPS) Karen Clauson-Integra referred to MATRIX Row 33 and the cited the Federal rule REGARDING KNOWN DISTURBERS and SAID THEY ARE TRYING TO FIGURE OUT HOW THIS FITS AND HOW QWEST COULD REARRANGE TO MAKE THE SERVICE AVAILABLE BECAUSE QWEST said that Qwest will look to make a loop available.

(6/2/12 Updates received from Integra in CAPS) Jamal Boudhaouia-Qwest said there is no reservation of ANY binder groups FOR ANY TYPE OF SERVICE IN FUTURE.[delete OR FACILITIES FOR ANYONE GOING FORWARD.]

(6/2/12 Updates received from Integra in CAPS) Karen Clauson-Integra REFERRED TO JAMAL’S REFERENCE TO LFACS AND said THAT, in the Facility Assignment process, the [delete CUSTOMER] CLEC does not know what binder group they are in, and SHE referenced the MATRIX Row 0 [delete FOOTER] FOOTNOTE 4. Karen said AT&T gives the information about [delete INTERFERENCE] INTERFERERS IN THE LOOP QUALIFICATION, and CLECs can see the information. [delete AND] She said Carriers would be better able to make decisions on what to do. SHE SAID THERE ARE FCC RULES REGARDING SHARING INFORMATION, AND THE ILEC MUST PROVIDE ON THE NUMBER OF LOOPS USING ADVANCED SERVICES WITHIN THE BINDER AND THE TYPE OF TECHNOLOGY DEPLOYED ON THOSE LOOPS. KAREN SAID IT DOES SEEM THAT, IF THAT INFORMATION WAS AVAILABLE, THAT QWEST COULD FIGURE OUT WHAT TO DO and [delete WONDERED] ASKED how Qwest [delete WOULD MAKE] MAKES that information available.

(6/2/12 Updates received from Integra in CAPS) Jamal Boudhaouia-Qwest said LFACs does not have the information available today via IMA or the download process. JAMAL SAID IT DOES TELL YOU IF THERE IS A DSLAM. IF THERE IS A SPECTRUM MANAGEMENT ISSUE, TO FIND OUT WHAT IS RUNNING, QWEST CAN CHECK TO ID THAT, IN MOST CASES, BECAUSE OF REMOTE DSL DEPLOYMENT, TELLS YOU THAT INFORMATION – ALL OF THE SERVICES RUNNING ON THE BINDER GROUP. Jamal said he would check to see how to make that information is made available to the CLECs to identify all of the advanced services that are running on a binder group.

(6/2/12 Updates received from Integra in CAPS) Karen Clauson-Integra said, IF YOU COULD TAKE THAT BACK, that would be good as [delete SHE THOUGHT THE] CLECs have a right to KNOW WHAT PROCESS TO USE TO ACCESS that information as to what is running on a particular binder group. She said she did not know if Qwest is investigating whether to put that information IN RAW LOOP DATA [delete ON LOOP MAKEUP] .

(6/2/12 Updates received from Integra in CAPS) Jamal Boudhaouia-Qwest said he would but that there may be an issue with CONFIDENTIAL INFORMATION, BUT COULD NOT THINK OF THE NAME (LATER SAID Carrier Identification information).

(6/2/12 Updates received from Integra in CAPS) Karen Clauson-Integra suggested JAMAL [delete IT] may be REFERRING TO [delete A] CPNI,[delete ISSUE] and that providing the information [delete WOULD] MAY have to occur in a method that could not be identified [delete TO THE] BY SPECIFIC CARRIER [delete CARRIERS].

(6/2/12 Updates received from Integra in CAPS) Kim Isaacs – Integra said that, since LFACs does not have the information about disturbers or interferers when assigning xDSL facilities, IS QWEST MAKING ASSUMPTIONS ABOUT THE NUMBER OF INTERFERORS OR DISTURBERS, SUCH AS IN EML, BECAUSE somewhere assumptions have to be made.

(6/2/12 Updates received from Integra in CAPS) Jamal Boudhaouia-Qwest said THAT, in the assignment process, Qwest does not make any assumptions - logically or physically – FOR QWEST OR CLECS. He SAID LFACS USES AN ALGORITHM DERIVED FROM THE NC/NCI CODES AND there are no assumptions during the assignment process either for the loop qual or LFACS.

(6/2/12 Updates received from Integra in CAPS) Mike McCarthy - MN DOC questioned whether the NC/NCI CODE COMBINATION [delete INFORMATION] INFORMATION ASSOCIATED WITH THE SPECTRUM MANAGEMENT CLASSES in the T1 417 document Clause 5 was the BUNDLE OF parameter information that Jamal was referring to?

(6/2/12 Updates received from Integra in CAPS) Jamal Boudhaouia-Qwest said it was that and that THE Spectrum Management CLASS DEFINES [delete CLASSES ARE DEFINED WITH] the technical parameters associated with A [delete THE] flavor of [delete DSL] xDSL.

(6/2/12 Updates received from Integra in CAPS) Kim Isaacs – Integra questioned whether Clause 5 addresses disturbers OR INTERFERORS. SHE ASKED, IF YOU ASSUME A CERTAIN AMOUNT OF [delete AND] interferers, DOES IT CHANGE [delete DO SPECTRUM MANAGEMENT PARAMETERS ADDRESS] the measurements?

(6/2/12 Updates received from Integra in CAPS) Jamal Boudhaouia-Qwest said no Clause 5 does not talk about interferers, it talks about the technical parameters OF EACH CLASS. [delete BASED ON THE] The NC/NCI codes [delete THAT] are applied by the industry for each class of spectrum management.

Greg Doyle – MN DOC questioned, when doing a new install and spectrum management as Qwest plans to do going forward, (6/2/12 Updates received from Integra in CAPS) [delete GREG SAID] can we assume that there will never be interference in the embedded base going forward.

Jamal Boudhaouia – Qwest said we can never say never but it would rarely happen.

Karen Clauson-Integra (6/2/12 Updates received from Integra in CAPS) SAID, [delete IDENTIFIED] if the embedded base at Qwest is in a different configuration, [delete THAN] when looking at the NC/NCI going forward, a new install in a binder group [delete WOULD] COULD result in a big clash between new installs and the embedded base, BECAUSE QWEST DID NOT LOOK AT THE NC/NCI CODES IN THE PAST. IF QWEST HAD BEEN PERFORMING SPECTRUM MANAGEMENT IN THE PAST, QWEST COULD INSTALL THE LOOP NOW. She said the purpose of the Amendment was to reduce problems and not to increase the number of rejections. It is to be proactively vs. retroactively managed [deleteSO THAT THERE IS NO LOOP AVAILABLE]. THE RESULT CANNOT BE THAT THERE IS NO LOOP AVAILABLE BECAUSE QWEST DID NOT MANAGE SPECTRUM IN THE PAST.

Jamal Boudhaouia-Qwest said he addressed the embedded base before. Going forward, he said they look (6/2/12 Updates received from Integra in CAPS) FOR INTERFERERS. HE SAID QWEST SCANS [delete AT] the entirety of the pairs available to find a copper pair that meets the technical parameters FOR THE NC/NCI CODE. THEY DON’T KNOW IF THERE ARE INTERFERORS. If there is a copper pair that can be assigned, it will be picked, THOUGH QWEST HAS NO IDEA WHAT IS RUNNING ON THAT CABLE. THE TECHNICIAN THEN GOES TO THE FIELD. If the TECHNICIAN IN THE FIELD SAYS IT DOES NOT MEET THE PARAMETERS OR THE CLEC says this pair does not meet the requirements, then Qwest will try to rearrange TO MAKE A LOOP AVAILABLE [delete BASED ON WHAT IS AVAILABLE BUT IT IS UNKNOWN IF THERE IS INTERFERENCE].

Karen Clauson-Integra said her question (6/2/12 Updates received from Integra in CAPS) IS CONSISTENT WITH GREG DOYLE’S QUESTION: [delete IS] when the technician goes to the field and there is an issue, will Qwest try to overcome THE [delete AN] issue by rearranging, AND NOT JUST [delete VS.] saying THERE IS no loop available?

(6/2/12 Updates received from Integra in CAPS) [delete JAMAL BOUDHAOUIA-QWEST SAID YES, THE TECHNICIAN WILL IDENTIFY IF THERE ARE ISSUES AND WILL REQUEST A DIFFERENT PAIR BE ASSIGNED BY REARRANGEMENT BUT JAMAL SAID HE CANNOT BE 100% SURE.]

(6/2/12 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA-QWEST SAID YES, THE TECHNICIAN WILL IDENTIFY IF THERE ARE ISSUES AND WILL REQUEST A DIFFERENT PAIR BE ASSIGNED BY REARRANGEMENT. JAMAL SAID THERE IS A LOT OF ACTIVITY IN THE FIELD, AND QWEST DOES EVERYTHING IT CAN. HE CANNOT SAY IT WILL NEVER HAPPEN THAT QWEST CAN’T BUT IT WOULD BE RARE.

Kim Isaacs – Integra said they have run into those situations and (6/2/12 Updates received from Integra in CAPS) PROVIDED EXAMPLES TO [delete WORKED WITH] QWEST Service Management OF SOMETHING SIMILAR but the problem is avoiding delay for the end user. If the tech knew more up front, it would avoid a dispatch to install a loop that does not meet the parameters and would avoid a C31 jep and escalation.

Jamal Boudhaouia-Qwest said he understood and it is frustrating for him also. He said if there are issues with the field technician, Qwest will take action but (6/2/12 Updates received from Integra in CAPS) THE WORLD IS NOT PERFECT [delete IT WILL NOT BE 100% PERFECT].

Karen Clauson-Integra said Integra is not asking for perfection but (6/2/12 Updates received from Integra in CAPS) IS [delete ARE] looking for things [delete THAT CAN BE DONE TO AVOID] TO REDUCE THE LIKELIHOOD OF errors. WHAT IS QWEST DOING UP FRONT TO MINIMIZE ERROR?

Jamal Boudhaouia-Qwest said the technicians are trained and retrained (6/2/12 Updates received from Integra in CAPS) ON A DAILY BASIS ON HOW TO READ THE ORDER AND to know what to look for.

(6/2/12 Updates received from Integra in CAPS) [delete JULIA REDMAN CARTER- PAETEC SAID SHE NEEDED TO UNDERSTAND ARE THE QWEST TECHNICIANS LOOKING AT POTENTIAL INTERFERERS OR ARE THEY LOOKING FOR THE PARAMETERS OF THE LOOP?]

(6/2/12 Updates received from Integra in CAPS) JULIA REDMAN CARTER- PAETEC SAID THAT YOU KEPT SAYING THE TECHNICIAN WILL CHECK PARAMETERS OF THE LOOP FOR NC/NCI CODES INCLUDING PROTOCOLS. WHAT I AM HEARING IN THE QUESTIONS BUT NOT HEARING YOU SAY IN THE ANSWER, IS ARE THEY IDENTIFYING THE POTENTIAL INTERFERERS OR ARE THEY LOOKING AT THE PARAMETERS OF THELOOP? THE POTENTIAL INTERFERORS FOR PROVIDING THE SERVICE.

Jamal Boudhaouia-Qwest said (6/2/12 Updates received from Integra in CAPS) THAT IS A GOOD QUESTION AND THAT INTERFERENCE IN spectrum management is tied to the NC/NCI code. When the technician goes out in the field, they are looking for two things: 1) to make sure that there are no T1 interferers WHICH GIVE THE MOST HEADACHES and 2) remote DSL deployment . JAMAL SAID THE TECHNICIAN HAS TEST GEAR TO TEST FOR THE PARAMETERS. Jamal said the most important part is to have the [delete CORRECT] NC/NCI codes that go with the class of service.

Mike McCarthy - MN DOC said he wanted to get back to fundamentals. He said he thought (6/2/12 Updates received from Integra in CAPS) HE HEARD Qwest SAY THAT QWEST was going to look TO SEE IF QWEST HAS INFORMATION ON WHAT services ARE running within a binder group. Mike said, from the T1 417 document, to proactively do spectrum management, YOU NEED TO KNOW WHAT services ARE running IN PROXIMITY. He said THAT frequency, signal strength and proximity are what causes CROSS TALK AND interference between signals. HE SAID that if we do not know WHAT SERVICES ARE RUNNING IN PROXIMITY, YOU DON’T KNOW THE PROSPECT FOR CROSS TALK, SO, YOU CANNOT manage THE spectrum.

Jamal Boudhaouia-Qwest said that was absolutely correct and that he will have to investigate. Jamal said he is sure Qwest has the information but that it is not in LFACs. (6/2/12 Updates received from Integra in CAPS) WITHOUT KNOWING WHAT IS RUNNING IN THE BINDER GROUP, WE CAN’T MANAGE SPECTRUM MANAGEMENT, ABSOLUTELY.

(6/2/12 UPDATES RECEIVED FROM INTEGRA IN CAPS) [delete MIKE MCCARTHY – MN DOC ASKED IF QWEST WAS COMMITTING TO BUILD A DATABASE IF THE INFORMATION IS NOT CURRENTLY AVAILABLE TO KNOW WHAT IS IN THE BINDER GROUP TO AVOID SPECTRUM MANAGEMENT PROBLEMS.]

(6/2/12 UPDATES RECEIVED FROM INTEGRA IN CAPS) MIKE MCCARTHY - MN DOC SAID WE ARE BACK TO WHERE WE STARTED. HE ASKED, IF QWEST DOES NOT HAVE THE INFORMATION CURRENTLY, DO I HEAR THAT A DATABASE WILL BE CREATED, SO WE WILL KNOW WHAT IS IN THE BINDER GROUP TO PROACTIVELY MANAGE SPECTRUM AND AVOID SPECTRUM MANAGEMENT PROBLEMS?

Jamal Boudhaouia-Qwest said he could not commit to that (6/2/12 Updates received from Integra in CAPS) NOW and [delete NEEDED] COMMITTED to do some research first.

Mike McCarthy - MN DOC asked if there was a way to do spectrum management without that (6/2/12 Updates received from Integra in CAPS) INFORMATION? [delete INFO.]

Jamal Boudhaouia-Qwest said no.

Mitch Moore-Oregon PUC asked if LFACs (6/2/12 Updates received from Integra in CAPS) [delete HAS] CONTAINS the information as to what services are running over the facility?

Jamal Boudhaouia-Qwest said again that he needed to do some research.

Mitch Moore-Oregon PUC asked if the (6/2/12 Updates received from Integra in CAPS) [delete INFO] INFORMATION delivered to CLECs was different than what Qwest gets.

Jamal Boudhaouia-Qwest said no.

(6/2/12 Updates received from Integra in CAPS) [delete JULIA REDMAN CARTER- PAETEC QUESTIONED WHETHER QWEST KNOWS OR DOES NOT KNOW WHAT IS IN THE EMBEDDED BASE.

(6/2/12 Updates received from Integra in CAPS) JULIA REDMAN CARTER- PAETEC REFERRED TO GREG DOYLE’S EARLIER QUESTION AND PROVIDED AN EXAMPLE. SHE SAID THAT, IN MY EMBEDDED BASE TO THIS POINT UNTIL VERY RECENTLY, QWEST HAS NOT USED NC/NCI CODES. QWEST SAID WE HAD THE “WRONG” CODES, SO THE “CORRECT” INFORMATION IS NOT IN THE BINDER GROUPS. SO, IF YOU BRING IN A NEW SERVICE, IS IT POSSIBLE THAT QWEST WOULD NOT KNOW WHAT IS IN THE EMBEDDED BASE?

Jamal Boudhaouia-Qwest said (6/2/12 Updates received from Integra in CAPS) [delete QWEST KNOWS] YOU AND I HAVE TALKED, AND WE KNOW what is in the embedded base but that he is not sure IN what database [delete IN QWEST] the information is in. [delete AND] HE SAID that is why WE AGREED THAT, IN THE PAST, the NC/NCI codes could be wrong.

Karen Clauson-Integra (6/2/12 Updates received from Integra in CAPS) SAID there are two different questions: 1) does Qwest know what CLECs have on the loop? and 2) does Qwest know and proactively deal with what is in the binder group and what is running in proximity to the CLECs? Jamal is researching what is running in proximity. The other issue is the embedded base issue which has been addressed. Julia Redman Carter- PAETEC said (6/2/12 Updates received from Integra in CAPS) THAT, IF A NEW ORDER COMES IN, AND A LOOP IS NOT AVAILABLE BECAUSE OF INTERFERENCE, HOW DO YOU KNOW WHAT IS ON THE LOOPS AND WHAT IS AVAILABLE? IF YOU DO NOT KNOW WHAT IS IN THE BINDER GROUP, HOW DO YOU KNOW THE NEW ONE WILL NOT INTERFERES? She [delete she] is trying figure out at what point do we know ON NEW when it is available and that it will not interfere with the embedded base.

Jamal Boudhaouia-Qwest said he is researching where the NC/NCI code is available during provisioning not whether the information is available. Jamal said the question is whether Qwest proactively performs spectrum management.

Karen Clauson-Integra questioned if Jamal was researching what codes are in proximity (6/2/12 Updates received from Integra in CAPS) [delete TO KNOW] AND HOW DOES QWEST KNOW what is there within the same binder group OR ADJACENT WITH THE BINDER GROUP.

(6/2/12 Updates received from Integra in CAPS) [delete JAMAL BOUDHAOUIA-QWEST WANTED TO CONFIRM WHETHER THEY ARE ADJACENT TO EACH OTHER WITHIN THE SAME BINDER GROUP.

(6/2/12 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA-QWEST ASKED WHAT YOU MEAN BY ADJACENT – ADJACENT WITHIN THE SAME BINDER GROUP?

Greg Doyle- MN DOC said you can still be in different binder groups but be adjacent to cause interference.

Jamal Boudhaouia-Qwest said (6/2/12 Updates received from Integra in CAPS) YES, CROSS TALK - in the cross box, interference could still appear in the crossbox.

Mike McCarthy - MN DOC asked if it was not just cross box but cables.

Jamal Boudhaouia-Qwest said cable could be made up of 900 pair, 200 pair or could multiple binder groups together.

Karen Clauson-Integra said, in any scenario, in order to add something to the binder group, you need to know what is in there (6/2/12 Updates received from Integra in CAPS) AND WHAT IS ADJACENT.

Jamal Boudhaouia-Qwest said that is correct.

(6/2/12 Updates received from Integra in CAPS) [delete MIKE MCCARTHY – MN DOC SAID TO DO SPECTRUM MANAGEMENT BY DEFINITION, PARTICIPANTS NEED TO READ THE FULL CLAUSE 5 OF T1 417. TO DO SPECTRUM MANAGEMENT MEANS MINIMIZING CROSS TALK BUT WITHOUT THE INFORMATION, SPECTRUM MANAGEMENT CANNOT BE PERFORMED. MIKE ASKED IF QWEST WAS COMMITTING TO DO THAT. QWEST HAS COMMITTED TO DO SPECTRUM MANAGEMENT AND THE INFORMATION IS NECESSARY TO DO THAT THEN QWEST IS GOING TO MAKE THE INFORMATION AVAILABLE AND USEFUL. MIKE ASKED IF IT IS CORRECT THAT QWEST IS COMMITTING TO DEVELOP THIS INFORMATION. ]

(6/2/12 Updates received from Integra in CAPS) MIKE MCCARTHY - MN DOC SAID THAT, WHAT I AM HEARING, IS THAT TO DO SPECTRUM MANAGEMENT, BY DEFINITION, PARTICIPANTS NEED TO READ THE FULL CLAUSE 5 OF T1 417. SPECTRUM MANAGEMENT APPLIED MEANS MINIMIZING CROSS TALK AND USING THE FREQUENCY SPECTRUM. WITHOUT THE REQUESTED INFORMATION, SPECTRUM MANAGEMENT CANNOT BE PERFORMED. MIKE INDICATED THE INFORMATION IS EITHER NOT CURRENTLY AVAILABLE OR THEY CANNOT GET IT. HE SAID QWEST HAS COMMITTED TO DO SPECTRUM MANAGEMENT, AND THE INFORMATION IS NECESSARY TO DO THAT, AND, IT FOLLOWS THAT QWEST IS GOING TO MAKE THE INFORMATION ACCESSIBLE AND USABLE. IS THERE A WAY THAT YOU CAN EXPLORE HOW THIS WILL GET DONE? MIKE ASKED IF IT IS CORRECT THAT QWEST IS COMMITTING TO DEVELOP THIS INFORMATION.

Jamal Boudhaouia-Qwest said (6/2/12 Updates received from Integra in CAPS) YES. HE SAID the INFORMATION [delete INFO] might be available but that he needs to find out. He said, from the Tech Pub perspective, Qwest can USE THE TECH PUB TO CREATE PROCESSES AND define how it is done.

Mike McCarthy - MN DOC said this is a natural jumping off point for the next conversation.

Susan Lorence - Qwest provided some logistical information in regard to the CMP monthly meeting on May 18 and agreed to send a notice out by the end of the week to identify when the next Tech Pub meeting would be and whether it would be in the Face to Face to cover Conditioning or another Ad hoc meeting.

5/2/11 Ad hoc Meeting Attendees: Julia Redman Carter- PAETEC, Brenda Bloemke-Comcast, Mindy Chapman - Neustar, Bonnie Johnson-Integra, Doug DennEy-Integra, Karen Clauson-Integra, Kim Wagner – Integra; Joyce Pederson - Integra, Kim Isaacs – Integra, Abbey Thyer-Ohly – Earthlink New Edge; Mike McCarthy-Minnesota Department of Commerce, Greg Doyle - Minnesota Department of Commerce, Linda Harmon-Qwest, Mark Coyne-Qwest, Carolyn Hammack-Qwest, Jeff Farra – Qwest; Bob Mohr-Qwest, Mark Nickell – Qwest, Jamal Boudhaouia-Qwest, Cindy Orenstein – Qwest, John Hansen-Qwest, Tobechi Agbim – Qwest, Susan Lorence-Qwest Mark Coyne – Qwest said the objective for the meeting was to complete the review of the Tech Pub 77384 matrix associated with the xDSL Amendment updates. He said during the last meeting, the review had completed about half of the document and that we would start with Row 16. Mark said a meeting for next week has been put on the calendar as a followup in case it is necessary. Karen Clauson –Integra suggested as part of Row 15 and the discussion associated with the definition of Conditioning, that Qwest had changed the proposal and suggested we discuss that before proceeding. Jamal Boudhaouia – Qwest asked if there were any issues with the proposed definition. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON –INTEGRA ASKED JAMAL TO READ THE DEFINITION. (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA –QWEST SAID HE WAS NOT AT HIS DESK AND ASKED SUSAN FROM QWEST IF SHE HAD IT. JAMAL STATED HE THOUGHT HE ADDED A COUPLE OF WORDS WHEN IT IS PROVISIONED IT WILL BE FREE OF THOSE. Susan Lorence – Qwest read the definition that Qwest proposed in an email from the CMPCR mailbox on 4/28/11 to be included in Section 1.6 and 3.8.3 of the Tech Pub: At the time of Provisioning, these facilities shall be free of faults and of devices that could diminish the capability of the loop to provide the xDSL Service as indicated by the NC/NCI code combination. Qwest has responsibilities to provision the best available loop based on the NC/NCI code combination requested by the CLEC.

Karen Clauson – Integra said she would respond to the email. Qwest had added the wording “at time of provisioning” because of the embedded base and that she does not think that it does it. The definition is for all copper loops whether they ask for conditioning and repair. Jamal Boudhaouia – Qwest requested clarification. (5/13/11 Updates received from Integra in CAPS) He said the SENTENCE (remove FCC DEFINITION) does not address removal of conditioning or load coil and QWEST WILL DO THAT BASED ON YOUR INSTRUCTION. [remove THAT IS UP TO THE CUSTOMER. QWEST HAS NOT TAKEN THAT CAPABILITY AWAY TO REQUEST CONDITIONING]. Karen Clauson - Integra said (5/13/11 Updates received from Integra in CAPS) THAT SOME ARE MORE GENERAL BUT the definition is repeated in several places and that there should be one definition within the document. She said the FCC definition does not vary depending on when conditioning occurs and what varies is under the amendment and refers to the last piece that references the NC/NCI. If there is a definition of conditioning that reflects the FCC version and Qwest should not add “at time of provisioning.” Karen said in regard to the second sentence, that is separate and Qwest has the responsibility to assign facilities on the best available loop. Jamal Boudhaouia – Qwest said that is correct in provisioning terms and there is a link to specific product PCATs based on NC/NCI. Jamal said the Tech Pub is for additional technical parameters and that Qwest (5/13/11 Updates received from Integra in CAPS) NEEDS TO KNOW WHAT TO (remove WOULD NOT KNOW WHAT TO) condition TO [remove UNLESS THE NC/NCI IS AVAILABLE]. Karen Clauson - Integra said (5/13/11 Updates received from Integra in CAPS) SHE WAS GLAD TO HEAR THAT AND THAT IS WHAT WE HAVE BEEN SAYING FOR A LONG TIME. SHE SAID if new, there is no embedded base and Qwest would look at the NC/NCI on the order. If it is embedded based in a repair situation, Qwest would look at WHAT WAS [remove THE NC/NCI ON THE] deployed loop. Jamal Boudhaouia – Qwest agreed and that the NC/NCI controls the transactions. Karen Clauson - Integra said (5/13/11 Updates received from Integra in CAPS) YOU CANNOT LOOK AT IT IN A VACUUM AND she agreed with that at a high level. Karen said Qwest should look at what is deployed on the loop and whether it synchs up with what should be there per NC/NCI code. (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST AGREED (5/13/11 Updates received from Integra in CAPS) Karen CLAUSON – INTEGRA said that there are lots of caveats and if looking at the Amendment, look at all factors. Karen asked, in regard to the embedded base, what was the decision on whether to include it in the Tech Pub. Jamal Boudhaouia – (5/13/11 Updates received from Integra in CAPS) Qwest SAID WE ALL AGREE [remove WANTED CONFIRMATION] that regardless of scenario – provisioning or repair or maintenance, that the correct NC/NCI controls – not what is in the system. Julia Redman-Carter - PAETEC requested clarification and said she thought the statement is correct as (5/13/11 Updates received from PAETEC and Integra in CAPS) TO IMPLEMENTATION [removed OUTLINED] in the Amendment. Jamal Boudhaouia – Qwest said (5/13/11 Updates received from Integra in CAPS) QWEST WILL ABIDE if conditioning – regardless of the perspective, the NC/NCI must be taken into consideration when provisioning or repair. HE SAID IF WE DON’T HAVE THAT AGREEMENT WE CANNOT OPERATE. Julia Redman-Carter - PAETEC said that she may not disagree (5/13/11 Updates received from PAETEC in CAPS) THAT THE NC/NCI MUST BE CONSIDERED, but that the definition LIMITED TO PROVISIONING is too narrow and too short. Julia said if JAMAL’S INTENT [delete IT] does NO [remove NOT] conflict with the Amendment LANGUAGE, then it appears WE SHOULD REACH AGREEMENT ON THE [remove THERE IS AGREEMENT] AMENDMENT LANGUAGE. Jamal Boudhaouia – Qwest said if there are caveats, Qwest cannot deliver and must have agreement that the NC/NCI controls. Jamal said based on engineering, provisioning and maintenance principles, regardless of what is in records, he has to have agreement that the NC/NCI codes control. Julia Redman-Carter - PAETEC said (5/13/11 Updates received from PAETEC in CAPS) IT [remove IF] feels like Qwest is trying to renegotiate THE AMENDMENT TERMS TO [remove HOW IT WILL] deal with it differently. Jamal Boudhaouia – Qwest said he is not renegotiating but talking the technical specifications and that processes are not in the Tech Pub. (5/13/11 Updates received from Integra in CAPS) JULIA REDMAN-CARTER – PAETEC ASKED SO WHAT ARE WE SAYING THAT IS CAUSING THIS PROBLEM? (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST [delete HE] SAID THERE ARE CAVEATS IN THE PROCESSES AND THEY NEED TO BE REMOVED FROM THE TECH PUB based on engineering, provisioning and maintenance principles, regardless, when the embedded based is referred to from a Tech Pub perspective, the correct NC/NCI is the controlling parameter for Qwest to provide what is asked for. Julia Redman-Carter - PAETEC asked how “correct” is defined. Karen Clauson - Integra said (5/13/11 Updates received from Integra in CAPS) SHE AGREES there is no need to introduce ambiguity and that she disagreed AND IT WAS NOT [remove TALKING] only process. THE AMENDMENT LAYS IT OUT. Technical people must understand what to look at. She said for provisioning, the correct NC/NCI is on the order. For the embedded base, it was the NC/NCI deployed on the loop and that Qwest agreed to repair to what is on the loop. If that is not properly reflected in the Tech Pub, that causes confusion. Karen said now that Qwest moved from “unsuitable” to reflect the Federal rule, this part is not so difficult to separate out. If Qwest does not do that, there is big question ABOUT what JAMAL MEANS BY [remove IS] correct. Karen said THE FIRST CLAUSE IS ABOUT PROVISIONING it needs to be explained to the technician the difference on where to look for the NC/NCI code. Jamal Boudhaouia – Qwest suggested to split this in two places (5/13/11 Updates received from Integra in CAPS)THE NC/NCI CODE AS REQUESTED ON NEW ORDERS AND THE SERVICE DEPLOYED ON THE LOOP and would write out the definition. Karen Clauson - Integra said she sees where it is going and that it needs a little work on the language. (5/13/11 Updates received from Integra in CAPS) SHE SAID IT MAKES IT SEEM LIKE A CHOICE BUT IT IS ALREADY THERE. Karen questioned what the objective was to TRY TO FIGURE OUT AND USE A DEFINITION OF EMBEDDED BASE (remove DEFINE) it the way Qwest was. Jamal Boudhaouia – Qwest said (5/13/11 Updates received from Integra in CAPS) NO, NO OBJECTION we have to agree on the NC/NCI CODES AND use of the terms and that we need to find a common ground to move forward if one, deploy new and two, repair so there is no objection. Karen Clauson - Integra said the common ground is already laid out in Section 9.2.2.3.5.5 and that the language should mirror that. Karen said it was helpful to understand the Qwest position and that there is no objection to using the term embedded base. Karen said she will respond to the email and Qwest can then reply. Julia Redman-Carter - PAETEC said she agrees with Integra position (5/13/11 Updates received from PAETEC in CAPS) ESPOUSED THROUGHOUT THE MEETING unless otherwise SPECIFICALLY noted. Karen Clauson - Integra said in regard to Row 16, Qwest agreed there is a need for a consistency review. Jamal Boudhaouia – Qwest said he thought all references had been caught but please look also. NOTE: An updated matrix dated May 9, 2011 is an attachment along with these meeting minutes. The matrix has also been posted to the Wholesale calendar at http://wholesalecalendar.qwestapps.com/detail/323/2011-05-11. The matrix includes columns that show the March 14, 2011 CLEC Comments, the April 4, 2011 Qwest Response, both the April 11 and April 14, 2011 CLEC reply, an April 19, 2011 Qwest Response and a May 9, 2011 Qwest response. The updated matrix captures the key points of discussion in the April 13, 2011 and May 2, 2011 Ad hoc calls and also what Qwest has subsequently reviewed and responded to following the Ad hoc calls. The matrix is being used to capture discussion in conjunction with these meeting minutes. Karen Clauson - Integra said in regard to Row 17, Qwest agreed to do a synch up. For Row 18, Qwest agreed to insert the xDSL definition (5/13/11 Updates received from Integra in CAPS) IN 6.1 and that she thought Digital Subscriber Loop would also be added. Jamal Boudhaouia – Qwest said (5/13/11 Updates received from Integra in CAPS) HE ADDED IT TO THE END OF 6.1 AND would look at the Amendment and Tech Pub and that the DSL definition would be added in Section 1.1. Jamal confirmed if something was in Section 1.1, it applied everywhere. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON - INTEGRA SAID SHE DID NOT SEE IT. (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID WE DID NOT TALK ABOUT ROW 18. Karen Clauson - Integra questioned (5/13/11 Updates received from Integra in CAPS) IF IT WAS ADDED TO Section 1.1 and THAT IT APPLIES THROUGHOUT THE AGREEMENT AND said that the list of RDSL, GHDSL, etc. are different in the Tech Pub and it is a partial list of what is in the Amendment and asked why. Jamal Boudhaouia – Qwest said (5/13/11 Updates received from Integra in CAPS) HE TRIED TO CAPTURE IT AND the list was not to be exhaustive to include every type of service AND THIS WAS THE INTRODUCTION SECTION but that it was intended to catch some within the technical parameters/standards so it would not have to be updated every time there was new technology. Karen Clauson - Integra said she agreed it was not exhaustive nor is the Amendment and recognizes the Amendment does not change with successive technologies. Karen said there are some that are missing (5/13/11 Updates received from Integra in CAPS) AND SECTION 1.1 COVERS WHAT WE ARE DEALING WITH TODAY. SINCE WE ARE REFLECTING THE AMENDMENT IT SHOULD HAVE GSDSL AND ASKED IF SHE MISSED IT. (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID NO. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA SAID WE MIGHT MISS IT IF IT IS NOT ADDED AND ASKED IF HE WANTED TO ADD IT. Jamal Boudhaouia – Qwest said (5/13/11 Updates received from Integra in CAPS) IF THAT IS A CONCERN he would add all definitions from the Amendment. Karen Clauson - Integra said (5/13/11 Updates received from Integra in CAPS) QWEST MODIFIED THE 4TH PARAGRAPH OF 6.1 AND IN THE APRIL 11TH COMMENTS for Row 19, she agrees with the deletion but all questions have not been answered and asked if it is dealt with separately if it does not apply. She said QWEST CHANGED THE PREAPPROVAL OF CONDITIONING the language has been in the Tech Pub for awhile and deals with if the loop is not available. Jamal Boudhaouia – Qwest said if there is no loop, it does not apply; that it applies to the physical loop. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA QUESTIONED IF THERE WAS NO PLACE IN THE TECH PUB THAT DEALS WITH WHEN NO LOOP IS AVAILABLE? (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID NOT IF THE LOOP DOES NOT EXIST. IF THE LOOP DOESN’T EXIST WE CAN’T APPLY THE PARAMETERS. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA ASKED IF IT WAS IN THE TECH PUB BEFORE AND WAS MOVED SOMEWHERE ELSE. (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWESTSAID it was not moved to somewhere else and that current processes and language apply. Julia Redman-Carter - PAETEC requested clarification that the Tech Pub applies only if a loop is available. Jamal Boudhaouia – Qwest said if the loop is available, then Qwest will apply NC/NCI codes. If loop is already installed, Qwest will go back to correct NC/NCI codes to (5/13/11 Updates received from Integra and PAETEC in CAPS) SEE WHAT LEVEL TO TEST TO [remove REMOVE]. Julia Redman-Carter - PAETEC said that was the point; (5/13/11 Updates received from Integra and PAETEC in CAPS) AND WHAT SHE HEARD WAS THAT conditioning is not an issue if there never was a loop available. Julia suggested adding language “if applicable.” (5/13/11 Updates received from PAETEC and Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID THAT IS RIGHT. (5/13/11 Updates received from Integra and PAETEC in CAPS) JULIA REDMAN-CARTER – PAETEC SAID WE MIGHT WANT TO CLARIFY AT THE BEGINNING OF THE TECH PUB IF NO LOOP IS AVAILABLE THIS DOES NOT APPLY. Jamal Boudhaouia – Qwest said (5/13/11 Updates received from Integra in CAPS) HE CANNOT WRAP HIS HEAD AROUND IT AND suggested Julia propose some language. Karen Clauson - Integra said Qwest can look at the proposed 4/11 language and read the wording in Section 9.2.2.3.5.1.4.1.1 related to manual steps if there are no loops that meet the criteria. (5/13/11 Updates received from Integra in CAPS) JAMAL WHAT YOU’RE SAYING IS YOU ARE NOT LOOKING TO THE TECH PUB TO VALIDATE? Jamal Boudhaouia – Qwest said that is correct. Kim Isaacs - Integra and Bonnie Johnson – Integra did not agree. Bonnie Johnson – Integra said the situation could be there was no loop because it did not meet the parameters. Jamal Boudhaouia – Qwest said to insure facilities are available, Qwest must look up 1) is loop available, 2) apply algorithm to meet parameters. Jamal said the Tech Pub is not invoked at this point. Bonnie Johnson – Integra said they have several where the Qwest records are wrong. (5/13/11 Updates received from Integra in CAPS) AND ONCE IT IS SENT TO THE TECHNICIAN THEY FIND OUT THERE IS NO LOOP. Jamal Boudhaouia – Qwest said that is correct, sometimes the Qwest records are wrong. LFACs says there are facilities but (5/13/11 Updates received from Integra in CAPS) THEN QWEST LOOKS AT THE XBOX AND TERMINAL AND there really are no facilities, Qwest CANNOT [remove WILL NOT] perform the test on a non-existent loop. Kim Isaacs – Integra said to provide the best available loop, (5/13/11 Updates received from Integra in CAPS) QWEST lookS at the NC/NCI to provision and that is what the NC/NCI is for. Karen Clauson - Integra said (5/13/11 Updates received from Integra in CAPS) LOOK AT THE DEFINITION IN 4.0 OF [remove IT IS] the best available pair with the least amount of conditioning. She said a statement should be added AND WOULD BE BETTER UP FRONT to say if no loop available, see CLEC ICA on what to do in that situation if [remove THE RECORDS ARE WRONG] NO FACILITIES ARE AVAILABLE. Julia Redman-Carter - PAETEC agreed (5/13/11 Updates received from PAETEC in CAPS) WITH INTEGRA’S PROPOSAL and said she will not send language BASED ON THE INTEGRA’S COUNTER PROPOSAL. (5/13/11 Updates received from Integra and PAETEC in CAPS) JAMAL BOUDHAOUIA – QWEST SAID YES SURE. Karen Clauson - Integra said for Row 20, (5/13/11 Updates received from Integra in CAPS) SORRY I THINK WE INADVERTENTLY MISSED THIS AND Qwest previously agreed to delete, RIGHT? (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID YES RIGHT. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON -INTEGRA SAID FOR [remove For] Row 21 and the wording “diminished,” Integra will send an email with proposed wording SO THERE IS NO NEED TO GO OVER THIS NOW. For note in Section 6.1 and wording “2 wire or “, Karen questioned where in the Tech Pub it talks about this. (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID THE BULLETED ITEMS. Karen (5/13/11 Updates received from Integra in CAPS) CLAUSON- INTEGRA said in the proposal on 4/4, there was no Qwest change and section 6.1.3 was added to refer to what talking about. Jamal Boudhaouia – Qwest said for the last bullet before 6.2, he wanted to understand the reason for the change. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON - INTEGRA SAID ARE YOU FOCUSING ON THE PAIRS MAKING UP THE FACILITY. IS THAT THE ISSUE? (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID HE WANTED TO KNOW THE PURPOSE OF THE CHANGE. Karen Clauson - Integra said there has been a long (5/13/11 Updates received from Integra in CAPS) HISTORY OF DISPUTES [remove FEUD] on 2W 4W, and at the time, there was no bullet. The question is whether need THE LAST BULLET [remove IT] at all. Jamal Boudhaouia – Qwest said it goes (5/13/11 Updates received from Integra in CAPS) THE HEART OF HOW [remove INTO DESIGN] of loop facility DESIGN. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA ASKED JAMAL TO EXPLAIN. (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID YOU EXPLAIN. Karen Clauson – Integra questioned why change the wording at all because there was agreement can have mixed gauges of cable; they may not be identical. Jamal Boudhaouia – Qwest said he has moved away from changing it (5/13/11 Updates received from Integra in CAPS) AND ASKED KAREN WHY SHE CHANGED THE LANGUAGE. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA SAID WHAT SHE SAID AND SHOULD SHE REPEAT IT AND SAID SHE WANTS QWEST’S. Jamal (5/13/11 Updates received from Integra in CAPS) BOUDHAOUIA - QWESTsaid YES AND the repeat column in the matrix was repeated in two other areas. Karen Clauson – Integra said the word “two” was missed inadvertently. Integra added, see previous bullet regarding loop lengths – all loops will have the same makeup including loop lengths. Jamal Boudhaouia – Qwest (5/13/11 Updates received from Integra in CAPS) SAID on the last bullet, is to insure design is loop plant go pair by pair AND THERE IS NO SEPARATION OF 2 WIRES COMPRISING PAIRS. Each two pair OF A 4 PAIR could have different loop makeup which is a basic design. Each two copper wires will always have the same makeup but may have different characteristics. Karen Clauson – Integra said it should say “makeup” instead of loop transmission. Jamal Boudhaouia – Qwest said 2 wire/one pair will have the same basic makeup. They will always be the same, they cannot be separated. No telecom provider separates them. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA ASKED THEY WILL NEVER BE SEPARATE? (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID NO THEY ARE TWISTED AND YOU CANNOT SEPARATE THEM. Julia Redman-Carter – PAETEC said when (5/13/11 Updates received from PAETEC in CAPS) lookING at the [remove VARIOUS BULLETS,] the second SENTENCE OF THE [remove AND] third bullet [remove S] from the bottom, IT IS [remove ARE] inconsistent with the last bullet. CMP NOTE REPEAT OF ABOVE ENTRY (5/13/11 Updates received from Integra in CAPS on Julia Redman-Carter statement above) Julia Redman-Carter – PAETEC said when look at the SECOND SENTENCE IT SEEMS [delete VARIOUS BULLETS, THE SECOND AND THIRD BULLETS FROM THE BOTTOM ARE] inconsistent with the last bullet. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA SAID WE ARE TRYING TO ADDRESS INCONSISTENCY; CAN YOU MAKE IT CONSISTENT? (5/13/11 Updates received from Integra in CAPS) JULIA REDMAN-CARTER – PAETEC READ FROM THE MATRIX AND SAID SHE DOES NOT UNDERSTAND WHY IT IS NOT CONSISTENT. Jamal Boudhaouia – Qwest said when Qwest tried to put in practical terms, we have two pairs. In theory, that is good but in practice it might not happen. (5/13/11 Updates received from Integra and PAETEC in CAPS) KAREN CLAUSON – INTEGRA SAID THEN IT IS CHANGING WHAT IS IN THE AMENDMENT. (5/13/11 Updates received from Integra in CAPS) Jamal BOUDHAOUIA – QWEST said he was not part of the amendment negotiationS AND EVEN THOUGH IT MAY HAVE BEEN GOOD INTENTIONS AND QWEST AGREED TO IT [delete BUT] he is trying to APPEAL TO CLECS PRACTICAL SENSE AND define IT in practical terms AND THERE MAY BE TIMES WHEN TWO LOOPS ARE NOT THE SAME. [delete JAMAL SAID SECTION 9.2.2.3.5.1.3.3.1 ADDRESSES THE SITUATION IF THE LOOPS ARE NOT IDENTICAL. CMP NOTE REPEAT OF ABOVE ENTRY (5/13/11 Updates received from PAETEC in CAPS) Jamal BOUDHAOUIA – QWEST said he was not part of the amendment negotiationS AND EVEN THOUGH IT MAY HAVE BEEN GOOD INTENTIONS AND QWEST AGREED TO IT but he is trying to define in practical terms AND THERE MAY BE TIMES WHEN TWO LOOPS ARE NOT THE SAME. Jamal said Section 9.2.2.3.5.1.3.3.1 addresses the situation if the loops are not identical. (5/13/11 Updates received from Integra in CAPS) Karen Clauson – Integra said Carolyn was involved in the Amendment negotiations (5/13/11 Updates received from Integra in CAPS) AND ASKED IF CAROLYN COULD RESPOND. (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID SECTION 9.2.2.3.5.1.3.3.1 ADDRESSES THE SITUATION IF THE LOOPS ARE NOT IDENTICAL. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA ASKED IF CAROLYN HANDED THAT TO JAMAL. (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID NO IT WAS BOB MOHR. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA SAID THANKS BOB AND JAMAL THAT WAS HELPFUL. (5/13/11 Updates received from Integra in CAPS) Karen CLAUSON – INTEGRA said the negotiation team put in a bullet related to main pair ends in Section 3.3.1 that is not there. To resolve concerns of inconsistency, what if added a bullet. Karen suggested that the last bullet in 6.1 be substituted with last bullet in Section 9.2.2.3.5.1.3.3.1 to care for concerns. (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID YES FROM A PRACTICAL STANDPOINT THAT IS WHAT HE WANTS. Julia Redman-Carter – PAETEC (5/13/11 Updates received from PAETEC in CAPS) [remove SAID] ASKED THAT when looking at Section 6.1, the second to last bullet shouldn’t that be deleted. (5/13/11 Updates received from Integra and PAETEC in CAPS) [delete JAMAL BOUDHAOUIA – QWEST SAID THE LAST TWO BULLETS WILL BE REMOVED AND REPLACED WITH THE SECTIONS THAT KAREN READ.] Karen Clauson – Integra said for Row 22, (5/13/11 Updates received from Integra in CAPS) INTEGRA MADE COMMENTS ON 4/11 FOR Section 6.2 associated with Qwest proposal to change the Title, TO ATTACHMENT 3. WE ARE TALKING ABOUT TWO DIFFERENT THINGS, the section goes beyond performance tests IN ATTACHMENT 3 WHICH IS NOT EXHAUSTIVE and it should not be limited to Attachment 3 which lists some of the tests. SO THIS IS WHAT THE PERFORMANCE PARAMETERS ARE AND THE TITLE SHOULD NOT BE THE SAME. Integra does not agree with the Title change; it makes it narrow. Jamal Boudhaouia – Qwest (5/13/11 Updates received from Integra in CAPS) SAID JUST TO BE CLEAR IT SHOULD JUST BE TRANSMISSION PERFORMANCE PARAMETERS? SURE, DONE [remove AGREED TO LEAVE AS TRANSMISSION PERFORMANCE PARAMETERS]. Karen Clauson – Integra said for Row 23, the change is made. Karen said for Row 24 (5/13/11 Updates received from Integra in CAPS) SECTION 6.1 WAS 3RD PARAGRAPH AND NOW IT IS THE 2ND PARAGRAPH, why reference the PCAT WHICH COULD BE CHANGED AND NOT THE AMENDMENT? [remove VS. THE ICA]. Jamal Boudhaouia – Qwest said it (5/13/11 Updates received from Integra and PAETEC in CAPS) [REMOVE IS NOT A PROCESS BUT DOES] not have problem taking it out. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA SAID SHE WANTED IT TO REFER TO THE ICA AND ASKED IF THAT WAS A PROBLEM NOW. (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID NO (5/13/11 Updates received from Integra in CAPS) JULIA REDMAN-CARTER – PAETEC ASKED IF THE WHOLE STATEMENT WAS COMING OUT (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA READ THE TEXT AND SAID THAT WILL COME OUT RIGHT JAMAL? (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID YES. Karen Clauson – Integra said she missed one in Section 6.1 in Row 15 and 16 – April 11 comment, Qwest still using the term non-loaded (5/13/11 Updates received from Integra in CAPS) AND SINCE IT [remove WHICH] is NOT a term USED IN [remove NOT IN] the Amendment SHE ASKED WHAT QWEST PLANS WERE FOR THE USE OF THAT TERM and questioned why it is still used and it is causing concern BECAUSE IT LEADS TO CONFUSION. (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST ASKED WHERE? (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA SAID DO A SEARCH FOR NON-LOADED. Jamal Boudhaouia – Qwest said (5/13/11 Updates received from Integra in CAPS) THEY COULD SAY A loop facility with out load coils or free of loads, that is all Qwest is trying to convey. Karen Clauson – Integra said (5/13/11 Updates received from Integra in CAPS) THAT IS INTERESTING ANSWER AND she is not convinced that Qwest is NOT USING NON-LOADED TO REFER [remove REFERRING] to XDSL CAPABLE LOOPS [remove THE SAME THING]. Qwest should do search on term non-loaded AND MAKE SURE XDSL AND LOAD COIL ARE THE PROPER TERMINOLOGY [remove USE APPROPRIATE TERM]. She said the terminology is not in the current amendment. Most are in Chapter 3 or 6. CMP NOTE REPEAT OF ABOVE ENTRY Karen Clauson – Integra said (5/13/11 Updates received from PAETEC in CAPS) THAT IS INTERESTING ANSWER AND she is not convinced that Qwest is NOT USING NON-LOADED TO REFER [remove REFERRING] to XDSL CAPABLE LOOPS [remove THE SAME THING]. Qwest should do search on term non-loaded and use appropriate term. She said the terminology is not in the current amendment. Most OCCURENCES APPEAR [remove ARE] in Chapter 3 or 6. Jamal Boudhaouia – Qwest (5/13/11 Updates received from Integra and PAETEC in CAPS) SAID HE WILL CHECK AND MAKE SURE [remove AGREED TO REVIEW]. Karen Clauson – Integra said for Row 25, paragraph on loop length will be discussed at next meeting. (5/13/11 Updates received from Integra in CAPS) IT GOES BACK TO the question ABOVE WHICH is whether it will be applied to all or only to those that sign the amendment. Jamal Boudhaouia – Qwest said loop length is not n Table 6.1., it is gone. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA SAID THE COMMENT GOES TO A FORMER DRAFT SO MAYBE IT IS OUT. (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID THE LENGTHS REFERRED TO IN 6.1 ARE BRIDGED TAP AND NOT LOOP. Karen Clauson – Integra (5/13/11 Updates received from Integra in CAPS) SAID KIM ISAACS HAS A GOOD QUESTION [remove QUESTIONED] AND KIM ASKED whether AML and EML will apply to CLECs with no Amendment? Jamal Boudhaouia – Qwest said (5/13/11 Updates received from Integra in CAPS) NO it will not apply to them, only test parameters will be shown. Karen Clauson – Integra questioned if that was clear in the Tech Pub. Jamal Boudhaouia – Qwest questioned whether that needed to be in the Tech Pub. Karen Clauson – Integra said it (5/13/11 Updates received from Integra in CAPS) SEEMS TO ME THAT THESE WILL BE WHAT IS PERFORMED WITH THESE TERMS AND WILL DO TESTING AND IT SHOULD BE CLEAR [remove HAS TO BE TO CLARIFY] UP FRONT what will be done or not done if the Amendment is not signed. Jamal Boudhaouia – Qwest said he would propose language. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA SAID THANKS WE WILL LOOK AT THAT. (5/13/11 Updates received from Integra in CAPS) MARK COYNE QWEST SAID HE WAS DOING A QUICK CHECK ON TIME AND WE HAVE A ½ HOUR LEFT. Karen Clauson – Integra said Row 26 is a synch up; Row 27 will have language proposed, Row 28 will have the same issue, same changes related to non – loaded. (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID COULD DIMINISH YES. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA SAID for Row 29, Qwest is offering to change THE SECOND PARAGRAPH IN 6.4 IN THE TECH PUB, RIGHT? (5/13/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID YES. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA SAID [delete BUT] Integra does not agree with changes. In Section 6.4, the first sentence is related to discussion around “could diminish” wording. Karen said in regard to a process not being in a Tech Pub, this is legal wording that does not belong in the Tech Pub and both sentences should be stricken. Jamal Boudhaouia – Qwest agreed. Karen Clauson – Integra said for Row 30, there is agreement to synch up. Row 31, there (5/13/11 Updates received from Integra in CAPS) ARE TWO ISSUES. THE COULD DIMINISH AND THE [remove IS A QUESTION RE] bullets; Row 32 same issue/same change as Section 6.5. (5/13/11 Updates received from Integra in CAPS)JAMAL BOUDHAOUIA – QWEST SAID YES. (5/13/11 Updates received from Integra in CAPS)KAREN CLAUSON – INTEGRA SAID ROW 33 IS SPECTRUM MANAGEMENT. QWEST MODIFIED 6.5 AND I ASKED QWEST TO DELETE THE PARAGRAPH. Jamal Boudhaouia – Qwest said in regard to Row 33, the language going forward will be removed. Jamal said in the network, Qwest cannot guarantee that there will not be other services in the binder group or in cable. (5/13/11 Updates received from Integra in CAPS). THE CABLE PLANT IS WHAT IT IS IN THERE AND THERE ARE ALWAYS T1’S, THERE ARE MULTIPLE SERVICES RUNNING AND QWEST CANNOT GUARANTEE THERE WILL NOT BE OTHER SERVICES IN THE CABLE. Julia Redman-Carter – PAETEC questioned if Jamal was stating that if there is a service provisioned that is in a binder group that interferes, that Qwest won’t remove (5/13/11 Updates received from Integra and PAETEC in CAPS) OR ADJUST it? Jamal Boudhaouia – Qwest said he is not saying that but what is in loop plant (5/13/11 Updates received from Integra and PAETEC in CAPS) IS WHAT’S THERE AND could have interference. QWEST CANNOT GUARANTEE THERE IS NO INTERFERENCE UNTIL Qwest [remove WOULD HAVE TO] look[S] at cable plant. Karen Clauson – Integra said the big answer to be explained (5/13/11 Updates received from Integra in CAPS) BY A DELETION AND EITHER DELETE THE SENTENCE OR MODIFY TO EXPRESS CONTEXT. WHEN WE [remove IS TO] talk about Spectrum Management going forward and whether ADSL and xDSL be put in same OR ADJACENT binder group[S] going forward will interfere. Jamal Boudhaouia – Qwest said the discussion will take a long time. All (5/13/11 Updates received from Integra in CAPS) XDSL are powered from the CO and they are standard compliant for power interference and spectrum management. These will not have interference. YOU GET INTERFERENCE WHEN YOU HAVE THE SAME DSL SERVICE AND ONE IS RUNNING FORM THE CO AND THE OTHER FROM THE TERMINAL BECAUSE THEY ARE DIFFERENT POWER LEVELS. JAMAL SAID YOU GET THE SAME THING WHEN YOU PUT THE SAME POWER IT CREATES A WAVE AND IT WILL BE BIGGER FROM THE EDGE. Jamal said that is the physics of power.- WHEN IT TRAVELS it loses its strength. CMP NOTE REPEAT OF ABOVE ENTRY Jamal Boudhaouia – Qwest said the discussion will take a long time. All (5/13/11 Updates received from PAETEC in CAPS) XDSL are powered from the CO and they are standard compliant for power interference and spectrum management. These will not have interference. YOU GET INTERFERENCE WHEN YOU HAVE THE SAME DSL SERVICE AND ONE IS RUNNING FORM THE CO AND THE OTHER FROM THE TERMINAL BECAUSE THEY ARE DIFFERENT POWER LEVELS. JAMAL SAID YOU GET THE SAME THING WHEN YOU THROW A STONE IN A LAKE AND IT CREATES A WAVE THAT WILL BE BIGGER FROM THE EDGE. Jamal said that is the physics of power it loses its strength. Karen Clauson – Integra said she tends to disagree. Power will take longer to discuss. (5/13/11 Updates received from Integra in CAPS). POWER IS NOT THE ONLY THING YOU NEED TO CARE ABOUT. THAT IS FOR THE NEXT DISCUSSION. BACK TO WHERE WE LEFT OFF. IF THE PROTOCOL OPTIONS ARE REQUIRED THEN THAT RAISES QUESTIONS AND HOW WILL QWEST USE THEM. WE NEED A DISCUSSION REGARDING [remove THERE IS A NEED TO TAKE] proactive steps QWEST WILL TAKE to manage spectrum IN PARTICULAR HOW THINGS ARE DIFFERENT UNDER THE AMENDMENT [remove AND WHAT IS ADJUSTMENT IN THE BINDER GROUP]. BEFORE THE AMENDMENT NO NC/NCI CODES WERE TAKEN INTO ACCOUNT SINCE THE AMENDMENT THEY ARE TAKEN INTO ACCOUNT. WE WILL GO THROUGH AND FINISH THE REST MINUS 33. (5/13/11 Updates received from Integra in CAPS) MARK COYNE QWEST SAID OK. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA For Row 34, same changes DIMINISH AND BULLET POINTS AND WILL MAKE THAT CHANGE CORRECT? For Row 35, MODIFIED 6.6 will need to come back to as part of THE BIGGER DISCUSSION OF HOW THE AMENDMENT AFFECTS spectrum management. For Row 36, still talking. For Row 37, no TECH PUB language change is required. For Row 38, this is part of umbrella cleanup. Karen Clauson – Integra said we started with Row 15, we need to go back through 1 through 14 to address consistency, spectrum management, non-loaded loop, diminish capability which wording will be sent back by Karen. Mark Coyne – Qwest said the next call will be Wednesday, May 11 for a two hour slot. We will take a portion of the time for spectrum management and a portion for review of conditioning download. Mike McCarthy – Minnesota Dept of Commerce (5/13/11 Updates received from Integra in CAPS) SAID WHEN WE MEET AGAIN CAN WE START OFF WITH THE UNDERSTANDING THAT WE [remove SUGGESTED THE] use of the definition of spectrum management from the ANSI manual, Section 3.1.45, as used throughout Clause 5. (5/13/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA ASKED IF JAMAL WOULD SEND THAT OUT. Jamal Boudhaouia – Qwest said he would distribute the ANSI definition to the team. [ Per request from Integra on 5-10-11, the following statement was deleted and the document was deleted which was attached. The ANSI definition is posted to the calendar as a separate document which is available at http://wholesalecalendar.qwestapps.com/detail/322/2011-05-02. delete NOTE: The ANSI definition from Jamal is attached.]

4/20/11 Product Process Monthly Meeting Mark Coyne – Qwest said the remaining states of Idaho and Washington went into effect on March 21, 2011. An escalation was received on April 7 associated with Process notice that was sent associated with the related system CR SCR083010-1 that was implemented in IMA during the last release. Mark said the Qwest binding response will be sent out on April 22, 2011. Mark said an ad hoc meeting was held on April 13 and another Ad hoc meeting is scheduled for May 2.

Bonnie Johnson – Integra questioned if Qwest was leaving the system CR open.

Mark Coyne – Qwest said yes.

Bonnie Johnson – Integra requested the review period for the April 13 Ad hoc meeting minutes be extended to the end of day Monday, April 25.

Mark Coyne – Qwest agreed and requested Qwest be given an extra day to send them out.

There were no objections and Mark said the April 13 Ad hoc meeting minutes would be sent out for review by end of day Thursday, April 21 with CLEC response due back at end of day April 25.

4/13/11 Ad hoc Meeting Attendees: Julia Redman Carter- PAETEC, Brenda Bloemke-Comcast, Mindy Chapman - Neustar, Bonnie Johnson-Integra, Doug Denney-Integra, Karen Clauson-Integra, Joyce Pederson - Integra, Kim Isaacs – Integra, Kim Wagner – Integra, Shawn -PAETEC, Chad Alberts - PAETEC, Mitch Moore-Oregon PUC, Kasha Fauscett -Comcast, Jim Hickle-Velocity, Mike McCarthy-Minnesota Department of Commerce, Linda Harmon-Qwest, Rita Urevig – Qwest, Mark Coyne-Qwest, Carolyn Hammack-Qwest, Bob Mohr-Qwest, Mark Nickell – Qwest, Jamal Boudhaouia-Qwest, Cindy Orenstein – Qwest, John Hansen-Qwest, Susan Lorence-Qwest Mark Coyne – Qwest reviewed where the documents for the call could be found and what documents were available. He stated the purpose of the call was not to renegotiate the xDSL Services Amendment but to resolve open points in the documents in relation to the Amendment. He also provided some meeting norms. Susan Lorence - Qwest provided a high level review of the revised Historical timeline that was posted to the CMP calendar. Susan pointed out an addition to the timeline for August 2010 which was the issuance of the Qwest system CR SCR083010-1, Expand the SCA field to allow optional conditioning to be requested, which would mechanize the process of requesting conditioning in IMA. As part of the timeline review, Susan stated that the basis for Qwest to send the Tech Pub updates as a level 2 notification was that there were no process changes with the Tech Pub update; the Tech Pub updates were synching up with the xDSL related documentation that were previously implemented via Level 4 CMP notifications. (4/26/11 Updates received from Integra in CAPS) QWEST SAID THAT IT RECEIVED COMMENTS FROM INTEGRA ON THE LEVEL 2 NOTICE REGARDING MECHANIZING THE SCA FIELD. SUSAN SAID THAT, WHEN QWEST RESPONDED, QWEST SAID THERE WAS AN OVERSIGHT IN DESIGN AND QWEST HAD LEFT OUT A THIRD LEVEL OF CONDITIONING. A SUBSEQUENT ESCALATION WAS RECEIVED FROM INTEGRA, AND FOUR CLECS JOINED – COVAD, CBEYOND, VELOCITY, AND PAETEC. SUSAN SAID QWEST IS IN THE PROCESS OF PUTTING TOGETHER A BINDING RESPONSE. Jamal Boudhaouia – Qwest then began review of the matrix and related Tech Pub updates. Starting with Section 1.1, Jamal said the information included here is general and not specific (4/26/11 Updates received from Integra in CAPS) ON PRODUCTS, AND HE SAID THAT QWEST ADDED THAT THESE ARE EXAMPLES. Jamal said Qwest would follow [ANSI] standards of the ANSI Committee or ANY OTHER other(remove S) STANDARDS COMMITTEES that have a stake in the transport layer. FOR SECTION 1.2, QWEST PROVIDED THE REASON FOR REVISIONS. For Section 1.6, the definition of xDSL Loops was added. Karen Clauson – Integra suggested a more efficient approach would be to respond to CLEC questions as each chapter is reviewed. Jamal Boudhaouia – Qwest agreed to that approach. Mark Coyne – Qwest suggested reviewing the sections where Qwest agreed to first. Karen Clauson - Integra said she would prefer to focus on the points where Qwest did not agree versus where Qwest did agree. She said it would be good to have dialogue but did not want to lose time and wanted to focus on what Jamal was prepared to discuss. Jamal Boudhaouia – Qwest said if there are questions not on the March 14 comments he would have to take that back. Jamal said in addition if there are questions on the 4/11/11 Matrix from Integra that we do not have answers to, he would also take those back. Karen Clauson - Integra then began to review the Integra xDSL Matrix Reply dated 04-11-11. She said she assumes updates in regard to row #1 are cleanup and will be done at the end. Row #2 deals with (4/26/11 Updates received from Integra in CAPS) [remove THOSE] CLECS that don’t have the Amendment. NOTE: An updated matrix dated April 19, 2011 follows these meeting minutes and will be posted to the Wholesale calendar at http://wholesalecalendar.qwestapps.com/detail/320/2011-04-13. The matrix includes columns that show the March 14, 2011 CLEC Comments, the April 4, 2011 Qwest Response, both the April 11 and April 14, 2011 CLEC reply, and an April(4/26/11 Updates received from Integra in CAPS) [remove 19, insert 21], 2011 Qwest Response. [insert footnote] The updated matrix captures the key (4/26/11 Updates received from Integra in CAPS) [remove POINTS OF DISCUSSION IN] ACTION ITEMS FROM the April 13, 2011 Ad hoc call in gray shading provided by Integra and also captures Qwest updates that were agreed to on the call in addition to items that Qwest has subsequently reviewed and responded to IN THE MATRIX following the Ad hoc call. The matrix is being used to capture [remove DISCUSSION] ACTION ITEMS in conjunction with these meeting minutes AND DOES NOT REPLACE MEETING MINUTES. Jamal Boudhaouia – Qwest said in regard to row #2, the only difference between those that sign the Amendment and those that don’t is the ability to see the test results. If a CLEC signs the agreement, they see the test results; those that don’t sign it, don’t see them (4/26/11 Updates received from Integra in CAPS) UNLESS THEY ORDERED COORDINATED INSTALL. Jamal said for efficiency, Qwest has to put a process in place for ALL technicians to be trained the same way. Jamal said Qwest will do 196 kHz testing for those CLECs that did not sign the agreement. If you have coordinated testing, you will see the test results. If you do not, you will not see the test results. See row #2. Also, if a CLEC signed the agreement, they will be able to request conditioning as defined in the agreement2/16/11 Product Process CMP Meeting Mark Coyne – Qwest relayed that the notification to implement the additional states was sent out on January 24, 2011. Qwest submitted its final notification and response to comments on February 11, 2011. On February 14, 2011,Qwest received an escalation from Integra on two issues. That escalation has been posted to the CMP external site and on February 15, a notification was sent out to the entire CLEC community to inform them of the escalation. At this point, Qwest is in the process of developing its response and will be sending it out according to the CMP document. Mark said the rollout of the remaining states related to this change will remain on schedule while we try to resolve these two issues. (4/26/11 Updates received from Integra in CAPS) BONNIE JOHNSONS - INTEGRA ASKED IF QWEST IS SAYING FOR THOSE THAT DO NOT SIGN THE AMENDMENT THEY WON’T SEE THE TEST RESULTS BUT QWEST WILL TEST OR IS QWEST SAYING THEY WILL COMPLETE THE TEST. JAMAL BOUDHAOUIA – JAMAL SAID WE TEST TO 196 KHZ, AND IF YOU SIGN THE AMENDMENT YOU RECEIVE THE TEST RESULTS; IF THE AMENDMENT IS NOT SIGNED, YOU WILL NOT GET THE TEST RESULTS. (4/26/11 Updates received from Integra in CAPS) BONNIE JOHNSON – INTEGRA said so Qwest will test and if the Amendment is signed, the test results are provided. If the Amendment is not signed, the test results are not provided BUT QWEST IS STILL DOING THE TESTING. Jamal Boudhaouia – Qwest said yes and that he was referring to testing not conditioning. Karen Clauson - Integra (4/26/11 Updates received from Integra in CAPS) ASKED WHAT ABOUT TESTING ON REPAIRS? SHE said the Tech Pub deals with both testing and conditioning and asked about other differences if a CLEC does not sign the Amendment. Jamal Boudhaouia – Qwest said the Tech Pub does (4/26/11 Updates received from Integra in CAPS) NOT HAVE DIFFERENCES FOR PROCESS. THOSE ARE IN THE PCAT AND DOWNLOAD; THEY DEFINE REQUIREMENTS. HE SAID THE TECH PUB ADDRESSES WHETHER CAN CARRY A SIGNAL BASED ON NC/NCI CODES AND [remove NOT ADDRESS THE PROCESS BUT] addresses technical capabilities or the physical layer of the loop to the CLEC. Jamal said process is addressed in the PCAT and the Conditioning download. (4/26/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA ASKED WHETHER WE SHOULD BE EDITING THE TECH PUB AND TAKING OUT ALL PROCESSES. JAMAL BOUDHAOUIA – QWEST STATED THAT THE PHYSICAL PROCESS OF CONDITIONING IS IN THE TECH PUB, WHICH SHOULD MATCH THE ICA. THE PCAT TELLS WHETHER IT IS AVAILABLE.Karen Clauson - Integra asked whether the PCAT and the download (4/26/11 Updates received from Integra in CAPS) SHOULD also MATCH[ remove MEANT] the ICA. Jamal Boudhaouia – Qwest said yes, the PCAT should match the ICA. Karen Clauson - Integra then reviewed (4/26/11 Updates received from Integra in CAPS) MATRIX row #3 and reiterated the request to add more examples and the xDSL definition. Jamal Boudhaouia – Qwest explained that Section 1.1 was for General information only and is to give information of what the Tech Pub is and that this information would be addressed in the relevant Tables in a subsequent section. (4/26/11 Updates received from Integra in CAPS) JAMAL SAID THAT WHEN QWEST UPDATES WITH OTHER FLAVORS THAT ARE INVOLVED OR DEVELOPED, QWEST WILL ADD THEM IN THE RELEVANT TABLE TO INCLUDE THE NC/NCI CODE AND THAT SECTION 1.1 IS AN EXAMPLE ONLY. PARTICULAR TYPES ARE IN THE RELEVANT TABLES, AND THEN QWEST UPDATES THE RELEVANT SECTION. Karen Clauson - Integra said they had not seen the information anywhere else and that it would be important to include in Section 1.1 to cover the general principles and the successive technologies as well. (4/26/11 Updates received from Integra in CAPS) INTEGRA ASKED WHETHER QWEST WILL INCLUDE THE DEFINITION OF DIGITAL SUBSCRIBER LOOP FROM THE AMENDMENT. Jamal Boudhaouia – Qwest requested that Integra send him language and that he would look at it and that he would then look (4/26/11 Updates received from Integra in CAPS) AND, IF APPLICABLE, WILL INCLUDE IT. [remove AT INCLUDING THE DEFINITION IF IT WAS APPLICABLE.] Julia Redman-Carter - PAETEC (4/26/11 Updates received from Integra in CAPS) SAID THAT JAMAL SAID “IF APPLICABLE,” AND questioned [remove WHETHER THERE WAS] WHAT IS THE [remove A] standard for applicability. Jamal Boudhaouia – (4/26/11 Updates received from Integra in CAPS) QWEST SAID IT IS GENERAL, NOT SPECIFIC, SO QWEST NEEDS TO LOOK AT IT. Qwest said a Tech pub is based on national standards. Jamal said he will look at the definition to see if it aligns with a standard DSL definition and if it does, he will include it. Karen Clauson - Integra read the definition from the Amendment (4/26/11 Updates received from Integra in CAPS) [remove THAT WAS LATER EMAILED TO THE QWEST CMPCR MAILBOX]. She requested it be included in the General Section so it could be referred to in later sections AND WOULD NOT NEED TO BE REPEATED EACH TIME. (4/26/11 Updates received from Integra in CAPS) NOTE: INTEGRA SENT THE XDSL AMENDMENT TO THE QWEST CMPCR MAILBOX BY EMAIL DATED APRIL 13, 2011. INTEGRA INDICATED IN THE EMAIL THAT, IF JAMAL DESIRES A COPY OF THE ENTIRE MERGER AGREEMENT, QWEST CAN OBTAIN A COPY FROM CAROLYN HAMMACK AT QWEST, WHO WAS WITH JAMAL ON THE AD HOC CALL THAT DAY, AND WHO WAS PRESENT DURING THE QWEST-CENTURYLINK-INTEGRA NEGOTIATIONS OF THE XDSL AMENDMENT (ATTACHMENT A TO THE MERGER SETTLEMENT AGREEMENT). (4/26/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA - QWEST: STATED IT SOUNDS OK TO ME. KAREN CLAUSON – INTEGRA ASKED IF SECTION 1.6 IS PURSUANT TO THE CLEC ICA. JAMAL BOUDHAOUIA – QWEST ANSWERED YES.Karen Clauson - Integra reviewed (4/26/11 Updates received from Integra in CAPS) MATRIX row # 4 which Qwest agreed to update with the final review of the Tech Pub updates and MATRIX row #5 which Qwest agreed to change TO CLEC’S PROPOSED LANGUAGE. Karen then addressed MATRIX row #6. INTEGRA SAID THAT QWEST HAS INTRODUCED A NEW PHRASE -- “RENDER LOOPS UNSUITABLE” -- INSTEAD OF THE FCC DEFINITION LANGUAGE OF “COULD [remove AND] DIMINISH.” INTEGRA proposed Qwest use the FCC definition of conditioning in Chapter 1 which can then be referred to in later sections. Jamal Boudhaouia –(4/26/11 Updates received from Integra in CAPS) [remove QWEST PROVIDED AN EXPLANATION OF THE DIFFERENCE] JAMAL SAID THAT HE WAS PUTTING HIS ENGINEERING HAT ON. HE SAID "COULD DIMINISH" MEANS THE LOOP IS ALREADY INSTALLED AND REFERS TO THE CAPABILITY AS INSTALLED AND THAT THERE IS AN EXISTING CIRCUIT THAT COULD DIMINISH OVER TIME. HE SAID “COULD DIMINISH" DOESN'T ADDRESS WHAT HAPPENS AT INSTALLATION. QWEST SAID that the Tech Pub defines WHAT IS THE CAPABILITY OF THE LOOP FACILITY THAT WE PROVIDE YOU [remove THE PARAMETERS OF THE LOOP TO BE PROVIDED] versus the FCC definition which is the capability of the loop over time. Jamal said the Tech Pub was not intended to address the term “diminishing.” Karen Clauson - Integra said (4/26/11 Updates received from Integra in CAPS) [remove THE] A difference is that the Qwest IS FOCUSING [remove EMPHASIS IS] on the word “diminish” and the CLEC FOCUS [remove EMPHASIS] is on the word “could”. Jamal Boudhaouia – (4/26/11 Updates received from Integra in CAPS) QWEST SAID YOU SHOULD DO THAT BEFORE, IF YOU ORDER CONDITIONING, IF YOU WANT TO ADD REMOVE ALL, YOU CAN ADD REMOVE ALL CONDITIONING ON A LOOP. Qwest said the Tech Pub [remove FOCUSES ON WHAT THE CAPABILITIES ARE OF THE LOOP ORDERED AND PROVISIONED. ] PROVIDES THE DEFINITION OF TECHNICAL PARAMETERS BASED ON WHAT WAS ORDERED. He said he did not know the FCC’s intent; HE IS NOT A LAWYER. THE TECH PUB ADDRESSES ONLY THE CAPABILITIES OF THE COPPER LOOP, THE TECHNICAL PARAMETERS. Karen Clauson - Integra said the Amendment doesn’t define conditioning differently (4/26/11 Updates received from Integra in CAPS) [remove THEN] THAN the FCC. She said (4/26/11 Updates received from Integra in CAPS) THERE IS AN AGREEMENT TO PAY A DIFFERENT RATE [remove AMENDMENT PROVIDES THE NEGOTIATED RATE TO BE USED UNDER DIFFERENT CIRCUMSTANCES.] The Tech Pub and the Amendment both say here is what will occur when performing Conditioning and they need to synch up. Karen said the Qwest language “rendering unsuitable” is a problem and should have been part of negotiation which we are not here to redo. She said the language does not reflect the Amendment and that they cannot agree to it. Jamal Boudhaouia – Qwest said we are talking semantics. (4/26/11 Updates received from Integra in CAPS) QWEST SAID THAT THE PROCESS FOR CONDITIONING IS NOT IN THE TECH PUB. IT IS OUTSIDE THE TECH PUB, IF SIGNATORY TO THE AMENDMENT TO GET THE BENEFITS. FROM A TECH PUB PERSPECTIVE, WE DON’T USUALLY REFER TO A DEFINITION OUTSIDE THE TECHNICAL WORLD. LANGUAGE AS FAR AS ICAS WOULD RESIDE IN PROCESSES AND ICAS AND NOT BE PART OF THE TECH PUB, WHICH IS AS DEFINED IN THE ANSI STANDARDS. JAMAL [remove AND] he would review the ANSI standard language and propose something different. [remove SEE ROW #6.] The Tech Pub is intended to reflect the Amendment and not intended to be a PCAT. (4/26/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA SAID SHE IS GLAD TO HEAR THAT. SHE SAID WE ARETALKING ABOUT THREE CRITICAL WORDS CHANGED FROM THE FCC DEFINITION. KAREN SAID, IF QWEST SENDS SOMETHING, WE WILL LOOK AT IT. KAREN SAID QWEST KNEW IT WAS TO REFLECT THE ICA AND, IF QWEST DOES SOMETHING ELSE, IT IS DIFFERENT FROM THE ICA. (4/26/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST IS REFLECTING THE AMENDMENT, ABSOLUTELY. IT IS NOT WORD-FOR-WORD BUT HAVE DONE IT TO A LARGE EXTENT. THE DEFINITIONS MAY FALL UNDER DIFFERENT DOCUMENTS. TECH PUBS SHOULD REFLECT TECHNICAL CAPABILITIES. AS FAR AS PROCESSES AND PRODUCT DEFINITIONS, THE TECH PUB IS NOT A PRODUCT CATALOG. QWEST SAID AGAIN WE ARE TALKING SEMANTICS. WE NEED TO DISTINGUISH CAPABILITY. “DIMINISHES” IS OVER TIME; LOOK AT THE TIME OF TESTING. Karen Clauson - Integra said, if it is a matter of semantics, then . (4/26/11 Updates received from Integra in CAPS) AS A COURTESY use the CLEC language proposed. This particular language does not reflect the Amendment and if new language is proposed, it should reflect the Amendment and not be left to Qwest to interpret. The language is the same between the two except for the few words. Jamal Boudhaouia – Qwest said he is not ready to agree . (4/26/11 Updates received from Integra in CAPS) AND HE NEEDS TO TAKE THIS BACK. If he agrees to use “could diminish,” that impacts the industry Tech Pubs. . (4/26/11 Updates received from Integra in CAPS) JAMAL SAID THIS WOULD CHANGE EVERYTHING AND THAT HE WOULD NEED TO GO BACK TO BELLSOUTH AND AT&T AND REVISE IT, and HE SAID that he WOULD [delete COULD] NEED TO PUT IT IN THE [delete TAKE IT TO ] ANSI FORUM for review. Karen Clauson - Integra said . (4/26/11 Updates received from Integra in CAPS) WE NEED TO FOCUS ON the words “could diminish” WHICH are the issue and the FCC DEFINITION IN THE FEDERAL RULE, INCLUDING THE word “could,” has been around for years and is not inconsistent with other industry Tech Pubs. KAREN SAID, IF BRIDGE TAP COULD DIMINISH THE SERVICE, THEN IT COMES OFF TO PROVIDE THE SERVICE. Mark Coyne - Qwest suggested in the interest of making the best use of the remaining hour, the Qwest SMEs take some time to review the most recent proposed changes from Integra and that the meeting moves on to reviewing the Conditioning download and PCAT. Karen Clauson - Integra said she thought the discussion has been useful since it is the most important issue and it is beneficial for Qwest to have that background as further language changes are considered. Karen said she preferred to continue review of the Tech Pub matrix since that was the . (4/26/11 Updates received from Integra in CAPS) STATED intent of today’s meeting IN THE NOTICE, and since the Conditioning Download updates were just received AND, BECAUSE QWEST DID NOT SEND A NOTICE OF THE CHANGE, [delete THEY] WE NEEDED [delete NEED] time to review them. (4/26/11 Updates received from Integra in CAPS) MARK COYNE – QWEST SAID THERE WAS NOT ADDITIONAL NOTICE FOR THE CHANGES TO THE DOWNLOAD, AS PART OF THE LEVEL 3 NOTICE WAS PULLED BACK, SO THERE WAS NO ADDITIONAL COMMENT PERIOD. (4/26/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA SAID SHE WAS NOT CRITICIZING; WE JUST NEED TIME TO LOOK AT THE NEW DOWNLOAD CHANGES AND THE MEETING WAS NOTICED TO DISCUSS THE TECH PUB. It was agreed to continue review of the Tech Pub matrix. Julia Redman-Carter - PAETEC said that PAETEC agrees 100% with the Integra position and wanted to provide that feedback and will continue as she has unless she has something else to add. Mark Coyne – Qwest agreed and also said if there are other call participants that disagree. (4/26/11 Updates received from Integra in CAPS) [delete WITH THE DISCUSION], they [delete WOULD MAKE THAT KNOWN] SHOULD SPEAK UP. Karen Clauson - Integra reviewed (4/26/11 Updates received from Integra in CAPS) MATRIX Row #7, Section 2.2.2, this is a cleanup issue and Qwest agreed. KAREN SAID WHERE ISDN-BRI IS USED IT NEEDS TO BE SPECIFIC AND CONSISTENT SO THE TECH PUB WILL BE CLEAR THAT THESE SECTIONS APPLY TO ISDN-BRI. (4/26/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID NO PROBLEM. Karen Clauson - Integra reviewed . (4/26/11 Updates received from Integra in CAPS) MATRIX Row #8 and said the issue is not placement as long as it is included and that this relates to Section 1.1 (Row #3) in providing more examples. Qwest agreed to look at it in both places. (4/26/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID HE WILL PUT IT IN SECTION 1. Karen Clauson - Integra reviewed (4/26/11 Updates received from Integra in CAPS) MATRIX Row #9, Section 3.1 where Qwest had already agreed and Qwest agreed to the proposed expanded update. KAREN SAID IT IS NOT LIMITED TO ASSIGNING FACILITIES, AND QWEST NEEDS TO EXPAND 3.1 INCLUDE PERFORMING REPAIRS AND SPECTRUM MANAGEMENT. (4/26/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID, NO PROBLEM, QWEST WILL ADD THAT. (4/26/11 Updates received from Integra in CAPS) KAREN CLAUSON - INTEGRA SAID ALSO [delete also] in regard to Row #9 and the embedded base and the NC/NCI code issue, Integra is requesting wording to be added so the Qwest technicians know what should happen if the codes are different than what is in the Amendment. KAREN SAID SHE UNDERSTANDS THIS IS THE TECH PUB BUT THERE NEEDS TO BE LANGUAGE ABOUT WHAT WILL HAPPEN EVEN IF IT IS TO RECOGNIZE THAT FOR THE EMBEDDED BASE YOU LOOK ELSEWHERE. (4/26/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID REPAIR ADDRESSES THE EMBEDDED BASE SO IT IS ALREADY INCLUDED. (4/26/11 Updates received from Integra in CAPS) KAREN CLAUSON - INTEGRA SAID GOING FORWARD IS TAKEN INTO ACCOUNT BUT THE EMBEDDED BASE HAS NOT BEEN TAKEN INTO ACCOUNT. IF IT IS A RECENT ORDER, THEN THE CLEC HAS TO SUBMIT AN ORDER AND CHANGE THE NC/NCI CODE. BUT, IF IT IS OLD, THEN IT IS A RECORDS UPDATE, AND THAT PROCESS IS IN THE AMENDMENT, SO THIS SHOULD BE A HEADS UP FOR TECHNICAL PEOPLE. WITHOUT THAT, THEY WILL DO SOMETHING ELSE. Jamal Boudhaouia – Qwest said the Qwest technicians don’t see the Tech Pub or the up front order processes. (4/26/11 Updates received from Integra in CAPS) HE SAID THE TECH PUB REALLY DOESN’T INFLUENCE WHAT THE TECHNICIAN SHOULD DO OR NOT DO. HE SAID, FOR THE EMBEDDED BASE, WHEN THEY SEE NEW OR CHANGE ORDERS TO NC/NCI CODES, QWEST SEES THE NEW CODES AND TESTS TO PARAMETERS. The technicians see the correct NC/NCI codes ON THE ORDER and perform testing based on whatever is defined for them as required. HE SAID THE TECH PUB DOES NOT CARE ABOUT RECORDS, AND THEY WILL DO WHATEVER IS ON THE ORDER. THEY DO NOT KNOW WHETHER THE RECORDS ARE WRONG OR NOT. HERE ARE THE TEST PARAMETERS AND IT SHOULD FALL WITHIN THIS LIMIT. It has nothing to do with the Tech Pub. Julia Redman-Carter - PAETEC said the embedded base is her biggest concern and how (4/26/11 Updates received from Integra in CAPS) THE repair will be handled if Qwest identifies IT AS THE WRONG [delete THAT THE] NCI CODE [delete WRONG]. She said her understanding is THAT QWEST WILL [delete THErepair TO [delete WOULD] WHAT IT SHOULD BE [delete OCCUR] AND then PAETEC would follow-up with an order. JULIA ASKED, UNDER THE TECH PUB, WHAT WILL GET REPAIRED? JULIA SAID SHE IS CONCERNED AS TO HOW THIS GETS REFLECTED. Julia questioned how does the correct work get done PER THE AMENDMENT. Jamal Boudhaouia – Qwest said the question is valid but is really a process and not a Tech Pub issue. (4/26/11 Updates received from Integra in CAPS) JAMAL SAID, IF THERE IS AN ADSL NC/NCI CODE TO RUN ADSL, THEN QWEST WILL TEST TO THE NC/NCI CODE. IT IS PUSHED DOWNSTREAM. Jamal said that the agreed to process would be that Qwest would send [delete A] AN SERVICE order with the correct NC/NCI to test but then request the customer send a records order to correct the Qwest records. QWEST WILL TEST TO THE QWEST SERVICE ORDER, USING THE CORRECT ONE. Karen Clauson - (4/26/11 Updates received from Integra in CAPS) INTEGRA SAID, FOR EMBEDDED BASE CUSTOMERS, THE SERVICE DEPLOYED ON THE LOOPS ASSUMES CERTAIN NC/NCI CODES AND THAT SCENARIO SHOULD BE CAPTURED IN THE TECH PUB. Integra said it does become a Tech Pub issue and is specific to the Amendment language IN 9.2.2.3.5.5, where the going forward process is described. Karen said they are looking for the one scenario where there is the potential for error. Karen said that the embedded base is a key area and one that causes a lot of problems and part of why this has become an issue. She said the Tech Pub is frequently quoted back TO THE CLEC and that the scenario needs to be addressed with [delete AN] THE exception. Karen said she thinks the fix is fairly simple if it isreferenced in this update. Jamal Boudhaouia – Qwest said he was concerned with having to reference all of the possible VARIATIONS [delete SCENARIOS] in the Tech Pub and that it is not designed for that. Jim Hickle – Velocity said (4/26/11 Updates received from Integra in CAPS) THAT IS NOT THE CASE. HE SAID [delete THE] Qwest SHOULD GET ITS techs [delete SHOULD] TO stop throwing THE TECH PUB [IT] back at the CLECs AND TELLING US TO FOLLOW THE TECH PUB. HE ASKED, IF THE TECH PUB IS NOT MEANT TO TELL TECHS TO DO THEIR JOB, WHY IS IT NEEDED AND WHY DO THE TECHS [delete THEN] SAY that [delete THEY] CLECS are not following the Tech Pub [delete .AND] Qwest should address that. Jamal Boudhaouia – Qwest said Qwest has tried to do that and that language was added to say NC/NCI codes are good to use no matter where they come from -- CLECs, Qwest or however they get into the system. Also, the Tech Pub language changed to take into account the NC/NCI codes when assigning facilities (4/26/11 Updates received from Integra in CAPS), PERFORMING REPAIRS, AND PERFORMING SPECTRUM MANAGEMENT. Julia Redman-Carter – (4/26/11 Updates received from Integra in CAPS) JULIA SAID QWEST HAS, IN OTHER PLACES, REFERENCED SOMETHING ELSE THAT CONTAINS THE PROCESS – NOT THAT QWEST GAVE THE PROCESS, BUT WHERE THE PROCESS IS. JULIA SAID THAT, FOR THE EMBEDDED BASE, PAETEC IS NOT ASKING THAT TO EXPLAIN THE PROCESS BUT TO NOTE THE EXCEPTION HERE. PAETEC suggested the exception needs to be noted in the process for the techs [delete AND THAT IT IS] OR THEY ARE still going to follow the NC/NCI codes. Karen Clauson – Integra provided an example of the repair situation using ADSL(4/26/11 Updates received from Integra in CAPS) ACTUALLY DEPLOYED ON THE LOOP and IDSL AS THE NC/NCI CODES IN THE RECORDS. KAREN SAID, IN [delete in] regard to the embedded base, Amendment section 9.2.2.3.5.5 SAYS THAT, [delete ]IN THIS example,[delete THAT] WHEN the records say IDSL, Qwest will repair to ADSL, and will allow the change TO THE PAPERWORK from IDSL to ADSL later. Karen said the key is to AT LEAST acknowledge the exception [delete AT LEAST] in the Tech Pub. The document needs to be clear on which NC/NCI to use in the repair situation since a lot of time and money has been spent to develop [delete IT] THESE TERMS. Jamal Boudhaouia - Qwest- said he liked Julia’s recommendation to see what processes are out there and point to it. Karen Clauson – Integra said she will only agree to that if the reference is to the ICA (4/26/11 Updates received from Integra in CAPS) FOR [delete AND] the embedded base. Jamal Boudhaouia – Qwest agreed that it will have the same reference to the download for the embedded base. Karen Clauson – Integra said that is the objection. (4/26/11 Updates received from Integra in CAPS) SHE SAID WE KNOW WHAT THE PCAT SAYS TODAY BUT WE DO NOT KNOW WHAT IT WILL SAY TOMORROW. The reference needs to ACKNOWLEDGE THIS SCENARIO AND include the ICA since the PCAT or download can be changed. Jamal Boudhaouia – Qwest said (4/26/11 Updates received from Integra in CAPS) HE AGREES absolutely, it should be the ICA but it might not be in this particular section since there could be a better place for it. Julia Redman-Carter – PAETEC said it may be in other sections but it really (4/26/11 Updates received from Integra in CAPS) ALSO needs to be in Section 3.1 because of the issues with the embedded base and NC/NCI codes. Karen Clauson – Integra said it sounds like we agree the wording can get into the Tech Pub someplace and that maybe Qwest wants to take it back to determine where. Jamal Boudhaouia – Qwest agreed to take it back. (4/26/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA SAID IT’S A BIG ISSUE AND WE REALLY APPRECIATE IT. Karen Clauson – Integra said (4/26/11 Updates received from Integra in CAPS) MATRIS row #10 was agreed to by Qwest. MATRIX Row #11 was agreed to by Qwest. MATRIX Row #12 was agreed to by Qwest. For MATRIX row #13, since it is related to process for both Qwest and CLEC, the question is should the paragraph be removed. KAREN SAID QWEST LEFT IN THE CLEC RESPONSIBILITIES BUT NOT QWEST’S RESPONSIBILITIES. Jamal Boudhaouia – Qwest said it will all be removed. Karen Clauson – Integra said in regard to (4/26/11 Updates received from Integra in CAPS) MATRIX row #14, that no Qwest response had been provided to change the first three fields required to the first four fields that are required AND SHE ASKED IF THE OMISSION WAS INADVERTENT OR IF QWEST HAS A REASON FOR THAT. Jamal Boudhaouia – Qwest said (4/26/11 Updates received from Integra in CAPS) YES, QWEST HAD A REASON. HE SAID the protocol option defines the equipment capabilities to put on and what protocol is. HE SAID THAT, WHETHER IT IS ETHERNET, IP, OR WHATEVER YOU PUT ON IT, YOU DO NOT TEST TO THE PROTOCOL. He said Qwest does not test to protocol but to physical characteristics of the loop. Karen Clauson – Integra said Qwest previously argued in 271 cases that the NCI codes had to be available to do Spectrum management. Karen said now CLECs want (4/26/11 Updates received from Integra in CAPS) QWEST TO USE the NCI code and the question is why Qwest SAYS IT does not need the information. Jamal Boudhaouia – Qwest said (4/26/11 Updates received from Integra in CAPS) to LOOK AT THE FREQUENCY RANGE; SPECTRUM MANAGEMENT IS MORE ABOUT POWER AND NOT PAYLOAD. JAMAL SAID YOU LOOK AT THE POWER INFLUENCE BETWEEN DIFFERENT DSL SERVICES; YOU DO NOT LOOK AT PAYLOAD, EQUIPMENT ON THE LOOP. HE SAID the NC/NCI code without the forth character defines the POWER SPECTRUM OR frequency range IT SHOULD FALL WITHIN AND [delete THE DSL SERVICE IS RUNNING ON THE LOOP AND also defines the power limits. JAMAL SAID POWER SPECTRUM MANAGEMENT IS BASED ON FREQUENCY RANGES AND POWER CARRYING FROM YOUR EQUIPMENT. Jamal said Qwest does not and should not look at the payload [delete FOR THE INFORMATION] IN THAT FREQUENCY RANGE [ delete THAT IS BEING TRANSMITTED]. (4/26/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA ASKED JAMAL TO SLOW DOWN. SHE SAID THAT HE IS GOING TOO FAST AND THAT IT IS DIFFICULT TO ABSORB BECAUSE HE IS TALKING TOO FAST. (4/26/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – JAMAL SAID MAYBE HE SHOULD BE TALKING TO ENGINEERS INSTEAD. (4/26/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA SAID THAT SHE BELIEVES SHE HAS SHOWN THAT SHE IS CAPABLE OF UNDERSTANDING THE INFORMATION AND COULD UNDERSTAND IT IF JAMAL TALKED SLOWER. KAREN SAID THAT SHE IS QUITE SURE AN ENGINEER WOULD HAVE TROUBLE KEEPING UP AS WELL BECAUSE JAMAL IS TALKING SO FAST. (4/26/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST RESPONDED ABSOLUTELY AND APOLOGIZED. Julia Redman-Carter – PAETEC said she understood it made a difference for binder groups to be put together based on whether it was ADSL, SDSL, etc. (4/26/11 Updates received from Integra in CAPS)[delete AND ASKED IF THAT WAS TRUE. SHE SAID IT DOES MAKE A DIFFERENCE AND BASED ON THE ORDER WE WILL TELL WHAT FLAVOR BECAUSE THE NC/NCI CODES TELL QWEST THAT INFORMATION. JULIA ASKED IF QWEST AGREED. Jamal Boudhaouia – Qwest said the NC/NCI codes DO define (4/26/11 Updates received from Integra in CAPS) [delete THE] WHAT DSL IS RUNNING ON THE LOOP [delete TYPE], WHAT FLAVOR OF DSL IT IS USING. JAMAL SAID THE FOURTH CHARACTER DEFINES THE PROTOCOL, WHATEVER IS PUT ON IT. HE SAID HE NC/NCI CODES DEFINE THE FLAVOR. Kim Isaacs – Integra (4/26/11 Updates received from Integra in CAPS) ASKED, IF QWEST IS NOT LOOKING AT THE FOURTH FIELD IN THE NCI CODE, HOW CAN QWEST DETERMINE WHAT THE TYPE OF DSL. SHE ASKED ABOUT THE IMPEDENCE. SHE ASKED IF THE PROTOCOL OPTIONS ISN’T THE ONLY THING ALLOWING QWEST TO UNDERSTAND THE FREQUENCY. INTEGRA questioned what information provides Qwest everything that is necessary to know about spectrum management.. [delelte ?] (4/26/11 Updates received from Integra in CAPS) JAMAL BOUDHAOUIA – QWEST SAID THE PROTOCOL OPTIONS DEFINE THEPROTOCOL PUSHING DATA THROUGH AND TELLS WHICH DSL IS RUNNING ON THE LOOP. HE SAID, WITHOUT THAT OPTION, WE KNOW FROM THE PHYSICAL LAYER WHICH DSL IS RUNNING ON THE LOOP. (4/26/11 Updates received from Integra in CAPS) KIM ISAACS – INTEGRA ASKED HOW QWEST DOES THAT. INTEGRA SAID THE FIRST FIELD IS TOTAL CONDUCTORS AND THE SECOND FIELD IS CONNECTION AT THE CO AND THE THIRD FIELD IS THE IMPEDANCE AND NONE OF THESE TELL ME THAT THIS IS ADSL. SHE ASKED, SO HOW DOES THAT TELL QWEST WHAT YOU NEED TO KNOW. Jamal Boudhaouia – Qwest said (4/26/11 Updates received from Integra in CAPS) YES, FROM THE IMPEDENCE AND OHMS, QWEST CAN TELL THE FLAVOR. HE SAID, from the combination of the NC/NCI codes in the Tech Pub, Qwest knows which type of DSL flavor. Kim Isaacs – Integra referred to the Table 3-14 (4/26/11 Updates received from Integra in CAPS) AND POINTED OUT THAT, OF ALL THOSE WITH AN “NC” OF “LX-N,” MOST BEGIN WITH A CODE OF “02” FOLLOWED BY “QB” FOR THE MANUAL CROSS CONNECT. WHE SAID THAT, FOR IMPEDENCE, IT IS EITHER A “9” OR “5.” SHE CONCLUDED THAT THE DIFFERENCE BETWEEN THESE LOOPS, THEREFORE, IS IN THE PROTOCOL OPTIONS FIELD. SHE ASKED WHETHER THE PROTOCOL OPTIONS FIELD ISN’T THE INFORMATION THAT GETS TO THE MEAT OF WHAT IS RUNNING ON THE LOOP. KIM questioned whether it was the protocol options that provide the key of what is running and that makes the codes different. She said it appears the fourth field is required to understand the spectrum management class. Jamal Boudhaouia – Qwest said no, the NC/NCI codes in Table 3-14 defines the recognizable flavors of DSL. (4/26/11 Updates received from Integra in CAPS) KIM ISAACS – INTEGRA SAID THE FOURTH FIELD IS THE FIELD THAT GETS TO THE MEAT OF THE MATTER. IT IS WHAT MAKES EACH CODE DIFFERENT, AND IT IS REQUIRED TO UNDERSTAND SPECTRUM MANAGEMENT. KIM ASKED WHETHER QWEST AGREES THAT THE FOURTH FIELD GETS TO THE MEAT OF THE MATTER. KIM SAID THAT IT IS THE PROTOCOL OPTIONS THAT TELL WHETHER IT’S XDSL OR ADSL. KIM ASKED IF JAMAL SEEING WHERE WE’RE GOING WITH THE PROTOCOL OPTIONS – THAT THE FOURTH FIELD HAS TO BE REQUIRED? SHE SAID THAT QWEST NEEDS TO REQUIRE THE FOURTH FIELD. Bonnie Johnson – Integra (4/26/11 Updates received from Integra in CAPS) ASKED IF QWEST’S ANSWER IS THAT QWEST WILL PLACE ALL OF THESE DIFFERENT TYPES OF DSL [delete in the same binder group.[delete ?] Jamal Boudhaouia – Qwest said yes, (4/26/11 Updates received from Integra in CAPS) QWEST IS ALLOWED TO PUT THE TOGETHER IN THE SAME BINDER GROUP. HE SAID you can put different or multiple DSL signals in a single binder group without interference if they are within the spectrum management guidelines. Julia Redman-Carter – PAETEC said(4/26/11 Updates received from Integra in CAPS) that she is concerned based on history and that THIS is EXACTLY THE opposite of what she [delete HAS]heard [delete PREVIOUSLY] BEFORE. SHE SAID PAETEC’S [delete HER] experience with the embedded base indicates a problem putting ADSL and SDSL together in a binder group, and that it is a spectrum management issue. SHE SAID THAT THE FOURTH FIELD IS THE BASIS FOR SEPARATING THEM OUT. Jamal Boudhaouia – Qwest said (4/26/11 Updates received from Integra in CAPS) THAT THIS IS A GOOD QUESTION. HE SAID THAT spectrum management is the power influence on each other. HE SAID, WHEN DISCUSSING SPECTRUM MANAGEMENT, IF THERE IS A REMOTE DSL, ALL OF A SUDDEN THERE MAY BE A SUDDEN SHIFT IN THE POWER REFERENCE. HE SAID IF ADSL IS RUNNING FROM THE POWER REFERENCE IT WILL WORK TO HAVE TWO DIFFERENT TYPES OF DSL. HE SAID IF ADSL IS FROM THE CO AND ADSL IS FROM A REMOTE, OR TWO OF THE SAME SERVICES AT TWO DIFFERENT POINTS, THE POWER OF THE ADSL SIGNAL IS HIGHER THAN THE POWER OF THE ADSL SIGNAL THAT TRAVELS THROUGH THE CROSS BOX. ADSL AT REMOTE WILL INTERFERE. THAT IS WHY THE NC/NCI CODES FIGURE IN THE POWER ISSUE. [delete AND] HE provided an example of HDSL and ADSL services running from a central office will not interfere with each other. Spectrum Management issues arise when the same flavor of DSL is running from a different reference point. For example when you have ADSL running from the Central Office and another ADSL running from a remote DSLAM. Jamal said the NC/NCI codes help with figuring out any power issue at a reference point – most likely at a remote terminal. Mike McCarthy-Minnesota Department of Commerce - said it sounds like there is some agreement on the value of the protocol options. Mike said (4/26/11 Updates received from Integra in CAPS) QWEST SAID EARLY IN THE CALL THAT the INTENT OF THE call [delete BEGAN WITH THE INTENT TO RECONCILE] WAS TO RECONCILE the Tech Pub and the ICA. MIKE SAID THAT ATTACHMENT 2 TO THE AMENDMENT INCLUDES THE PROTOCOL OPTIONS. HE SAID THE [delete PROTOCOL OPTIONS ARE INCLUDED IN THE ICA AND IN] ANSI [delete STANDARDS] MANUAL ALSO INCLUDES THE PROTOCOL OPTIONS FIELD. HE SAID THEY [delete AND] are the definition of what drives spectrum management. Mike ASKED, SINCE ALL OF THIS IS CALLED OUT IN THE ICA, WHY WOULD QWEST IGNORE [delete QUESTIONED WHY ]that information [delete WOULD BE IGNORED] in [delete THE]directions to PEOPLE IN the field. Jamal Boudhaouia – Qwest said he would propose language to be added to the Tech Pub that allow the protocol options to be optional. Karen Clauson – Integra said the protocol options are already optional in the Tech Pub, (4/26/11 Updates received from Integra in CAPS) WHICH IS WHAT INTEGRA HAS PROPOSED TO CHANGE. [delete AND] SHE said Mike McCarthy described what is in the ICA. Karen used a pizza example and said they wanted the pizza that had been ordered and not just any pizza. Karen said the same is true for xDSL, they want the xDSL flavor specifically ordered which is why the protocol options are listed in the ICA and need to be listed in the Tech Pub and not be allowed to be optional. KAREN SAID THAT OUR REQUEST IS THAT QWEST RECOGNIZE AND TAKE INTO ACCOUNT THE NCI CODE AND GIVE US WHAT WE ORDERED. Jamal Boudhaouia – Qwest relayed the wording in Chapter 3 of the Tech Pub and said he was willing to AGREE TO TWO OF THE FIELDS [delete CONSIDER A CHANGE]. Karen Clauson – Integra said they had suggested updates on March 14 . See Row #14. Karen said you can review their proposed language. Jamal Boudhaouia – Qwest said he would come up with some words that specifically address the XDSL loop. Karen Clauson – Integra (4/26/11 Updates received from Integra in CAPS) ASKED IF WE UPDATED THE LANGUAGE TO INDICATE THAT XDSL PROTOCOL OPTIONS IS REQUIRED FOR XDSL LOOPS (SO IT DOES NOT SUGGEST THIS APPLIES TO OTHER LOOPS) WILL THAT TAKE CARE OF QWEST’S CONCERNS? KAREN provided some wording options for sub section 3.6.1. Jamal Boudhaouia – Qwest requested that Karen (4/26/11 Updates received from Integra in CAPS) [delete PROVIDE] SEND TO QWEST the PROPOSED sentence she is referring to IN WRITING. Karen Clauson – Integra agreed. (4/26/11 Updates received from Integra in CAPS) NOTE: INTEGRA PROVIDED THE SENTENCE TO QWEST BY EMAIL DATED APRIL 14, 2011, AS PART OF A MATRIX UPDATED AS TO ACTION ITEMS. Mark Coyne – Qwest said there is about 10 minutes left and he wanted to discuss the next steps. He said we have reviewed through (4/26/11 Updates received from Integra in CAPS) MATRIX Row # 14 [delete 14 WHICH] 14 WHICH is about half way through the matrix. Karen Clauson – Integra said she thought we should count (4/26/11 Updates received from Integra in CAPS) MATRIX Row #15 because that is the issue Qwest took back with respect to 1.1 and that we are actually further along since some of the same language repeats throughout the document so that will take care of some of those. Mark Coyne – Qwest said Qwest would review the matrix and recent Integra responses and provide that back. Mark said we will need another Ad hoc call. Susan Lorence –Qwest asked about several dates. Based on various conflicts, the group determined May 2nd was a workable date. Karen Clauson – Integra suggested if Qwest wanted to send the matrix back in between, they would review it. Mark Coyne – Qwest said we would do that and requested feedback on the Conditioning Download redline. Karen Clauson – Integra agreed. Susan Lorence –Qwest said Qwest will provide feedback on the matrix by 4/21 or 4/22 and then maybe in that same time period would receive feedback from the CLECs on the conditioning download and would plan to get back together May 2nd . Mark Coyne – Qwest said let’s go for that and then provided a recap of what had been accomplished according to the agenda: the historical background, review of Tech Pub Chapters 1, 2, and part of 3, impact of the CLEC’s who do not sign the XDSL amendment. Mark said that leaves us two and half chapters to go through as well as the download for the next meeting. Karen Clauson – Integra said they were looking at addressing some other issues relative to the escalations, terminology, and wanted to take an umbrella approach to see how it is all working together. Mark Coyne – (4/26/11 Updates received from Integra in CAPS) MARK SAID ALL RIGHT. Qwest asked if there were any additional comments or questions and there were none. 3/16/11 Product Process CMP Meeting Mark Coyne – Qwest said the rollout of the remaining states continues: Arizona, Oregon and Montana were implemented 3/14 and that Idaho and Washington will go into effect on 3/21. Mark said in regard to the escalation #46 that was identified last month, the Qwest binding response and the Integra binding response are posted to the CMP escalation site. Mark said there was also a Level 3 notice sent to implement an additional change in regard to the escalation on the Single Trouble Report Issue. Qwest submitted the final response to comments on the level 3 notice on 3/14/11 plus Qwest issued a level 2 Network notice on 3/7/11 on Tech Pub 77384 to synch up with the new process that had been implemented first in MN on 1/15/11. Mark said there were no new process changes with the Tech Pub update. Mark said we received a request from PAETEC to extend the comment cycle and a request from Integra to change the disposition to a level 4 notice. Mark said the plan is issue a new level 4 notice which will provide a 15 day extension to the comment cycle. Bonnie Johnson – Integra said piece-mealing the changes is not working and that Integra does not necessarily agree with the changes and that (3/25/11 Updates received from Integra in CAPS) QWEST MADE TO THE PCAT TO RESOLVE THE SINGLE TROUBLE REPORT TICKET ISSUE AND THAT they have been asking for a collaborative effort. Integra would like to COLLABORATIVELY review the changes including the lastest Tech Pub update which is why they asked for the change in disposition. Mark Coyne – Qwest said the timing of the changes could have been better. We can put together an ad hoc meeting to review the Tech Pub update. Jamal Boudhaouia - Qwest said in regard to the Tech pub update, the major changes are to Chapter 6 which are the performance test parameters. Jamal said the changes that have been copied word for word from the Amendment and settlement agreement. Jamal said the purpose of a Tech Pubs is not intended to be product description but it is intended to cover technical parameters. Bonnie Johnson – Integra thanked Jamal for the explanation but said Qwest has information in the Tech Pub that is in conflict. She said the information is not in line with the xDSL Amendment and that Integra provided some feedback and examples where the Tech Pub is in conflict. Bonnie said a collaborative meeting to review the whole Tech Pub is what was needed. She said it was not just the changes that were made but the changes that were not made. Jamal Boudhaouia - Qwest said he is not opposed to having an Ad hoc call but that he wants to insure that the expectations are clear. He said he did not want the Tech pub to be a futuristic document nor to be a Product Catalog. Mark Coyne – Qwest said we will set up an Ad hoc meeting to review the Tech Pub changes. Bonnie Johnson – Integra said the Ad hoc should not only be to review the Tech Pub but to review changes to other documents such as the Unbundled Loop PCAT or other relevant PCATs. She wants to work together to reflect the xDSL Amendment which is what governs. Bonnie said Qwest is rejecting some orders associated with conditioning and that the Amendment does not say exact verbiage has to be used and a Tech may forget to use specific words. Bonnie said she thought the problem was that Qwest was not training on the Amendment but (3/25/11 Updates received from Integra in CAPS) INSTEAD TRAINING on the PCAT. Mark Coyne – Qwest said we will schedule an Ad hoc and will get with Qwest SMEs to identify what pieces of the Tech Pub and documentation to discuss. Bonnie Johnson – Integra said that sounds fair and that Qwest should propose some dates/times to some of the main players for the Ad hoc. Mark Coyne – Qwest said we will propose some dates/times for the Ad hoc.

2/16/11 Product Process CMP Meeting Mark Coyne – Qwest relayed that the notification to implement the additional states was sent out on January 24, 2011. Qwest submitted its final notification and response to comments on February 11, 2011. On February 14, 2011,Qwest received an escalation from Integra on two issues. That escalation has been posted to the CMP external site and on February 15, a notification was sent out to the entire CLEC community to inform them of the escalation. At this point, Qwest is in the process of developing its response and will be sending it out according to the CMP document. Mark said the rollout of the remaining states related to this change will remain on schedule while we try to resolve these two issues.

1/19/11 Product Process CMP Meeting Mark Coyne – Qwest relayed an initial Level 4 notice went out on November 30, 2010, the comment cycle closed on December 15, 2010 and the final notice and response to comments went on December 23, 2010 with an effective date of January 15, 2010. This change did go into effect earlier this week and the CR has been moved to CLEC Test. Mark relayed a notification to implement the additional states will probably be sent before the end of this month. Bonnie Johnson – Integra asked if Qwest could relay what that would look like – the states and timeframe. Bob Mohr – Qwest indicated that we are finalizing the order and the implementation dates and that we do not have the complete schedule yet. Bob confirmed we are planning to put out something before the end of the month. Bonnie Johnson – Integra asked if Qwest can give her an idea if it is going to be all 14 states or the major metropolitan areas are going first and what are the dates. Mark Coyne – Qwest indicated the dates will be staggered. Bob Mohr – Qwest identified we do not have the firm dates yet. Susan Lorence – Qwest said we are thinking we will use a Level 4 notification again. When the dates are finalized, we will show the various states on the Level 4 notice and relay the various dates that they are going in. Susan said we are not going to send separate notices for each state and that we will notify in time for the first date, whatever it is. Bonnie Johnson – Integra said the plan was for the notice to go out before the end of this month and will contain the remaining 13 states and the associated dates. Mark Coyne – Qwest indicated that is correct. 12/15/10 Product Process CMP Meeting Mark Coyne – Qwest provided the following update: an ad hoc meeting was held on November 19, 2010 to discuss the revised documents associated with the CR. An initial Level 4 notice with those changes was sent November 30, 2010 with the comment cycle closing today, December 15, 2010. One comment was received today. Qwest is still planning on a final notice being sent on December 30, 2010 with an effective date of January 15, 2011. Mark asked if there were any questions. There were none. 11/19/10 Ad hoc Meeting Attendees: Loriann Burke – XO, Doug Denney – Integra, Steven Fisher – Integra, Kim Isaacs – Integra, Bonnie Johnson – Integra, Jamie Nelson – POPP, Julia Redman-Carter – PAETEC, Bob Mohr – Qwest, Jamal Boudhaouia – Qwest, Rita Urevig – Qwest, Linda Harmon – Qwest, JohnHansen – Qwest, Maryann Wiborg – Qwest, Rachel Ruiz – Qwest, Susan Lorence – Qwest Susan Lorence – Qwest began the meeting by providing a background on the CR that was originally introduced in the July CMP meeting. Two ad hoc calls were conducted on August 23 and September 13, 2010 to review the proposed change. On September 23, 2010, the CR was updated to include the state of Montana. The initial Level 4 notice was sent out on September 27, 2010 for Montana and Minnesota and a final notice was sent on October 22, 2010 with the effective date changed to November 22, 2010. On November 9, 2010, the CR was revised to remove the state of Montana with the indication of other revisions. On November 11, 2010, Qwest issued a notice to retract the initial level 4 change and also issued the notice to establish this ad hoc meeting to review the changes and relay a restart to the timeline. Bob Mohr – Qwest said he was going to review each of the PCATs and touch on the changes and then answer questions. Bob first reviewed the various changes to Unbundled Loop General Information V87. Bob relayed that information was added to better define references and that one of the big areas that changed was under Conditioning to be in sync with the latest agreements. Bob explained that the current definition of conditioning had been expanded to include Near and Far end bridge tap removal and then reviewed the two options for conditioning going forward. Bob added that there was a change related to testing that allows for the option for CLECs to escalate directly to their Service Manager. Jamal Boudhaouia – Qwest clarified that when Qwest completes testing, the results will be provided via CEMR. Jamal said the results would only be available to CEMR when and if the loop was provisioned. Kim Isaacs – Integra said she has found that the ADSL 196 test results are in CEMR when the loop is not completed but is placed in jeopardy status and that is what the ADSL PCAT says also. Kim said she has plenty of examples. Jamal Boudhaouia – Qwest said he would have to check that. Bob Mohr – Qwest reviewed the last UBL General PCAT updates associated with spectrum management. Bob asked if there were any questions before moving on and there were none. Bob Mohr – Qwest then reviewed the ADSL Compatible Loop PCAT updates which were similar to updates made to the UBL General. Bob asked if there were any questions and there were none. Bob Mohr – Qwest then reviewed the updates to 2W 4W Non-loaded Loop PCAT. Bob said Qwest was trying to put most of the detailed information into the downloads and referencing them from the PCATs. Bob asked if there were any questions. There were none. Bob Mohr – Qwest then reviewed the download Assignment of Facilities for xDSL Capable Loops and covered the additional updates to the previous version. Bob said a note was added that Qwest is going to try to apply the same processes to the sub loop offering but that the difference is the sub loop is a non-designed process and that many of the enhancements are not feasible from a non-design perspective. Bob said that Qwest is trying to determine how some of these things can be applied to the sub loop product and that Qwest will probably want input on how we can work together to meet some of the processes. Bob said it will likely have to be done manually and that it will not be the same as for Unbundled Loop. Bob said the other changes were in the facility length limit to go from 25,000 feet to 22,000 feet and the update to review what Qwest would do if there were changes in technology or industry standard associated with loop lengths. Bob said Qwest would be willing to modify those lengths to be consistent with those standards when requested. Bob asked if there were any questions on this download. There were none. Bob Mohr – Qwest said the Conditioning download had the most changes compared to the previous document and reviewed each of the revisions. Bob said we will start with a process where the customer will indicate the type of conditioning they want in the Remarks field but said that Qwest is working on a longer term solution to modify the SCA field which may be in place some time early next year. Bob said we added better defined guidelines around accepting or rejecting the quote on Remove All jobs greater than eight hours. Bob asked if there were any questions on the Conditioning download and there were none. Bob Mohr – Qwest then reviewed the last download which was Testing. Bob said some changes were made to the table but they were made to match up to the agreed upon tests and were not much different from what was reviewed previously. Jamal Boudhaouia – Qwest said in regard to 196 kHz insertion loss, it may not be met or within the parameters of 78 dB loss because of the limitation on the test equipment. Jamal said that the test equipment that is being widely deployed is not able to test to that level but may test to 70 dB plus or minus 2 dB. Of the Qwest test equipment in the field, some may go up to about 80 or so but few can measure to 78 dB so it will not be there at all times. Bob Mohr – Qwest indicated one of the biggest changes in the Testing download was the addition of the escalation to Service Management for additional testing. Bob said toward the end of the document, some additional definitions of optional testing were added and when charges apply or do not apply. And finally, information is included regarding the NC/NCI codes for the embedded base of circuits and what happens when they are different from what is on the loop. Bob said Qwest will proceed with the repair but we would like a correcting order to follow so we do not have that same discrepancy going forward. Bob asked if there were any questions. Kim Isaacs – Integra asked if there was a process developed for the NC/NCI code order and questioned if it was R or C order? Linda Harmon – Qwest indicated that we need to take that as a follow-up. Jamal Boudhaouia – Qwest provided a clarification on the D-Mark that it is not a core test. Bob Mohr – Qwest indicated that after these redlined documents were posted, a couple of typos were identified that do not change any parameters but reflect how the actual measurement occurs. Bob said we will be making those corrections. Susan Lorence – Qwest said that we are going to start the comment cycle again with a new Level 4 notice to go out on November 30, 2010 with the effective date of January 15, 2010. Bonnie Johnson – Integra said in the monthly CMP call on Wednesday, Qwest said the amendment would not be available until January 7, 2011 and that it was difficult to put things together with out the amendment. Bonnie questioned if it was the same amendment that Qwest and Integra filed in MN last week. Bob Mohr – Qwest indicated that was correct and that he did not know of any changes but if there were any, they would be minor. Qwest wassticking with what was filed. Julia Redman-Carter – PAETEC said she was not objecting to these changes but was concerned that the amendment would not be available. Bob Mohr – Qwest indicated that the actual amendment would come out a week before our final implementation date. Julia Redman-Carter – PAETEC said she was concerned with how to address incongruency if the amendment is not consistent with the documentation. Julia said she wanted to be sure the amendment reflects what she was interpreting and needed time if a clarification was required. Bonnie Johnson – Integra said if the idea is to leave the amendment as filed in MN, then it is done and it is feasible to provide it earlier. Susan Lorence – Qwest said we would note the desire to have the amendment available sooner and would take the concern back to our contract folks. Susan said again that Bob had identified there are some minor corrections to be made but that the plan is to send the initial Level 4 notice on November 30, 2010 for the state of MN. Julia Redman-Carter – PAETEC asked if there was any schedule or timeframes for other states. Bob Mohr – Qwest relayed not at this time but that Qwest is working to establish a schedule for the remaining states. Julia Redman-Carter – PAETEC requested clarification on binder groups and NCI codes in regard to repair. Jamal Boudhaouia – Qwest said that once we have the correct NC/NCI codes, that will be used for repair going forward. Bob Mohr – Qwest said if a customer was to give Qwest a repair ticket and we find the codes are different, Qwest will proceed with the repair as if the codes were correct but we would want an order to fix it later. Julia Redman-Carter – PAETEC said she understood that piece but that her question is whether Qwest will pull it out of the binder group for repair. Is it considered an issue in the Qwest network. Will the customer get charged for that repair? Jamal Boudhaouia – Qwest indicated if you have a repair ticket and there are HDSL NC/NCI codes on the loop but the loop is used for ADSL, the ADSL codes will be used to repair any issues within that loop and within the binder group. Jamal said depending whether the problem is found in the Qwest network or not, current processes will not change. He said Qwest will use the correct NC/NCI code for the maintenance and repair activity and the existing processes will be followed as far as whether to charge or not. Julia Redman-Carter – PAETEC provided a specific example: An ADSL customer has the wrong NC/NCI code compared to what Qwest has; Qwest identifies it as ADSL and does the repair but discovers it is in the wrong binder group. Qwest takes it out of the binder group and puts it in the correct binder group. An order is sent to change the NC/NCI codes to update records. The question is when Qwest removed the ADSL from the wrong binder group, is that considered an issue in the Qwest network. Julia questioned if she would be charged for it. Jamal Boudhaouia – Qwest repeated the situation: A repair ticket is placed and you had a HDSL NC/NCI code however you wanted ADSL. The ADSL within binder group 1 is interfered because of certain parameters. Qwest will change it to a different binder group where we believe there is no interference and the question is would you be charged for that maintenance activity. Julia Redman-Carter – PAETEC indicated yes, is the problem from Qwest network and therefore no charge or is that considered a charge? Jamal Boudhaouia – Qwest said he would have to investigate the maintenance process and would respond in writing. Julia Redman-Carter – PAETEC said that once an agreed upon answer is received, she wanted that clarified since this was a big deal with the NC/NCI codes and the changes. Jamal Boudhaouia – Qwest relayed that he will work with Bob to see if that is something to be documented and if so, where it should be documented - in a business procedure or PCAT. Julia Redman-Carter – PAETEC said ok but wanted to see it documented. Susan Lorence – Qwest asked if there are any other questions. Jamal Boudhaouia – Qwest asked if Kim Isaacs could send a few examples of the results of 196 kHz test that was jep’d and not provisioned. Susan Lorence – Qwest asked if Kim would send them to the CMPCR mailbox and we can forward it on. Kim Isaacs – Integra relayed that she would do that today. Susan Lorence – Qwest thanked everyone for joining the call. The meeting adjourned at 11:11 am MT. 11/17/10 Product Process CMP Meeting Mark Coyne – Qwest provided a background on this CR. The Level 4 notice originally went out on September 27, 2010 with an original effective date of November 8, 2010. However, on November 9, 2010 the CR was revised to remove the state of Montana. On November 11, 2010, Qwest sent a retraction notice in order to make some additional modifications associated with the CR. Those modifications have been posted to the Wholesale Calendar for an ad hoc call that is already established. The planned implementation date is January 15, 2011. Bob Mohr – Qwest indicated that we did retract the original proposed PCAT changes and have reposted those modifications. Bob said changes were made primarily to the Conditioning and the Testing download but other minor changes were made to the Facility Assignment download and the two PCATs and all documents have been reposted with the modifications in them. Bob said an implementation date of January 15, 2011 for Minnesota is proposed. Bonnie Johnson – Integra said with the ad hoc call on Friday, maybe her questions should be held for that. Bonnie questioned whether Qwest would review the changes to the originally proposed documents. She said the amendment was filed yesterday for the xDSL process in Minnesota with the implementation date of January 15, 2011 and asked if the change in the process will be in line with that amendment. Bob Mohr – Qwest said that the majority of these changes were due to recent agreements and that we also added some clarifying language due to feedback from the ad hoc meetings. Bob said we are syncing up the documents to agree with the agreements made. Bonnie Johnson – Integra indicated that the agreements are public. Bonnie said she had not seen an amendment for the process that was going to be implemented on November 22, 2010 and questioned whether the amendment and rate sheet that will be offered in Minnesota for a January 15, 2011 will be the amendment that Qwest and Integra filed with the Minnesota commission yesterday? Bob Mohr – Qwest indicated that yes, we will be creating a template and have a target of January 7, 2011 to have that posted externally. Bonnie Johnson – Integra asked if it was going to be the same amendment. Bob Mohr – Qwest said the template has not been finalized but he did not know of any changes. (11/29/10 Comments to minutes received from Integra in CAPS) Bob Mohr – Qwest said the template has not been finalized but he IS NOT AWARE of any changes BEING MADE. Mark Coyne – Qwest asked if there were any other questions for Bob. There were none. 10/20/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that the initial Level 4 notice went out on September 27, 2010. The final notice is set to go out on October 22, 2010. The planned effective date is November 22, 2010. Kim Isaacs – Integra relayed that Integra has submitted objections and that any implementation of this will be over their objection. Mark Coyne – Qwest indicated that Qwest does have this noted. 09/15/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that an ad hoc meeting was held on August 23, 2010 and another one was held on September 13, 2010. Qwest is following up on some questions that came out of the September 13, 2010 meeting and is planning to create a matrix of specific questions and Qwest responses to include with the meeting minutes. During the September 13, 2010 meeting, the CLECs were asked to review the comparison document/matrix that was included along with the redlined documents and downloads and to submit any questions to the CMPCR mailbox. Mark asked that the CLECS please submit any remaining questions to the CMPCR mailbox by Friday, September 17, 2010. For those CLECs that did not attend, the documents are out on the Wholesale Calendar for you to review. 09/13/10 Ad hoc Meeting Attendees: Brenda Bloemke – Comcast, Julia Redman-Carter – PAETEC, Bonnie Johnson – Integra, Kim Isaacs – Integra, Lynn Powers – Integra, Pat Phipps – QSI Consulting (on behalf of Integra), Doug Denney – Integra, Jim Hickle – Velocity, Jamie Nelson – POPP, Bob Mohr – Qwest, Jamal Boudhaouia – Qwest, Mark Nickell – Qwest, Linda Harmon – Qwest, John Hansen – Qwest, Rachel Ruiz – Qwest, Mark Coyne – Qwest, Susan Lorence – Qwest Bonnie Johnson – Integra asked if there were any changes to the documents posted on today’s calendar entry other than the ADSL comparison document. Susan Lorence – Qwest said all documents remain the same except the Comparison document which was revised and shows the 090810 date. Susan also said this morning she posted a question received from Integra on Friday and the Qwest response. Susan Lorence – Qwest began the meeting by relaying this is the second meeting on this CR. The first meeting was on August 23 where we progressed through a review of a number of the documents. Susan said we will begin today by reviewing the Testing download and will then review the revised xDSL compatible loop comparison document that includes a matrix added at the end to provide further information due to requests from both PAETEC and Integra. Susan also said there was the new question and Qwest response to review. Hopefully, there is enough time to get through all that today, decide our next steps and see if there are any questions. Bob Mohr – Qwest then reviewed the Testing - xDSL Capable Loops document. Bob said facility assignment is based on the estimated measured loss, EML; loop delivery and acceptance is based on actual measured loss, AML. AML insertion loss will be performed at 196 KHz except for the ISDN NCI codes which will be tested at 40 KHz. Bob said Qwest will conduct the core test (9/21/10 Comments in CAPS or strikethrough to minutes from Integra) AND at your request (deleted AND) will provide additional testing using the testing rates in your ICA. Upon completion of testing, Qwest will provide you with the test results before loop acceptance. Bob said that will apply to any xDSL order and that it will be done via a mutually agreed upon manner either electronically, by email or verbally. Bob said Qwest will provide a loop meeting the performance parameters for the service requested where facilities are available. The key objective of this enhancement is that we will use the specific NC/NCI requested and will test to those performance parameters to meet the service requested. Bob said if after testing, the loop does not meet the performance standards, we will attempt to bring the loop within parameters and locate a facility to meet those parameters. One or more of the conditioning options may be required to bring the facility into parameters and Bob said we need your acceptance of those charges before proceeding with conditioning. If after tests, we are still unable to identify a loop, Qwest will notify you that no compatible facilities exist and will advise you of next steps. Next steps could be supping the order to a different NC/NCI or cancelling the order. Bob said again the final objective is to provide a facility that meets the industry guidelines and the service you are requesting. During repair, Qwest will utilize the same performance tests as needed to fully resolve the trouble - taking into account the existing NC/NCI for the xDSL service. The AML insertion loss will be at 196KHz. Upon completion of the testing, we will provide you with the test results. Bob asked if there were any questions. Julia Redman-Carter – PAETEC asked what if we have a product that is there, her understanding is that if we put in NC/NCI codes, does that give Qwest permission to change the facilities. In a repair situation, is that going to give Qwest the ability to leave the binder group and force us into new facilities or will Qwest remove our service from the binder group? Jamal Boudhaouia – Qwest rephrased the question. If you have a repair ticket, you give Qwest the correct NC/NCI codes to change the order. If for some reason the repair indicates that it is not supporting the ADSL services, we will do whatever is necessary to make sure that the loop works. Jamal said that includes moving the service to a different binder group that will support the ADSL signal. Julia Redman-Carter – PAETEC said she appreciated that and asked where we know that they are in a binder group, will Qwest pursue that first? Julia said she does not want to lose the grandfathered product. If we know it is a binder group, is it going to be removed from the binder group first so we don’t interrupt the customer or lose the grandfathered product. Jamal Boudhaouia – Qwest said you won’t lose the product. Jamal said we want to make sure the loop works end to end and will support ADSL. Jamal said to not be concerned at what is going on in the network in the middle but look at the ends. Jamal said whether we change pairs should not matter; it is just the assignment process. Julia Redman-Carter – PAETEC said the concern is that the NC/NCI codes are changing and she does not want to change the facility the customer is getting; it has been fine for years. Jamal Boudhaouia – Qwest indicated if that is the case, the loop supports ADSL and we will repair the facilities and not pull out of the binder group. Jamal said we will look at what is not working. Julia Redman-Carter – PAETEC said if it is not working and the issue is in a binder group, are we going to repair it by pulling them out of the binder group first or are you going to test? Jamal Boudhaouia – Qwest indicated no we will do the 196KHz test first in addition to other tests to see if the loop has an opening in it and will fix that. But if we have a remote DSL that is in the same cross box, we may need to move to a different binder group to remove interference. Julia Redman-Carter – PAETEC said she wanted to clarify the 196KHz. Her engineers are not aware if the loop is in the wrong binder group and questioned whether they would be able to recognize that with 196KHz. Jamal Boudhaouia – Qwest said absolutely. The 196KHz alone does not tell me that there is an interference problem but the 196KHz will tell if that facility will support ADSL or not. Kim Isaacs – Integra (9/21/10 Comments in CAPS or deletions indicated to minutes from Integra) CONFIRMED THAT (deleted IF) the 196KHz will not tell you whether there is interference.(deleted ?) Jamal Boudhaouia – Qwest said that is correct. In addition to all the standard tests, we test the electrical characteristics. Then we do the196KHz to tell what kind of DSL it supports. Kim Isaacs – Integra asked why go with 196KHz to be the end all. Jamal Boudhaouia – Qwest said the 196KHz test is recognized as the Industry standard - in T1 417 in addition to 413 and 418 - as the broadband and wideband standard test to use for DSL. Kim Isaacs – Integra said (9/21/10 Comments in CAPS to minutes from Integra) SHE RECALLED it was not the only test recommended. Jamal Boudhaouia – Qwest indicated yes (9/21/10 Comments in CAPS to minutes from Integra) AND THAT THERE ARE OTHER TESTS. It is part of the battery of tests Qwest will provide. Kim Isaacs – Integra questioned whether we would pay for additional testing? Jamal Boudhaouia – Qwest said there is no charge for core tests which is to make sure the loop is electrically ok; then we do the broadband test which is the 196KHz testing. Jamal then provided a number of examples of the core tests that are performed at no extra charge. (9/21/10 Comments in CAPS to minutes from Integra) THERE IS NO CHARGE FOR THE CORE TEST AND 196 KHZ TEST. FOR ANY OTHER TESTS, WE WILL DO THE ADDITIONAL TEST AT AN ADDITIONAL CHARGE. Doug Denney – Integra asked when you refer to the additional testing rates on Exhibit A, is that referring to an existing rate or a new rate to be developed? Bob Mohr – Qwest said there is no new rate. It would be the rate that is in Section 9.20. Doug Denney – Integra indicated there is no rate called additional testing. Bob Mohr – Qwest indicated that it is additional cooperative testing. Doug Denney – Integra said additional cooperative testing applies during provisioning and installation and questioned whether there is an additional testing rate on repair? Bob Mohr – Qwest indicated that he would have to look at the full description since he was not familiar with all those descriptions. (MATRIX - QUESTION 1) Bob said it is not a new charge; we would charge from section 9.20 for testing for repair. Doug Denney – Integra asked if the facility fails the 196 KHz test during repair, is Qwest going to code that for performance measures as trouble on the Qwest network? Jamal Boudhaouia – Qwest asked if the correct NC/NCI codes are already on the loop? Doug Denney – Integra said let’s take each scenario. Jamal Boudhaouia – Qwest indicated if the correct NC/NCI codes are on the loop and the customer was working and now is not, if we performed the 196 KHz as well as other battery of tests that were mentioned, it would not be coded against the CLEC but would be a facility repair ticket on the Qwest network. Bob Mohr – Qwest indicated that if the circuit was in place today, it would not have been tested for 196KHz. If it then gets tested on repair and does not pass, the service can be reassigned to a compatible facility or you have the right to keep that service. Bob said if you keep the facility,we will want that documented since accepting it as is, there is little Qwest can do to better qualify that loop. One thing might be to do conditioning but if you want to go that way, we cannot improve on that insertion loss achieved by conditioning. Doug Denney – Integra questioned if that is on an embedded base circuit regardless if it has the correct NC/NCI codes? Bob Mohr – Qwest said if we find an incorrect NC/NCI code that does not match how the circuit is used, Qwest will test and repair at the level of service you tell us it is working at, but you are required to follow up with an order so there is no future disagreements. Doug Denney – Integra said in this embedded base scenario of using ADSL with the correct NC/NCI code on the loop, how will this get coded if it fails the 196KHz test? (MATRIX - QUESTION 2) Jamal Boudhaouia – Qwest indicated if for some reason this facility fails the 196 KHz test, we will look for a facility that will pass the test. Jamal said he has to assume that the service was working before and for some reason it is not working anymore. We will figure out the problem first and then determine steps to correct the problem which might include moving to a different binder group. You are not going to lose the service. Kim Isaacs – Integra asked if that is coded to a Qwest facility issue then. Jamal Boudhaouia – Qwest indicated right. Julia Redman-Carter – PAETEC repeated the scenario of an embedded base customer that has the correct NC/NCI code and trouble is reported. Qwest will go in and take care of it. Julia questioned if there is a charge for the repair for the 196KHz? Jamal Boudhaouia – Qwest indicated that he was not sure and would followup. (MATRIX - QUESTION 3) Julia Redman-Carter – PAETEC said the other scenario is an embedded base that has an improper NC/NCI code, is Qwest going to do the repair and then if necessary, I would need to follow up with an order to change NC/NCI code. Are those repairs charged? This would be outside of any conditioning. Bob Mohr – Qwest indicated he will have to check but that he thought the same answer will apply to both these scenarios. Julia Redman-Carter – PAETEC indicated so what I am hearing is if I have to pay for repairs and I have an embedded base where Qwest believes the NC/NCI code is improper that I may have to pay for repairs just to get the right service. Bob Mohr – Qwest indicated that he does not think we said we would or would not. We are looking into it. (MATRIX - QUESTION 4) Julia Redman-Carter – PAETEC questioned another scenario of the wrong NC/NCI code per Qwest. Will Qwest attempt to repair to the ADSL standard? What happens if Qwest does whatever repairs but the problem still exists. I change the NC/NCI code to ADSL. Will Qwest try to correct it then? What is the recourse? Jamal Boudhaouia – Qwest verified the scenario: CLEC told Qwest they have ADSL. The assumption is the loop has incorrect NC/NCI codes. We tried to fix it but it does not get fixed for some reason. You put in an order and then the circuit is not working anymore. Julia Redman-Carter – PAETEC said the order is to the wrong NC/NCI code but you are able to repair it. Julia verified if it was correct she had to follow-up with an order to change the NC/NCI code. Julia wanted to know if the order for the NC/NCI code would cause Qwest to change facilities or do something else other than changing paperwork. She wanted confirmation that it was not a new repair or a repeat ticket and that it did not change any facilities. Jamal Boudhaouia – Qwest indicated yes, that is a record change only. There would not be any change in facility. Julia Redman-Carter – PAETEC asked if she then has a problem on that repair ticket, she would use the new NC/NCI codes. Julia questioned if this is considered a new repair or a repeat ticket? Jamal Boudhaouia – Qwest said he was not familiar with that process. (MATRIX - QUESTION 5) Susan Lorence – Qwest said we would take that as an issue and include the answer in the meeting minutes. Kim Isaacs – Integra asked if the circuit ID was going to change if there was a change to the NC/NCI code? Jamal Boudhaouia – Qwest said the circuit ID will be the same and not change. Kim Isaacs – Integra (9/21/10 Comments in CAPS or deletions indicated to minutes from Integra) (deletes SAID) CONFIRMED QWEST (deleted YOU) will change the DLR and CSR to change NC/NCI codes but the circuit ID remains the same. Linda Harmon – Qwest said she would double check to make sure after Jamal said yes. (MATRIX - QUESTION 6) Bonnie Johnson – Integra said she wanted clarification following the discussion of what Qwest was not charging for. She requested confirmation of the charges recovered in non-recurring rates. Susan Lorence – Qwest said her question was to capture the tests for the notes rather than get into the specifics of how the charges would occur. Bonnie Johnson – Integra questioned that Qwest is not charging an additional charge but has said the tests are not free. (MATRIX - QUESTION 7) Bob Mohr – Qwest said that is right, we are not doing them for free but he did not know if they were recovered in MRC or NRC without knowing the studies. Jamal Boudhaouia – Qwest said he was not sure of the cost docket and how it applies to MRC or NRC but that we don’t charge separately today and we won’t charge separately going forward.

Susan Lorence – Qwest indicated that charges are outside the scope of CMP and that her question was to clarify the tests already there and which ones were part of this change. Bonnie Johnson – Integra said we have been talking about costs for half an hour. Susan Lorence – Qwest indicated not specific costs and what is included in them. Susan said we can clarify that as a separate issue and asked if Bob had finished review of the testing download. Bob Mohr – Qwest said yes and that the tests and their parameters are listed in the download. Julia Redman-Carter – PAETEC questioned if she has a customer that is on the grandfathered product and puts in an order to change them to ADSL, what happens. Julia wants to be sure it is still covered under their grandfathered product. Bob Mohr – Qwest asked if you are signing into the new enhancement or the current product? Julia Redman-Carter – PAETEC said if she has an embedded base customer on the ADSL compatible product that Qwest makes a repair on, she sends an order with the corrected NC/NCI. Her question is which NC/NCI to use, the one she has today that was wrong or the NC/NCI code with the ADSL compatible loop code. Bob Mohr – Qwest indicated that NC/NCI codes do not change regardless of whether it is the existing or enhanced product. The LXR- is the same and referred everyone to the Comparison matrix. Bob then discussed the matrix saying additional information was added to clarify some items. The Comparison matrix addresses pre-grandfathered, post-grandfathered, and then the enhanced offer. Julia Redman-Carter – PAETEC asked if there will be a distinction to identify the grandfathered customers. Bob Mohr – Qwest indicated that if you sign the amendment (9/21/10 Comments in CAPS to minutes from Integra) FOR THE ENHANCEMENT, Qwest will “un-grandfather” that product so you can order it. Bob said technically, it won’t be grandfathered in MN with the enhanced offer. Kim Isaacs – Integra said when a product is grandparented, she understood that they could get the product as it is in the ICA but during the next ICA negotiation, the product becomes unavailable and there is no way to move new customers to the product. When Qwest grandparented the ADSL loop, did it eliminate it? Bob Mohr – Qwest indicated that was correct; he had misspoke. When ADSL was grandfathered, if it was in your ICA, you could continue to order it. If it was not in your ICA then it was not available for new agreements. Julia Redman-Carter – PAETEC said if she has it in her current agreements and asked why she would need to sign the amendment? Is this just so Qwest can fix it when you wouldn’t before? Bob Mohr – Qwest said we would fix it before. The amendment defines certain parameters for the ADSL loop and referenced an example of the EML limits on page 2. Bob said there is a better definition of industry standards and provided some examples from the Comparison matrix. Kim Isaacs – Integra (9/21/10 Comments in CAPS or strikethrough to minutes from Integra) SAID (deleted ASKED IF) my ICA says I get ADSL compatible loops at industry standards, why sign the agreement. Jamal Boudhaouia – Qwest said you have it in your ICA and your agreement references the industry standards specifically to the 196 KHz. (9/21/10 Comments in CAPS or deletions indicated to minutes from Integra) (deleted THE AMENDEMT OFFERS) BOB IS OFFERING ENHANCEMENTS (deleted ADDITIONAL FEATURES) to the current product that enhances it in a number of ways - specifically conditioning which is offered as two tiers vs. one. Jamal said from a legal perspective, he cannot answer that but what you have in the agreement is what you have. Qwest is offering an amendment with enhancements. Kim Isaacs – Integra said (9/21/10 Comments in CAPS or deletions indicated to minutes from Integra) (deleted IF) what is in my agreement is what you call the enhancements, there is a difference in opinion. Susan Lorence – Qwest said we would take an action item on clarifying the legal definition of grandfathering. (MATRIX - QUESTION 8) Susan said we have talked grandfathering in CMP and she thought it was that you just couldn’t order it new but you could keep what you have in existence. Julia Redman-Carter – PAETEC said she is not disagreeing. Julia questioned what she is getting with this enhancement that she is not getting now. Her agreement says she can get services so that her customers can get the services they ordered and they have been getting it for years. Julia said she was going to send in a repair ticket and that she couldn’t get it fixed before but she is assuming that now this is available. She said it seems the general terms of my agreement are not enough and that specific language is needed and requested that be clarified. Jamal Boudhaouia – Qwest indicated that we will take that back. (MATRIX - QUESTION 9) Susan Lorence – Qwest asked whether we should go through the Comparison document any further or whether it was clear enough. Julia Redman-Carter – PAETEC indicated she would like to go through it to understand the differences and where she is now and where to focus. Susan Lorence – Qwest asked if there was something specific or should we start at the top. Julia Redman-Carter – PAETEC said let’s take Ordering; she then reviewed each column. For post-grandfathered, you wanted LXR- but she said many of theirs were ordered LX-N. Julia said she would be trying to get repair; the difference is that on the enhanced offer you have to enter the Remarks on the LSR. She doesn’t know it is an enhanced offer. Some things included are clarifications that are very specific vs. general differences. Julia said she is trying to understand what is the enhancement vs. what is a more detailed process not stated before. Bob Mohr – Qwest said the manual handling information in the Remarks section is related to the new tiers of conditioning. Before, you needed a Y in the SCA field for conditioning. With the enhanced offer, we need to know the type of conditioning you want so we can properly route the request. Or for a trouble ticket, so we can send it to the correct technician.

Julia Redman-Carter – PAETEC said in this one for ordering, it is for after the fact. Julia questioned if she needed to put the order in again (9/21/10 Comments in CAPS to minutes from Integra) SHE IS BACK IN A CIRCLE; she is not changing anything. Bob Mohr – Qwest indicated if this is a trouble ticket, we want the trouble report to include the type of conditioning so we can route it to the correct technician. Qwest has added scripting in the PCAT. Julia Redman-Carter – PAETEC said yes and submit an order after the fact. Bob Mohr – Qwest said if you only want conditioning and want Remove all conditioning, issue a trouble ticket for Remove all. No follow-up order is necessary. Bob said that assumes the NC/NCI codes are correct with how the circuit is used. Julia Redman-Carter – PAETEC said in a case of repair with the wrong code, an order is sent to change the NC/NCI code; is the order in the beginning? Bob Mohr – Qwest said that is a Record order after repair to change the NC/NCI code so there are no discrepancies going forward. Bob said that is no change from today - no other info is required. Kim Isaacs – Integra asked if manual handling is required on every order or just where they are unable to make the determination via Loop qual, etc. Can an order be sent in with LXR- and not drop to manual handling? (MATRIX - QUESTION 10) Linda Harmon – Qwest questioned if you are not asking for conditioning on the initial request? Kim Isaacs – Integra said yes. They do the pre-order steps and feel comfortable no conditioning is needed. (9/21/10 Comments in CAPS to minutes from Integra) INTEGRA SUBMITS THE ORDER BASED ON THE PRE-ORDER INOFRMATION THAT NO CONDITIONING IS REQUIRED. Linda Harmon – Qwest said to submit as usual; Qwest will still respond (9/21/10 Comments in CAPS or deletions indicated to minutes from Integra) (deleted SIMILAR TO TODAY) WITH A JEP if we find conditioning is needed. Kim Isaacs – Integra said today Qwest (9/21/10 Comments in CAPS to minutes from Integra) DOES NOT RESPOND WITH A JEP AS LINDA THOUGHT BUT QWEST is delivering it with all OF THAT on it. Linda Harmon – Qwest said she would verify what happens if you don’t ask for conditioning on an LXR-. (MATRIX - QUESTION 11) Susan Lorence – Qwest indicated that the time is almost up and there are a number of action items. Susan said she will create a matrix and also identify them in the meeting minutes. Susan requested attendees to review the Comparison matrix over the next couple days to determine if there are still questions; if so, send them to the CMPCR mailbox so we don’t delay in getting a response back. Bonnie Johnson – Integra said they can do that and was interested in next steps. Bonnie said she wanted to again say that Integra is requesting the CR be withdrawn until the MN proceeding has been decided and then a regulatory CR could be submitted. Bonnie said she knows Qwest plans to implement (9/21/10 Comments in CAPS to minutes from Integra) THE CR anyway. Susan Lorence – Qwest said our approach is to see if there are additional questions and to determine then if another ad hoc is required or if the questions can be answered by a response as part of the meeting minutes. Then, if there are no outstanding points, Susan said we would like to proceed with a Level 4 notification for Minnesota as Mark Nickell had originally identified. Mark Nickell – Qwest confirmed that is the strategy at this point. Susan Lorence – Qwest said we will note Integra’s request to withdraw this CR and wait until the MN proceeding. Julia Redman-Carter – PAETEC questioned if we feel there is a need for an ad hoc, should that be sent in with our questions. Susan Lorence – Qwest said yes. Julia Redman-Carter – PAETEC indicated that she would like another ad hoc call to understand the testing differences better. Susan Lorence – Qwest said after reviewing the matrix, the discussion from the call, and the documentation that is posted, if you believe another ad hoc call is necessary then please let us know. Jim Hickle – Velocity said he wanted to echo Integra to remove the CR until the MN proceedings are done. Jim said we are re-doing things over and over again and wasting time with this. He said he appreciated all the great conversation on the call especially the work that PAETEC and Integra had done. Jim said from the beginning, he wanted the CR withdrawn immediately and stands by that. Susan Lorence – Qwest indicated that we will note that as well. Julia Redman-Carter – PAETEC said for the record PAETEC feels the same and echo Integra’s position because she feels she is doing this multiple times. Susan Lorence – Qwest thanked everyone for participating and requested participants review the documentation and matrix and send in any additional questions. Susan said we will work on the questions from today and then determine next steps. Susan said our intent is to move forward with this unless there are additional questions. Meeting adjourned at 1:01 pm MT. 9/10/10 Email sent to PAETEC and Integra Attached is a revised document that provides the before/after comparison information requested by both PAETEC and Integra. The document was also posted to the Wholesale calendar entry in preparation for the ad hoc meeting on September 13, 2010. [Comparison document that was attached can be viewed on Wholesale calendar entry http://wholesalecalendar.qwestapps.com/ on 9/13/10.] 8/24/10 Email received from Integra Integra agrees with PAETEC and joinsIntegra agrees with PAETEC and joins in the request. This is not the first time that Integra has requested this information. In my 7/26/10 email to Qwest, I said: “Mark Nickell, who presented Qwest’s short paragraph at the monthly CMP meeting, was also present during negotiations with Integra. In addition, please provide in advance of the call the side-by-side comparison of each aspect of the process previously used for ADSL (including facilities assignment, the algorithm used for facilities assignment, tests conducted for provisioning and repair, NC and NCI codes used, etc.) before and after Qwest grandparented ADSL over CLEC objection, as requested by PAETEC on the CMP call and previously by Integra.” Integra previously requested this information at a meeting in May attended by Mr. Nickell. Please provide the requested information in sufficient time for the CLECs to review the information before the next scheduled ad-hoc call. 8/24/10 Email received from PAETEC Qwest indicated on the CMP Ad Hoc call that it provided the document titled “CR PC072010-1 Change in process in Minnesota for Non Loaded and ADSL Compatible Loops used to provide xDSL services” in response to PAETEC’s earlier request in CMP. That document, however, does not provide the requested information. PAETEC asked for a before/after comparison from before Qwest grandparented ADSL compatible loops with after Qwest would implement its proposed change request. To clarify, PAETEC asked for, in addition to a detailed comparison of the Qwest grandparented ADSL compatible loops with the Qwest proposed change request, the associated details of the differences regarding ordering, repair, standards, intervals, conditioning, processes, etc in a side-by-side, point-by-point comparison. Qwest’s document does not contain most of the “before” information. Under key differences, only the first bullet point gives before and after information (“The reintroduced ADSL Compatible Loop (LXR-) Maximum AML db loss: =78.dB @196khz, whereas the standard in the grandfathered product is = 41db @ 196 khz.”). The other bullets appear give the “after” (i.e., after implementation of the CR). In contrast, for example, the next bullet point, says that, after implementation, ADSL loops will be assigned based on a formula and loop make-up records. It does not address before ADSL was grandparented. Therefore, there is no comparison. Before Qwest grandparented ADSL, ADSL loops were assigned based on a formula and loop make-up records. Therefore, any before/after difference is not apparent. Why is this information identified as a key difference, and what is the difference? Qwest is in the process of scheduling another ad hoc call regarding this CR where the comparison document would be reviewed. Before the next call, please provide an updated document that gives the before, as well as the after, information for each bullet in the document titled “CR PC072010-1 Change in process in Minnesota for Non Loaded and ADSL Compatible Loops used to provide xDSL services” and all the points addressed in the grandparented ADSL product. Also, please include before/after differences, if any, in NC or NCI codes and USOCs as well. 8/23/10 Ad hoc Meeting Attendees: Kasha Fauscett – Comcast, Brenda Bloemke – Comcast, Doug Denney – Integra, Bonnie Johnson – Integra, Kim Isaacs – Integra, Laurie Roberson – Integra, Karen Clausen - Integra, Mike Starkey – QSI Consulting (on behalf of Integra), Julia Redman-Carter - PAETEC, Bill Haas – PAETEC, Anna Bell – Enventis/Hickory Tech, Bob Mohr – Qwest, Mark Nickell – Qwest, Jamal Boudhaouia – Qwest, Linda Harmon – Qwest, John Hansen – Qwest, Rachel Ruiz - Qwest, Susan Lorence - Qwest Susan Lorence – Qwest began the meeting by relaying that Mark Nickell from Qwest presented this Qwest CR PC072010-1 in the July CMP monthly meeting. The ad hoc meeting is to review the revised PCAT and downloadable documents, and review the comparison document requested by PAETEC of how the ADSL LXR- product differs from the grandfathered ADSL product. We will take questions after each section rather than all at the end. We will then discuss next steps. Mark Nickell – Qwest (9/1/10 - Comments in CAPS to minutes received from Integra) SAID IT SHOULD BE AN INTERESTING CALL AND provided an overview of the CR indicating Qwest will be making a change specific to Minnesota to add information regarding new optional processes for Facility Assignment, Conditioning, and Performance Testing of the Unbundled Local Loop - 2-Wire or 4-Wire Non-Loaded Loop and Asymmetric Digital Subscriber Line (ADSL) Compatible Loop. Discussion will be led by Bob Mohr and Jamal Boudhaouia, Qwest SMEs. Bob Mohr – Qwest relayed that there are 3 key areas that include proposed changes. First is conditioning, second is facility assignment and third is testing. There are some changes to the Unbundled Local Loop General Information PCAT but the changes are minimal. Bob indicated that unless there are specific comments to the product PCATs, he would like to move on to the downloads. Bonnie Johnson – Integra said the ADSL PCAT updates went from Version 23 to Version 25 and said that there are questions outstanding on Version 24. Bonnie relayed that this causes confusion and Qwest had previously agreed to not make overlapping updates. These proposed changes do not reflect Version 24. Jamal Boudhaouia – Qwest indicated that these were 2 different areas. The ADSL Version 24 update relates to testing if it is in your ICA. These updates to Version 25 ADSL updates are associated with general 2 or 4 Wire Non-loaded Loop that is xDSL capable associated with an amendment to the ICA.

Susan Lorence – Qwest indicated that we did receive comments on the Version 24 ADSL Level 3 notice and are currently working on setting up an ad hoc call to go over those changes. Susan said we would like to hold off on Version 24 questions until the ad hoc call.

Bonnie Johnson – Integra indicated that this should be retracted until Version 24 is resolved.

Susan Lorence – Qwest said that there is nothing in formal review so there is nothing to retract. Bonnie Johnson – Integra indicated that they disagree. Bonnie questioned the changes in the 2nd paragraph on Unbundled Local Loop 2 & 4 Wire Non loaded Loop. She said that the NC/NCI change that is being removed is not specific to Minnesota and questioned why it is being removed. Bob Mohr – Qwest indicated that the reason it is being removed is that currently the NC/NCI is informative and not dependent on the Minnesota change but was meant globally. Bonnie Johnson – Integra said shouldn’t this change be a Level 2 for document changes. Susan Lorence – Qwest relayed that per the CMP document, Qwest can include related Level 2 changes in a Level 3 notice but it was noted by Integra that this is a Level 4 change and Susan replied she thought the same language applied. Bonnie Johnson – Integra said this change should not be included in the CR that is for MN only. Brenda Bloemke – Comcast concurred. Julia Redman-Carter – PAETEC agrees since it affects the 14 state. Susan Lorence – Qwest relayed that we will take this as a point to consider as its own Level 2 update. Bonnie Johnson – Integra requested information on what the determination is. She then asked for an explanation why this is in MN only. Mark Nickell – Qwest indicated that as we moved towards implementation, Qwest ran into a variety of operational challenges and decided on a one state deployment initially to make sure that everything was going to work. Mark said (9/1/10 - Comments in CAPS to minutes received from Integra) BECAUSE OF ISSUES IN Minnesota IT was the best choice due to service concerns there but that Qwest fully intends to expand at a later date. Bonnie Johnson – Integra asked what are the challenges. Mark Nickell – Qwest indicated that there were issues with USOCs, (9/1/10 - Comments in CAPS to minutes received from Integra) LOOP BACK DEVICES, testing and training to obtain better efficiencies. He said there was more work and a whole host of issues that raised the question of going global or implement at a state level AND BE LESS THAN SATISFACTORY initially. MARK SAID QWEST WAS DOING TESTING FOR IMPLEMENTATION IN MN. Karen Clausen - Integra referred to the variety of stages of a CR and wanted to know if Qwest implemented before the CR was presented and what Qwest was implementing. Mark Nickell – Qwest indicated that no this was not implemented; the analysis all hinged around the operational process which included equipping the wire centers, installing the Loop back devices to do the testing, training technicians, etc. associated with initial preparation to have the field force ready to go. Susan Lorence – Qwest relayed there was no official implementation. Karen Clausen – Integra asked what is the difference between preparation and official implementation. Mark Nickell – Qwest reiterated nothing has started. He indicated that the technicians are now being trained and ready to deploy. Technicians are doing testing for operational efficiencies so that when we are ready to begin, there will be as few issues as possible. (9/1/10 - Comments in CAPS to minutes received from Integra) Mark Nickell – Qwest reiterated nothing has started. He indicated that the technicians are now being trained and ready to deploy. Technicians are doing testing for operational efficiencies so that when we are ready to PULL THE TRIGGER, there will be as few issues as possible. Susan Lorence – Qwest relayed that Bob Mohr will go through the first download of process. Bob Mohr – Qwest indicated that for xDSL capable loops, we will be adding in 3 new options to condition circuits: 1) LXR- Conditioning, 2) LX-N Conditioning and 3) Remove All Conditioning. These will be available on provisioning as well as repair and can be requested via a repair ticket. Bob then reviewed the content included in the Conditioning download. Bob said Qwest is not required to remove Stub Cable and for the Remove All option, Qwest would remove everything from the Loop with the exception of anything that is inaccessible due to safety concerns or buried plant. Bob asked if there were any questions. Bonnie Johnson – Integra asked why are these downloads? We asked for an amendment. Bob Mohr – Qwest indicated that at this phase, there is a redlined PCAT. The downloads are not in place of the amendment. Bonnie Johnson – Integra asked when will the amendment be available. Bob Mohr – Qwest indicated after the PCAT updates. Then will provide rates. Bonnie Johnson – Integra indicated that in the monthly CMP meeting it was relayed that the amendment will have more detail. Mark Nickell – Qwest relayed that was correct. Bonnie Johnson – Integra asked how levels 1 and 2 of conditioning are different than today. Bob Mohr – Qwest said that there is no 3rd option of Remove All. Bonnie Johnson – Integra said that the difference between level 1 and 2 is that you do this today and level 3 is new. (9/1/10 - Comments in CAPS to minutes received from Integra) Bonnie Johnson – Integra ASKED IF that the difference between level 1 and 2 is that you do this today and level 3 is new (9/1/10 - Comments inCAPS to minutes received from Integra) BOB MOHR – QWEST STATED 2 IS WHAT WE DO TODAY, 1 IS ADDING REMOVAL OF NEAR AND FAR END BRIDGE TAP AND OPTION 3 IS NEW. Julia Redman-Carter – PAETEC questioned if LXR- and LX-N conditioning only apply to products with matched NC/NCI codes. Bob Mohr – Qwest indicated yes, that was correct. The only way to know is NC/NCI. Julia Redman-Carter – PAETEC asked if you are addressing old NC/NCI codes that do not match the product. Bob Mohr – Qwest indicated that this will be covered as part of the assignment of facilities. If NC/NCI code is different, during repair if you advise Qwest, we will repair the service to the new NC/NCI code combination but we will expect an order from the CLEC to correct records. (9/1/10 - Comments in CAPS to minutes received from Integra) BOB SAID QWEST WILL NOT REFUSE TO RESTORE THE CIRCUIT BECAUSE OF THE NCI CODE. Julia Redman-Carter – PAETEC confirmed Qwest would not refuse to repair. Jamal Boudhaouia – Qwest indicated that as long as we have agreement from the CLEC s to send an order to correct the records. Susan Lorence – Qwest asked for clarification on whether Qwest would or would not refuse to repair service. Jamal Boudhaouia – Qwest indicated that Qwest will not refuse a repair ticket. (9/1/10 - Comments in CAPS to minutes received from Integra) Jamal Boudhaouia – Qwest indicated that Qwest will not refuse TO REPAIR. Julia Redman-Carter – PAETEC asked if there was a guarantee for no change to facility or disruption. Jamal Boudhaouia – Qwest said Qwest can not guarantee no change to facility. In a repair situation, the existing facility may be defective and as such a new facility may be required. Also, if the existing facility does not meet the NC/NCI code loss parameters, Qwest will strive to find the best facilities that would meet these parameters. Bonnie Johnson – Integra requested the definition of inaccessible bridge tap. Bob Mohr – Qwest provided some examples, e.g., if it is buried, Qwest will not dig up buried plant, OSHA standards due to safety restrictions. Bob also said Qwest will not remove stub cable. Mike Starkey – QSI requested to go through LXR- and LX-N 2 or 4 Wire Non Loaded loop terminology. Bob Mohr – Qwest indicated that LXR- is ADSL Compatible. Bob said to request conditioning, a CLEC may indicate in the Remarks section the type of conditioning they are requesting. The request will drop for manual handling. Bob indicated there was a long-term goal to update the IMA SCA field. Bob said the change could not get into the fall release but possibly the spring release. Bob relayed that Qwest would ask for pre-approval before starting the work by having the customer place a Y in the SCA field to indicate pre-approval. He said that would be a benefit to both parties; there would be no disputed charges. Bob said there was an exception; if first approved for LX-N or LXR- conditioning and then Qwest needed to Remove All bridge tap to meet parameters. (9/1/10 - Comments in CAPS to minutes received from Integra) Bob Mohr – Qwest indicated that LXR- is ADSL Compatible. Bob said to request conditioning, a CLEC MUST PUT A Y IN THE SCA FIELD. The CLEC MUST DROP THE request for manual handling. Bob indicated there was a long-term goal to update the IMA SCA field. Bob said the change could not get into the fall release but possibly the spring release. Bob relayed that Qwest would ask for pre-approval before starting the work by having the customer place a Y in the SCA field to indicate pre-approval. He said that would be a benefit to both parties; there would be no disputed charges. Bob said there was an exception; if first approved for LX-N or LXR- conditioning and then Qwest needed to Remove All bridge tap to meet parameters. Bonnie Johnson – Integra asked if Qwest is charging for both? Bob Mohr – Qwest indicated that if we charge, it would only be a charge to Remove All. (9/1/10 - Comments in CAPS to minutes received from Integra) Bob Mohr – Qwest indicated that if the THE LXR- OR LX-N CONDITIONING DID NOT BRING THE CIRCUIT IN LIMITS, it would only be a charge to Remove All. THERE WOULD BE BOTH CHARGES IF A SECOND TECHNICIAN HAD TO BE DISPATCHED TO DO THE REMOVE ALL BUT QWEST WOULD NOT CHARGE BOTH CHARGES IF IT DID NOT REQUIRE AN ADDITIONAL DISPATCH. Doug Denny – Integra said that there is only one rate in MN and asked if Qwest knew what the rates are. Bob Mohr – Qwest indicated there will be three new rate elements planned Susan Lorence – Qwest said charges were outside of the CMP discussion. Mark Nickell – Qwest clarified that two new rates are planned and we are still working on rates. Doug Denny – Integra indicted that this is important for the CLECs to have rates. Bob Mohr – Qwest relayed that the rates have to go through the normal avenue for approval. Doug Denny – Integra indicated that CLECs must authorize conditioning. If it is not requested, do you do it? Bob Mohr – Qwest indicated that we will only bill and perform it (9/1/10 - Comments in CAPS to minutes received from Integra) ONLY if is necessary for the service. Bob said he does not believe we would automatically Remove All. If the customer authorizes Remove All and it is necessary to achieve parameters, Qwest will perform it. Julia Redman-Carter – PAETEC asked if that was stated in the document and that clarification would be helpful. Bob Mohr – Qwest indicated that it is not clearly stated. Doug Denny – Integra asked if request “Remove All,” you will only do if requested? (9/1/10 - Comments in CAPS to minutes received from Integra) Doug Denny – Integra asked if request “Remove All,” you will only do if REQUIRED? Bob Mohr – Qwest said yes. Bonnie Johnson – Integra said rates have to be approved by the Commission and that was a commitment due to the Expedite CR. (9/1/10 - Comments in CAPS to minutes received from Integra) Bonnie Johnson – Integra said rates have to be approved by the Commission and that was a commitment QWEST MADE FOR the Expedite CR AND DIDN’T DO IT. Bob Mohr – Qwest stated that we would ultimately seek Commission approval. Karen Clausen – Integra asked what the pre-approval rate process is and what process will Qwest follow in MN for unapproved rates. (9/1/10 - Comments in CAPS to minutes received from Integra) KAREN ASKED IF QWEST WILL IMPLEMENT THIS BEFORE RATES ARE APPROVED. Mark Nickell – Qwest indicated that Bob and Mark are Product but that we would be adhering to whatever legal guidelines apply. Bob Mohr – Qwest indicated that in regard to Repair for all options, Qwest is looking for CLEC help in scripting the TR (trouble report). If they are not electronically bonded tickets, Qwest will enter the scripting as we need to insure what is being requested and what we are going to bill for is clear. Bob Mohr – Qwest said for a conditioning request to Remove All, Qwest will provide a quote back and will not do anything until we get a response back. Bob referred to Section 9.20 of the ICA in regard to rates for quoted charges. Bob said for jobs greater than 8 hours, there is a quote prior to removing conditioning. Doug Denny – Integra what happens if there is additional time over 8 hours. (9/1/10 - Comments in CAPS to minutes received from Integra)DOUG ASKED IF QWEST WILL CHARGE THE REMOVE ALL PLUS ANY TIME OVER 8 HOURS. Bob Mohr – Qwest indicated that we bill additional time and said there are two rate elements and provided a description of the two rate elements. Bob said the quote will only include the time over the 8 hours. A customer does not have to request the first level of conditioning in order to request Remove All. The “Remove All” can be requested up front. Bob said no rates will be applied more than once for the life of the circuit. Mike Starkey – QSI said he heard there are 2 rate elements and asked if the current one was being replaced or are they in addition. Bob Mohr – Qwest indicated that the new rates will take the place of the current one and that an amendment will replace the current rates. Bob indicated that you currently get BT and LC removal per CSA guidelines. 9/1/10 - Comments in CAPS to minutes received from Integra) Bob Mohr – Qwest indicated that the new rates will take the place of the current one and that an amendment will replace the current rates. KIM ISAACS – INTEGRA ASKED WHAT YOU GET FOR THE CURRENT RATE. Bob MOHR - QWEST indicated that you currently get BT and LC removal per CSA guidelines. Karen Clausen – Integra asked if this was per CSA guidelines. Bob Mohr – Qwest provided a response that covered the lengths as included in the Conditioning download. Doug Denny – Integra questioned is that the LX-N conditioning today and was the rate replaced? 9/1/10 - Comments in CAPS to minutes received from Integra) Doug Denny – Integra IF THE NEGOTIATED RATE WILL BE REPLACED BECAUSE IT WAS NEGOTIATED IN A COST CASE ALONG WITH MANY OTHER RATES? Bob Mohr – Qwest indicated that was correct and it will replace what is in the ICA. Bob said that covers conditioning and he would move to assignment of facility where he reviewed the information included in the Facility download and provided examples. 9/1/10 - Commentsin CAPS to minutes received from Integra) BOB MOHR – QWEST SAID QWEST WILL USE THE NC/NCI CODES TO ASSIGN TO INDUSTRY STANDARDS TODAY QWEST IS NOT USING NC/NCI CODES FOR ASSIGNMENT AND QWEST WILL ASSIGN TO EML. Kim Isaacs – Integra asked what Qwest is doing today of these steps. Jamal Boudhaouia – Qwest responded that today we do not take NC/NCI codes into the equation. Going forward, Qwest will take them into consideration and 9/1/10 - Comments in CAPS to minutes received from Integra) WILL USE ANSI STANDARDS AND TEST AT 196 AND will calculate insertion loss. Jamal then described some industry limits based on NC/NCI codes that are included in the download. For instance, limits on the ADSL loops are 18 kfeet in length where as SHDSL and/or MVL could work on loops that are 25 kfeet or longer. Kim Isaacs – Integra relayed that after reading the Tech Pub, she thought that NC/NCI codes are informational and that the LXR- is not considered during provisioning. Jamal Boudhaouia – Qwest indicated that the NC code is taken into consideration 9/1/10 - Comments in CAPS to minutes received from Integra) FOR LXR- AND LX-N WHICH ARE A WHOLE HOST OF SERVICES. It is correct that in the Tech Pub, NCI code is for information only. JAMAL SAID THE COMBINATION OF THE NC AND NCI CODES IS INFORMATIONAL ONLY. In IMA, NC code drives the product USOC to the downstream systems such as LFACs. Jamal indicated that the NC code is considered part of non-loaded. To pre-qualify a loop for a particular service such as ADSL, the CLEC should go through IMA Loop qual tools. Kim Isaacs – Integra indicated that she was aware of the pre-qualification in IMA but you cannot reserve the loop if you see availability. Kim said on an LXR- order, Qwest doesn’t look at it when the order is sent 9/1/10 - Comments in CAPS to minutes received from Integra) BECAUSE QWEST SAID THE NCI CODE IS INFORMATIONAL ONLY. Jamal Boudhaouia – Qwest said we do not put a limit on the loop and agreed that you cannot reserve facilities as a matter of process. Qwest can not reserve facilities for itself or any other customer without an order. Kim Isaacs – Integra said we run loop qualification, send the order for ADSL, it goes into the Qwest system and Qwest ignores LXR-. Jamal Boudhaouia – Qwest said that we don’t ignore the LXR-. Kim Isaacs – Integra indicated she is trying to determine the difference between what is done currently today and the change. Bob Mohr – Qwest indicated that today we have a USOC or 9/1/10 - Comments in CAPS to minutes received from Integra) ADSL AND WE USE THE NC/NCI for determining what product you want. Today, we don’t restrict it on length or NC code. Jamal Boudhaouia – Qwest stated the enhancement is that we will adhere to standards based on EML. Currently, we don’t restrict loop length or loss to assign LXR-. The proposal is to provision loop that meet Loss requirements that are compliant to ANSI standards. Bob Mohr – Qwest indicated that there are loss limits for those products. Bonnie Johnson – Integra said she was confused on ADSL and questioned when Qwest grandfathered this product over objections, you said you were putting on limitations. How did you come up with 196 kHz? Bob Mohr – Qwest relayed that limits were set up in the past and that he was not familiar with the history. Jamal Boudhaouia – Qwest said the 196 kHz test is a technical question based on T1 417. Jamal addressed the hypothetical calculation for wide band DSL testing. Karen Clausen – Integra asked 9/1/10 - Comments in CAPS to minutes received from Integra) HOW QWEST WAS PICKING THE TESTS AND if this was for wide band testing only and was that the industry standard. Jamal Boudhaouia – Qwest indicated that the question is for 196 kHz testing and that 196 kHz is 9/1/10 - Comments in CAPS to minutes received from Integra) AT THE MFF IS ACCEPTABLE AND IS wide band testing. Jamal raised the question of impulse noise and whether it was important and which standard it applied to. Karen Clausen – Integra said she is trying to find out about the proposed change and questioned whether impulse noise testing is part of the CR and if not part of the proposal, would Qwest consider it. Jamal Boudhaouia – Qwest 9/1/10 - Commentsin CAPS to minutes received from Integra) ASKED WHY IT WAS IMPORTANT. Jamal relayed that we have not looked at it but will consider it and would talk to the techs to understand. Karen Clausen – Integra 9/1/10 - Comments in CAPS to minutes received from Integra) SAID THERE ARE MANY QUESTIONS AND asked what standards were considered. Jamal Boudhaouia – Qwest indicated ANSI T1- 417, 413 and 418. 9/1/10 - Comments in CAPS to minutes received from Integra) JAMAL BOUDHAOUIA - QWEST SAID THAT IT WAS A 5 POINT STANDARD AND RELAYED THAT WE HAVE NOT LOOKED AT IT BUT WILL CONSIDER IT AND WOULD TALK TO THE TECHS TO UNDERSTAND. QWEST INDICATED ANSI T1- 417, 413 AND 418. Bob Mohr – Qwest indicated that Testing standards are documented in the next download. Susan Lorence – Qwest indicated that we were out of time and she will schedule another ad hoc meeting. Karen Clausen – Integra said that Integra continues to object 9/1/10 - Comments in CAPS to minutes received from Integra) BECAUSE THERE IS A MN PROCEEDING GOING ON and requests that Qwest retract this Minnesota only CR until the legal issues are resolved. She said that at that point, a Regulatory CR should be issued. Karen said however, if Qwest schedules further ad hoc calls, Integra would attend. Julia Redman-Carter – PAETEC indicated she did not fully understand the objections but that she wanted to make note that PAETEC 9/1/10 - Comments in CAPS to minutes received from Integra) HAS A GENERAL OBJECTION AND has not agreed to anything until she is sure she understands the issues. Meeting adjourned at 11:07 am MT. 08/18/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that this CR was presented last month. He indicated that Qwest had scheduled an ad hoc meeting on August 12 but it has since been rescheduled to August 23, 2010. The red lined documents have been posted to the Wholesale Calendar. PAETEC requested a comparison of products in last month’s meeting. This comparison document has also been posted to the Wholesale Calendar. Brenda Bloemke – Comcast asked if he said the documents were on the calendar for next Monday. Mark Coyne – Qwest indicated that the meeting is on August 23 and the documents can be pulled from the calendar. Bonnie Johnson – Integra wanted it noted that as stated in her email, Integra objects to Qwest moving forward and Qwest is moving forward anyway. Mark Coyne – Qwest said the objection was so noted. 8/6/10 Email Response received from Integra When rescheduling, Integra is not available August 17th, 18th and 19th so please avoid those dates. 8/6/10 Email Response received from Velocity Due to a previous commitment, I cannot attend this Ad Hoc meeting and due to its importance to Velocity, I respectfully request that it be rescheduled for the following week. 7/27/10 Email Response received from PAETEC Thank you for the heads-up. PAETEC wants to participate on that call. Unfortunately, I have a conflict from 10:00am to 12:30pm CT (Tuesdays and Thursdays) on August 12 that I can not change. I would appreciate it if you would arrange the meeting around that time frame on August 12. 7/26/10 Email Response received from Integra Integra re-iterates its earlier comments, which Qwest has failed to address or satisfy. Although Qwest acknowledges that rates are outside the scope of CMP, Qwest is nonetheless implementing a new process in CMP that it admitted during the monthly CMP meeting will result in new charges. This is the same approach used by Qwest and rejected by the Arizona commission previously, when the Arizona Commission said, in Arizona Decision No. 70557 (p. 32 line 26 – p. 33 line 1), Docket No. T-03406A-06-0257: “We concur with Staff, and caution Qwest to review its procedures so that the CMP is not utilized to change Commission-approved rates.” The fact that Qwest will implement new rates, but refuses to discuss them, highlights the objectionable nature of Qwest’s unilateral action. The federal Act and rules require Qwest to negotiate with CLECs in good faith. It is not good faith to implement a process via CMP that requires an ICA amendment while not providing the ICA amendment to CLECs for review. Regardless of whether Qwest provides its proposed amendment in CMP or separately, please provide Qwest’s proposed amendment (before any ad hoc call or other CMP activity). Please indicate whether Qwest’s proposed amendment (which was referenced by Qwest in CMP) is the same as the proposed amendments that Integra and PAETEC have already rejected in negotiations and, if not, please identify any differences. CLECs cannot meaningfully review proposed changes without knowing what rates would be associated with those changes. As previously indicated, If Qwest does change its PCAT and procedures in this regard, Qwest will have to provide the changed process at existing Commission approved rates, unless and until Qwest obtains approval of different rates from the state commissions. Enclosed is a matrix of Commission-approved line conditioning rates. Please confirm whether Qwest intends to provide any changes to its line conditioning practices at Commission-approved rates. Qwest has not obtained agreement on an input approach as required by CMP Document Section 5.4.5.1 and should not be proceeding without that agreement. If Qwest nonetheless proceeds with its unilateral ad hoc call, please ensure that any Qwest representatives on the call are familiar with all of the written materials and discussions that have occurred to date in both of the previous CRs and associated escalations (see CR #PC082808-1IGX; CR #PC020409) and that they are familiar with the Qwest-Integra negotiations, including the written matrices and explanatory comments provided to Qwest by Integra. Mark Nickell, who presented Qwest’s short paragraph at the monthly CMP meeting, was also present during negotiations with Integra. In addition, please provide in advance of the call the side-by-side comparison of each aspect of the process previously used for ADSL (including facilities assignment, the algorithm used for facilities assignment, tests conducted for provisioning and repair, NC and NCI codes used, etc.) before and after Qwest grandparented ADSL over CLEC objection, as requested by PAETEC on the CMP call and previously by Integra. Even with this information, Qwest’s proposed approach is wholly inadequate to provide input and certainly to reach any kind of business resolution, particularly in this context, when years of raising operational issues, business and CMP escalations, and multi-state negotiations, in addition to MN Commission-ordered settlement negotiations, have not resulted in resolution. As indicated below, timing of events, combined with the fact that Qwest’s Change Request is for Minnesota only, shows that the real driver of Qwest’s sudden and surprise decision to walk-on a short, vague Minnesota-only Change Request about this important, long-disputed CLEC-affecting issue is Qwest litigation tactics directed at Minnesota docket number P-6312, 421/C-08-1381 (the MN UNE Provisioning Docket). ATTACHMENT INCLUDED WITH EMAIL - 1Cable Unloading (100809) 7/26/10 Email Response received from Velocity I still request that this CR request, CR PC072010-1, be removed by Qwest pending the settlement of the 1066 docket in Minnesota. 7/26/10 Email Response sent from Qwest Qwest is planning to hold an ad hoc meeting(s) to gain CLEC input on the proposed optional product offering associated with PC072010-1. We are currently looking at the date of August 12 with meeting notification provided by August 5. At that time, the redlined PCAT documents will be made available on the Wholesale calendar entry along with an agenda. Qwest will not be providing rate or amendment documents as they are outside of the scope of CMP. With that in mind, a discussion of rates and/or amendments will not be a part of the CMP ad hoc meeting. 7/23/10 Email Response received from PAETEC PAETEC agrees with Integra as stated below in the email from Bonnie Johnson. 7/23/10 Email Response received from Integra In response to your email yesterday, Integra and its entities (Integra) disagree with Qwest. Qwest cannot excuse a clear violation of the terms of the CMP Document by claiming it is ok because Qwest always violates it. The CMP Document states in Section 5.4.5.1 on page 45: Qwest will present the Change Request at the Monthly CMP Product/Process Meeting. The purpose of the presentation will be to: · Clarify the proposal with the CLECs · Confirm the disposition level of the Change (see below). · Propose suggested input approach (e.g., a 2 hour meeting, 4 meetings over a two week period, etc.), and obtain agreement for input approach · Confirm deadline, if change is mandated · Provide proposed implementation date, if applicable See http://www.qwest.com/wholesale/cmp/ (emphasis added). This shows that it is Qwest’s obligation to propose a suggested input approach. Qwest failed to do so, and clearly Qwest failed to obtain agreement. Qwest is also in violation of CMP because Qwest said at the CMP meeting that there would be rates associated with Qwest’s changes, but rates and the application of rates are outside the scope of CMP and cannot be implemented via CMP. For example, in Arizona Decision No. 70557 (p. 32 line 26 – p. 33 line 1) , Docket No. T-03406A-06-0257, the Commission said: “We concur with Staff, and caution Qwest to review its procedures so that the CMP is not utilized to change Commission-approved rates.” If Qwest does change its PCAT and procedures in this regard, Qwest will have to provide the changed process at existing Commission approved rates, unless and until Qwest obtains approval of different rates from the state commissions. Regarding the point raised by Jim Hickle of Velocity as to improper notice, there is support in the CMP Document for the notion that CLECs may raise issues by walk-on whereas Qwest cannot (for the simple reason that Qwest can control the timing of implementation of CLEC requests, while the reverse is not true and CLECs cannot control the timing of Qwest changes). The CMP Document refers to walk-on items as being originated by CLECs: “CRs that are not submitted fourteen (14) calendar days prior to the Monthly CMP Systems Meeting may be introduced at that Monthly CMP Systems Meeting as walk-on items. The Originating CLEC will present the CR . . .” Section 5.1.4, p. 30 (emphasis added). Even assuming walk-ons are available to Qwest, Qwest should use judgment in, and have defensible reasons for, presenting issues as walk-ons. This is not an issue that arose suddenly so as to prevent Qwest from providing 14 calendar days notice. In fact, this issue has been through CMP twice before, and on both occasions Qwest denied CLECs’ requested resolution of the issues. (See CR #PC082808-1IGX; CR #PC020409 and, e.g., the enclosed documents.) Also enclosed are two chronologies that shed further light on events related to this issue over a number of years. The change is a Level 4 Change Request (CR). The CMP Document states in Section 5.4.5 on page 45: “Level 4 changes are defined as changes that have a major effect on existing CLEC operating procedures or that require the development of new procedures. Level 4 changes will be originated using the CMP CR process and provide CLECs an opportunity to have input into the development of the change prior to implementation” (emphasis added). Yet, Qwest’s Change Request (enclosed) is all of one paragraph long, and it simply lists topics with no information whatsoever about how Qwest’s handling of these major issues will change. Qwest also provided no adequate, legitimate business reason why its Change Request is limited to Minnesota only, when Qwest’s problem processes exist throughout its 14-state territory. It is impossible to provide input on something so short and ill defined. Timing of events shows that the real driver of Qwest’s sudden and surprise decision to walk-on a short, vague Minnesota-only Change Request about this important, long-disputed CLEC-affecting issue is Qwest litigation tactics directed at Minnesota docket number P-6312, 421/C-08-1381 (the MN UNE Provisioning Docket). A Change Request properly submitted fourteen calendar days before the July 21, 2010 monthly CMP meeting would have been submitted on July 7, 2010. The day after, on July 8, 2010, Integra filed with the MN PUC, in the MN UNE Provisioning Docket, a Motion for Prehearing Conference in which Integra requested specifically that the first deadline to be scheduled should be for Qwest’s overdue response to the Joint CLEC’s 11/24/09 comments. (The MN ALJ then scheduled a prehearing conference for July 27, 2010.) The timing, combined with the fact that the Qwest CR is limited to MN-only, shows that Qwest simply threw together a wholly inadequate paragraph and walked it on during the CMP meeting to enable Qwest to argue for more delay in the docket because, according to Qwest, the issues are now being addressed in CMP. Jim Hickle of Velocity has already expressed, in his email below, his view of such tactics. We disagree the issues are being addressed in any meaningful or proper way in CMP. As the ALJ found in the MN Qwest-Eschelon ICA Arbitration: “Eschelon has provided convincing evidence that the CMP process does not always provide CLECs with adequate protection from Qwest making important unilateral changes in the terms and conditions of interconnection.” (MPUC P-5340,421/IC-06-768, Arbitrators’ Report, ¶ 22). CLECs have already used CMP twice for these issues, and Qwest’s Change Request serves no purpose but for Qwest to act unilaterally and cause further delay. It is no response to this to say that Qwest is claiming the changes are allegedly “optional,” when the alternative is the current Qwest process which is already in violation of ICAs and federal law, as explained in detail in Joint CLECs’ 11/24/09 MN comments and attachments. Even assuming the issues go forward in CMP in this manner, Qwest has not provided any workable approach to proceeding in CMP for process and procedures that need changing throughout its territory. To the extent Qwest proposes an input approach at all in its email below (which does not meet the CMP Document requirement of presenting the proposal at a CMP Meeting), Qwest said that it is willing only to schedule “an ad hoc meeting prior to the notification and redlined documents being distributed” (emphasis added). Based on past experience, Qwest’s reference to “redlined documents” refer to redlines to its own online Product Catalog (PCAT). Integra made a specific request to see Qwest’s full proposals, including Qwest’s proposed amendment, which Qwest ignores. At this point, CLECs have no idea if Qwest’s proposed amendment referenced in by Qwest in CMP looks anything like the proposed amendments that CLECs in MN have already rejected in negotiations. CLECs cannot assess a proposal without knowing the associated proposed rates, which based on previous experience, Qwest provides not in the PCAT but in the amendment. Qwest’s email suggestion is not an “input approach,” because CLECs can hardly provide input on proposed changes they have never seen. An ad hoc call, even assuming it occurs after Qwest’s provides its proposed documentation, amendment, and rates, is also wholly inadequate to provide input and certainly to reach any kind of business resolution, particularly in this context, when years of raising operational issues, business and CMP escalations, and multi-state negotiations, in addition to MN Commission-ordered settlement negotiations, have not resulted in resolution. ATTACHMENTS INCLUDED WITH EMAIL - 1 RE: Qwest Binding Response to Integra and affiliates ("Integra") Escalation PC082808-1IGX Denied; 2 Integra position response - Integra and affiliates ("Integra") Escalation PC020409-1EX Denied; 3AttachmentK.xDSL Summary of Key Events; 4ATTACHMENT R.xDSL SUMMARY - PAETEC; 5PC072010-1 7/23/10 Email Response received from Velocity Thanks for the politically correct Qwest response, but I object to this type of “negotiation” tactic by Qwest. The introduction of this CR may be by the rules, but it does not pass the smell test in my mind and I believe it is not ethical and with ulterior motives. If Qwest is going to have some implementation challenges and that is why they chose to implement it in only one state on a trial basis that they choose another state because of the 1066 Docket and Investigation. This issue is important to us and I object to the way it was introduced. I feel like it was introduced under the radar without proper notification to all interested parties especially in light of the 1066 Investigation. I formally request that this CR request, CR PC072010-1, be removed by Qwest pending the settlement of the 1066 docket in Minnesota. 7/22/10 Email Response sent from Qwest Qwest followed the same approach as it has for other CRs. Once the originator has presented the CR, the originator asks if there are any questions. If there are none, Qwest typically relays the notice will be distributed with the proposed documentation updates. In this instance, Mark Nickell presented the CR, took questions from the CLEC community, and relayed the redlined documents would be available soon. Mark Nickell responded to several CLEC questions in regard to the CR however no CLEC requested an ad hoc meeting to discuss this change in more detail. When Mark Coyne relayed the redlined documents would be made available via the notification, there was no disagreement on this proposal during the meeting. Qwest assumed this approach for gaining input to the change request was satisfactory. Typically, if an ad hoc meeting is required, it is requested by the CLEC community. Qwest assumed agreement on this approach to gain input. If members of the CLEC community would prefer to have an ad hoc meeting prior to the notification and redlined documents being distributed, Qwest is certainly willing to schedule one.

7/21/10 Email Response received from Integra On today’s CMP call, Qwest presented a Change Request (CR) that was not provided at least 14 calendar days before the meeting per CMP Document. Instead, Qwest presented the CR as a walk-on agenda item today. Per Section 5.4.5.1 of the CMP Document, when presenting any CR, Qwest must: “Propose suggested input approach (e.g., a 2 hour meeting, 4 meetings over a two week period, etc.) and obtain agreement for input approach” (emphasis added). Qwest did not propose an approach or obtain agreement. The meetings or collaborative to provide input to Qwest’s proposal will naturally be unproductive if CLECs do not have the terms upon which CLECs are to provide input. As I stated on the CMP call today, Integra will review Qwest’s proposal and respond. We need to understand the proposal to provide meaningful input. Integra and its entities (Integra) request that Qwest provide its proposed input approach to CLECs as required by Section 5.4.5.1, as well as Qwest’s full proposal and proposed amendment, for CR # CR PC072010-1.

07/21/10 Product Process CMP Meeting Mark Nickell – Qwest presented this CR. Mark indicated Qwest will be making a change specific to Minnesota to add information regarding new optional processes for Facility Assignment, Conditioning, and Performance Testing of the following services: Unbundled Local Loop - 2-Wire or 4-Wire Non-Loaded Loop and Asymmetric Digital Subscriber Line (ADSL) Compatible Loop. The enhanced optional processes will include: defined parameters for assignment of copper pairs, assignment of the pair with the least amount of loss in the cross box, new levels of conditioning (near and far bridge tap and remove all options), enhanced tests for specific types of NCI codes. Mark identified that the expected deliverable date is September. Next steps are to provide redlined PCATS regarding proposed changes. Mark relayed this is an optional offering and that the initial target state is Minnesota.

Bonnie Johnson – Integra asked why this is Minnesota specific.

Mark Nickell – Qwest relayed that when we got to looking at the implementation, we ran into operational challenges and decided on a one state deployment initially to make sure that everything was going to work according to plan. Mark said Minnesota was the most likely choice due to service concerns there.

Bonnie Johnson – Integra said she was not sure that made sense. Bonnie asked if there are associated charges.

Mark Nickell – Qwest indicated that there would be additional charges. Mark relayed the product would be offered under an amendment which would include more specificity.

Mark Nickell – Qwest [7/29/10 - Comments to minutes received from Integra] said that there would be charges and it will require an amendment which will include more detail than usual.

Julia Redman-Carter – PAETEC asked how this ADSL product compared to the one that was grandfathered in 2007.

Mark Nickell – Qwest indicated that it is very close.

Julia Redman-Carter – PAETEC indicated that she would like to see (7/23/10 - Comments to minutes received from PAETEC) the details of how this ADSL product differs from the old grandfathered ADSL product. 7/27/10 NOTE: The grandfathered product is associated with CR PC121106-1 available on the CMP website at url http://www.qwest.com/wholesale/cmp/archive/CRPC121106-1.html. The grandfathered PCAT is available at http://www.qwest.com/wholesale/pcat/unloopadslcompatloop.html. (7/23/10 - Comments to minutes received from PAETEC) Mark Nickell – Qwest committed to provide a comparison noting the differences between this ADSL product and the grandfathered ADSL product.

Bonnie Johnson – Integra indicated that they would take this back for internal review.

Mark Coyne – Qwest relayed that if we get this information, we will include it in the minutes for this meeting. If is not available by then, we will send out a notice. SEE 7/27/10 NOTE ABOVE.


Open Product/Process CR PC072210-1 Detail

 
Title: Grandfather Custom Calling Services Packages in Arizona and Minnesota
CR Number Current Status
Date
Area Impacted Products Impacted

PC072210-1 Completed
10/20/2010
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest will be grandfathering the Custom Calling Services Packages in Arizona and Minnesota . The USOCs are:ES7, ER5, ER9, ES6, ER3, ER6, ER4, ER7, ESW, EZL, ESA, ESR, ET8, ESG, ESB, ET3, ETC, EZN, EZO, EZP, ES3, ES5, EZQ, EZR, EZS, EZT . Currently there are wholesale/resale customers with some of these packages.

The proposed implementation date is 10/4/10.


Status History


Project Meetings

10/20/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that final Level 4 notice went out on September 17, 2010. The effective date was October 4, 2010. Qwest would like to change this to Completed. There were no objections.

09/15/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that this was a Level 4 notice that was sent out on August 23, 2010. The final notice is due out on September 17, 2010. There are no documentation updates associated with this CR. The effective date is October 4, 2010.

08/18/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that this was a new CR submitted by Qwest.

Cindy Schwartze – Qwest indicated that there are 26 USOCs listed. There are wholesale and resale customers with packages. Of the 26 USOCs listed, all are for Arizona. The 8 USOCs that begin with EZ are just in Arizona not Minnesota. The plan is to grandfather these on October 4, 2010. This will remain as a Level 4 notice because there are customers.


Open Product/Process CR PC072310-1 Detail

 
Title: Grandfather Centrex 21, Qwest Business Line Plus (QBLP) and Utility Line in Idaho North REVISED 08/18/10 Grandfather Centrex 21, Qwest Line Business Plus and Utility Line in Idaho North
CR Number Current Status
Date
Area Impacted Products Impacted

PC072310-1 Completed
10/20/2010
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest will be grandfathering Centrex 21 (RXB, RSX, EPB, R4V,XRW, WRS, R4X, R6X ), Qwest Line Business Plus (NLUDE, NLUDD, NLUDG, NLUDY, NLUDZ, NLUDL), and Utility Line (AWL) in Idaho-North. There are currently wholesale/resale customers with these products.

The proposed implementation date is 9/20/10.


Status History


Project Meetings

10/20/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that final Level 4 notice went out on September 3, 2010. The effective date was September 20, 2010. Qwest would like to change this to Completed. There were no objections.

09/15/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that there was a Level 4 notice sent out on August 18, 2010 on this. The final Level 4 notice was sent out on September 3, 2010 with an effective date of September 20, 2010.

08/18/10 Product Process CMP Meeting Cindy Schwartze – Qwest indicated that this should be Grandfather Centrex 21, Qwest Business Line Plus (QBLP) and Utility Line in Idaho-North. The plan is to grandfather these with an effective date of September 20, 2010. There are wholesale and retail customers with these products. Cindy relayed the Level 4 notice will be sent out today to meet the required lead time.

Kim Isaacs – Integra asked when you grandfather this service if the customer is already on an RXB, is this for QLSP or Resale and Retail as well.

Cindy Schwartze – Qwest indicated that it is just for Resale and Retail, not for QLSP.


Open Product/Process CR PC072310-2 Detail

 
Title: Eliminate the Application to Application offer for the Qsearch Service
CR Number Current Status
Date
Area Impacted Products Impacted

PC072310-2 Completed
9/15/2010
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest will be eliminating the Application to Application offer for the Qsearch Service effective 9/09/10. REVISED PER REQUEST FROM ORIGINATOR ON AUGUST 9, 2010. EFFECTIVE DATE SHOULD BE 9/9/10 NOT 9/20/10 There are no Customers with this offering.

The proposed implementation date is 9/09/10. REVISED


Status History


Project Meetings

09/15/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that this was presented last month. There were no customers so it was agreed to send this out as a Level 2 notice which was sent out on August 19, 2010 with an effective date of September 9, 2010. Qwest would like to change this from CLEC Test to Completed. There were no objections.

08/18/10 Product Process CMP Meeting Cindy Schwartze – Qwest relayed that Qwest will be eliminating the application to application offer for Qsearch effective September 9, 2010. There are no customers with this offering. Because of this, Cindy requested this be changed to a Level 2 notification.

Mark Coyne – Qwest indicated that since there were no objections this was ok to go out as a Level 2 with an effective date of September 9, 2010.


Open Product/Process CR PC072910-1 Detail

 
Title: Elimination of products in multiple states
CR Number Current Status
Date
Area Impacted Products Impacted

PC072910-1 Completed
10/20/2010
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest will be eliminating the following products:

Business Service Station (SB1)and Secretarial Answering Service (S3L) in Arizona

Joint Use Service (JUL) in Colorado, (JND) in Utah and (JUF) in Wyoming

Dormitory Line (1DF) in Iowa, Minnesota, Nebraska, and South Dakota

Business Line-Incoming Only (7FB) in North Dakota

There are currently no customers with these products.

Expected Deliverables/Proposed Implementation Date is 10/04/10


Status History


Project Meetings

10/20/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that Level 2 notice went out on September 13, 2010. The effective date was October 4, 2010. Qwest would like to change this to Completed. There were no objections.

09/15/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that this CR was presented last month. There were no customers so it was agreed to send this out as a Level 2 notice. Notice was sent out on September 13, 2010 with an effective date of October 4, 2010.

08/18/10 Product Process CMP Meeting Cindy Schwartze – Qwest relayed that Qwest will be eliminating the Business Service Station (SB1)and Secretarial Answering Service (S3L) in Arizona, Joint Use Service (JUL) in Colorado, (JND) in Utah and (JUF) in Wyoming, Dormitory Line (1DF) in Iowa, Minnesota, Nebraska, and South Dakota, and Business Line-Incoming Only (7FB) in North Dakota. There are currently no customers with these products. Qwest is proposing elimination of products on October 4, 2010 and requesting a Level 2 notification since there are no customers with these products. Cindy asked if there were any objections. There were none.


Open Product/Process CR PC090110-1 Detail

 
Title: Process to request a waiver of termination fees on Qwest Choice Business Packages term agreements in the event of a Death or Military Call to Duty.
CR Number Current Status
Date
Area Impacted Products Impacted

PC090110-1 Withdrawn
8/15/2012
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Lorence, Susan

Description Of Change

DESCRIPTION REVISED 09/08/10: A Reseller may request that Qwest waive termination fees in the event a Reseller customer’s business ceases to operate as a result of a death or military assignment of a sole proprietor or small business owner critical to the operation of the business. This waiver would only apply to Qwest Choice Business (PGOQL), Qwest Choice Business Plus (PGOQM), Qwest Choice Business Add-A-Line (PGOQN) and Qwest Choice Business Prime (PGOQT) Packages with term agreements.

A letter identifying the disconnection of service and requesting waiver of termination fees will be required. Additionally, a death certificate or military call to duty letter must be provided.

The draft proposal process is:

Fax your Service Manager a copy of the death certificate or military call to duty letter along with a letter requesting waiver of termination fees on designated account(s) and the PON of the LSR requesting the waiver. Submit an LSR to disconnect the QCB package(s), mark it for manual handling, with a comment that the required documentation for a waiver of termination fees has been sent to your Service Manager. Include the Service Manager's name.

ORIGINAL DESCRIPTION

A Reseller may request that Qwest waive termination fees in the event a Reseller customer’s business ceases to operate as a result of a death or military assignment of a sole proprietor or small business owner critical to the operation of the business. This waiver would only apply to Qwest Choice Business (PGOQL), Qwest Choice Business Plus (PGOQM), Qwest Choice Business Add-A-Line (PGOQN) and Qwest Choice Business Prime (PGOQT) Packages with term agreements.

A letter identifying the disconnection of service and requesting waiver of termination fees will be required. Additionally, a death certificate or military call to duty letter must be provided.

The draft proposal process is:

Fax your Service Manager a copy of the death certificate or military call to duty letter along with a letter requesting waiver of termination fees on designated account(s) and the PON of the LSR requesting the waiver. Submit an LSR to disconnect the QCB package(s), mark it for manual handling, with a comment that the required documentation for a waiver of termination fees has been sent to your Service Manager. Include the Service Manager's name.

The proposed implementation date is 11/1/10.


Status History


Project Meetings

08/15/12 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed that in the July meeting, CenturyLink had asked the owner of each Deferred CR to determine if it should remain in Deferred status, is it should be Withdrawn, or whether it should be re- evaluated. Mark then reviewed the status of each CR as listed on the Attachment:

PC090110-1 - Process to request a waiver of termination fees on Qwest Choice Business Packages term agreements in the event of a Death or Military Call to Duty- CR is in pending withdrawal status. There were no objections to withdrawing this CR.


Open Product/Process CR PC100610-1CM Detail

 
Title: REVISED 01/11/11 Change to CMP document ITHD update to provide consistency on name (REMOVED proposed change in hours)
CR Number Current Status
Date
Area Impacted Products Impacted

PC100610-1CM Completed
3/16/2011
CMP
Originator: Coyne, Mark
Originator Company Name: Qwest Corporation
Owner: Coyne, Mark
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest is proposing updates to the CMP document associated with the ITHD – to correct the hours of operation and provide consistency on the name used to refer to the Wholesale Systems IT Help Desk.

Revision 01/11/11: CR was updated to no longer include the ITHD change in hours. See meeting minutes for discussion.

The proposed implementation date is 11/30/10.


Status History


Project Meetings

3/16/11 Product Process CMP Meeting Mark Coyne – Qwest said we took a vote on these changes in last months meeting. A Level 1 notice was sent out March 15, 2011 and the CMP document was updated. Mark said we would like to propose that these CRs be moved to a Completed status. Mark asked if there are any objections and there were none.

2/16/11 Product Process CMP Meeting Mark Coyne – Qwest said we would like to take a vote on these changes today. Mark said due to some concerns from one of the CLECs, the Customer Contact PCAT changes that were made have been separated from this change and will be retracted. Those PCAT language changes will be addressed at a different point in time. Susan Lorence will now walk us through the voting process for this change and then we will conduct the vote.

Susan Lorence – Qwest said we have not had a CMP vote in quite some time and said the redlined updates to the CMP document are in your monthly distribution package. The redline updates only include the name change from the ITWSHD to the WSHD. Susan said the vote notice was distributed to the CLEC community on February 9, 2011 and then reviewed the voting process and voter requirements included in Section 17.0 of the CMP document. Susan also reviewed the process to establish quorum provided in Section 17.4.1 of the CMP document and said the required quorum of six had been met. Susan reminded everyone what a vote of Yes and No meant as listed on the Voting Ballot and asked if there were any questions before the vote was conducted. There were none.

The results of the vote were: Qwest, Mark Coyne, voted yes. By email Comcast, Brenda Bloemke, voted yes. By email AT&T, Peter Cole, voted yes. Integra, Bonnie Johnson, voted yes based on Qwest’s commitment to retract the Customer Contact updates. PAETEC – Julia Redman-Carter voted yes based on Qwest’s commitment to retract the Customer Contact updates Sprint – Jeff Sonnier votes yes. Charter Communication – Kathy Troughton votes yes Midcontinent – Emily Pedersen votes yes

Synchronous – Jeanne Kulesa abstained from voting. Neustar – Mindy Chapman votes yes though results are not applicable. See below.

Susan Lorence – Qwest asked if there was anyone else that wanted to participate in the vote.

Jeff Sonnier - Sprint said there were a couple of vendors that had been polled and said if they are not classified as CLECs, should they be given the opportunity to vote.

Susan Lorence – Qwest indicated that was true.

Mindy Chapman – Neustar indicated the answer has previously been no.

Brenda Bloemke – Comcast indicated she had the same question.

Susan Lorence – Qwest indicated so that would have been Synchronous and Neustar that will be listed as abstain. Susan said she had counted them in quorum but it was still reached without their number. The vote was unanimous. Susan said we appreciate everybody working through this change and that we will be making these updates to the CMP document. She request that the update to the CMP doc be made via a Level 1 notice within the next week.

Mark Coyne – Qwest asked if there are any objections to that. There were none.

1/19/11 Product Process CMP Meeting Mark Coyne – Qwest indicated this CR will be addressed in Attachment E.

ATTACHMENT E Mark Coyne – Qwest indicated that the first CR is the change related to the IT Help Desk updates, the second CR has to do with corrections to urls in the CMP document and that an updated red-lined document was included in the package. Mark said based on discussion in the December meeting, we removed the change in hours and kept the wording associated with the IT Tiers as it was. He said the primary change is the change from the IT Help Desk to the Wholesale Systems Help Desk and that the vote notice for these changes went out on January 12, 2011. Mark said we would now like to take a vote on those proposed changes and Susan would walk through that process.

Bonnie Johnson – Integra said before we do that, she thought she had made it clear that Integra would not agree to a language change regarding the Tiers and was surprised to still see those wording changes.

Mark Coyne – Qwest relayed the changes to Tiers was simply a clean up of the language. Mark said we had put some Tier language back in based on previous discussion in the November CMP.

Susan Lorence – Qwest indicated this was the same document from the December meeting except that the hours change was removed. Susan said in the last meeting, we had reviewed some of the wording changes specifically in section 12.4.1 in the second paragraph. The language update is making it clear between the WSHD tiers and the Wholesale Service Delivery group and their tiers. Susan said they are very minor wording changes, that is all.

Bonnie Johnson – Integra said she did not agree the changes are minor and would go back and look at the meeting minutes but thought that she was clear about no changes in hours or Tiers due to upcoming changes. Bonnie pointed to specific language changes in 12.3 and 12.4.1 and said they were not minor. She said she agrees with the name change but would vote no on the change to Tiers.

Mark Coyne – Qwest said the Tiers wording changes were to remove redundancy of the use Tier 1 and 2 but that the Tiers remain in place.

Susan Lorence – Qwest suggested going through each paragraph since representatives from the WSHD were on the call and we could identify where specific concerns are.

Bonnie Johnson – Integra indicated we did that before but there may be new information.

Mark Coyne – Qwest said he thought we were on the same page at the conclusion of last month’s meeting.

Bonnie Johnson – Integra said she thought so too and that she thought had been clear about not changing anything related to Tiers due to upcoming system work in the next several years. She did not want to limit CLECs access to IT Tiers and the expertise of this group.

Mark Coyne – Qwest said we had not changed that within the WSHD so we would walkthrough to address where the specific concerns are.

Susan Lorence – Qwest started with section 12.2 of the red line and said it was just a name change. In section 12.3, the first, second and third changes are also name changes. Susan said the next change in that paragraph was a correction related to a change that we made about a year and a half ago. The SME group is the CSIE, and that we had made the change under section 12.8.1 when we combined Tier 1 and Tier 2 to be the CSIE, the Coaches and the Team Leaders and the Process Specialists but that we had not addressed it here that this particular Tier was also combined. Susan said the previous reference to Tier 2 or 3 was to the Service Manager and the Senior Service Manager and this is to make it refer to the SMEs in Tier 1.

Bonnie Johnson – Integra said it should say proper subject matter expert also known as the CSIE.

Susan Lorence – Qwest suggested we add ‘also known as WSD Tier 1’. This change was not a reference to WSHD tiers. This change is a sync up. There was discussion about what WSD stands for which is Wholesale Service Delivery as defined in section 12.8.1 and a review of the WSD Tier 1 descriptions occurred. After further discussion, Bonnie Johnson and Kim Isaacs – Integra said they would agree to the changes in 12.3.

Susan Lorence – Qwest said the next changes in section 12.3 were name changes.

Bonnie Johnson – Integra said there were no questions until 12.4.1.

Susan Lorence – Qwest then reviewed the second paragraph in 12.4.1 where we changed ITWSHD to WSHD and we did not take out the Tier but put in parentheses IT to be clear it is not the Wholesale Service Delivery. Susan reviewed the next change to add “appropriate resource including” and said it was to show it includes Tier 2 or 3 for resolution and asked if there were concerns about that change?

Bonnie Johnson – Integra reviewed what it used to say and asked who else would that be? Bonnie said to put the “appropriate resources or additional resources” at the end but she wanted to show it would go to Tier 1 and Tier 2 first that is making some determination. She did not want to add a layer.

Susan Lorence – Qwest said by saying to the appropriate resource, it included Tier 2 or Tier 3.

Mark Coyne – Qwest asked what Integra wanted to see.

Bonnie Johnson – Integra to leave it like it is ‘will refer the ticket to the IT Tier 2 or 3’ and that she was fine to add ‘who may engage additional resources for resolution’.

Susan Lorence – Qwest said OK and moved to the next sentence where the change was to call out the Resolution team which would be a whole team of resources including database folks, Tier 2 or Tier 3, or any number of WSD SME resources.

Julia Redman-Carter – PAETEC asked what about saying ‘the IT resolution team’ and putting Tier 2 and 3 to show they are key and then any additional resources in parentheses.

Susan Lorence – Qwest said we think we did just what Julia said: the IT resolution team including IT Tier 2 or 3.

Bonnie Johnson – Integra said she did not agree and said the point is that Tier 2 and 3 is the resolution team and if it includes others, that is fine. She said the current language puts a layer in between Tier 1 and Tier 2.

Mark Coyne – Qwest asked is the layer the Resolution team?

Bonnie Johnson – Integra said it says the Tier 2 or 3 Resolution Team and if you want to add other departments to include other resources in the team in parentheses, she was ok with that.

Susan Lorence – Qwest said we get the idea. We thought we were making it clearer. Qwest will regroup with the Help Desk to determine whether to propose changes. Susan reviewed the next couple proposed changes in that paragraph and said she assumed Integra would not agree.

Bonnie Johnson – Integra said yes it appears you are putting a layer in between the Tiers.

Susan Lorence – Qwest said the intent was to give a name to the Resolution Team; it was not to add additional layers. Susan said it did not make sense to continue the review and that we would take this feedback and meet with the Help Desk.

Bonnie Johnson – Integra said now that she understood the intent, define what the Resolution Team is first and then the other changes might not be needed.

Julia Redman-Carter – PAETEC agreed. If you can clean it up in the front part, identify what the Resolution Team is but the important aspect that we wanted to capture was the idea that the Tier 1 and 2 or the Tier folks are the primary folks that need to be there. If they bring other partners on the Resolution Team that is fine but the Tier 1 and 2 are important. So when you keep say including the Tier 1 or 2 or 3 it looks like they are not the primary focus and that they could be left out.

Bonnie Johnson – Integra agreed.

Julia Redman-Carter – PAETEC said it sounds like the “appropriate resource” is important and they will include the Tier folks but that she prefers the Tier 1 and 2 are the primary focus who may bring others who help make up the Resolution Team.

Mark Coyne – Qwest indicated that we will take this back and sit down with Help Desk and see whether or not it makes sense to define the term up front the first time it is used or to try to re-craft this language further.

Susan Lorence – Qwest asked since there were other CLECs on the phone, did any other CLEC other than Integra or PAETEC have any concerns about this language. Susan said we had received a number of votes online and there was no indication that there was any concern so that for those who had not spoke, were they any concerns.

Liz Tierney – Covad said she had the same concerns.

Bonnie Johnson – Integra said as Qwest is drafting the changes, to give them a call to get language that could be voted on.

Mark Coyne – Qwest said based on the discussion, we will skip the voting and hopefully vote next month. Mark asked if there were any other questions or comments before moving on. There were none.

12/15/10 Product Process CMP Meeting Mark Coyne – Qwest indicated this was addressed in Attachment E.

ATTACHMENT E Mark Coyne – Qwest said this CR was reviewed a couple of months ago and there were some concerns on some of the changes. He said we reviewed it briefly last month but want to go back through it today to see if we can get agreement on the changes. Mark reviewed the three items that Qwest is proposing: 1) The name change from the IT Systems Help Desk to the WSHD. 2) The proposed change to eliminate the Tiers within the WSHD. 3) Hours of availability change for the WSHD. Regarding the first item, the name change, Mark said he believes we had concurrence on that last month. Mark asked if there were any objections there? There were none. Mark indicated on the second item associated with WSHD Tiers, there was concern expressed in regard to the elimination of those Tiers. Mark said we have put references to Tiers back in so WSHD Tiers will continue to appear in the document. Mark said in regard to the third item, WSHD hours of availability, Qwest has compiled some data associated with calls into the WSHD over the past two years and that he wanted to review that to show why Qwest was proposing the change and provide Qwest’s perspective in terms of making the most efficient use of our resources.

Bonnie Johnson – Integra said she wanted to say something before going through the history. Bonnie said Integra would not vote to agree to any change in hours in the WSHD and that it was not based on history but it was the anticipation of an increase in future systems changes as a result of the merger; Integra would not agree to limit or reduce the hours of availability. Bonnie said she has asked for historical data in the past but that historical data does not really come into play for Integra’s basis for not agreeing to reduce the WSHD hours.

Mark Coyne – Qwest said we are trying to show that most activity that occurs with the WSHD is during certain hours of the day as seen in the data so that everybody can see what Qwest is proposing in terms of reducing the hours of availability. Mark said the reduction is hours is not significant and when viewed in regard to the data, it does not make sense to have resources sitting when there is no activity. Mark then reviewed the WSHD data related to the hours as currently documented in the CMP document, Monday thru Friday, being 6:00 am to 8:00 pm. Looking at the 2009 data, the latest call was at 7:01 pm in August 2009. For 2010, the latest call was again in August at 6:34 pm. The proposed WSHD change is to move from 8:00 pm to 7:30 pm. Mark said in terms of Saturday coverage, the current hours are 7:00 am to 3:00 pm and Qwest is proposing a change of 8:00 am to 2:00 pm. In 2009, the WSHD only had one call in October that came in at 12:27 pm. In 2010, the latest call was at 1:00 pm. Mark asked if other CLECs have questions or concerns about the proposed change. There were none.

Mark Coyne – Qwest indicated we would typically let folks consider the new changes and then take a vote in January but that it sounds as though based on Bonnie’s comment they would be voting no on this change in hours. Mark said the Customer Contact document already reflects the hours we are proposing to change in the CMP document; it was updated earlier this year in the January/February timeframe. Mark said we are trying to synch up the two documents. If we cannot make the change to reduce the hours in the CMP document, we would like to propose using the existing call out process for the WSHD for that half hour difference and that we would document that in the Customer Contact PCAT so that it is clear for that half hour difference. Mark asked if that would be acceptable to the CLECs.

Bonnie Johnson – Integra said she would like to check internally if Integra has used that call out process to determine if it worked and that she was not familiar with it. Bonnie asked when someone dialed the number whether someone answered the phone.

Joni Kelly – Qwest described how the call out process works. Joni said the call-in number is the same 800 number and the call goes to a recording which provides the hours of operation and that you can leave a message. Once the message is left, a person is paged and that person calls the CLEC back.

Susan Lorence – Qwest confirmed that the Qwest proposal is that for the hours that are different between the CMP document and Customer Contact, we would show that for that half hour Monday through Friday and for each hour at the front end and back end on Saturday, we would just use the WSHD call out process. That short window is the only time we are talking about.

Joni Kelly – Qwest indicated that was correct.

Bonnie Johnson – Integra asked the intent of the call out process and when is available. Is the call out process always available outside of the normal WSHD hours.

Mark Coyne – Qwest said outside the normal WSHD hours, the call out process is in effect. If a customer were to call in at 8:30 pm Monday through Friday or at 5 pm on Saturday, it would default to the call out process.

Joni Kelly – Qwest indicated that was correct.

Bonnie Johnson – Integra said again she wanted to do some research and that it takes a unanimous vote to change the CMP document. Bonnie said it may be something that can be agreed to on an interim basis but if activity increases outside the hours of the data provided, based on some set criteria, was Qwest willing to negotiate.

Mark Coyne – Qwest asked if you were saying on a temporary basis.

Bonnie Johnson – Integra indicated if something is agreed to on an interim basis but that if during the half hour Monday thru Friday or the Saturday hours they did not get a call back in a timely manner, if they determined that they need to have somebody answer the phone or if data shows more systems changes as a result of merger activity, the CMP hours would be reinstated.

Mark Coyne – Qwest said he thought that could be agreed to if in turn we could also continue to look at the data going forward with the merger and that if the data continues to support the current trend, would Integra also reconsider those hours based on resource availability. Mark said it was a two way street. We could look at the hours on an interim basis as long as Integra would agree to look at it also based on the data.

Bonnie Johnson – Integra said she would take that back. She said they try to be reasonable but this requires a change to the CMP document which requires a unanimous vote. Bonnie said Qwest changed the PCATs which violates CMP and it should have been considered before making the change.

Mark Coyne – Qwest indicated the proposal is to correct the PCAT to reflect what is in CMP and to use the WSHD call out process. Mark said he is willing to continue to review the data and see whether in the next year and half or so following the merger if resources need to be there for those hours.

Susan Lorence – Qwest said that Qwest had acknowledged that the change in the WSHD hours had been made before we had made the appropriate CMP notification through the Customer Contact PCAT update. Susan said she thought we had acknowledged that we were out of sync with the CMP document but at that time there were no concerns expressed when that had occurred. Susan said we were cleaning up the CMP document.

Bonnie Johnson – Integra questioned if the notice associated with the PCAT changes indicated that it was in conflict with the CMP documents.

Susan Lorence – Qwest said she thought we had actually talked about it in a CMP meeting but that she would go back and look at that and would confirm that she was not mistaken and would include that reference in the meeting minutes. (NOTE: See January 2010 CMP monthly meeting minutes http://wholesalecalendar.qwestapps.com/detail/230/2010-01-20; related notices are PROS.CNTS.01.19.10.F.07422.CustomerContactsV97, PROS.CNTS.01.28.10.F.07471.RETRACTIONCustContactV97, PROS.CNTS.02.19.10.F.07422.CustomerContactsV97, PROS.CNTS.03.11.10.F.07627.FNLCMPCustContactsV97. The change in WSHD hours was discussed in CMP; there was no indication it was out of synch with the CMP document.)

Bonnie Johnson – Integra indicated that it was not clear to Integra if that was the case. She said Integra would never have agreed to those PCAT changes if it had been in conflict with the CMP document and that was not clear. Bonnie said she would take it back to determine if using the call out process for those hours was acceptable but said if it is agreed to only on an interim basis, would Qwest agree to revisit it to determine if the process was working in six months. She said Qwest could propose the change again after any systems integration is complete down the road.

Mark Coyne – Qwest said we could look at it in six months and a year from both the CLEC and Qwest perspectives on what the volumes are. Mark said in the interim we can utilize the call out process and see if it can be effective for everyone. Mark said that Qwest was not aware of any concerns with the call-out process in the past and requested that after Integra completes their review, if they would let Qwest know so we can move forward with the other changes.

Bonnie Johnson – Integra indicated Qwest can move forward with the other changes, the WSHD name change and the change to put the Tiers back, but that Integra is not going to agree to change the CMP document.

Mark Coyne – Qwest said since there were different changes to the CMP document that the plan was to let everyone review this one last time and that we will take the official vote in the January CMP meeting. Mark said the changes to the CMP document will be the WSHD name change and that the wording related to the WSHD Tiers which will stay in the document and the WSHD hours will stay as they are in the document. Mark said at the point we hear from Integra that the callout process will work on an interim basis, we can proceed to make the Customer Contact PCAT updates so that document and the CMP document can be in sync again.

Bonnie Johnson – Integra asked if Qwest was going to make an update to the CMP document changes currently included in Attachment E and provide those for review and that is what the vote will be taken on.

Mark Coyne – Qwest indicated that was correct.

Bonnie Johnson – Integra said that was perfect.

Mark Coyne – Qwest indicated that we will be sending a revised document for review and asked if there were any other questions. There were none. Mark said in regard to the other change to the CMP document which was related to a correction of urls, we would hold off on that until we are able to wrap this other one up and send changes all at once.

11/17/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that he would hold off and address this in Attachment E.

ATTACHMENT E: Mark Coyne – Qwest indicated that last month the CR was presented and we reviewed the redline of the document reflecting those changes. Mark said he thought everyone was fine with the name change IT Help Desk to Wholesale Systems Help Desk but that we did have some comments and concerns regarding the Tier Levels being removed as well as the hours of operation. Mark said we plan to have an ad hoc meeting after Thanksgiving to discuss those two changes in more detail and will share some of the data that we have been able to pull on our side.

11/4/10 Email sent to CLEC Integra: Thank you for your response. I will cancel the Ad hoc meeting notice that was to be distributed today then and reschedule the call for after Thanksgiving.

11/4/10 Email received from CLEC Integra: I am happy to listen to anything Qwest has to communicate on the matter but I wanted to let you know I have no questions. If you thought the intent of my email was to request an ad-hoc call I apologize as that was not my intent. I was merely giving you the courtesy of Integra’s position in the event you wanted to revise your changes. Again, Integra will not agree to any changes in the CMP document that limit the tier level structure or hours of operation for the Wholesale systems helpdesk.

As to the date of the call, I am in AZ for hearings on November 15th so I am not available. The only day I have until after Thanksgiving when I am not traveling to hearings is next Friday the 12th.

11/4/10 Email sent to CLEC Integra: I am setting up an ad hoc meeting for Monday, 11/15, to discuss the proposed CMP document updates associated with CR PC100610-1CM and the Wholesale Systems Help Desk. The meeting notice will be distributed today and I will be posting an agenda and revised redline update of Section 12.0 of the CMP document to the Wholesale calendar by end of day on Monday, 11/8.

10/29/10 Email info received from Integra: Kim described the changes Qwest is proposing and Integra has discussed these changes internally. Integra will not agree to any changes in the CMP document that limit the tier level structure or hours of operation for the Wholesale systems helpdesk. In addition, it is Integra’s expectation that all tiers are available to CLECs during the hours listed in the CMP document. Integra has attempted to discuss system issues with tier two and above during helpdesk hours and were told they were not available. Integra expects that this is due to the fact that those tiers may not located in the US. I also understand that Qwest has already changed its hours and is not in compliance with the hours in the CMP document. Qwest should change them back to remain in compliance with hours in the CMP document.

In the CenturyLink/Qwest merger proceedings, in which I am participating, CenturyLink and Qwest indicate that all Qwest system integration activity will be going through CMP. For example see Mr. Hunsucker of CenturyLink comments at the MN merger hearing. Mr. Hunsucker said: “The current Qwest CMP process and what we committed to here in Minnesota was that we would abide by the testing time frames outlined in the CMP if we were to move the Qwest system to a CenturyLink system,…” (See HRG. Tr. Vol 2B public, pg. 89 lines 8-11).

Having adequate support, especially at al time when the likelihood that the CMP system change request activity will significantly increase in the near future is critical.

10/20/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that this is a new CR and has to do with updates to the CMP document. We will address this in Attachment E.

ATTACHMENT E: Mark Coyne – Qwest relayed that the Description of the CR indicates that Qwest is proposing updates to the CMP document associated with the ITHD – to correct the hours of operation and provide consistency on the name used to refer to the Wholesale Systems IT Help Desk. Mark also added that this is to align the CMP doc with the Customer Contact PCAT along and with what has been documented in Section 12.8.1 of CMP Document. Mark said we will go through the redline section by section and that for the most part, the change is from ITWSHD to WSHD. In Section 12.2 we are just changing the name – WSHD. In Section 12.3 again it is the name that is changing – WSHD. Down in the middle, we are eliminating Tier 2 or Tier 3 support as is referenced there.

Kim Isaacs – Integra asked if Qwest is aligning documents, where did the elimination of Tier 2 and 3 come from.

Mark Coyne – Qwest indicated that Section 12.8.4 took place last year when we took out the Tier associated with the CSIE and coaches.

Kim Isaacs – Integra said she thought that was the CSIE only and did not have anything to do with the Wholesale System Help Desk.

Mark Coyne – Qwest indicated that there are two set of Tiers in the document: those that relate to the CSIE, Coaches and Service Management side and those that relate to the IT Help Desk and that he will point these out as we go along. They are two separate groups. The CSIE Tiers will stay in existence just as they are defined in 12.8.1 which we went through last year when we consolidated them last year. On the IT Help Desk side, they pretty much eliminated their Tiers and they just call them Resolution groups.

Susan Lorence – Qwest indicated that she thought that the IT Help Desk is a general term for the Tiers. If there is a SWAT or something, it is called the Resolution Team which is how it is referred to later in the document.

Mark Coyne – Qwest indicated that Resolution Team still interfaces with the Tiers on the CSIE side so there are still Tiers there. Mark said the Tiers are not intermingling and that as we review the redline, the wording should clarify things. If not, we can come back and address it.

The question was asked is there really even a Tier 1 and why Qwest left that in.

Mark Coyne – Qwest said if the question is on the Help Desk side, no, there is not. Mark said that this is actually referencing the CSIE Tiers and is where it gets confusing. This is actually referring to the Wholesale Systems Help Desk getting assistance from the Subject Matter Expert also known as the Tier 1 on the business side. In Section 12.4, we have eliminated the Tier 1 for the IT Systems Help Desk.

Susan Lorence – Qwest indicated that we had planned on having Joni Kelly and Angie Cox from the IT Help Desk (WSHD) on but since they have not joined the call, we can take questions back to them. Susan said the WSHD had approved these changes.

Kim Isaacs – Integra relayed that the other Tier referenced the CSIE. With the IT one, Kim relayed we are truly eliminating the IT Tier structure for escalations with these language updates. Kim said it sounds like they have already done that but she did not know whether they had ever been notified of this. Kim questioned how escalations are handled and gave an example of working with Angie (WSHD) and what would happen if she wanted to call her boss.

Susan Lorence – Qwest indicated that when we met with Angie and Joni Kelly to review this change, we are definitely not eliminating the technical escalation process and that is not intended to be implied here. There is still always the option of escalation on the technical or the process side. Qwest is trying to simplify this language and show that the WSHD is really the main contact for the customer. The WSHD will work internally to resolve an issue and work with whoever they need to behind the scenes.

Kim Isaacs – Integra questioned whether they can escalate and who are they escalating to then?

Susan Lorence – Qwest indicated if you want to escalate on the technical side, that is still posted on the IT Production support or the OSS Production Support page; those technical escalations and Tiers have not changed. The CSIE Tiers are also not changing. Qwest is just simplifying this language in the CMP document. Susan said if we need to think about rewording this and ensuring that there is still the capability to escalate, we can do that. Susan then walked through the changes to wording in Section 12.4.1, second paragraph. As each sentence was reviewed, she relayed there was no change to the customer. The changes are to how we refer internally to the appropriate resource within IT to resolve a problem. Susan said we are not trying to change how the customer interacts with the WSHD or to remove any escalation capability.

Mark Coyne – Qwest pointed to the end of Section 12.4.1 where it says “If the CLEC and Qwest cannot agree upon the work around solution, the CLEC can use either the Technical Escalation process or escalate to the WSD Tiers, as appropriate.” Mark said that this would still be in place as it is today.

Kim Isaacs – Integra indicated that she understands what Qwest is doing but has a concern that in the future the change could be construed that Tier 2 or Tier 3 don’t get on the phone and talk with the CLECs which is the problem. The concern was funneling everything through the WSHD to talk to Tier 2 and Tier 3 support. Kim said she was in that situation now with the LSR splitting tickets she has open and that she is working with Angie. It is just going back and forth and not getting anywhere.

Mark Coyne – Qwest indicated that we are not eliminating or stopping who needs to communicate with whom at what level. Those conversations will still take place as appropriate.

Kim Isaacs – Integra indicated that this change could be construed that she cannot talk to Tier 2 and Tier 3.

Mark Coyne – Qwest indicated that the IT Resolution Team along with the appropriate SMEs will develop a proposed work around and work collaboratively with the CLEC.

Susan Lorence – Qwest indicated that to address the concern in the second paragraph of removing “the ITWSHD with IT Tier 2 or 3 on the line, as appropriate” we could change the wording to say “with appropriate IT Tier representatives on the line as appropriate”. Susan said we can get with Joni Kelly and Angie Cox to get there concurrence.

Kim Isaacs – Integra indicated that she would have to go through all the changes to confirm what is happening but she thought that would be helpful.

Mark Coyne – Qwest asked whether we still needed to use the word Tier or could we just simply say the appropriate resources or SMEs because Qwest is trying to eliminate the Tier language on the IT side.

Susan Lorence – Qwest asked if that sounded ok to Kim.

Kim Isaacs – Integra indicated that she would have to think about why a double tier concept was introduced into CMP initially and whether it was appropriate to pull it out. She said she understood we are saying the processes don’t match what this is stating but that the Tiers were inserted for a reason and she wants to look at it.

Mark Coyne – Qwest indicated that is fine and that the intent today was to get an overview of the red line changes and then have people review them and come back next month with questions. If there are no questions next month, we would go ahead and do the vote. Mark asked if we covered all the questions on Section 12.4.1 and said that section was probably the most complicated. Mark then reviewed Section 12.5 and 12.6 where we just eliminated the IT from the WSHD. Mark said Section 12.7 is the actual change in hours of operation for the WSHD which was notified earlier this year in February. The WSHD went from 6:00 am – 3:00 pm Monday through Friday to 6:00 am – 7:30 pm Monday through Friday. Saturday hours were from 7:00 am – 3:00 pm and changed to 8:00 am – 2:00 pm. Mark said the notice went out February 19, 2010 on those hour changes for the WSHD. Mark said he could share that notice number if anyone wanted it. (See notice PROS.CNTS.02.19.10.F.07422.CustomerContactsV97.) Mark then reviewed the remaining changes which were making the change to WSHD.

Susan Lorence – Qwest indicated in Section 12.7 where it had the redline for the WSHD hours of operation, that change was not really to be included there but was just cut and pasted from the Customer Contact PCAT to make sure the times were correct. We are not proposing that would remain part of the redline.

Mark Coyne – Qwest indicated that it was just a reference and then asked if there were any additional comments. He asked everyone to review the change a little bit closer and that we will get back together next month and see if there are some additional questions and when we can go move forward with a vote.


Open Product/Process CR PC100610-2CM Detail

 
Title: Change to CMP document – correction to urls in CMP doc
CR Number Current Status
Date
Area Impacted Products Impacted

PC100610-2CM Completed
3/16/2011
CMP
Originator: Coyne, Mark
Originator Company Name: Qwest Corporation
Owner: Coyne, Mark
Director:
CR PM: Lorence, Susan

Description Of Change

Make the following corrections to URLs in the CMP doc in

5.4.3 Level 2 Changes

Change from Customer Contacts (http://www.qwest.com/wholesale/clecs/escalations.html) to

http://www.qwest.com/wholesale/clecs/customercontacts.html

Section 18.4.6 Status and Recommendations of the CMP Oversight Committee

Change from:

Status of outstanding Oversight Review issues will be provided at the monthly CMP meetings and will be posted on Qwest’s Wholesale CMP website at the following URL: www.qwest.com/wholesale/coc.html.

to

http://www.qwest.com/wholesale/cmp/escdisp.html

The proposed implementation date is 11/30/10.


Status History


Project Meetings

3/16/11 Product Process CMP Meeting Mark Coyne – Qwest said we took a vote on these changes in last months meeting. A Level 1 notice was sent out March 15, 2011 and the CMP document was updated. Mark said we would like to propose that these CRs be moved to a Completed status. Mark asked if there are any objections and there were none.

2/16/11 Product Process CMP Meeting Mark Coyne – Qwest said we would like to take a vote on these changes today. Mark said due to some concerns from one of the CLECs, the Customer Contact PCAT changes that were made have been separated from this change and will be retracted. Those PCAT language changes will be addressed at a different point in time. Susan Lorence will now walk us through the voting process for this change and then we will conduct the vote.

Susan Lorence – Qwest said we have not had a CMP vote in quite some time and said the redlined updates to the CMP document are in your monthly distribution package. The redline updates only include the name change from the ITWSHD to the WSHD. Susan said the vote notice was distributed to the CLEC community on February 9, 2011 and then reviewed the voting process and voter requirements included in Section 17.0 of the CMP document. Susan also reviewed the process to establish quorum provided in Section 17.4.1 of the CMP document and said the required quorum of six had been met. Susan reminded everyone what a vote of Yes and No meant as listed on the Voting Ballot and asked if there were any questions before the vote was conducted. There were none.

The results of the vote were: Qwest, Mark Coyne, voted yes. By email Comcast, Brenda Bloemke, voted yes. By email AT&T, Peter Cole, voted yes. Integra, Bonnie Johnson, voted yes based on Qwest’s commitment to retract the Customer Contact updates. PAETEC – Julia Redman-Carter voted yes based on Qwest’s commitment to retract the Customer Contact updates Sprint – Jeff Sonnier votes yes. Charter Communication – Kathy Troughton votes yes Midcontinent – Emily Pedersen votes yes

Synchronous – Jeanne Kulesa abstained from voting. Neustar – Mindy Chapman votes yes though results are not applicable. See below.

Susan Lorence – Qwest asked if there was anyone else that wanted to participate in the vote.

Jeff Sonnier - Sprint said there were a couple of vendors that had been polled and said if they are not classified as CLECs, should they be given the opportunity to vote.

Susan Lorence – Qwest indicated that was true.

Mindy Chapman – Neustar indicated the answer has previously been no.

Brenda Bloemke – Comcast indicated she had the same question.

Susan Lorence – Qwest indicated so that would have been Synchronous and Neustar that will be listed as abstain. Susan said she had counted them in quorum but it was still reached without their number. The vote was unanimous. Susan said we appreciate everybody working through this change and that we will be making these updates to the CMP document. She request that the update to the CMP doc be made via a Level 1 notice within the next week.

Mark Coyne – Qwest asked if there are any objections to that. There were none.

1/19/11 Product Process CMP Meeting Mark Coyne – Qwest said this was discussed associated with the CR PC100610-1CM.

12/15/10 Product Process CMP Meeting Mark Coyne – Qwest said this was discussed associated with the CR PC100610-1CM.

11/17/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that he would hold off and address this in Attachment E.

ATTACHMENT E: Mark Coyne – Qwest indicated that in addition to the prior change, the second change is related to some urls being corrected. Mark said there had been no objections to that particular change but because it does impact the CMP document, we would prefer to make just one CMP document update. Mark said he hoped we could address it in the December meeting after we go through the other changes for the Help Desk. Mark asked if there were any questions.

Bonnie Johnson – Integra indicated that she had no questions but she wanted to let Susan know that she would be out of the office on November 29 and 30 and I do want to be present for the call regarding the Help Desk.

Susan Lorence – Qwest confirmed it was just the Help Desk ad hoc that she was referencing.

Bonnie Johnson – Integra indicated that was correct.

Susan Lorence – Qwest indicated that she has this noted.

10/29/10 Email info received from Integra: Kim described the changes Qwest is proposing and Integra has discussed these changes internally. Integra will not agree to any changes in the CMP document that limit the tier level structure or hours of operation for the Wholesale systems helpdesk. In addition, it is Integra’s expectation that all tiers are available to CLECs during the hours listed in the CMP document. Integra has attempted to discuss system issues with tier two and above during helpdesk hours and were told they were not available. Integra expects that this is due to the fact that those tiers may not located in the US. I also understand that Qwest has already changed its hours and is not in compliance with the hours in the CMP document. Qwest should change them back to remain in compliance with hours in the CMP document.

In the CenturyLink/Qwest merger proceedings, in which I am participating, CenturyLink and Qwest indicate that all Qwest system integration activity will be going through CMP. For example see Mr. Hunsucker of CenturyLink comments at the MN merger hearing. Mr. Hunsucker said: “The current Qwest CMP process and what we committed to here in Minnesota was that we would abide by the testing time frames outlined in the CMP if we were to move the Qwest system to a CenturyLink system,…” (See HRG. Tr. Vol 2B public, pg. 89 lines 8-11).

Having adequate support, especially at al time when the likelihood that the CMP system change request activity will significantly increase in the near future is critical.

10/20/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that this is a new CR and has to do with updates to the CMP document. We will address this in Attachment E.

ATTACHMENT E: Mark Coyne – Qwest relayed that this CR is straight forward. We are simply correcting the urls in Section 5.4.3 and Section 18.4.6 to point to the correct urls. In the first instance, the url relays it is Escalations but it should be Customer Contact, and in the second instance, it takes you to the main page of CMP vs. the Oversight page. Mark requested everyone look at those and identify any questions before next month; otherwise we will revisit this next month and take a vote on it as well. Mark asked if there any questions or comments on Attachment E. There were none.


CenturyLink Response

PC100610-2CM Change to CMP document – correction to urls in CMP doc Mark Coyne – Qwest said we took a vote on these changes in last months meeting. A Level 1 notice was sent out March 15, 2011 and the CMP document was updated. Mark said we would like to propose that these CRs be moved to a Completed status. Mark asked if there are any objections and there were none.


Open Product/Process CR PC110210-1 Detail

 
Title: CLEC Work in Qwest Outside Plant Facilities
CR Number Current Status
Date
Area Impacted Products Impacted

PC110210-1 Completed
9/21/2011
Pre-Ordering, Maintenance / Repair PDR
Originator: Buckmaster, Cindy
Originator Company Name: Qwest Corporation
Owner: Buckmaster, Cindy
Director:
CR PM: Lorence, Susan

Description Of Change

Today, non-Qwest parties/contractors access Qwest owned Poles and Manholes without notice to Qwest. This process and web tool will introduce how non-Qwest parties/contractors are to provide notice to Qwest of access for such work.

Expected Deliverables/Proposed Implementation Date: 12/20/10


Status History


Project Meetings

9/21/11 Product Process CMP Meeting Mark Coyne – CenturyLink relayed the CR was effective May 16, 2011 and that in August, Cindy Buckmaster had advised that there were two CLECs doing work in manholes that were reminded of the process and they had successfully used it. CenturyLink did send out a Level 1 reminder notice of the process and Web tool. Mark asked if there were any objections to moving the CR to Completed. There were none.

8/17/11 Product Process CMP Meeting Mark Coyne – CenturyLink said this CR went into effect on May 16, 2011 and that (8/26/11 Updates received from Integra in CAPS) [delete , AS] was shared last month, there was an issue with a customer not using the process. Mark said that the process team and service management team had got the customer on board.

Cindy Buckmaster – CenturyLink said that there were really two CLECs who were doing work in manholes that were reminded of the process and have successfully utilized it.

Mark Coyne – CenturyLink asked if they were familiar with what to do going forward.

Cindy Buckmaster – CenturyLink said yes.

Mark Coyne – CenturyLink said that we relayed last month that we would issue a Level 1 renotification as a process reminder. Mark said the notice was going out on Thursday, 8/18, to remind all customers about the process and the Web tool. Mark said we would continue to leave the CR in CLEC test for one more month and then asked if anyone had had an opportunity to use the process/tool and asked whether they would mind sharing their experience. There was no response.

7/20/11 Product Process CMP Meeting Mark Coyne – CenturyLink (7/29/11 Updates received from PAETEC in italicized CAPS) SAID [Deleted RELAYED]\ the change went into effect on May 16, 2011. Last month (7/28/11 Updates received from Integra in CAPS) CENTURYLINK agreed to leave THIS open to see if THE process was utilized. The process has not been utilized yet.

Susan Lorence – CenturyLink (7/29/11 Updates received from PAETEC in italicized CAPS) SAID [Deleted RELAYED] Cindy Buckmaster is in the process of checking with Network on situation where customers have been in facilities and not using the process. (7/28/11 Updates received from Integra in CAPS) CENTURYLINK WILL work with customers to do a trial of THE process/AND tool. CENTURYLINK WILL BE ISSUING A [Delete WILL ISSUE] renotification to remind customers to use the process and will send it as a level 1 notice.

Mark Coyne – CenturyLink (7/29/11 Updates received from PAETEC in italicized CAPS) SAID [Deleted INDICATED] THAT for now this one will remain open.

** Cindy Buckmaster – CenturyLink – (7/29/11 Updates received from PAETEC in italicized CAPS) SAID [Deleted INDICATED] she joined the call late, was there anything still open on her CR PC110210-1 CLEC work in Qwest outside plant facilities.

Mark Coyne – CenturyLink – (7/29/11 Updates received from PAETEC in italicized CAPS) SAID [Deleted RELAYED] that Susan Lorence was able to provide an update on the CR. She explained issue with customers and would leave CR in CLEC test and re-notify with level 1 to remind CLECs of process (7/28/11 Updates received from Integra in CAPS) AND ASKED IF CINDY HAD ANYTHING [Deleted ANYTHING}] else to share.

Cindy Buckmaster – CenturyLink – (7/28/11 Updates received from Integra in CAPS) SAID no, Thank you.

6/15/11 Product Process CMP Meeting Mark Coyne – Qwest relayed the change went into effect on May 16, 2011 and requested the CR be moved to Completed status.

Bonnie Johnson- Integra asked if any CLEC had actually used the tool and said the CR should be left open until then. Bonnie suggested if the tool had not been used, that Qwest should do a test with a CLEC to insure it works.

Mark Coyne – Qwest said (6/23/11 Updates received from Integra in CAPS) HE DIDN’T KNOW AND CINDY BUCKMASTER WAS NOT ON THE CALL. [delete WE WOULD] WE WILL leave it open until July and would check with Cindy Buckmaster – Qwest.

5/18/11 Product Process CMP Meeting Mark Coyne – Qwest relayed the change went into effect on May 16, 2011 and asked if there had been any issues. Having only been implemented, there were no issues identified.

4/20/11 Product Process CMP Meeting Mark Coyne – Qwest relayed a level 4 notice was sent out on March 31, 2011 and that the final response will be sent on April 25, 2011.

3/16/11 Product Process CMP Meeting Mark Coyne – Qwest relayed some documentation associated with the CR had been posted to the CMP Calendar.

Cindy Buckmaster – Qwest provided some background on the CR and then reviewed the December 2010 Ad hoc meeting CLEC Questions and Qwest Answers matrix. NOTE: An updated Q/A matrix with 03/16/11 responses is available at the end of these meeting minutes.

Brenda Bloemke – Comcast said thank you, it looked like the questions she had down had been answered.

Kim Isaacs – Integra asked if Qwest personnel use this tool when they need access.

Cindy Buckmaster – Qwest responded that she did not think Qwest personnel would be using this tool since they work in a smaller turf of 3-4 COs. They know what is going on at any point in time. From a customer perspective, this tool is for the entire state and region which could generate requests to multiple Qwest managers. Kim Isaacs – Integra asked if the manhole tracking calendar is common or is the difference how it will be accessed.

Cindy Buckmaster – Qwest said the calendar is the same. She then walked through the revised version of Access to Poles, Ducts and ROWs and the “Utility Vault Access Request” which describes the steps in the process and tells what needs to be included on the request form. She related the documentation updates to the Q/A matrix she had previously reviewed. She asked if there were any questions and there were none. Cindy said Qwest was close to completing the tool and that she thought that it would be ready for delivery around the first of April. She said the documentation is also near completion as the tool is enhanced. Cindy said to let Qwest know if there are additional issues that are identified as the documentation is reviewed.

Brenda Bloemke – Comcast questioned whether customers would be able to see the calendar.

Cindy Buckmaster – Qwest said she doubted it but would pass the request on to the Network personnel. Cindy said we are almost ready to turn everything up and would like to submit as a level 2 notification and wanted to know if there were any objections.

Bonnie Johnson – Integra asked if the documentation was available today

Cindy Buckmaster – Qwest relayed the documentation is available as part of the meeting.

Kim Isaacs – Integra verified that the change had not been noticed yet and said that she was not comfortable with a level 2 notification and needed her internal staff to review it. Mark Coyne – Qwest said that since the level 2 notice was not intended to go out until the end of March, customers would have until the end of March to begin to review the proposed change. There would then be an additional 7 days to review the changes.

Kim Isaacs – Integra indicated that a level 2 was not appropriate and wanted the longer review time.

Mark Coyne – Qwest asked what others on the call thought.

Brenda Bloemke – Comcast agreed that a longer time period was appropriate.

Mark Coyne – Qwest said we would go with a level 4 notification and asked if there were any other questions and there were none.

2/16/11 Product Process CMP Meeting Mark Coyne – Qwest indicated the technical team is still continuing to develop the web tool associated with this change and at the same time the process/product team is working to finalize the responses and processes associated with the questions that came out of the December ad hoc meeting that was held. At this point, a review of the process and the flow and those screen prints will take place in the March CMP meeting. It is also at that point that Qwest will be able to provide responses to the questions that came up during that ad hoc meeting in December.

1/19/11 Product Process CMP Meeting Mark Coyne – Qwest indicated there was an ad hoc meeting on December 2, 2010 and that the team is looking at that input while they continue to work on the web tool.

Brenda Bloemke – Comcast asked if Qwest had any feedback on any of the ad hoc meeting questions and whether there was a timeline for that.

Cindy Buckmaster – Qwest indicated that the CLEC input is under review and that Qwest will put together a document that has answers to their questions and share them as soon as we can but we do not have a firm timeline yet.

Mark Coyne – Qwest said there will be a spreadsheet similar to what we did with the Bordertown change and post that for folks to see.

12/15/10 Product Process CMP Meeting Mark Coyne – Qwest said the CR was presented last month and an ad hoc meeting was held on December 2, 2010. Several CLECs attended and provided good input in that meeting and those minutes have been posted to the calendar. The SME team is considering the feedback and continuing to work on the process and the related web tool.

12/2/10 Ad Hoc meeting Attendees: Kim Isaacs – Integra, Bonnie Johnson – Integra, Brenda Bloemke – Comcast, Jim Hickle – Velocity, Bill Thompson – Qwest, Cindy Buckmaster – Qwest, John Hansen – Qwest, Rachel Ruiz – Qwest, Susan Lorence – Qwest

Susan Lorence – Qwest provided the purpose of the meeting: to provide a high level review of the process, to answer questions and gather input for the new web tool associated with the CR that Cindy Buckmaster had introduced in the November CMP meeting. Susan relayed that she had attached to the Wholesale calendar a draft of the vault process that had been developed so far.

Cindy Buckmaster – Qwest said she is the product manager responsible for Poles, Ducts and Right of Ways. She provided an overview of why this CR was being initiated by Qwest; we have had situations in different manholes where we were not sure who had been where. Qwest wants to have a line of sight at all times to people who are working in our network. Our Qwest techs call in to find out if someone is scheduled to be in a certain manhole and why. Qwest wants to develop a single repository for tracking who is in the network at any point in time which is what this CR is about. Cindy said we have begun development of a mechanized entry point and that Bill Thompson from Network is going to explain the system at a high level and how it will be to utilize it.

Bill Thompson – Qwest relayed that his task was to create a single, standard point to be accessed throughout the company for information for anyone wanting entry to our underground manhole vaults. Bill said it will be a web based process that can be accessed by the CLECs and that when the request comes in, Qwest will verify the CLEC. Once verified, that CLEC will only be able to see information pertinent to their domain or company. Bill said validation would be on the domain/email address, the ACNA, the RSID or the OCN and then entry is allowed to the actual online form. Bill said the email address is how information will be sent back to the requestor. Qwest needs CLECs to identify the State and City to determine which of our management centers/local construction managers would receive the request to review and approve. Bill said we are looking for pertinent information so that the local people can know what work type of work is being performed, e.g., if access is needed for a vault or multiple vaults within a run. Qwest also wants to know the contractor name if they will be performing the work. Bill said if it is a common contractor that Qwest also uses, at times without our supervision, we would almost certainly do the same thing with the CLEC. Bill said following review by the local construction manager, a reply will be sent back to the email address on the request; there may be notes included back on the request that the visit needs to be accompanied, unaccompanied or a random visit. Bill said his team is looking at the potential reasons for denial which would be a situation where no one can enter the hole. That is a valid safety reason and we would have to make the vault safe for both the CLEC and Qwest employees. Another potential reason for denial is a work conflict since the vaults are so small that two work groups cannot perform work in the same vault at the same time. Bill asked if there were any questions.

Bonnie Johnson – Integra said her questions were similar to questions when Qwest was developing a process for their central offices. Her first question was if the CLEC has to get approval from Qwest?

Bill Thompson – Qwest indicated that is the term that has been used but really unlike the central office which is a large facility and multiple work groups can work simultaneously, a manhole is a very confined space. Qwest is looking for conflicts if for some reason we are working construction or maintenance there.

Bonnie Johnson – Integra said she will look closely at the interconnection agreements to see if approval is required. Bonnie said she understood Qwest needed to know who is going to be in their vaults and did not disagree with that but would be opposed to a process where Qwest can limit a CLECs availability or stop work progression due to lack of approval. Bonnie questioned if more information was going to be provided.

Cindy Buckmaster – Qwest relayed that there will be more detailed information provided in the PCAT to go along with the process and that Qwest was open to customer input on the documentation as well. Cindy said Qwest will collaborate on the documentation to insure it provides the level of detail to those that are going to utilizing this service.

Jim Hickle – Velocity questioned the timeframe for the approval process and whether it was to take five minutes or a week?

Bill Thompson – Qwest indicated if a contract has verbiage about how much time in advance requests must be submitted, that would be followed but if there is no language in the contract, then Qwest was looking at 48 hour advance notice. Bill said this is the same timeframe used with our technicians requiring access to our manholes.

Jim Hickle – Velocity asked about an emergency situation?

Bill Thompson – Qwest indicated that has not really been discussed in detail but emergency work is not going to require prior approval as far as he knew. Bill thought emergency work was emergency and out of service was out of service.

Cindy Buckmaster – Qwest said that was a good question and we will take that as an issue. Cindy said Qwest understood the customer vantage point and that the tool is built to handle 90% of the time, we would also address the emergency situations.

Jim Hickle – Velocity asked if a customer had done field verification for a run that fiber was going to be pulled through, was it possible to get global approval for the entire route for a time period versus approval for each individual manhole?

Cindy Buckmaster – Qwest indicated that we are working on that also and had a specific job in mind. The question is how long can a run be and how many requests are needed to cover a run that is very long.

Jim Hickle – Velocity asked how priority will be determined if both Qwest and a customer need to be in the manhole at the same time.

Cindy Buckmaster – Qwest again said that was a good question and will be addressed in the methods.

Jim Hickle – Velocity questioned why Qwest was developing this process now and had there been issues in the past that Qwest thought needed to be addressed.

Cindy Buckmaster – Qwest said there is a lot of history behind this and provided some background. Cindy said even as far back as 1990 to 2000 as part of divestiture, there were network issues that we did not know whether we had created the issue or whether someone else had. Cindy said from an IXC perspective, we tried to set up a system like this but had abandoned it in favor of registering when we were in the manholes. Then with the Telecom Act in 1996 up to 2000, Cindy relayed Qwest started to see things happening more frequently in the network, such as crushed duct pipes. Cindy provided another example of a Qwest tech driving by a manhole that had been staged/OSHA protected and the tech found someone else there. Cindy said Bill was called to develop a process.

Jim Hickle – Velocity provided an example where they had been told that someone from Qwest needed to be there but when they called they were told nobody really does that. Jim said what may be great on paper may not work in practice. Cindy Buckmaster – Qwest agreed and said that is the point which is twofold. One: we do not always want to be there to babysit. Cindy said there are many times where you or your contractor can be there; you are trained and Qwest is fine with that. Secondly, we are going for a single web entry point and consistent method to better train resources. Cindy relayed you will submit a request through the electronic system and our construction manager will get notified that you are going to be out there.

Brenda Bloemke – Comcast wanted clarification that Qwest was not saying that every request would require someone to be there with her technician. The process was just for notification that the customer will be in the manhole.

Cindy Buckmaster – Qwest indicated that is correct. Qwest will make the decision to accompany or not but Qwest will not accompany you on every entry to every manhole.

Brenda Bloemke – Comcast asked whether there was a guideline to know ahead of time whether they will have to be accompanied or not.

Cindy Buckmaster – Qwest indicated yes we will develop documentation which identifies cases that would require supervision and which will not. Cindy said a construction manager in a particular location will dictate whether the manhole is enterable with or without a construction supervisor.

Jim Hickle – Velocity suggested that Qwest may want to provide a ‘response back to Qwest capability’ in the web tool. Jim provided an example that their tech is in a manhole and they notice something that should be brought back to that construction manager, e.g., a wall is cracked. Their tech could provide feedback that they completed their work but noticed a particular condition.

Cindy Buckmaster and Bill Thompson – Qwest both indicated that this is a really good idea.

Cindy Buckmaster – Qwest said we will work with the mechanization team to figure out how to get that feedback into the business and will put the documentation together.

Jim Hickle – Velocity indicated his point was to improving the database and have Qwest know more about what is actually in the ground.

Cindy Buckmaster – Qwest indicated we appreciate his efforts on our behalf and that she understood where Jim was coming from.

Susan Lorence – Qwest asked if there were any other questions. There were none. Susan said we will take this feedback and continue to work on developing the process and tool. As we get more information, we will either schedule another ad hoc or cover it in the monthly CMP meeting. Susan requested that if anyone had other questions, they should e-mail them to CMPCR@qwest.com. It would be good to have them in advance so the SME team can consider them as they continue development.

Brenda Bloemke – Comcast asked if Cindy had a timeline for delivery of this tool and next steps.

Cindy Buckmaster – Qwest indicated the next steps are to develop the documentation but that she thought the delivery of the tool was scheduled for the middle of January.

Bill Thompson – Qwest indicated that he would have to get back to you on that.

Susan Lorence – Qwest indicated that we still have to go through the CMP notification process.

Bonnie Johnson – Integra indicated that she had discussed with Mark Coyne (Qwest) that we prefer to talk about things in the CMP meeting versus having multiple ad hoc meetings.

Susan Lorence – Qwest indicated that he did pass that along and we would certainly consider that.

Jim Hickle – Velocity questioned when a request is denied, is there going to be some kind of an escalation process. Jim said if Qwest denied something but customers still need to get the work done, they need to know how to go about escalating up the line.

Cindy Buckmaster – Qwest indicated that was a good point and we will take care of that.

Susan Lorence – Qwest thanked everyone for attending the call and giving input into the process. Susan said we will give status at the CMP meeting.

Meeting adjourned at 1:57 pm MT.

11/17/10 Product Process CMP Meeting Cindy Buckmaster – Qwest presented this CR. Cindy said Qwest has had a number of incidences where we have had damaged facilities as a result of someone being in a manhole. Qwest technicians have relayed that some customers have been in manholes that were not scheduled and Qwest has confirmed that after looking at our records. Cindy said this CR is to initiate a system that will allow customers to notify us when there is a need to access a particular location. Then Qwest will have that in our records to know who was in a location and that we know that you have permission to have access. Cindy said we have an ad hoc call on the calendar to discuss it in further detail.

Brenda Bloemke – Comcast asked if this was already on the calendar and has an ad hoc notice been sent out.

Susan Lorence – Qwest said the call was on internal calendars to reserve SME time. Susan said we have a number of ad hoc calls that are going to be coming up over the next two weeks and that she was planning on sending one notice with about three or four specific ad hoc calls listed. The ad hoc call for this CR is scheduled on December 2, 2010.

Kim Isaacs – Integra asked if the one notice that will have several ad hocs is all for one topic.

Susan Lorence – Qwest indicated that it is not. Susan said she was trying to cut down on the volume of notices from Qwest and is suggesting one notice with each ad hoc meeting in a separate section of the notice. Susan said if the group thinks it is better to keep them separate, that is fine too.

Kim Isaacs – Integra indicated that she would prefer separate since she has different SMEs at different calls so the separate notices work really well. Kim also said from a historical aspect, one ad hoc per notice is easier as well.

Susan Lorence – Qwest indicated that she can do that.

Mark Coyne – Qwest asked if anyone else on the call had a preference.

Brenda Bloemke – Comcast indicated that her preference would be separate.

Susan Lorence – Qwest indicated that she would send them out individually.

Mark Coyne – Qwest asked if there were any other questions on this CR. There were none.


Open Product/Process CR PC110310-1 Detail

 
Title: Bordertown changes
CR Number Current Status
Date
Area Impacted Products Impacted

PC110310-1 Completed
6/15/2011
Ordering, Billing Resale, Unbundled Loop, UNE
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest bordertown account numbers will be changing to match the dialing area code where the customer resides. Account numbers will change either to the actual dialable TN or the Mechanized Account Number (MAN) will be changed to the appropriate state where the customer resides. For example, an end user located in W. Spearfish, WY has a dialable 307 number but the Qwest account number reflects the serving central office NPA for Spearfish, SD 605. This will change to 307.

MAN numbers will also change. Where the account today is 605 W12, it will change to 307 W12. In rare situations, the NXX W12 may also change. Companies will be notified individually of all their account number changes.

In order to facilitate the internal database changes Qwest needs to accomplish, there will be an embargo on order completion from 3/21 to 3/25, 2011 for these NPA NXXs:

NOTE: Originator revised CR 11/30/10 to include Exchange names.

320 862 - BSCY - Big Stone City, SD

701 643 - BRRG - Breckenridge, MN

701 585 - CMST - Comstock, MN

605 746 - HRBG - E Harrisburg, IA

605 986 - CNTN - E. Canton, IA

701 773 - GDFR - East Grand Forks, MN

605 276 - NCIM - N. McIntosh, ND

605 522 - MRTW - N. Morristown, ND

402 378 - VLNT - N. Valentine, SD

712 232 - SXCY - North Sioux City, SD

712 235 - SXCY - North Sioux City, SD

308 885 - BGSP - S Big Springs, CO

308 253 - SDNY - S. Sidney,CO

605 667 - YNTN - S. Yankton,SD

701 789 - SABN - Sabin, MN

218 636 - DLTH - Superior, WI

605 896 - BLFR - W. Belle Fourche, WY

712 383 - HMBG - W Hamburg, NE

605 643 - SPRF - W. Spearfish, WY

NOTE: CR revised 11/30/10 to add Moorhead MN NPA/NXX’s

Added 11/30/10:

218-233 - MRHD - Moorhead, MN

218-236 - MRHD - Moorhead, MN

218-287 - MRHD - Moorhead, MN

218-291 - MRHD - Moorhead, MN

218-299 - MRHD - Moorhead, MN

More detail is attached. Qwest will accept requests with APP Date during the embargo but no Due Dates/Completion Dates during this time except Record ( R), Disconnect (D) or Restoral from deny orders. No Change (C) or New (N) orders.

Expected Deliverables/Proposed Implementation Date: 3/18/2011


Status History


Project Meetings

6/15/11 Product Process CMP Meeting Mark Coyne – Qwest relayed the effective date was March 18, 2011. Mark said some issues were discussed last month but they have been resolved. Mark asked if the CR could be closed. There were no objections.

5/18/11 Product Process CMP Meeting Mark Coyne – Qwest relayed the effective date was March 18 and that there are still some pending issues that are being worked.

Janean Van Dusen – Qwest provided an update on the issues. (6/1/11 Updates received from Integra in CAPS) JANEAN INDICATED QWEST HAD ISSUE GETTING THE CONVERTED BTNS ON THE RIGHT BANS AND NOTIFICATIONS WILL GO OUT BY THURSDAY OR FRIDAY, IF IMPACTED.

Mark Coyne – Qwest said we would leave it open and revisit it next month.

4/20/11 Product Process CMP Meeting Mark Coyne – Qwest relayed the effective date was March 18 and that there are still some pending issues that are being worked. Mark suggested we move the CR from CLEC Test to Completed.

Kim Isaacs – Integra said if all bill cycles have not been run through one cycle, we should leave it open until May.

Mark Coyne – Qwest said we would leave it open and asked if there were any other issues and there were none.

3/16/11 Product Process CMP Meeting Mark Coyne – Qwest indicated two Level 4 final notices were sent out on March 3 to address the PCAT updates and process changes and that the planned effective date is March 18. Mark said on Monday, 3/14, the preliminary reports were sent to impacted CLECs and their Service Managers. The final reports of changes are currently planned to be sent via Mailout no later than Monday, 3/21.

Janean Van Dusen – Qwest said she might be able to get the final reports out late on 3/18 but definitely no later than 3/21.

Kim Isaacs – Integra said she has been working with the Integra Service Manager and said in their preliminary reports, Resale and QLSP circuits were there but there were no unbundled circuits and that there are instances where some circuits were not on the list.

Janean Van Dusen – Qwest said she would work through their Service Manager to determine why the unbundled circuits are not on the reports since they should be. Janean said if there are specific unbundled circuits that Integra believes should be on the list, to get them to their service manager and then a call can be set up for review.

Bonnie Johnson – Integra said they have been working with their service manager in regard to the unbundled loops not being on the list.

Janean Van Dusen – Qwest said that there must be something else wrong and would need to look into it.

Mark Coyne – Qwest said Janean would get with the Integra Service Manager and would then get with Integra.

Kim Isaacs – Integra said she thinks there are issues with the circuit ids; they have circuits that have a MN BAN but really are North Dakota circuits and vice versa. Kim said that there is an incorrect assignment of circuit ids due to human error.

Janean Van Dusen – Qwest said if the circuit id is incorrect, it will not show on the Bordertown list. She said Qwest is not keying on a circuit number that is incorrectly assigned.

Kim Isaacs – Integra said this is not an isolated issue and that there maybe quite a few circuits with this situation and asked if this should not have been done by LSO.

Janean Van Dusen – Qwest said the NPA NXX of the MANs are not changing but the LSO would be corrected.

Rita Urevig – Qwest said she has two circuits that are examples and that may allow them to investigate this offline.

Kim Isaacs – Integra said she will also have her team look for some examples.

Janean Van Dusen – Qwest said if Qwest is not pulling something in the reports, she needs to know ASAP.

Bonnie Johnson – Integra said they may not be the only CLEC with the problem.

Mark Coyne – Qwest provided a Reminder that the Service Order Embargo on order completion is from March 21, 2011 through March 25, 2011.

2/16/11 Product Process CMP Meeting Mark Coyne – Qwest indicated two Level 4 notices were sent to address the PCAT and process changes associated with this. One was a Product notice related to the Resale general PCAT and the other was a Process notice that was sent out for the miscellaneous bordertown process and the Preorder updates. The comment cycle for those notices ends this week and the final notices are due on March 3, 2011 with an effective date of March 18. Mark included a reminder that the service order embargo on the order completion piece of this is from March 21 – March 25, 2011. Several CLECs have received their preliminary reports associated with the account number changes by working through their Service Managers and encouraged attendees to continue to do so.

Julia Redman-Carter - PAETEC said she is still working with her Service Manager on getting all the information on the reports. Julia wanted to check (Updates rec’d from Julia Redman-Carter in caps) THAT NOT if all information was not on the preliminary reports, would all of the fields they requested be included on the final report in March even if they were not on the preliminary reports.

Janean Van Dusen – Qwest relayed yes. We are still working out some issues about new BAN assignments that might have to be created for the companies that will need those.

Julia Redman-Carter - PAETEC said she had asked for a couple more fields that were not reflected on the first report because after seeing them, they realized they did not have everything they needed. Julia wanted to verify if the additional fields will be included on that final request.

Janean Van Dusen – Qwest said she was not sure said at this late date that we will be able to provide the additional fields. They were not part of our report requests when we asked everyone what they wanted to see on the report and were not built in to the queries.

Julia Redman-Carter - PAETEC said there were a couple of fields that they thought were going to be included. When she made the additional request, she understood they were not available yet. Julia said she would talk to her billing folks to insure they really needed them and why. She said if there is not another way to get (Updates rec’d from Julia Redman-Carter in caps) FIELDS AND INFORMATION, THEN them, she WILL wants to come back and WE WILL NEED TO WORK SOMETHING OUT IF say she really needs these fields.

Janean Van Dusen – Qwest said she would appreciate Julia checking and that it was likely that we could work with her individually to get want you need for those impacted bordertown accounts.

Julia Redman-Carter - PAETEC indicated I will just keep working through her Service Manager.

PAETEC – Joyce Bilow asked when the escalation process would be received.

Susan Lorence – Qwest relayed that is went out with the Process notification. It is the same process that was reviewed last month in the CMP meeting.

Mark Coyne – Qwest asked if there were any other questions and there were none.

1/19/11 Product Process CMP Meeting Mark Coyne – Qwest indicated that we are getting ready to send the Level 4 notice - hopefully by February 1, 2011which will have the effective date of March 18, 2011. Mark said there is an updated Issues spreadsheet with questions and comments on the calendar for today (available at http://wholesalecalendar.qwestapps.com/detail/287/2011-01-19) and that Denise Martinez – Qwest will address a couple of those remaining issues.

Denise Martinez – Qwest said Question #1 on the spreadsheet had to do with an escalation and expedite process for the Bordertown changes and that we are going to generally follow what is in the Expedites and Escalation Overview business procedure. Denise relayed a draft of the proposed process follows the matrix in the document posted on the calendar and then reviewed that temporary process and asked if there were any questions.

Denise Martinez – Qwest said the process will generally be business as normal. We are hoping that we do not have any orders during that time period but if there is an emergency situation, the process is available.

Peter Cole – AT&T asked if the companies have been notified that are impacted.

Susan Lorence – Qwest indicated that we have not sent the Level 4 notification that is speaking to the general process for the embargo and account changes. For customer specific impacts, we said in the ad hoc meeting to work through your Service Manager if you wanted an initial list of whether you were impacted. Susan said that the level 4 notice would be going out the beginning of February for the 45 day lead time.

Julia Redman-Carter – PAETEC asked she would make the request for that initial list to her service manager.

Denise Martinez – Qwest asked if there were any other questions regarding the escalation and expedite process.

Julia Redman-Carter – PAETEC said not on the expedite process but she had a question on the notification. Julia said she thought Qwest was going to be sending out a list in January and that if they wanted additional information on that list to identify it.

Janean Van Dusen – Qwest said any list sent prior to the implementation could change frequently prior to the release due to activity but that if you would like to see something prior to the implementation, just let your service manage know.

Julia Redman-Carter – PAETEC asked if they make the request now, will there be another before the implementation.

Janean Van Dusen – Qwest indicated yes and that you do not have to request both. You just need to request the preliminary one now if you want it.

Susan Lorence – Qwest asked Peter if that answered his question.

Peter Cole – AT&T indicated yes it did.

Denise Martinez – Qwest then reviewed item #10 on the matrix and the Qwest response.

Julia Redman-Carter – PAETEC questioned if they would have a date or time on the SAG download so they can coordinate for our systems.

Denise Martinez – Qwest said she thought it was supposed to take place on March 18, 2011.

Julia Redman-Carter – PAETEC questioned whether they should have their RC group work with from Qwest.

Joyce Bilow – PAETEC said it was a matter of re-downloading those SAG addresses that are downloadable every month.

Denise Martinez – Qwest asked are there any other questions on that item and there were none and then she reviewed item #13 on the list. Denise said we had asked for some feedback and as of the 18th of this month, we had no additional information that had been requested. Denise again asked if there were any questions and there were none.

12/15/10 Product Process CMP Meeting Mark Coyne – Qwest indicated that this was presented last month with a scheduled ad hoc meeting on November 29, 2010. Mark said there were not extensive CLEC questions during the call however after the call, PAETEC sent in questions and Qwest has put together a spreadsheet that includes the question and the Qwest response; that document is posted on today’s calendar.

Janean Van Dusen -Qwest then reviewed each question and the Qwest response on the spreadsheet. The following additional questions came up during that discussion.

Bonnie Johnson – Integra had a question about the hunting on the CSRs. She said she assumed the reason there is no impact is because today the area code in the hunting telephone numbers follows the area code on the CSR or the main BTN.

Janean Van Dusen – Qwest said it would be the dialable or the actual; it would not be the bordertown fictitious one that is used.

Bonnie Johnson – Integra provided an example using a Moorehead number 218; the CSR says 7025551212 and it is really 2185551212; there is a hunt group on the CSR but the hunt group does not have an area code; it is assumed it is the same as the BTN.

Janean Van Dusen – Qwest indicated on a bordertown it should have the NPA.

Bonnie Johnson – Integra said so on the CSR the hunt group is going to have 218 because it is Moorehead.

Janean Van Dusen – Qwest indicated that is correct. Janean said there are still a couple of open questions - one of which is the escalation process which will be posted for CLECs to look at.

11/30/10 Additional questions received from PAETEC After the ad hoc call yesterday, we had some additional questions regarding CR PC110310-1. Please answer these questions fully and in detail. We understand that this change will be seamless for the customer (the customer will not be dialing new numbers), but our backend systems will be impacted by these changes. Accordingly, PAETEC will need to coordinate updates to our systems.

See the following: 1) Will this change impact SAG files? If so, when will the SAG files be updated and available for download? 2) How soon/when will CSRs be updated? 3) Will this impact any hunting or call forwarding features on the impacted customers CSR? Specifically, our concern is routing those calls and making the system updates accordingly. 4) Will only the TNs changing Process Centers impact DLIS? As to those impacted TNs, how soon/when will the DLIS be updated to reflect the new routing for the dialing? 5) How will these changes impact ordering and processing regarding “edits?” Will there be new edits? 6) How will this impact the TNAQ process when CLEC is requesting new numbers for the impacted bordertown areas? 7) Will address validation be impacted by these changes? If so, how? 8) Will this impact 911 services and/or billing? We need clarification as to which state the 911 services are billed. 9) Also, please add the exchanges associated with the NPA/NXX listed on the CR. 10) Regarding the list Qwest is providing to CLECs with impacted customers, please provide the list of fields that will be on the CLEC specific customer report.

As this is communicated with more SMEs, I anticipate more questions from the billing, service delivery, reporting and IT departments.

11/29/10 Ad hoc meetiing minutes Attendees: Candace Hill – Integra, Kim Isaacs – Integra, Julia Redman-Carter – PAETEC, Joyce Bilow – PAETEC, Naomi Tulenchik – Integra, Brenda Bloemke – Comcast, Bennet Pang – Comcast, Mindy Chapman – Neustar, Mary Lohnes – MidContinent, Linda Birchem – Comcast, Kathy Miller – Qwest, Susan Lorence – Qwest, Janean Van Dusen – Qwest, Denise Martinez – Qwest, John Hansen – Qwest, Rachel Ruiz – Qwest, Carolyn Brown – Qwest, Wendy Thurnau – Qwest, Wanda Kinney – Qwest

Susan Lorence – Qwest provided a brief overview of the agenda. She said Janean Van Dusen, CR originator, would provide a brief overview of what we mean when we say bordertowns, would then review the account number changes and then discuss the planned embargo on order completions.

Janean Van Dusen – Qwest relayed that the bordertown change will be effective in March and that Qwest was making every effort to make the change as painless as possible for our partner companies. Janean provided an overview of the term bordertown and provided an example of an account. Janean said there are Miscellaneous account number changes but there would only be a few of those to adjust where the NXX starts with a letter, usually a W. Qwest will also have to change some SBNs, summary billing numbers; the account will have to move to the actual state BAN. Qwest will provide a report to impacted customers of what account numbers are going to change; information on the report will include the account number, the BAN it is billed to, accounts with CUS code changes, etc. Janean said if there is something specific that a customer needs, submit your report request to CMPCR@qwest.com. There will also be three data processing center (DPC) changes to be aware of. The orders that Qwest will write for the regular account bordertown changes will be C orders but the DPC changes will need to be handled via disconnect/new connect orders. Morristown and Macintosh, South Dakota are moving to North Dakota. The rates for Morristown and Macintosh are currently South Dakota but will move to North Dakota rates. Bigstone City, South Dakota rates will remain the same. Janean relayed that those are the highlights of the account changes.

Wendy Thurnau – Qwest provided information on the billing changes. Wendy said that Qwest is currently reviewing bordertown accounts and determining which CLECs are impacted but this is just a point in time since there could be changes due to further service order activity. Wendy said when Qwest submits Change orders to update accounts, there would not be the issue of fractionals but when an account is impacted by DPC changes, there could be fractionals since those orders would be disconnect/new connect orders. If that is the case, Qwest would provide information prior to the orders being issued on what the calculation would be and what the impact would be to that bill. Wendy said the other piece of billing information relates to our customers that have electronic media output. Wendy said the Billmate team is determining the accounts that are impacted. The data output/format is not changing but an account could move from a north DPC to a south DPC which would be a file name change. Qwest would provide impacted customers exactly what that would be if it looks like a north DPC file today and tomorrow it would look like a south DPC file. Wendy relayed we are looking at the billmate ASCII impact, the EDI impact as well as the billmate CSR impacts and those impacts should be available within the next couple of weeks. Wendy said the Bordertown billing piece does not require major changes. It will just be the possible account number changes.

Kim Isaacs – Integra asked if the cities could be provided again and questioned those cities that are going to have fractional rates like the disconnect orders.

Janean Van Dusen – Qwest indicated they were Morristown and Macintosh and then Bigstone City.

Kim Isaacs – Integra asked if all the other NPA NXXs listed here will be C order changes.

Janean Van Dusen – Qwest indicated that was correct.

Julia Redman Carter – PAETEC asked if Bigstone City is also North Dakota.

Janean Van Dusen – Qwest said it is South Dakota.

Julia Redman Carter – PAETEC clarified that the Bigstone City rates, the North Dakota rates will apply to them after the change.

Carolyn Brown – Qwest indicated that in Bigstone City, they are currently tariffed with Minnesota rates and will remain with Minnesota rates even though we are switching the DPC they are being billed out of. In Morristown and Macintosh, they are currently being billed South Dakota rates by tariff. Qwest will change our tariff and start billing those North Dakota customers with North Dakota rates.

Julia Redman-Carter – PAETEC said she assumed that the reason for the change in the rates is because that is the processing center that is going to be taking care of it.

Carolyn Brown – Qwest said that the processing center that is responsible for North Dakota does not bill South Dakota rates and that it was an advantage to our customers to move these North Dakota customers to North Dakota rates because the rates were lower. We are not doing a similar thing when we move Bigstone City from the north DPC to the south DPC because the Minnesota rates that they are currently billing are actually lower than the South Dakota rates so we are just maintaining that.

Julia Redman-Carter – PAETEC indicated so they were picked not because of where they are serviced out of but because of the rate change.

Janean Van Dusen – Qwest asked if there were any other questions and there were none. Janean then covered the embargo of service orders in the identified NPA NXX areas. Janean said Qwest would allow disconnect orders and restore from deny but other than that, except for record orders, Qwest will not be able to take any orders for that week. If Qwest does receive an order, the due date will have to moved out to beyond the embargo period. Janean said that we ask that you try not to submit any orders with those due dates.

Kim Isaacs – Integra asked is there an escalation process. She questioned if there is an emergency process if there is a need to somehow get an order through.

Janean Van Dusen – Qwest said it would definitely have to be manually handled and walked through.

Denise Martinez – Qwest indicated that we would have to talk about that offline and get back to everybody.

Kim Isaacs – Integra indicated that typically during embargos, there is an emergency coordination process.

Janean Van Dusen – Qwest relayed she would take that back to the SMEs.

Bennet Pang – Comcast asked if the embargo is specific to some request types or all request types.

Janean Van Dusen – Qwest indicated that it is for all request types.

Kim Isaacs – Integra asked if the actual circuit id is remaining the same

Janean Van Dusen – Qwest indicated that is correct.

Kim Isaacs – Integra said so there is no change to the circuit id and that she was just trying to picture if there is a problem getting these into CEMR during that embargo period.

Janean Van Dusen – Qwest indicated that the circuit ids are not changing.

Denise Martinez – Qwest indicated that there should not be any CEMR issues because circuit ids are staying the same.

Susan Lorence – Qwest said she thought that the order volume in these NPA/NXXs was fairly low so Qwest was not anticipating a large volume that was going to fall out or be blocked.

Janean Van Dusen – Qwest indicated that was correct.

Naomi Tulenchik – Integra asked if the list of NPA NXXs is inclusive of all of the impacted NPA NXXs.

Janean Van Dusen – Qwest said that is for the embargo areas and that there were no western NPA NXXs on the list because they already followed the correct protocol.

Naomi Tulenchik – Integra indicated she did not notice Morehead Minnesota on the list. Janean Van Dusen – Qwest said she could not check the list at the moment but would make sure that list is correct.

Joyce Bilow – PAETEC questioned the process for pulling CSRs and whether it is based on how they do it today versus how they dial it.

Janean Van Dusen – Qwest indicated that you will be pulling by the dialing NPA NXX after the March 18 release date or during the week of embargo.

Susan Lorence – Qwest asked Joyce if that answered her question and it did. Susan indicated that is something that we will include in the meeting minutes and the notification that we will send out.

Julia Redman-Carter – PAETEC asked when would the list of impacted accounts be available for each company.

Janean Van Dusen – Qwest said we were planning on doing it the week prior.

Julia Redman-Carter – PAETEC asked when they need to submit data fields to include on the list.

Janean Van Dusen – Qwest said if you need a specific field, we will try to accommodate that the request.

Susan Lorence – Qwest said requests to include specific data fields on the report should be sent to the CMPCR mailbox. Susan asked for those fields to be sent by mid-December because our technical staff will be working on some of these reports soon. In the January timeframe, if you want to find out what accounts you have in these NPA NXXs then work through your Service Manager for that.

Janean Van Dusen – Qwest said she wanted to have your Service Manager apprised and have them in the loop so they are aware of what is going on and what accounts you have.

Susan Lorence – Qwest asked if there were any other questions. There were none. Susan said if you think of questions, send them to the CMP CR mailbox soon and we would hopefully cover them in the monthly meeting in December. Susan thanked everyone for attending.

Meeting adjourned at 1:24 pm MT.

11/17/10 Product Process CMP Meeting Janean Van Dusen – Qwest indicated that this is a large Qwest effort to change the way bordertown accounts are presented in our CRIS billing system and on the CSRs in relationship to the way that the actual account number is dialed. Janean said the changes are planned for March 18, 2011 and reviewed the change that is an example in the CR. Janean said because impacted accounts will need to be modified, there will be an order embargo effective March 21 through March 25, 2011. The embargo can be narrowed to just the effected NPA NXXs that will have order activity to make this change. We will have an ad hoc call on November 29 for your input and further clarification.

Bonnie Johnson – Integra said this is a good change.

Mark Coyne – Qwest asked if there were any questions or comments. There were none.


Open Product/Process CR 15567 Detail

 
Title:
CR Number Current Status
Date
Area Impacted Products Impacted

15567 Withdrawn
3/17/2011
Originator: Larson, Jami
Originator Company Name: Qwest Corporation
Owner: Larson, Jami
Director:
CR PM: Lorence, Susan

Description Of Change

In an effort to more efficiently process customer disputes, Qwest has made a change. In those cases where multiple dispute types are included in a dispute a customer submits, Qwest will treat each dispute type as an individual item. Each item will be assigned a unique ticket number and reflect the customer’s dispute number (if provided); it is possible customers could receive multiple ticket numbers from Qwest that are related to the same dispute. Assigning a ticket at the dispute type level will provide better visibility as to what is being disputed, as well as allow Qwest the ability to close disputes as they are resolved. The PCAT – Billing Information – Dispute Process will be updated to reflect Qwest’s assignment of unique ticket numbers for each dispute type; no change will be made to the process customers follow submitting disputes.

Expected Proposed Implementation Date: 4/5/11


Status History


Project Meetings


Open Product/Process CR PC021711-1 Detail

 
Title: Grandfather Choice Home Packages in Montana
CR Number Current Status
Date
Area Impacted Products Impacted

PC021711-1 Completed
7/20/2011
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Lorence, Susan

Description Of Change

Qwest will be grandfathering the Choice Home Packages in Montana. The USOCs are: PGO1H, PGO2H, PGO1P, PGO2P. Currently there are wholesale/resale customers with these packages.

The proposed implementation date is 6/18/11.


Status History


Project Meetings

7/20/11 Product Process CMP Meeting Mark Coyne – CenturyLink (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [Deleted RELAYED]\ that the final notice was sent June 3, 2011, no comments (7/28/11 Updates received from Integra in CAPS) WERE received, THE CR was effective June 18 2011. Mark said the CR was in CLEC test and requested it be moved to Completed status. There were no objections.

4/20/11 Product Process CMP Meeting Mark Coyne – Qwest said the level 4 will be sent early May with a June 18, 2011 effective date.

3/16/11 Product Process CMP Meeting Cindy Schwartze - Qwest presented this CR. Qwest will be grandfathering the Choice Home Packages in Montana. The USOCs are: PGO1H, PGO2H, PGO1P, PGO2P. There are wholesale/resale customers with these packages. The proposed implementation date is June 18, 2011. Cindy asked if there were any questions and there were none.


Open Product/Process CR PC021711-2 Detail

 
Title: Elimination of I Called a Pay Per Use Service
CR Number Current Status
Date
Area Impacted Products Impacted

PC021711-2 Completed
6/15/2011
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Lorence, Susan

Description Of Change

04-13-11 REVISION:

Update the sentence “This service is only available for Residential customers” to “This service is currently available to Business and Residence Customers.

Qwest will eliminate the blocking USOCs associated with this Pay-Per-Use service. The blocking USOCs are “CDOBO” originating I-Called blocking and “CDOBT” terminating I-Called blocking.

The revised implementation date is 6/6/11.

Qwest will be eliminating the Pay-Per-Use Service I-Called in all 14 states.


Status History


Project Meetings

6/15/11 Product Process CMP Meeting Mark Coyne – Qwest relayed that the final notice was sent May 20, 2011 with an effective date of June 6, 2011. Mark said the CR was in CLEC test and requested it be moved to Completed status. There were no objections.

5/18/11 Product Process CMP Meeting Mark Coyne – Qwest relayed that the CR was revised to include Business that would also be eliminated. The Level 4 notice was sent on April 26/11 and the final notice is set to go out on May 20 with a revised implementation date of June 6, 2011.

4/20/11 Product Process CMP Meeting Cindy Schwartze - Qwest said the CR was introduced last month as only available to residence customers. When the notification was sent, we received a CLEC comment that the PCAT also shows it is available to business customers. After investigation, the CR was revised to include business. Cindy said that Qwest is also eliminating the blocking USOCs associated with this and the revised effective date is now June 6, 2011.

Kim Isaacs – Integra questioned the use of the term elimination versus grandfathering and questioned if the service is functionally gone.

Cindy Schwartze - Qwest said since this a pay per use service, the product will not be available and the blocking USOC currently on accounts will be removed after June 6.

3/16/11 Product Process CMP Meeting Cindy Schwartze - Qwest presented this CR. Qwest will be eliminating the Pay-Per-Use Service I-Called in all 14 states. This service is only available for Residential customers. The proposed implementation date is May 2, 2011. Cindy said there are no USOCs associated with this service. Cindy asked if there were any questions and there were none.


Open Product/Process CR PC040611-1 Detail

 
Title: Century Link branding changes to Qwest Product Process documentation
CR Number Current Status
Date
Area Impacted Products Impacted

PC040611-1 Completed
5/16/2012
Web and documentation
Originator: Hansen, John
Originator Company Name: Qwest Corporation
Owner: Hansen, John
Director:
CR PM: Lorence, Susan

Description Of Change

Implement change from Qwest to Century Link for all Qwest documentation, products, downloads, and web updates.


Status History


Project Meetings

05/16/12 Product Process CMP Meeting Mark Coyne – CenturyLink said we feel the project is complete and would like to move the CR to Completed status. Mark asked if there were any objections. There were none.

04/18/12 Product Process CMP Meeting Mark Coyne – CenturyLink relayed the most current tracking spreadsheet was included in the package. No new notices have been distributed, but two are scheduled to go out on Monday, April 23, 2012. With those notices, this change request should be complete and in the May CMP meeting, CenturyLink will ask to move it to Completed. Any future changes will be handled on an as needed basis.

03/21/2012 Product Process CMP Meeting Mark Coyne – CenturyLink relayed that the CR is still in CLEC Test and that an updated tracking spreadsheet was included in the package. Mark identified that there notices were sent on 02-17-2012 and 03-12-2012 associated with rebranding the downloads. The project is approximately 90% completed and the intent will be to complete the project in the next several months.

02/15/2012 Product Process CMP Meeting Mark Coyne – CenturyLink relayed that the CR is still in CLEC Test and that an updated tracking spreadsheet was included in the package. Mark identified that there were several recent notices that have been distributed associated with rebranding the downloads, those being 02-3-2012 and 02-10-2012. The project is almost two-thirds completed and the intent will be to complete the project in the next several months. There was also a notice distributed on 02-13-2012 to rebrand the digital certificate request forms.

John Hansen – CenturyLink said there is another rebranding notice that will be distributed on Friday 2-17-12. He said some documents keep popping up but that he hopes to be done soon.

01/18/11 Product Process CMP Meeting Mark Coyne – CenturyLink relayed that the CR is still in CLEC Test and that an updated tracking spreadsheet was included in the package. Mark identified that there were several recent notices that have been distributed associated with rebranding the downloads: 12/16/11, 12/27/11 and 1/13/12. The project is almost one half completed and the intent will be to complete the project in the next several months.

12/14/11 Product Process CMP Meeting Mark Coyne – CenturyLink recapped the Change Request and advised that an updated tracking spreadsheet was included with the package. A notice is going out on December 16, 2011 with several updates.

11/16/11 Product Process CMP Meeting Mark Coyne – CenturyLink provided a status on the change request and advised that a spreadsheet was included in the package that notified CLECs of the PCATs and Business Procedures that had been updated since the last meeting. He asked if this was sufficient in keeping everyone updated with the changes as they occur.

Bonnie Johnson – Integra stated yes it was.

Mark Coyne – CenturyLink stated that CenturyLink would continue to update the spreadsheet for the next several months and that the CR would be left in CLEC Test status.

10/19/11 Product Process CMP Meeting Mark Coyne – CenturyLink said this CR is in CLEC test and that we are working to modify downloads associated with PCATS and Business Procedures as time allows. He reviewed the proposed approach to downloads as included in the Distribution package: Level 1 notice, History Log will be updated, no redlines posted, up to 20 documents per notice, product and process updates on same process notice.

Bonnie Johnson – Integra asked if CenturyLink was only including rebranding in the notices, was this the full list, and if CenturyLink would include the list with each notice to show which lines were changing.

Mark Coyne – CenturyLink said only rebranding would be included and that there could be some stragglers that were not on the list.

Susan Lorence – CenturyLink stated that we were planning to identify the document name and affected downloads in the actual notice.

Bonnie Johnson – Integra asked if we could provide a link to the matrix.

Susan Lorence – CenturyLink reiterated that CenturyLink was planning to include that in the notice.

Kim Isaacs – Integra said that as long as we have the matrix done, a column could be added to track the documents that had been updated with either the date or notice number.

Bonnie Johnson – Integra asked if we would review the updated matrix in each monthly meeting. Mark Coyne – CenturyLink said we would review the suggestions to track the updates and said we could address the matrix in each monthly CMP meeting until completed.

Susan Lorence – CenturyLink stated that she thought it would work well if we reviewed the updated matrix in every CMP meeting as to the progress.

John Hansen – CenturyLink concurred.

Bonnie Johnson – Integra agreed.

Kim Isaacs – Integra asked if links could be checked as the documents are being reposted to make sure they work.

John Hansen – CenturyLink stated that he had been doing so, found some that were broken and had them fixed, and would continue to do so.

Susan Lorence – CenturyLink stated that as other documents are identified as needing updated, they will be added to the matrix so that they could be tracked as well.

Bonnie Johnson – Integra asked that if they had a question about what changed in a document, could the red line be provided.

Mark Coyne – CenturyLink stated yes, the red lines would be available.

9/21/11 Product Process CMP Meeting Mark Coyne – CenturyLink relayed the CR is in CLEC test since 8/8/11. He said two level 1 notices have been sent to add "AKA" (Also Known As) information to the document title of a number of documents, and that CL is continuing to modify the hundreds of downloads that exist as time allows. He advised that there will be a plan put together and shared with the CLECs on how we plan to do that and asked if there were objections to closing the CR.

Bonnie Johnson – Integra replied that Integra would like to leave it open until all the work was done.

Mark Coyne – CenturyLink asked if that meant when all downloads were changed.

Bonnie Johnson – Integra said yes.

Kim Isaacs – Integra stated that she continues to find broken links and had found 2-3 since the last meeting. She said until she could go an entire month without finding errors, she’d like to see the CR kept open.

Mark Coyne – CenturyLink asked if the previous ones had been fixed.

Kim Isaacs – Integra replied that she had seen an Event Notice for the SGATs page but did not think it had been closed.

Mark Coyne – CenturyLink said PAETEC had reported one that has been fixed and that we will leave the CR open.

Julia Redman-Carter – PAETEC said she also wanted to leave it open and that PAETEC has also come across (9/30/11 Updates received from PAETEC in CAPS) errors, SOME OF WHICH [delete THAT] she HAS SENT [delete SENDS].

Mark Coyne – CenturyLink replied that we try to get those fixed as soon as possible and that the CR will be left open.

8/17/11 Product Process CMP Meeting Mark Coyne – CenturyLink said that this CR was in CLEC Test and that it was effective on August 8, 2011. Mark said there are still some issues with some broken links which are being worked on. Mark said the CR will be left in CLEC test.

Bonnie Johnson – Integra said (8/26/11 Updates received from Integra in CAPS) WE [delete SHE] had sent some emails to CenturyLink regarding broken links and that it was problematic. She questioned who in CenturyLink was testing the links. Bonnie said though Susan Lorence – CenturyLink had tried to describe the problem, she was miffed that customers had to identify broken links.

Mark Coyne – CenturyLink said that CenturyLink had performed testing prior to turn-up but could not provide the names as to who had done the testing of urls. Mark said that CenturyLink had received the Integra concerns but said there were thousands of links to redirect. He said that there were some urls that were having problems but that we were trying to get those resolved as quickly as we can.

Bonnie Johnson – Integra asked if CenturyLink was (8/26/11 Updates received from Integra in CAPS) [delete NOT] notifying the CLECs WHEN [delete IF] there were issues.

Mark Coyne – CenturyLink said no, that was not the case. He said the ones that were identified by the CLECs were the ones that CenturyLink was working on. We’ve been able to get those fixed rather quickly.

Susan Lorence – CenturyLink said the Wholesale Web team was retesting some links. There are a few links that were working but (8/25/11 Updates received from PAETEC in CAPS) [delete THAT NOW] are not NOW, so they are retesting. Susan said if they can make the fix within an hour or so, an event notice is not sent. If the fix cannot occur within an hour, an event notice is sent. Susan said we appreciate customers identifying any broken links but that the CenturyLink team is also testing and fixing them proactively.

Julia Redman-Carter - PAETEC (8/25/11 Updates received from PAETEC in CAPS) SAID THIS IS A REQUEST THAT I HAVEN’T MADE IN CMP BEFORE, AND asked if there was a way to identify ON NOTICES if THE [delete A] notice is related to QC versus QCC versus legacy CenturyLink.

Tracy Strombotne – CenturyLink said she had the answer and would send it to Mark to forward (8/25/11 Updates received from PAETEC in CAPS) TO EVERYONE.

Julia Redman-Carter – PAETEC said great; she was looking for a way to tell which entity a notice relates to since it makes a difference.

Tracy Strombotne – CenturyLink said she had the answer and would share it.

Paulette Hauck – CenturyLink said there was also a memo sent on that.

Kim Isaacs – Integra said she assumed it would be shared with the entire CLEC community.

Mark Coyne – CenturyLink said yes, we will. Mark asked if there were any other comments on rebranding. There were none. Mark said he had some information to share from the discussion that had occurred in the July meeting. He said a couple CLECs asked CenturyLink to include an “AKA” on the products that had a name change and that we agreed to check into both an update to the menu drop down as well as in the related PCAT. Mark said he was happy to identify that the AKA had been included into the drop down menus as of the 8/8 date. He said the PCATs were currently being updated with that information and should be done within 30 days.

7/20/11 Product Process CMP Meeting Mark Coyne – CenturyLink (7/29/11 Updates received from PAETEC in italicized CAPS) SAID [Deleted RELAYED] two level 2 notices had been sent out on 7/18 – one for Process and one for Product. Also that the notices provided types of (7/28/11 Updates received from Integra in CAPS) CHANGES [Deleted CHANGE] that will be occurring and referenced business procedures and PCAT changes, document change matrix, product name change list and some web page redesign examples. [Deleted ALSO THAT] THE effective date of these notifications is August 8, 2011.

Denise Martinez – CenturyLink (7/29/11 Updates received from PAETEC in italicized CAPS) SAID [Deleted RELAYED] not all URL’s will be impacted on August 8, 2011. The ones impacted on that date are Qwest.com/Wholesale domain. Anything that has a digital certificate associated to the URL used to access the system will be changed at a later date. (7/28/11 Updates received from Integra in CAPS) CLECS WILL [Deleted WILL] be notified 30 days in advance with new digital certificates NEEDED to access the system.

Kim Isaacs – Integra (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) SAID [Deleted RELAYED] there’s a CEMR release ALSO SCHEDULED on 8/8/2011. The URL to access CEMR is not changing at that time, is that correct?

Denise Martinez – CenturyLink (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [Deleted RELAYED] that is correct. Digital certificates are not impacted at this time. URL’s THAT REQUIRE A DIGITAL CERTIFICATE will be changing at a later date.

Kim Isaacs – Integra asked (7/28/11 Updates received from Integra in CAPS) WHETHER [Deleted COULD] CenturyLink COULD send a clarification on the CEMR final release notice reminding folks that the URL for CEMR is not changing.

Susan Lorence – CenturyLink (7/29/11 Updates received from PAETEC in italicized CAPS) SAID [Deleted RELAYED] that the final CEMR notice went out on 7/18 so we will send out a revised final and also include a note in the product/process level 2 final notices that it’s the web related documentation URL’s that are impacted and not the system ones. Mark Coyne – CenturyLink asked if there was anything else on this one.

Bonnie Johnson – Integra asked about product name changes. Has CenturyLink determined that none of new names are the name of a classic CenturyLink product?

Mark Coyne – CenturyLink (7/29/11 Updates received from PAETEC in italicized CAPS) SAID [Deleted RELAYED] that there were open action items from May meeting. (7/28/11 Updates received from Integra in CAPS) THE [THERE WERE SOME] CONCERNS [Deleted CONCERNS] raised in May. First one had to do with URL changes. QWEST [HAS] CONFIRMED [Deleted CONFIRMED] that URL’s would be redirected indefinitely. [IT WAS] Also IT WAS confirmed with OUR attorneys that if URLS [Deleted URL’S] did change then CenturyLink would have AN obligation to initiate an amendment TO THE ICA to address that CHANGES. A Second one was to provide product list out to CLECs following June meeting. That was included with meeting minutes for June meeting. THE BIGGER [Deleted BIGGER] issue IS around THE ability to differentiate between LEGACY QWEST AND CENTURYLINK product names should CenturyLink have the same or similar product names. MARK STATED [HE SAID] IT WAS CONFIRMED [Deleted CONFIRMED] with OUR attorneys and no changes will be made to customers ICA’s. Legacy Qwest products will continue to have separate documentation and web pages which will be separate from the legacy CenturyLink products. Current terms and conditions will not change with re-branding. CLECs will continue to order products with specific terms and conditions they have today using same ordering tools they use today.

Bonnie Johnson – Integra – (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED SHE WAS not sure SHE AGREED [Deleted AGREE] that ICA’s are in sync. BONNIE INDICATED[HOWEVER,BONNIE SUGGESTED] THAT IF A [Deleted IF] CENTURYLINK COULD INCLUDE A comment in THE PCATs such as “also known as” with old Qwest name that would PROBABLY TAKE care OF [Deleted FOR] that.

Mark Coyne – CenturyLink – (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) RESPONDED [SAID] yes we DID [Deleted DONE] [HAVE DONE] that with QORA. We have INCORPORATED THE OLD QWEST NAME [Deleted ACCOMMODATED THAT] in THE documentation BY and INCLUDING [Deleted INCLUDED] “also known as” where appropriate. WE [Deleted WE] have done that. MARK ASKED TO GO [Deleted GO] [HE SAID HE WOULD LIKE TO GO] back to THE comment about contracts being in sync. Were you talking about legacy Qwest vs. legacy CenturyLink contracts being in sync?

Bonnie Johnson – Integra (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) [SAID SHE IS] ANSWERED I’m looking at REBRANDED [Deleted REBRANDING] product name changes, formerly MOE, Qcentral, QLSP or something else. I AM NOT [Deleted NOT] [SHE IS NOT] sure I [SHE] agree [AGREES THAT] none of these former names are in ICA [ICAS] or commercial agreements. As long as documentation FOR THE PRODUCTS is clear AND INCUDES THE LEGACY QWEST NAMES somewhere AND [Deleted SO] [IN] the PCATs ARE to say at least once AN “also known as” so it’s [THE QWEST PRODUCT NAME] identified somewhere IN THE PCAT AND IT SHOULD BE “ALSO KNOWN AS” AND NOT “FORMERLY KNOWN AS”. [Deleted ELSE] INCLUDING THE OLD LEGACY QWEST NAME IN THE PCAT SHOULD [Deleted THAT WOULD] cover if A name is [Deleted IN A] different IN ANOTHER document. As long as i no overlap in product names BETWEEN LEGACY QWEST AND CENTURYLINK, that SHOULD [Deleted WOULD] TAKE care OF [Deleted FOR] Integra’S concern.

Julia Redman-Carter – PAETEC just rejoined call.

Mark Coyne – CenturyLink (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) [SAID HE AGREES] stated I agree that INCLUDING [Deleted NEEDS TO] “also known as” AND not “formerly known as” ADDRESSED THOSE CONCERNS. AND CenturyLink has cared for those concerns. I HAVE NOTED YOUR [Deleted WILL NOTE] [HE WILL NOTE THAT] feedback.

Julia Redman-Carter – PAETEC (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) [SAID THERE] THERE NEEDS [Deleted NEEDS] to be AN ABILITY TO SEARCH ON THE OLD PRODUCT NAME somewhere. SO IF [Deleted IF] someone is searching in Qwest system to find OR [Deleted /] search for a product and used AN old LEGACY QWEST name THAT WAS in THE ICA THEY [Deleted THAT] can find it and GET THE [DELETED TAKE TO] [TAKE NOTE OF THE] new name and be clear THAT it’s covered in any document.

Bonnie Johnson – Integra (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) ASKED CENTURYLINK [QWEST] TO GIVE [Deleted GIVE} thought to HAVING THE [ADDING TO THE] Qwest website [Deleted AND DO] pull DOWNS [Deleted DOWN AND] [BOXES THAT WOULD] have THE “also known as’ NAME, [Deleted THERE] to care for Julia’s concern. That way if SOMEONE OR THE AGREEMENT only HAS THE [Deleted HAVE] old name then THEY [Deleted YOU] could still find it.

Mark Coyne – CenturyLink (7/28/11 Updates received from Integra in CAPS) SAID we will take a look at what we can do.

Kim Isaacs – Integra (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] SHE saw on matrix that grandparent products WERE treated differently. Can you confirm no REBRANDING changes ARE being made?

John Hansen – CenturyLink , (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) ANSWERED [SAID] that is correct. THE GRANDPARENTED PRODUCTS HAVE [Deleted HAVE] not changed where noted. [PAETEC Deleted WHERE NOTED]

Kim Isaacs – Integra ASKED IF THE Grand parented PCATS ARE [Deleted PCAT IS] going to remain on website?

John Hansen – CenturyLink – (7/29/11 Updates received from PAETEC in italicized CAPS) SAID [Deleted ANSWERED] yes THEY will remain.

Mark /Coyne – CenturyLink (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] just like today.

Kim Isaacs – Integra (7/28/11 Updates received from Integra in CAPS) ASKED just like it is today? THEY ARE CURRENTLY BRANDED [Deleted BRANDED] as Qwest.

John Hansen - CenturyLink (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] yes

Lori Burchett – CenturyLink (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) SAID SHE WAS sorry THAT SHE joined late. SHE didn’t have chance to announce.

Mark Coyne – CenturyLink (7/28/11 Updates received from Integra in CAPS) ASKED IF THERE WAS anything additional on that.

Julia Redman-Carter – PAETEC (7/28/11 Updates received from Integra in CAPS) ASKED WHETHER THE [Deleted HAVE] ADSL PCAT that was grandfathered and then came back is [Deleted THAT] being changed?

John Hansen – CenturyLink – (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) INDICATED [SAID] HE will check AND GET BACK TO YOU.

Julia Redman-Carter – PAETEC (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID SHE WANTED]WE want to be clear on those ADSL PCATs [ADSL PRODUCT AND PCATS] because THEY MOVED [Deleted OF MOVING] forward and back FROM GRANDPARENTING STATUS.

John Hansen – CenturyLink (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID THAT IF HE RECALLED, THE THOUGHT] if I recall CORRECTLY I think it [ADSL PCAT] was changed.

Julia Redman-Carter – PAETEC (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] SHE would like CENTURYLINK to make sure or [AND] GET clarification for THE new product name. [SHE] PAETEC HAS CONCERNS [Deleted CONCERNS] [PER THE] on XDSL amendment AND WANTS to make sure what is changing on THE new PCAT [Deleted ONE IS] [AND NAME] and THE relationship between the old and new one. THIS NEEDS [Deleted NEED] to be very clear THIS WAS A BIG ISSUE IN THE NEGOTIATION OF THE AMENDMENT THIS IS A BIG [Deleted BIG] issue for PAETEC

John Hansen – CenturyLink (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED HE [SAID CENTURYLINK] will check on IT.

Bonnie Johnson – Integra (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED WE ARE [SAID SHE IS] still looking at notices from 7/18 and may have more questions/concerns AND ADDITIONAL COMMENTS/CONCERNS.

Mark Coyne – CenturyLink (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) SAID THE comment period runs through 24th or 25th.

Kim Isaacs – Integra (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [CLARIFIED] it’s the 25th.

Julia Redman-Carter – PAETEC (7/28/11 Updates received from Integra in CAPS) (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [SAID] ditto for PAETEC.

6/15/11 Product Process CMP Meeting Mark Coyne – Qwest relayed that the CR had been presented two months ago and that the draft matrix had been reviewed in last month’s CMP meeting. The changes are targeted for August 8, 2011. Mark said there were three open issues: 1) Product naming list, 2) URL changes, and 3) impacts on ICA. Mark said in regard to the URLs, they will be redirected indefinitely and that at the point that the URL redirects will be eliminated, we will follow the CMP process which is a 21 day notice.

Karen Clauson – Integra said that the Integra ICA and Qwest template refer to Qwest.com and that if Qwest decides to eliminate the redirect, the ICA must also be amended.

Mark Coyne – Qwest said that is true.

Susan Williams – Qwest said Qwest will amend the ICA (6/23/11 Updates received from Integra in CAPS) TO INCLUDE @CENTURYLINK.COM at the CLECs request. Karen Clauson – Integra said their ICA says Qwest.com and that it is also in the ICA of some CLECs in MN.

Susan Williams – Qwest said that Qwest Corporation doing business as CenturyLink will continue to be the legal name and that the Qwest legal position is that an amendment is not required unless a CLEC requests it.

Karen Clauson – Integra said the issue is the URLs that appear throughout the document that the ICA specifically points to. Karen said if a CLEC does not request the change then (6/23/11 Updates received from Integra in CAPS) HOW Qwest can act contrary to it?

Susan Williams – Qwest said she was not saying that. She said the Qwest legal position is that the merger agreements cover this and that there is no need to (6/23/11 Updates received from Integra in CAPS) PROactively pursue an amendment to change each contract. IF THE CLEC DOESN’T REQUEST IT, THEN THERE IS NO NEED TO UPDATE THE CONTRACT.

(6/23/11 Updates received from Integra in CAPS) KAREN CLAUSON – INTEGRA SAID THAT QWEST IS SEEKING THE CHANGE AND WOULD NEED TO REQUEST A CONTRACT CHANGE.

(6/23/11 Updates received from Integra in CAPS) SUSAN WILLIAMS – QWEST SAID THAT QWEST WILL AMEND THE CONTRACTS, IF THE CLEC DESIRES.

Karen Clauson – Integra they are talking past each other (6/23/11 Updates received from Integra in CAPS) BECAUSE YOU ARE TALKING ABOUT THE ENTITY, AND I AM TALKING ABOUT THE CONTRACT PROVISION WITH QWEST.COM?

Susan Lorence – Qwest said that this issue should be taken out of CMP and to the Contract team.

Susan Williams – Qwest that Integra should contact Bob Kennedy.

Karen Clauson – Integra said she had contacted Qwest/CenturyLink executives and legal and they have said they are working on it but that she was still was owed a response.

Susan Williams – Qwest said she received the information yesterday.

Karen Clauson – Integra said she has not received anything and that Qwest should not present the notification requirements in CMP if they are also saying the ICA question is outside of CMP. Karen said her ICA specifically points to qwest.com and that proper channels need to be followed to make the change. She said what prevents Qwest from doing other things contrary to the ICA if a CLEC does not object. She said it is not the CLECs burden to object.

Mark Coyne – Qwest said her concerns are captured and that we will get with the Contract team to address them. Mark said his other issue is associated with the Product name list and he hopes to share the list when the meeting minutes go out.

Susan Lorence – Qwest said the plan was to share the rebranding product list in June but that it was not yet approved and asked if the list could be sent as a separate attachment with the draft meeting minutes otherwise the list would be made available in July.

Bonnie Johnson- Integra asked if a separate notice could be sent.

Susan Lorence – Qwest said it could be sent with the planned CMP rebranding notice that was going to go out.

Karen Clauson – Integra said they would like the list sooner than July and that the issue is that the list cannot be included in the meeting minutes as if it was part of the meeting. Karen said the list should be considered a separate attachment.

Susan Lorence – Qwest said that was her plan.

Julia Redman-Carter – PAETEC asked if the list was going to show old and new name and potential issues?

Mark Coyne – Qwest said it is just the product list.

Julia Redman-Carter – PAETEC said the heart of the (6/28/11 Updates received from PAETEC in CAPS) ORIGINAL request was TO IDENTIFY the potential issues WITH THE REPLACEMENT OR ELIMINATION OF “QWEST” IN THE NAME OF THE PRODUCT and gave an example USING A HYPOTHETICAL [delete AROUND] Qwest xDSL PRODUCT NAME. Julia [delete SAID] ASKED what happens if there is Qwest xDSL PRODUCT NAME and CenturyLink has xDSL PRODUCT NAME and the decision is to drop the “Qwest?” IF THIS HAPPENS, THEN THERE [delete There] are still two different products but they BOTH would have the same name. THE REQUEST [delete AND THAT] was THAT the product issues list she was looking for ALSO IDENTIFIED THOSE ISSUES AND CONCERNS.

Mark Coyne – Qwest said that information would not be part of the product list to come out next week but that we would get with the Product team to get their response.

Julia Redman-Carter – PAETEC said she understood the URL discussion associated with the ICA was put off (6/28/11 Updates received from PAETEC in CAPS) TO ANOTHER TIME, but wondered what QWEST’S [delete THE] response was on the ICA piece.

Mark Coyne – Qwest said the concerns around the ICA would be addressed outside of CMP with the Contract team.

Julia Redman-Carter – PAETEC said her concern was if she was directed to resolve issues (6/28/11 Updates received from PAETEC in CAPS) BROUGHT UP IN CMP with the contract team, there could be inconsistencies with contracts and the process. WE [delete AND THAT THEY] then end up with a loophole and NO MEANS OR WAY TO RESOLVE THE ISSUES. THUS, THE ORIGINAL ICA REQUEST WAS that she wanted a plan FROM QWEST PRODUCED AS TO HOW THEY PROPOSE to address [delete THESE] THE INCONSISTENCIES IN THE ICA. She said [delete THOSE] THESE potential inconsistencies with the ICA and process needed to be addressed in CMP AND NOT AVOIDED BY REFERRING THEM TO THE CONTRACT GROUP. IF THERE IS A CHANGE IN PROCESS THAT QWEST IS PROPOSING THAT IMPACTS THE ICA, THEN CMP IS [delete AND THAT WAS] where they needed to be ADDRESSING THE ISSUE.

Mark Coyne – Qwest said he would take that back to the Contract team.

5/18/11 Product Process CMP Meeting Mark Coyne – Qwest relayed that the CR was presented in last month’s meeting and that a document to be reviewed this month was under Attachment F.

John Hansen – Qwest presented the example redlined PCAT document and the Business Procedure matrix. He said the typical change was from Qwest to CenturyLink or Qwest may simply be dropped altogether. John said links in the documents are changing but customers are not really impacted since the revised links are provided in the online documents.

Bonnie Johnson- Integra said there are outstanding ICA questions and asked what was going to happen if customers accessed the Qwest.com link.

John Hansen – Qwest said that generally, there are no duplicate links between Qwest and CenturyLink domains except at the Wholesale level itself. John said when accessing the CenturyLink web page, there will be an option to go to legacy Qwest or Legacy CenturyLink.

Bonnie Johnson- Integra asked whether customers would receive a “page not found”or is it a redirect.

Susan Lorence - Qwest said Qwest would like to leave a redirect link up for 30 days but is still confirming that.

Bonnie Johnson- Integra said the change is bigger than just PCATs and it needs to be addressed in its entirety. (6/1/11 Updates received from Integra in CAPS) SHE STATED THE EXISTING ICAS AND THE QWEST NEGOTIATIONS TEMPLATE HAVE THE QWEST.COM ADDRESS. WE SEE THIS AS A BIGGER ISSUE AND NEED TO CARE FOR THIS GLOBALLY. She said the Negotiations Template will probably be considered outside of the scope of CMP.

Mark Coyne – Qwest said that Qwest has an entire team addressing the rebranding changes including those Product/Process, system and CMP document updates addressed in CMP. Mark said the negotiation template changes would be addressed separately.

Bonnie Johnson- Integra said regardless of the venue to address them, there would need to be an overall view of the changes and that it was difficult to comment on the changes without understanding what was happening with the ICA - especially with the current xDSL change.

Susan Williams – Qwest said the ICA updates are administrative and the links have to be identified and have not been created yet.

Bonnie Johnson- Integra said the expectation is the update would take a formal amendment and that customers did not need to know the links but the process that will used to change them.

Susan Williams – Qwest said if ICAs need to be amended through a formal amendment, she would entertain that.

Mark Coyne – Qwest said in regard to the ICA updates, those will be addressed outside of CMP through the Contract/Legal team. Brenda Bloemke - Comcast said if nothing is changing in the ICA, that the links should be redirected for a time.

Susan Williams – Qwest said the links will be redirected and then customers rebookmark those that are used regularly. Susan questioned what are the benefits of redirects.

Brenda Bloemke - Comcast said it prevents receiving a “page not found”.

Bonnie Johnson- Integra said some in Integra use the ICAs as a reference and do not use the ICA links everyday and so do not know where to look if not redirected.

Doug Denney- Integra requested confirmation that none of the content of the ICAs are changing.

John Hansen – Qwest said his changes are to product, process and systems in name only and only cosmetic so Qwest will have a clean document going forward. John relayed that the business procedure matrix is how the changes are being tracked internally and some documents that change frequently have not been touched yet. The matrix shows whether the document is considered CMP or not and has listed some of the changes, such as downloads. John said this is an example of what would be sent with the notice.

Julia Redman-Carter - PAETEC requested confirmation that the changes are only name changes (6/2/11 Updates received from PAETEC in CAPS) FROM QWEST TO CENTURYLINK and there are no terms or process or changes of substance included.

John Hansen – Qwest said the products may go from Qwest XYZ to CenturyLink XYZ but in some cases the product will just go to XYZ.

Julia Redman-Carter - PAETEC provided an example using the DSL product and asked what would happen if both Qwest and CenturyLink have DSL and the company name is dropped. How will the Qwest and CenturyLink products be distinguished?

John Hansen – Qwest said he did not have an answer but would investigate the question since he assumes CenturyLink has a DSL product as well. John said for an unknown period of time, there will still be two sets of documents between Qwest and CenturyLink to link to and that he does not know when those documents will be merged. He said at some point the products will be integrated but customers will be notified when that will happen.

Julia Redman-Carter - PAETEC said (6/2/11 Updates received from PAETEC in CAPS) [delete THAT IS] her concern IS that she is able to distinguish BETWEEN THE DIFFERENT COMPANY products and would like to have a minimum time frame TO KNOW HOW TO ADDRESS THESE SITUATIONS BEFORE IMPLEMENTING THE NAME CHANGE. She said the key CONCERN INITIALLY is that she does not want to be linked to a product that has different terms than what was negotiated in her ICA as part of this rebranding.

Kim Isaacs - Integra said if a customer has Qwest DSL and the product changes to DSL, what happens if there are questions about the terms of Qwest DSL.

Susan Williams – Qwest said the new legal name will be Qwest DBA (doing business as) CenturyLink to allow customers to distinguish between various agreements.

Julia Redman-Carter - PAETEC said the concern is not with the (6/2/11 Updates received from PAETEC in CAPS ) COMPANY name change but WITH [delete THAT AS] the product name changes, AND that her ICA reflects the correct product. QWEST HAS DRIVEN THEIR ICAS AND TERMS BASED ON THE PRODUCTS OFFERED. She said she does not want to have an issue with a Qwest product and be told the product AS NOTED IN THE ICA does not exist any more and BE SUBJECTED TO OTHER TERMS AND DELAYS. [delete THAT] THOUGH she does not need the answer today., [delete SHE SAID] QWEST customers [delete JUST] need to understand how that situation will be formally addressed before the rebranding identified in the matrix takes place.

Mark Coyne – Qwest said we will take it as an Action Item action item to get a response.

Liz Tierney – Covad said customers need a document that provides the from/to list for product, system and URL changes.

Susan Lorence-Qwest said at the next CMP meeting, Qwest will have a generic list of the various name changes that identifies the from and to name change.

Mark Coyne – Qwest asked if there were any other questions and there were none.

4/20/11 Product Process CMP Meeting John Hansen – Qwest presented the CR associated with how Qwest will be implementing the change from Qwest to Century Link for all Qwest documentation, products, downloads, web updates, etc. The documentation changes are to become effective August 8, 2011. John said rather than posting all of the business procedures and PCATs, we propose sending a draft matrix in the May meeting that identifies all of the documents and the types of changes to be included and send out a level 2 notice since it is not really a process change

Bonnie Johnson – Integra requested one redlined PCAT be made available as an example of the types of changes so the CLECs can see the from/to types of changes.

John Hansen – Qwest said that would work to get the basic idea of the changes. John said there could be a few more extensive URL changes if there are any duplicate documents between Qwest and CenturyLink.

Julia Redman-Carter – PAETEC requested clarification that the URLs changes were not to go to a new process but only to go to a new URL.

John Hansen – Qwest said there were no process changes included, only redirects of URLs, otherwise it is status quo.


Open Product/Process CR PC040611-3CM Detail

 
Title: Update CMP Doc with change from Qwest to Century Link branding change.
CR Number Current Status
Date
Area Impacted Products Impacted

PC040611-3CM Completed
9/21/2011
CMP document
Originator: Coyne, Mark
Originator Company Name: Qwest Corporation
Owner: Coyne, Mark
Director:
CR PM: Lorence, Susan

Description Of Change

Implement change from Qwest to Century Link with in CMP document.


Status History


Project Meetings

9/21/11 Product Process CMP Meeting Mark Coyne – CenturyLink recapped that a vote was taken last month which was unanimous and that the vote disposition notice was sent out on August 24, 2011. The process notice was distributed on September 7, 2011 as a Level 1 notice. Mark asked if there were any objections to moving the CR to Completed. There were none.

8/17/11 Product Process CMP Meeting Mark Coyne – CenturyLink said that the redlined CMP document was posted to the calendar and that the vote notification was sent on August 10th. He said Susan Lorence - CenturyLink would conduct the vote.

Susan Lorence – CenturyLink provided a brief history of the CR. She said the document that was posted to calendar entry for the CMP meeting today was the same document that was posted for the July meeting. Susan said she would review the key points of the voting process and what the standards of what a “yes” and “no” vote were; she said six email votes had been received. The key points of the voting process are: a change to the CMP document requires a unanimous vote per Section 2.1 of the document; the voting process is described in Section 17; a voter may participate in person, over the phone, or via email; each carrier is entitled to a single vote regardless of any affiliates; and finally, quorum has to be established. Susan said based on the last six monthly meetings, quorum for today’s meeting is ten and that we must have at least six participants which has been met so the vote can be conducted. Susan said a vote of “yes” indicates the updates to the CMP document, the redline updates and the PowerPoint updates will be made, and a vote of “no” indicates that those changes will not be made. Susan then provided the information for the six email votes as listed in the table below:

Voting Carrier Voting Participant VOTE Velocity Jim Hickle (by email) YES Sprint Nextel Jeff Sonnier (by email) YES TWTelecom Alan Flanigan (by email) YES Valley Connections, L.L.C.Chanse Bruns (by email) YES Comcast Cable Brenda Bloemke (by email)YES CenturyLink Mark Coyne (by email) YES

Susan Lorence – CenturyLink then asked for the remaining votes and asked Greg Darnell – CBeyond if he would like to vote.

Greg Darnell – CBeyond said that he would send an email.

Susan Lorence – CenturyLink said the vote had to be received before the end of this voting process.

Greg Darnell – CBeyond said OK.

Prior to providing her vote, Bonnie Johnson – Integra said she had indicated in a prior meeting, that regardless of the CMP document being in line, she wanted all issues resolved. There were two (8/26/11 Updates received from Integra in CAPS) MAIN issues: one with the ICA links and CenturyLink committed to leave the links redirected indefinitely and if a change was required, CLECs would be contacted to update their ICA. Bonnie said the second issue was the “also known as” which was also resolved. Bonnie thanked CenturyLink for resolving both of issues AND WITH THAT UNDERSTANDING VOTED YES.

Susan Lorence – CenturyLink asked each CLEC participant on the call to state their vote. The votes have been listed in the table below:

Voting Carrier Voting Participant VOTE Integra Bonnie Johnson (by phone) YES PAETEC Julia Redman-Carter (by phone) YES TDS Metrocom Rod Cox (by phone) YES POPP Telecom Ben Silver (by phone) YES Covad Liz Tierney (by phone) YES XO Communications Loriann Burke (by phone) YES

Susan Lorence – CenturyLink asked if she had missed anyone that was eligible to vote. There was no response. She then asked Greg Darnell – CBeyond if he was sending in his vote.

Greg Darnell – CBeyond said to close the vote.

Susan Lorence – CenturyLink asked Greg if it was appropriate to indicate he was abstaining.

Greg Darnell – CBeyond said CBeyond will abstain.

Susan Lorence – CenturyLink thanked everyone and said the CMP document updates were passed via unanimous vote. Susan said CenturyLink would like to send a Level 1 notice to update the CMP document and asked if that was OK with everyone on the call.

Bonnie Johnson – Integra said Integra had no objection.

Julia Redman-Carter – PAETEC said PAETEC did not object.

Susan Lorence – CenturyLink said we had not heard of any objections, we will update with the CMP with a level 1 notice and thanked everyone again.

7/20/11 Product Process CMP Meeting Discussed under Attachement D Mark Coyne – CenturyLink (7/29/11 Updates received from PAETEC in italicized CAPS) SAID [Deleted RELAYED] that we will review this CR under attachment E.

Discussed under Attachment E Mark Coyne – CenturyLink (7/29/11 Updates received from PAETEC in italicized CAPS) SAID [Deleted RELAYED] that copy of (7/28/11 Updates received from Integra in CAPS) THE REDLINED CMP document WAS posted to calendar and includes POWER POINT slides with name change. HE SAID [Deleted INDICATED] rather than VOTING [Deleted VOTE] on the change this month that we would postpone THE vote until August to allow additional time FOR REVIEW. CENTURYLINK WILL [Deleted. WILL] send out NOTICES ahead of THE August meeting and take THE vote in August.

6/15/11 Product Process CMP Meeting Mark Coyne – Qwest said the redlined CMP document was provided last month and that there were PPT figures that required change. Mark said that those figures would be included in the final document sent out for the CMP vote in July.

Bonnie Johnson- Integra said if all other rebranding questions are not resolved, even if she did not have an issue with the changes to the CMP document, that she may still vote “no”.

Mark Coyne – Qwest aid he understood that.

Julia Redman-Carter – PAETEC questioned when the redline would be coming out.

Susan Lorence – Qwest said it would come out with the vote notice and that she thought that would be one week prior to the July meeting but would confirm the timing of that. Susan said the vote notice could possibly be sent two weeks in advance.

5/18/11 Product Process CMP Meeting Mark Coyne – Qwest said the 150 page redlined CMP document was posted to the calendar for review. Mark relayed that the history log was not changed and that Qwest had been changed to CenturyLink throughout the document but that the Timelines in Figures 2-8 which are Powerpoint docs still needed to be updated. Mark also said there are some examples at the back of the documented that were updated to reflect the name change from Qwest to Century Link. Mark Coyne – Qwest relayed the proposed timeline for implementation was that the final CMP document would be voted on in the June meeting and that we would use a Level 1 notice to be sent with an effective date of August 8, 2011.

Bonnie Johnson- Integra said as long as the other questions could be wrapped up by then. If there were still unanswered questions that Kim and Julia had brought up earlier, Bonnie said she may not object to the CMP document changes but may vote “no” until the other questions that were identified were resolved.

Mark Coyne – Qwest that is why the vote was proposed for June to allow a buffer if there were any issues.

4/20/11 Product Process CMP Meeting Mark Coyne – Qwest said this CR is to make the CMP document updates for the change from Qwest to CenturyLink. Mark suggested we also create a matrix for the CMP document to be presented in the May meeting.

Bonnie Johnson – Integra said she wanted to see the redlined version of the CMP document.

Susan Lorence – Qwest said the redlined updates to the CMP document would not include changes to replace Qwest in the history log but only in the body of the document.

Kim Isaacs – Integra confirmed that the history was remaining, that Qwest was not removing it.

Susan Lorence – Qwest said yes, the history would remain.


Open Product/Process CR pc050411-1 Detail

 
Title: Next Gen 911 Circuits unique modifier codes
CR Number Current Status
Date
Area Impacted Products Impacted

pc050411-1 Completed
7/20/2011
911
Originator: Burchett, Lori
Originator Company Name: Qwest Corporation
Owner: Burchett, Lori
Director:
CR PM: Lorence, Susan

Description Of Change

In order to bring better visibility to these critical circuits, Century Link will be implementing new modifier codes of FW or GW to identify Next Gen 911 circuits. This is ONLY for Next Gen 911 DS1/DS3 special service circuits (CLS) in all 14 states.

This change will include an embedded base update, if applicable, to convert existing circuits to the new format. This currently encompasses a very small volume in Wholesale today.

Currently 911 circuits and Next Gen 911 circuit IDs share the same service code modifiers as Private Line and Private Line Resale. To uniquely identify the Next Gen 911 DS1 and DS3 circuits from all PLT circuits in all CenturyLink legacy Qwest systems, the new service code modifiers for Next Gen 911 circuits will be used. If any of these circuits exist, this would result in changes to these circuit IDs with a serial number format on the CLECs’ embedded base. However, currently, there are no CLEC circuits with the Next Gen 911 format so no conversion activity will be required.


Status History


Project Meetings

7/20/11 Product Process CMP Meeting Mark Coyne – CenturyLink (7/29/11 Updates received from PAETEC in italicized CAPS) STATED [Deleted RELAYED]\ as discussed in THE June MEETING a level 1 notice was sent as additional information since there was no documentation to change. Notice was sent June 24, 2011 with an effective date of June 27, 2011. CR is in CLEC test and (7/28/11 Updates received from Integra in CAPS) CENTURYLINK REQUESTS [delete REQUEST] to move to Completed. There were no objections.

6/15/11 Product Process CMP Meeting Mark Coyne – Qwest said the CR was presented last month and that Qwest would like to send this out as a level 1 notice since there were no documentation changes.

Lori Burchett – Qwest said there was no application for CLECs currently since there was no embedded base update and that Qwest would notify to provide an informational notice.

Julia Redman-Carter – PAETEC (6/28/11 Updates received from PAETEC in CAPS) VERIFIED THAT THIS IS NOT A CODE THAT WE CURRENTLY USE TODAY, AND questioned if this was a code they would begin to use in the future AS A REQUIREMENT.

Lori Burchett – Qwest said the DS1 and DS3 911 circuit would have a unique modifier that would give the critical circuit visibility from provisioning to repair. Lori said CLECs do not order these currently but the modifiers would be in place when they do order them (6/28/11 Updates received from PAETEC in CAPS) ON A GOING FORWARD BASIS.

Bonnie Johnson- Integra requested confirmation that there was no documentation update required and whether it was Telcordia compliant.

Lori Burchett – Qwest said that she had checked and no documentation updates were required since the LSOG, PCAT, Tech Pubs, etc did not go to that level regarding circuit naming. Lori said Telcordia implemented these codes in 2008 at the request of AT&T.

Mark Coyne – Qwest asked if there was any objection to issue the information as a level 1 notice and there was none.

5/18/11 Product Process CMP Meeting Jim Carroll – Qwest presented the new Change Request for Lori Burchett. Jim said that Qwest is moving forward to the Next Generation of 911 and wants to be able to uniquely identify these DS1 and DS3 emergency circuits from all PLT circuits. Qwest wants to add two new service code modifiers for these circuits. Wendy Schumacher – Qwest clarified that it is only the last character that is changing: for DS3 circuits, it will go from HFFS to HFFW and for DS1 circuits, it will go from HCGS to HCGW. Kim Isaacs – Integra asked how that aligns with the Telcordia standards and questioned if Qwest was introducing a modifier that would confuse people.

Wendy Schumacher – Qwest said she thought Qwest was adopting what other providers had adopted and that is was unique for 911.

Jim Carroll – Qwest said he thought the codes were introduced in 2008 for AT&T and that Qwest thought it was smart to adopt them.

Bonnie Johnson- Integra confirmed whether anything that ends in a W would be next generation 911.

Wendy Schumacher – Qwest said yes and that the CLEC volume is small but going forward, if used by CLECs it would be W.

Jim Carroll – Qwest confirmed that this is on a going forward basis only and that there are no CLEC circuits so there is no embedded base conversion for CLECs that is required, only for Qwest.

Mark Coyne – Qwest asked if there were any other questions from Jim and there were none.


Open Product/Process CR PC032707-1 Detail

 
Title: TRRO: Un UNE ICNAM
CR Number Current Status
Date
Area Impacted Products Impacted

PC032707-1 Completed
7/18/2007
ICNAM
Originator: Lewis, Don
Originator Company Name: Qwest Corporation
Owner: Lewis, Don
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Discontinue availability of ICNAM as a UNE.

Expected Deliverable:

Change in PCAT for ICNAM.


Status History


Project Meetings

July18, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this change was effective on July 5th and asked if there were any objections to close. There were no objections. This CR is in Completed Status.

- June 20, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that the Level 4 Notice had been sent on May 21st and is currently in the comment cycle. Mark the noted that this change would become effective on July 5th.

- May 16, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this is another TRRO CR and would be noticed with the LIDB CR. Mark then noted that it would be a Level 4 notice and would have a July 5th effective date.

April 18, 2007 Product Process CMP Meeting Discussion: Don Lewis-Qwest presented the CR and noted that this is in conjunction with TRRO. Don stated that Qwest would be eliminating references to UNE and ICA in the PCAT and changing the references to Commercial Agreements. Don stated that a Level 4 Notification would be sent by the end of the month. Mark Coyne-Qwest asked if there were any questions or comments. There were none brought forward.


Open Product/Process CR PC032807-1 Detail

 
Title: TRRO: Un UNE 8XX Database Queries
CR Number Current Status
Date
Area Impacted Products Impacted

PC032807-1 Completed
7/18/2007
8XX
Originator: Lewis, Don
Originator Company Name: Qwest Corporation
Owner: Lewis, Don
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Discontinue availability of 8XX Database Queries as a UNE, per TRRO.

Expected Deliverable:

Change in PCAT for 8XX.


Status History


Project Meetings

July18, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this change was also effective on July 5th and asked if there were any objections to close. There were no objections. This CR is in Completed Status.

-- June 20, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that the Level 4 Notice had also been sent on May 21st and is currently in the comment cycle. Mark the noted that this change would become effective on July 5th.

- May 16, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that the Level 4 Notice would be sent on May 21st and will have an effective date of July 5th.

-- April 18, 2007 Product Process CMP Meeting Discussion: Don Lewis-Qwest stated that this will be to un-UNE 8XX and ill be referring to the Federal and Access Tariffs. Don stated that the Level 4 Notification would be going out at the end of the month for this CR as well. Mark Coyne-Qwest asked if there were any questions. There were none.


Open Product/Process CR PC032807-2 Detail

 
Title: TRO/TRRO Modifications to 2 PCATs Line Sharing and Shared Dist Loop
CR Number Current Status
Date
Area Impacted Products Impacted

PC032807-2 Completed
7/18/2007
Ordering Unbundled Loop
Originator: Buckmaster, Cindy
Originator Company Name: Qwest Corporation
Owner: Buckmaster, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Limiting the Availability and Applicability or functionality of an existing product or existing feature


Status History


Project Meetings

7/18/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this change was effective on July 13th and is currently in CLEC Test. Mark stated that Qwest is ready to close this CR and asked if there any objections. There were no objections to the closure. This CR is in Completed Status.

6/20/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this request was effective on 6/8/07 and asked if there were any objections to close this CR. Bonnie Johnson-Eschelon stated that Eschelon submitted comments 6/27/07 Comments received from Eschelon - and like the tag at the demarc CR, this request was implemented over their objections and Qwest will close it over Eschelon’s objections Mark Coyne-Qwest said that their comments were duly noted.

Note: The effective date is changed from 6/8/07 to 7/13/07. This CR is in Development.

5/16/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this is another TRRO change, for 2 PCATs. Mark stated that the Level 4 Notice was sent on April 25th and noted that comments had been received. Mark stated that the comments would be responded to and stated that the effective date is June 8th.

4/18/07 Product/Process CMP Meeting

Lynn Stecklein-Qwest stated that this CR, like the previous 2 CRs, is TRO/TRRO related. She said that this CR is limiting the availability and applicability or functionality of an existing product or existing feature for Line Sharing and Shared Distribution Loop. Lynn then noted that the notice would be sent in the next week or so. Lynn then asked if there were any questions. Kim Isaacs-Eschelon stated that she would be taking items 10, 11, and 12 (the new TRRO CRs) to Bonnie (Johnson-Eschelon). Kim then stated that Eschelon considers TRRO to be changes in law. [Comment Received from Eschelon: Kim then stated that Eschelon has communicated on the other TRRO change requests that Eschelon considers TRRO to be changes in law and should be handled in a different forum.] Mark Coyne-Qwest said okay.


Open Product/Process CR PC040907-1 Detail

 
Title: Qwest Procured Equipment Bay for Cageless Collocation
CR Number Current Status
Date
Area Impacted Products Impacted

PC040907-1 Completed
11/14/2007
Ordering Cageless Collocation
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

This change is to offer CLECs with the optional feature of having Qwest procure and install the Equipment Bay and associated support infrastructure for the CLEC’s Cageless collocation request. Currently the CLEC is responsible for delivery and installation of the Equipment Bay. This new feature will be available on the existing Collocation form as another option.

Expected Deliverable:

A new feature associated with Cageless Collocation will be available and documented for the Wholesale customer. Qwest would update the Cageless Collocation PCAT, Application Form, and Technical Publications to include this optional feature.


Status History


Project Meetings

November 14, 2007 Product Process CMP Meeting Discussion:

Susan Lorence-Qwest stated that the effective date for this change was 11/09/07 and that we were looking to close. There was no objection to the closure of this CR.

--

October 17, 2007 Product Process CMP Meeting Discussion:

Mark Coyne-Qwest stated that the Final Notice is due on October 25th and the effective date will be November 9th. Mark stated that we will look at closing this CR in the November CMP Meeting.

September 19, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this was presented last month and noted that we are still working on the documentation updates. Mark then stated that we are looking for the notice to be sent at the end of this month.

August 15, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this CR had been discussed last month and noted that Qwest is still working on the Level 4 changes to the documentation and is targeting the notice to go out at the end of the month. Mark then noted that the changes would probably be effective mid October. This CR is in Presented Status.

July18, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this CR has been presented and noted that Qwest is working on the associated updates. Mark stated that we are looking for the notice to go out in early August and stated that the CR would then move to Development status.

June 20, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this CR was presented in May and noted that there is no update regarding the effective date. Mark stated that we are targeting the notice to go out in early July.

- May 16, 2007 Product Process CMP Meeting Discussion: Cindy Schwartze-Qwest reviewed the CRs Description and Expected Deliverable and asked if there were any questions. Kim Isaacs-Eschelon asked if this would truly be an optional feature and asked to confirm that a CLEC can still procure and install the equipment or they can choose Qwest procure and install it. Cindy Schwartze-Qwest stated that was correct. Cindy then asked if there were any other questions. There were none. Mark Coyne-Qwest stated that this CR moves to Presented Status and noted that Qwest is working on the documentation changes.


Open Product/Process CR PC041707-1 Detail

 
Title: Grandparent PS ALI In All States Except MN and WY
CR Number Current Status
Date
Area Impacted Products Impacted

PC041707-1 Completed
8/15/2007
Ordering See CR Description
Originator: Buckmaster, Cindy
Originator Company Name: Qwest Corporation
Owner: Buckmaster, Cindy
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Qwest will be limiting the availability of PS- ALI from the Enhanced 911 service except for WY and MN. All other states are impacted by the grandparenting.

Impacted Products:

PS-ALI 911/E911, Resale, ISDN PRI, Resale Centrex, Resale PBX


Status History


Project Meetings

August 15, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that the Final Notice had gone out on July 12th and that it was effective on July 27th. Mark stated that it has been in CLEC Test and Qwest would like to close this CR. Mark asked if there were any questions or objections. There were none. This CR moves to Completed Status.

-- July18, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this CR is currently in Development status and noted that the Final Notice had gone out on July 12th with an effective date of July 27th. Mark then stated that Qwest would be looking to close this CR at the August CMP Meeting.

June 20, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that the Level 4 went out on June 12th and is currently in the comment cycle, with an effective date of July 27th. Bonnie Johnson-Eschelon asked why MN & WY are excluded and asked if they are excluded due to customers. Bonnie asked for the reason why MN & WY are excluded. Cindy Buckmaster-Qwest stated that this CR is now hers and stated that she would check into the reason. Cindy stated that it could be due to State Tariffs. Cindy stated that she would check and let everyone know.

- May 16, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that Qwest is still working on the updates and notice for this effort.

- April 18, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that there is one walk on CR, submitted by Qwest, and would be presented by Jim Carroll. Jim Carroll-Qwest presented the CR and noted that a Level 4 notice would be sent for the changes to documentation. Mark Coyne-Qwest asked if there were any questions. There were none. Mark Coyne-Qwest asked if there were any additional walk on items for the Product Process CMP Meeting. There were none brought forward.


Open Product/Process CR PC041907-1 Detail

 
Title: TRRO: Un UNE of SS7
CR Number Current Status
Date
Area Impacted Products Impacted

PC041907-1 Completed
7/18/2007
Ordering SS7
Originator: Lewis, Don
Originator Company Name: Qwest Corporation
Owner: Lewis, Don
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Un-UNE of SS7. Discontinue PCAT documentation of UNE SS7.


Status History


Project Meetings

July18, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this CR is currently in CLEC Test, was effective on July 14th and that Qwest would like to close. Mark asked if there was any objection to the closure. There were no objections. This CR is in Completed Status.

-- June 20, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that the Level 4 had gone out on May 30th and will become effective on July 14th. Mark stated that this is currently in the comment cycle.

-- May 16, 2007 Product Process CMP Meeting Discussion: Don Lewis-Qwest stated that this CR is continuing the TRRO activity and presented the CR. Don stated that there are 2 PCATs, 1 for the tariff and 1 for the UNE. Don stated that instead of modifying the SS7 PCAT, Qwest will be removing the UNE SS7 PCAT. Kim Isaacs-Eschelon asked if there were currently any customers using those products. Don Lewis-Qwest stated that there were a few. Kim Isaacs-Eschelon asked how the PCATs could then be removed. Don Lewis-Qwest stated that the UNE PCAT contains unique information for the ordering of new service and stated that the CLECs can no longer order UNE SS7 so the PCAT is no longer applicable. Kim Isaacs-Eschelon stated that there are customers who currently have UNE SS7 and stated that Eschelon disagrees with this as well. [Comment received from Eschelon: Kim Isaacs-Eschelon stated that if there are customers who currently have UNE SS7 Eschelon disagrees with Qwest removing the PCAT if there customers on the product] Mark Coyne-Qwest asked if Eschelon’s concern is due to some customers having this product in their contracts or that the current customers need the UNE SS7 PCAT. [Comment received from Eschelon: Mark Coyne-Qwest asked if Eschelon’s concern is due to some customers having this product in their contracts or that the current customers need the UNE SS7 PCAT.] Kim Isaacs-Eschelon stated that if a customer has UNE SS7 and are using it, there needs to be a UNE PCAT and stated that a PCAT covers a lot of things. Don Lewis-Qwest stated that the tariff PCAT is still there and stated that it is identical, except that the charges are different. [Comment received from Eschelon: Don Lewis-Qwest stated that the tariff PCAT is still there and stated that it is identical,] Kim Isaacs-Eschelon agreed that the charges are different and stated that they need a UNE PCAT. [Comment received from Eschelon: Kim Isaacs-Eschelon disagreed and stated she believes for example that Qwest’s application of the charges is different.] [Comment from Eschelon: Don Lewis-Qwest agree that the charges are different. Kim Isaacs-Eschelon stated so if there are CLECs still on the UNE product they should have a UNE PCAT, shouldn’t they?] Mark Coyne-Qwest stated that we would note the concern and would have an internal discussion.


Open Product/Process CR PC060507-1 Detail

 
Title: UBL Eliminate call to OK Disconnect
CR Number Current Status
Date
Area Impacted Products Impacted

PC060507-1 Completed
9/19/2007
Unbundled Loop
Originator: Ocken, Kathy
Originator Company Name: Qwest Corporation
Owner: Coyne, Mark
Director:
CR PM: Stecklein, Lynn

Description Of Change

Process change is to eliminate the call to the CLEC to confirm a Disconnect order should be completed as scheduled. The process change would apply to straight disconnects of Unbundled Loop circuits that are similar to Qwest Retail High Speed Internet (HSI), specifically ADSL Compatible Loop, xDSL-1 Capable Loop, and 2 Wire Non-Loaded Loop. This process change will be implemented via a Level 4 CR, due to potential impacts to the CLEC Community.


Status History


Project Meetings

9/19/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this CR was implemented on 8/9/07 and is currently in CLEC Test. Mark asked if there were any objections to closure of this CR. This CR is in Completed status.

-

8/15/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated the final notice was sent on 7/25/07 and was effective on 8/9/07. He said that this CR is now in CLEC Test and asked if there was any objection to closure of this CR. Kim Isaacs-Eschelon requested that this CR remain in CLEC Test for another month because they have concerns. Mark Coyne-Qwest stated that we will leave this in CLEC Test for another month. Sue Wright-XO Communications asked if Qwest was able to address the concern she had last month on the QRD Process. Lynn Stecklein-Qwest stated that the response was posted to the July Product/Process Meeting Minutes. Posted to the July CMP Prod/Proc CMP Meetings - QWEST Response - July 31, 2007 The Quick Release Disconnect (QRD) process is intended to allow the CLEC the option to not receive the confirmation via personal telephone call or email option on an order by order basis. Therefore, for straight disconnects on 2 Wire and/or 4 Wire Analog Unbundled Local Loop, ADSL Compatible Loop, xDSL-I Capable Loop, and 2 Wire Non-Loaded Loop, the QRD process is not applicable. For other Unbundled products, the CLEC would still have the option of QRD if they do not wish to receive the confirmation via personal telephone call or email option on an order by order basis. Ev Montez-Qwest stated that there is no impact and that QRD is an option for the CLEC to point that they need no action prior to the disconnect. She said that the PCAT language was to not require a call or e-mail. Sue Wright-XO Communications asked if they continued to do it would that cause problems for Qwest. She said that it was easier for them. Ev Montez-Qwest said that it would probably not but would check with the SME. She said that it appears that it would be a double guarantee. Sue Wright-XO Communications said that they sometimes don’t know what product they are dealing with and they don’t want to cause problems for Qwest. Ev Montez-Qwest stated that this CR is going to be in CLEC Test for another month and we can see if anything comes up.

7/18/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the Level 4 went out on June 25th, noted that comments had been received, and stated that the Final Notice was due on July 25th, with an effective date of August 9th. Sue Wright-XO stated that XO now has a QRD agreement with Qwest and asked if due to that QRD, if this was necessary. Mark Coyne-Qwest stated that we would check with the SME, send her an email, and would include the information in the meeting minutes. Sue Wright-XO stated that it would be nice to know. Ev Montez-Qwest stated that she would follow-up and get the information to Lynn (Stecklein-Qwest).

QWEST Response - July 31, 2007 The Quick Release Disconnect (QRD) process is intended to allow the CLEC the option to not receive the confirmation via personal telephone call or email option on an order by order basis. Therefore, for straight disconnects on 2 Wire and/or 4 Wire Analog Unbundled Local Loop, ADSL Compatible Loop, xDSL-I Capable Loop, and 2 Wire Non-Loaded Loop, the QRD process is not applicable. For other Unbundled products, the CLEC would still have the option of QRD if they do not wish to receive the confirmation via personal telephone call or email option on an order by order basis. 6/10/07 Product/Process CMP Meeting

Ev Montez-Qwest stated that this Level 4 process change was submitted on 6/5/07 to eliminate the call to the CLEC to confirm a Disconnect order should be completed as scheduled. Ev said that the process change would apply to straight disconnects of Unbundled Loop circuits that are similar to Qwest Retail High Speed Internet (HSI), specifically ADSL Compatible Loop, xDSL-1 Capable Loop, and 2 Wire Non-Loaded Loop. Ev stated that the provisioning PCAT will be updated at the end of month. Bonnie Johnson-Eschelon stated that she had a question and a comment regarding the Level 1 notice Qwest submitted on 6/1/07. She said that this notice was issued for an e-mail option and is related to this Level 4 change. Bonnie said that having 2 separate notices for this appears to be sneaky and asked why they were not submitted at the same time. Ev Montez-Qwest stated that they appear to be related and that Qwest issued 2 separate notices because the Level 1 change was not a significant change and was not changing the process. Ev said that the Level 1 notice is an e-mail option instead of a phone call and that the CLECs could participate if they wanted to. She said that the Level 4 change was significant and issued as such to allow more time for CLEC comments or further discussion if needed. Ev stated that our intent was not to be sneaky. Bonnie Johnson-Eschelon said that it 6/27/07 Comment received from Eschelon - does not look like that when you look at it on the surface and asked if Qwest realized the relationship at the time the Level 1 was issued. Ev Montez-Qwest stated 6/27/07 Comment received from Eschelon – yes and at that at this time we are still making the calls and that this is just an add on option in lieu of a phone call. Bonnie Johnson-Eschelon stated that when you look at it this way with the CR, there is no option anymore. Ev Montez-Qwest said that there won’t be except for the products noted. Bonnie Johnson-Echelon asked if the intent for the products noted is no longer an option. Ev Montez-Qwest stated that we could have waited and that we would have had to wait for the option on the applicable products. Laurie Fredricksen-Integra said that on 4 wire products they still get a call but on 2 wire products they will no longer get the call. Ev Montez-Qwest stated that for LX-N, ADSL comparable products were eliminated a while ago. She said that we are still making the calls if it is already the process. Ev stated that we are aligning with the retail process. Mark Coyne-Qwest stated that it is more of a timing issue. Ev Montez-Qwest stated that she agreed and that we could have waited. Bonnie Johnson-Eschelon stated that 6/27/07 Comment received from Eschelon Qwest issued a Level 1 as an optional process and 4 days later a CR is issued to remove the option for some products. Bonnie said that she does not want to have to object to every Level 1 notice that she does not object unless the intent is to take something away. Ev Montez-Qwest stated that was not the intent and does not happen as a normal course. Mark Coyne-Qwest stated that there is no other precedence and this was done based on timing and the needs of the business. Bonnie Johnson-Eschelon asked if Qwest could provide more information in the future on related CRs so that they will have an opportunity to comment on the Level 1 notice. Bonnie said that she believes Qwest understands how this looks to them. Mark Coyne-Qwest stated that if something like this happens in the future we will re-evaluate.


Open Product/Process CR PC050707-1 Detail

 
Title: Removal of AIN PCAT
CR Number Current Status
Date
Area Impacted Products Impacted

PC050707-1 Completed
8/15/2007
Ordering AIN
Originator: Buckmaster, Cindy
Originator Company Name: Qwest Corporation
Owner: Buckmaster, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Removal of AIN PCAT due to inavailability of this UNE-P reliant product


Status History


Project Meetings

8/15/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the final notice was sent on 7/12/07 and was effective on 7/27/07. He said that this CR has been in CLEC Test and asked if there was any objection to closure of this CR. This CR is in Completed status.

7/17/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this CR is in Development status and that the final notice had gone out on July 11, with an effective date of July 26th. Mark then stated that Qwest would look to close this CR in the August CMP Meeting.

6/20/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the Level 4 notice was sent on 6/11/07 to become effective 7/26/07. He said that the request is in the comment cycle and Qwest will respond if appropriate.

5/16/07 Product/Process CMP Meeting

Cindy Buckmaster-Qwest stated that for these 2 CRs,(see PC050907-1) Qwest would be removing the UNE-P PCAT and the Unbundled Switching PCAT. Cindy stated that there are no customers using these products and stated that the PCATs would be eliminated. Kim Isaacs-Eschelon stated that UNE-P is going to be removed and noted that it is governed under CMP. Kim then asked how QLSP and the Commercial PCATs would be treated and asked if they would be a notice and go. [Comment from

Eschelon: Kim Isaacs-Eschelon stated that UNE-P is going to be removed and noted that it is governed under CMP. Kim then asked how updates to the QLSP and the Commercial PCATs would be treated and asked if they would be a notice and go.] Mark Coyne-Qwest stated that they would be cared for as non-CMP. Kim Isaacs-Eschelon asked if they would be notice and go. Mark Coyne-Qwest stated that was correct.


Open Product/Process CR PC050907-1 Detail

 
Title: Remove obsolete UNE P PCATs and UBS PCAT
CR Number Current Status
Date
Area Impacted Products Impacted

PC050907-1 Completed
7/18/2007
UNE-P, Switching
Originator: Whitt, Michael
Originator Company Name: Qwest Corporation
Owner: Whitt, Michael
Director:
CR PM: Stecklein, Lynn

Description Of Change

Remove obsolete UNE-P PCATs and UBS PCAT


Status History


Project Meetings

7/18/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this CR is currently in CLEC Test and was effective on July 1st. Mark stated that Qwest is looking to close this CR and asked if there were any objections to the closure. There were no objections. This CR is in Completed Status.

6/20/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the Level 4 notice was sent on 5/18/07 to become effective on 7/1/07.

5/16/07 Product/Process CMP Meeting

Cindy Buckmaster-Qwest stated that for these 2 CRs, (see PC050707-1) Qwest would be removing the UNE-P PCAT and the Unbundled Switching PCAT. Cindy stated that there are no customers using these products and stated that the PCATs would be eliminated. Kim Isaacs-Eschelon stated that UNE-P is going to be removed and noted that it is governed under CMP. Kim then asked how QLSP and the Commercial PCATs would be treated and asked if they would be a notice and go. [Comment from Eschelon: Kim Isaacs-Eschelon stated that UNE-P is going to be removed and noted that it is governed under CMP. Kim then asked how updates to the QLSP and the Commercial PCATs would be treated and asked if they would be a notice and go.] Mark Coyne-Qwest stated that they would be cared for as non-CMP. Kim Isaacs-Eschelon asked if they would be notice and go. Mark Coyne-Qwest stated that was correct.


Open Product/Process CR PC051407-1 Detail

 
Title: PAL (Public Access Line) Tariff Reconciliation
CR Number Current Status
Date
Area Impacted Products Impacted

PC051407-1 Completed
7/18/2007
Order, Pre-Order Resale PAL
Originator: Finley, Pat
Originator Company Name: Qwest Corporation
Owner: Finley, Pat
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Qwest will be filing tariffs in the following states: AZ, CO, ID-S, OR, UT, WA and WY to standardize our PAL service offerings, eliminate unused classes of services and grandparent PAL services with little demand.

The services that Qwest will grandparent are classes of service for message PAL, plus one flat rated PAL (1N8). This includes: 1MA and 1W3 in Arizona defined as Message 2 Way Full Resale; Colorado 1MA and 182 Message Guestline; Oregon 1N8 which is a flat, 2 Way PAL with a Carrier package, 1MA and 1W3- Message with a 300 call allowance; Utah 1MA and 1W3; and in Washington 1N8.

In Arizona, Qwest will file to remove the following classes of service, because there are no customers with these types of PAL: 172, 192, 1NT and 1N8. Qwest will also remove 1N8 from the Utah tariff due to zero volumes.

Expected Deliverable:

July 17, 2007


Status History


Project Meetings

July18, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this CR is currently in CLEC Test and was effective on July 17th. Mark stated that Qwest is looking to close this CR, unless anyone wants it to remain open until August. There were no objections to the closure. This CR is in Completed Status.

June 20, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that the Level 4 had gone out on June 1st and will be effective on July 17th.

- May 16, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that there is a walk on CR that Pat Finley (Qwest) will present. Pat Finley-Qwest presented the CR and stated that Qwest would be proposing an effective date of July 17th. Pat asked if there were any questions. There were no questions brought forward.


Open Product/Process CR PC052907-1 Detail

 
Title: Removal of Unbundled Feeder Loop from Sub Loop PCAT
CR Number Current Status
Date
Area Impacted Products Impacted

PC052907-1 Completed
9/19/2007
Ordering Unbundled Feeder Loop, Sub Loop
Originator: Mohr, Bob
Originator Company Name: Qwest Corporation
Owner: Mohr, Bob
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

The definition of sub-loop was clarified under the TRRO to include the Distribution portion of the loop. For that reason existing Feeder Sub-Loops are grandfathered and the ability to order new lines has been eliminated.

Expected Deliverable:

Remove Feeder Loop from Sub Loop PCAT


Status History


Project Meetings

September 19, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this is currently in CLEC Test and was effective on August 17th. Mark stated that Qwest is also looking to close this CR. There were no objections. Bonnie Johnson-Eschelon asked if Qwest removed this from the PCAT for TRRO purposes. Mark Coyne-Qwest said yes. Bonnie Johnson-Eschelon asked that Eschelon’s position be noted that Eschelon objects because this change is due to a change in law. Mark Coyne-Qwest stated that it would be noted. This CR moves to Completed Status.

August 15, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this CR is in Development Status and will become effective on Friday, August 17th. Mark stated that we would them move the CR to CLEC Test and would revisit the CR in the September CMP Meeting.

- July18, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this CR is currently in Development status and noted that the Level 4 had been sent on July 3rd. The comment cycle is through today and stated that Qwest would respond to comments. Mark then stated that the effective date is August 17th.

- June 20, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this is a new CR for Qwest to present. Bob Mohr-Qwest presented the CR Mark Coyne-Qwest stated that the documentation updates would probably go out at the end of the month. Mark then asked if there were any questions or comments. Bonnie Johnson-Eschelon stated that she did not have any questions regarding this CR.


Open Product/Process CR PC062607-1 Detail

 
Title: TRRO: Elimination of LIS facilities used for interconnection with UNEs
CR Number Current Status
Date
Area Impacted Products Impacted

PC062607-1 Completed
9/19/2007
LIS/Interconnect
Originator: Stulen, Sandy
Originator Company Name: Qwest Corporation
Owner: Stulen, Sandy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Elimination of LIS facilities used for interconnection with UNEs


Status History


Project Meetings

9/19/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this CR was implemented on 9/6/07 and is currently in CLEC Test. Mark asked if there were any objections to closure of this CR. Bonnie Johnson-Eschelon asked if Qwest removed this from the PCAT for TRRO purposes. Mark Coyne-Qwest said yes. Bonnie Johnson-Eschelon asked that Eschelon’s position be noted that this change is due to a change in law. Mark Coyne-Qwest stated that Eschelon’s position is noted. [Comment Received from Eschelon: Bonnie Johnson-Eschelon asked that Eschelon’s position be noted that Eschelon objects because this change is due to a change in law.] This CR is in Completed status.

--

8/15/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the Level 4 notice was sent on 7/23/07 with an effective date 9/6/07. He said that we will revisit this CR in September.

-

7/18/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this is a new CR to be presented by Qwest. Sandy Stulen-Qwest presented the CR. Mark Coyne-Qwest asked if there were any questions. Sue Wright-XO asked what that meant exactly and noted that they always use LIS. Sandy Stulen-Qwest stated that per TRRO, Qwest is not required to offer it. Sandy stated currently you could use LIS & UNE together, or a portion of a span. Sandy stated that this CR means that Qwest will no longer be offering LIS facilities for interconnection with UNEs. Sue Wright-XO stated that she would discuss with her SME and asked who she could send additional questions to, if she has any. Mark Coyne-Qwest stated that they could be sent to the CMP mailbox. Mark stated that we would then get her questions answered. Sue Wright-XO said thank you. Mark Coyne-Qwest stated that this CR moves to Presented Status.


Open Product/Process CR PC062807-1 Detail

 
Title: Eliminate Customized Routing PCAT
CR Number Current Status
Date
Area Impacted Products Impacted

PC062807-1 Withdrawn
7/5/2007
Ordering Switching
Originator: Mowers, Candace
Originator Company Name: Qwest Corporation
Owner: Mowers, Candace
Director:
CR PM: Stecklein, Lynn

Description Of Change

FCC eliminated the requirement for 251 unbundled switching with TRO. Customized routing is a feature/function of unbundled switching. No customers have ordered this product.


Status History


Project Meetings


Open Product/Process CR PC072407-1 Detail

 
Title: Grandfather Sharp Plus
CR Number Current Status
Date
Area Impacted Products Impacted

PC072407-1 Completed
11/14/2007
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Grandfather Sharp Plus service in all 14 state tariffs and in FCC1 tariff


Status History


Project Meetings

11/14/07 Product/Process CMP Meeting

Susan Lorence-Qwest stated that the effective date for this change was 10/16/07 for all states except Arizona. She said that the effective for the state of Arizona is 10/24/07 and that we were looking to close. There was no objection to the closure of this CR.

10/17/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the final notice went out on 10/9/07 with an effective date of 10/16/07 for all states except Arizona. He said that the effective for the state of Arizona is 10/24/07. Mark said that we will look at closing in the November CMP Meeting.

- 9/19/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that a Level 2 is set to go out on 9/25/07.

8/15/07 Product/Process CMP Meeting

Cindy Schwartze-Qwest stated that this CR is requesting to grandfather Sharp Plus service in all 14 state tariffs and in the FCC 1 tariff. Cindy said that there are no Wholesale Customers and would like to submit this as a Level 2 notice. There were no objections.


Open Product/Process CR PC082007-1 Detail

 
Title: Re establish Service After Natural Disaster (Fire, Flood, etc)
CR Number Current Status
Date
Area Impacted Products Impacted

PC082007-1 Withdrawn
8/15/2012
Resale
Originator: Langston, Lori
Originator Company Name: Qwest Corporation
Owner: Langston, Lori
Director:
CR PM:

Description Of Change

Introduce process to provide service installation after natural disaster


Status History


Project Meetings

08/15/12 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed that in the July meeting, CenturyLink had asked the owner of each Deferred CR to determine if it should remain in Deferred status, is it should be Withdrawn, or whether it should be re- evaluated. Mark then reviewed the status of each CR as listed on the Attachment:

PC082007-1 - Re establish Service After Natural Disaster (Fire, Flood, etc) – CR is in pending withdrawal status. There were no objections to withdrawing this CR.

2/20/08 Product/Process CMP Meeting Mark Coyne-Qwest stated that this CR will move to a deferred status.

1/16/08 Product/Process CMP Meeting Mark Coyne-Qwest stated that we are continuing to evaluate and look at additional updates and that no notification has gone out.

12/12/07 Product/Process CMP Meeting

Susan Lorence-Qwest stated that we are continuing to look at additional updates and that no notification has gone out.

11/14/07 Product/Process CMP Meeting

Susan Lorence-Qwest stated that the Level 4 notice was sent on 9/24/07 and was subsequently retracted on 10/24/07. She said that we did not have a date to re-notice.

-- 10/17/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the Level 4 notice was sent on 9/24/07. He stated that we did receive comments with the response to comments due on 10/24/07.

9/19/07 Product/Process CMP Meeting

Lori Langston-Qwest stated that this CR is a request to document our process per specific tariffs to provide service installation after a natural disaster. Bonnie Johnson-Eschelon stated that the CR is not specific as to whether this is a new process or just documentation for our use. Lori Langston-Qwest stated that this is the deployment of a process not previously documented. Bonnie Johnson-Eschelon asked if this process was always available and not just documented. Lori Langston-Qwest stated that this request came in due to how the tariff was implemented and documented. Lori said this effort is to formalize it. Bonnie Johnson-Eschelon asked if this was available. [Comment received from Eschelon: Bonnie Johnson-Eschelon asked if this was available to wholesale customers.] Lori Langston-Qwest stated that this was not available in Wholesale Bonnie Johnson-Eschelon stated that the process looks new to them and asked if Qwest would be sending out a redline document. Lori Langston-Qwest stated that there would be a brand new PCAT. Bonnie Johnson-Eschelon asked if Qwest could provide an overview of the process. Lori Langston-Qwest stated that there were quite a few details associated with this process and asked that the CLECs review the document.


Open Product/Process CR PC110907-1ES Detail

 
Title: Change to Collocation form associated with Early Acceptance of a Collocation.
CR Number Current Status
Date
Area Impacted Products Impacted

PC110907-1ES Completed
2/20/2008
Collocation
Originator: Buckmaster, Cindy
Originator Company Name: Qwest Corporation
Owner: Buckmaster, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

This change is associated with a modification of the Collocation application to include a new required field. The New/Change/Augment application is being modified to indicate whether the customer wishes to commit to an Early Acceptance of their collocation.


Status History


Project Meetings

February 20, 2008 Product/Process CMP Meeting Mark Coyne-Qwest stated that this request was escalated and the binding response was sent on 1/23/08. This CR will be closed.

-- January 16, 2008 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the final notice went out on 1/10/08 with an effective date of 1/25/08. He said that he wanted to verbally acknowledge the escalation received from Eschelon on 1/15/08.

-- December 12, 2007 Product/Process CMP Meeting

Susan Lorence-Qwest stated that the Level 4 notification was sent on 11/30/07 with a January 14th effective date.

-- December 3, 2007 E-mail from Eschelon

Hi Bonnie, Yes, if the NO box is checked it will prevent Qwest from offering early acceptance if the collo is ready early. Thanks, Lynn Stecklein Qwest Wholesale CMP

- From: Johnson, Bonnie J. [mailto:bjjohnson@integratelecom.com] Sent: Monday, December 03, 2007 8:37 AM To: New Cr, Cmp; Johnson, Bonnie J.; cmpcr@qwest.com Cc: Isaacs, Kimberly D.; Lorence, Susan; Dryden, Vicki Subject: RE: Qwest Early Acceptance CR FW: Product Notice: Interconnection: GN: CMP - Collocation - General Information - V74.0: Effective 1-15-2008

Lynn,

If the below is what you are referring to, it does not answer the question. Please provide a response to my specific question or let me know if the response is somewhere else in the minutes.

Thanks,

11/27/07 Qwest Response on PC110907-1

If you populate this field with a ‘Y” you are committed. As with updates to the Collocation application, it must be

marked on the original application or Change Order prior to the acceptance.

Bonnie Johnson

Director Carrier Relations

Phone 612 436-6218

Fax 612 436-6318

Cell 612 743-6724

bjjohnson@eschelon.com

-

From: New Cr, Cmp [mailto:cmpcr2@qwest.com] Sent: Monday, December 03, 2007 8:48 AM To: Johnson, Bonnie J.; cmpcr@qwest.com Cc: Isaacs, Kimberly D.; Johnson, Bonnie J.; Lorence, Susan; Dryden, Vicki Subject: RE: Qwest Early Acceptance CR FW: Product Notice: Interconnection: GN: CMP - Collocation - General Information - V74.0: Effective 1-15-2008

Hi Bonnie,

Qwest provided the response to your question on 11/27/07. The response is included in the November Prod/Proc meeting minutes posted to the Wholesale CMP Calendar.

Thanks,

Lynn Stecklein

Qwest Wholesale CMP

-

From: Johnson, Bonnie J. [mailto:bjjohnson@integratelecom.com] Sent: Monday, December 03, 2007 7:40 AM To: cmpcr@qwest.com Cc: Isaacs, Kimberly D.; Johnson, Bonnie J. Subject: Qwest Early Acceptance CR FW: Product Notice: Interconnection: GN: CMP - Collocation - General Information - V74.0: Effective 1-15-2008

When Qwest introduced this CR, I asked Qwest a question about whether checking the NO box will prevent Qwest from offering early acceptance if the collo is ready early. To my knowledge Qwest has not answered that question.

Please provide a response to my question. If Qwest has done so already, please provide me where I might find the answer.

Thanks!

Bonnie Johnson

Director Carrier Relations

Phone 612 436-6218

Fax 612 436-6318

Cell 612 743-6724

bjjohnson@eschelon.com

-

November 14, 2007 Product Process CMP meeting:

Cindy Buckmaster-Qwest stated that this change is associated with a modification of the Collocation application to include a new required field. She said that the New/Change/Augment application is being modified to indicate whether the customer wishes to commit to an early acceptance of their collocation. Cindy said that the instructions are located on the face of the application.

Bonnie Johnson-Eschelon said that if you populate this field with a ‘Y’ then you are committed. Bonnie asked if you don’t populate this field will Qwest allow the CLEC to do early acceptance if you haven’t committed.

Susan Lorence-Qwest said that this field is either a ‘yes’ or ‘no’ field but that we will take this question back to the SME.

Bonnie Johnson-Eschelon stated that her concern is if this has to be one or the other and that Qwest would probably prefer them to start paying early. Bonnie said that they might have an issue with the required field of ‘no’ if early acceptance was available.

11/27/07 Qwest Response on PC110907-1

If you populate this field with a ‘Y” you are committed. As with updates to the Collocation application, it must be marked on the original application or Change Order prior to the acceptance.


Open Product/Process CR PC112607-1 Detail

 
Title: Grandparenting Talking Call Waiting and Call Waiting Deluxe features.
CR Number Current Status
Date
Area Impacted Products Impacted

PC112607-1 Completed
4/16/2008
Resale Features
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest will be grandparenting the Talking Call Waiting and Call Waiting Deluxe features. For Talking Call Waiting, the equipment that provides the ability to identify and deliver the numbers has been manufacturer discontinued. At this time there is technically no replacement for the Talking Call Waiting feature. The affected USOC is TW1. For Call Waiting Deluxe, the affected USOC’s are PKQ and PKR, also EWY2X, EWY2O and EWY29 associated with Home Receptionist phone which is no longer offered. No Sunset date has been determined for these features.


Status History


Project Meetings

April 16, 2008 Product/Process CMP Meeting Mark Coyne-Qwest stated that the effective date of this request was 3/1/08 and is in CLEC Test. He said that we would like to close this CR. There were no objections.

- March 19, 2008 Product/Process CMP Meeting Mark Coyne-Qwest stated that the effective date of this request was 3/1/08. He said that this CR will remain in CLEC Test for another month.

-- February 20, 2008 Product/Process CMP Meeting Mark Coyne-Qwest stated that the effective date of this request is 3/1/08.

January 16, 2008 Product/Process CMP Meeting Mark Coyne-Qwest stated that the L4 notification is going out today with an effective date of 3/1/08.

-- December 12, 2007 Product/Process CMP Meeting Cindy Schwartze-Qwest stated Qwest will be grandparenting the Talking Call Waiting and Call Waiting Deluxe features on March 8, 2008. She said that for Talking Call Waiting, the equipment that provides the ability to identify and deliver the numbers has been manufacturer discontinued. Cindy said that at this time there is technically no replacement for the Talking Call Waiting feature and that the affected USOC is TW1. She said that for Call Waiting Deluxe, the affected USOC’s are PKQ and PKR, also EWY2X, EWY2O and EWY29 associated with Home Receptionist phone which is no longer offered. Cindy said that no Sunset date has been determined for these features. Cindy said that approximately 1500 customers have these features today. Kim Isaacs-Eschelon asked if grandparenting meant that it would be available for conversions but not for new installs. Kim also asked if you could take it to a new location. Cindy Schwartze-Qwest stated that you could not take to another location and that it would only be allowed on conversions.


Open Product/Process CR PC112807-1IG Detail

 
Title: High Voltage Protection (HVP)
CR Number Current Status
Date
Area Impacted Products Impacted

PC112807-1IG Completed
2/20/2008
Private Line, Resale, Switched Service, UDIT, Unbundled Loop
Originator: Tallman, Shirley
Originator Company Name: Qwest Corporation
Owner: Tallman, Shirley
Director:
CR PM: Stecklein, Lynn

Description Of Change

A new PCAT, “High Voltage Protection” (HVP) has been created to identify procedures for providing service at high voltage sites. HVP applies to both designed and non-designed service. It is intended to minimize electrical hazards to personnel engaged in construction, operation, maintenance and use of telecommunications service, limit electrical damage to telecommunications equipment, cable and wire facilities, and customer equipment, and to provide service continuity and integrity of telecommunications transmissions.

Industry Guideline Forum: NEC, NESC


Status History


Project Meetings

February 20, 2008 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this CR was effective on 1/28/08 and is in CLEC Test. This CR will be closed

January 16, 2008 Product/Process CMP Meeting Mark Coyne-Qwest stated that the final notice was sent on 1/11/08 with an effective date of 1/28/08.

-- December 12, 2007 Product/Process CMP Meeting

Shirley Tallman-Qwest stated that Qwest is introducing a new PCAT, “High Voltage Protection” (HVP) that has been created to identify procedures for providing service at high voltage sites. She said that HVP applies to both designed and non-designed service. Shirley said that it is intended to minimize electrical hazards to personnel engaged in construction, operation, maintenance and use of telecommunications service, limit electrical damage to telecommunications equipment, cable and wire facilities, and customer equipment, and to provide service continuity and integrity of telecommunications transmissions. Kim Isaacs-Eschelon asked what a HVP site is. Shirley Tallman-Qwest stated that it could be an electrical ground station. Kim Isaacs-Eschelon said like an electrical substation. Shirley Tallman-Qwest said that it would be voltage in excess of protection in a normal building.


Open Product/Process CR PC112807-2 Detail

 
Title: Change from Single Location Routing Number (SRLN) Process to Location Routing Number (LRN)
CR Number Current Status
Date
Area Impacted Products Impacted

PC112807-2 Completed
4/16/2008
Pre-Ordering, Ordering LNP, Wireless, LIS/Interconnect
Originator: Ferguson, Karen C.
Originator Company Name: Qwest Corporation
Owner: Ferguson, Karen C.
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest has reviewed its current Single Location Routing Number (SLRN) process, and proposes to change the SLRN process to be more closely aligned with industry guidelines. Qwest proposes modifications to the SLRN process to reflect a modified Location Routing Number (LRN) process to improve routing and trunking. Qwest proposes to simplify the process for customers to route based on the first 6 digits of the LRN as if it were a dialed number rather than using the full 10 digit LRN.

This proposed change in process was originally submitted on November 5, 2007 as a Level 3 notification PROS.11.05.07.F.05018.Location_Routing_Number. A customer comment was received to change the disposition of this notice to a level 4. Per CMP requirements, this change to disposition request was discussed at the November 2007 CMP monthly meeting and a subsequent ad hoc meeting on November 27, 2007. It was agreed in the subsequent ad hoc meeting that Qwest would retract the level 3 notice and reissue this change in process as a level 4.


Status History


Project Meetings

April 16, 2008 Product/Process CMP Meeting Mark Coyne-Qwest stated that the effective date of this request was 2/28/08 and is in CLEC Test. He said that we would like to close this CR. Kim Isaacs-Integra said that she wanted to make sure that Qwest has noted that this CR is being closed over their objection. Mark Coyne-Qwest said that we do have their objection noted. Jeff Sonnier-Sprint said that Sprint had no problem with this CR being closed. Julia Redman-Carter-McLeod said that they also wanted Qwest to know that this CR is being closed over their objection.

March 19, 2008 Product/Process CMP Meeting Mark Coyne-Qwest stated that the effective date of this request was 2/28/08. He said that this CR will remain in CLEC Test for another month. Bonnie Johnson-Integra stated that she was not sure if this was CMP related or not but they have had discussions with their Service Manager about the change from 7 to 10 digits that was part of this request. She said that (Comments to minutes received from Integra 3/27/08) Integra’s SLC SWITCH was isolated for 4 ½ hours. She said that Service Manager’s root cause analysis found that the problem was due to this project. Bonnie said that Qwest said these type of outages have to be reported to the FCC. She said that the Service Manager assured them that controls were in place to prevent this from happening again. Bonnie said that Qwest implemented this request over Integra and McLeod’s objection and that this change had significant impacts to them. Mark Coyne-Qwest said that Integra’s concern will be noted and that we will follow up with the service manager regarding the root cause analysis.

February 20, 2008 Product/Process CMP Meeting Mark Coyne-Qwest stated that the Final notification was sent on 2/13/08 with an effective date of 2/28/08.

January 16, 2008 Product/Process CMP Meeting Mark Coyne-Qwest stated that the Level 4 notification went out on 1/14/08 with an effective date of 2/28/08.

January 7, 2008 Ad Hoc Meeting -- CR PC112807-2 Change from Single Location Routing Number Process to Location Routing Process

Attendees: Susan Lorence-Qwest, Lynn Stecklein-Qwest,Vicki Dryden-Qwest, Sandy Stulen-Qwest, Todd Rodgers-Qwest, Jeff Sonnier-Sprint, Susie Wells-Qwest, Georganne Weidenbach-Qwest, Connee Moffatt-Qwest, Karen Ferguson-Qwest, Mike Whaley-Qwest, Mark Coyne-Qwest, Wandy Kinney-Qwest, Scott Thorne-Sprint, Craig Stone-Sprint, , Bonnie Johnson-Integra, Kim Isaacs- Integra, Chris Gilbert-Integra, Marcelle-Integra, Roger Maxwell-Integra, Roxanne Hoover-McLeod, Sherry Krewett-McLeod,, Julia Redman-Carter-McLeod, Sue Wright-XO Communications, Laurie Roberson-Integra, Mark Miller, Robb Garth

Lynn Stecklein-Qwest stated that the PCAT and Ordering documents that would be discussed in this meeting could be found at: http://www.qwest.com/wholesale/cmp/teammeetings.html. Connee Moffatt-Qwest asked if there were any questions on the redline PCAT.

McLeod and Integra stated that they did not have an opportunity to review the PCAT.

Bonnie Johnson-Integra said not to assume silence means that they have no questions. She said that the “change in response to customer feedback…” in the first paragraph sounds like that this change is based on all customer’s requests (Comment to minutes received from Integra 1/15/08) said it is apparent from previous calls that there are CLECs that did not ask for this change and asked how this could be revised.

Julia Redman-Carter-McLeod asked if the call on the 1st diagram was a local call.

Todd Rodgers-Qwest said it is a local call. Julia Redman-Carter-McLeod asked why there were 9 diagrams originally and now there are only 3.

Todd Rodgers-Qwest said that on a previous call everyone wanted to know what existed today and what ARLRN would look like. He said that we only included ARLRN diagrams in the PCAT.

Julia Redman-Carter-McLeod asked where the diagram for LRN was.

Todd Rodgers-Qwest said the last diagram is the default LRN 6 digit routing.

Julia Redman-Carter-McLeod asked if any of these differ from what we do today.

Roxanne Hoover-McLeod stated that SRLN could still exist today and they want to see that diagram.

Julia Redman-Carter-McLeod said that the SRLN diagram should be placed in the SRLN section and since LRN is crossed out they can’t tell what the difference is.

Karen Ferguson-Qwest explained that when we tried to decide on which diagrams to include, Qwest did not feel the previous process should be included. New requests would follow the ARLRN process.

Julia Redman-Carter-McLeod said that on the last ad hoc call a customer does not use ARLRN, it would go to the default which is the industry standard. She also stated that they would like to see how the traffic will continue to flow for SLRN if no changes are made. .

Todd Rodgers-Qwest relayed that the last diagram is the industry standard. The first two diagrams are the ARLRN process. The Business Procedure applies to ARLRN and that their Service Managers would be happy to outline what exists today if requested. He said that to McLeod’s point, including nine diagrams would lose the essence of ARLRN.

Julia Redman-Carter-McLeod agreed that was the issue and that there are so many options not captured in the diagrams. She referenced Diagram 2 and had a concern about toll calls and local calls. If Qwest is routing traffic through the default, what happens to all other traffic.

Todd Rodgers-Qwest said that if you had the NPANXX in the local calling area,it would ride the DEOT. If ARLRN is not requested, you would follow Diagram 3.

Julia Redman-Carter-McLeod asked how much of this is 5123 traffic.

Todd Rodgers-Qwest stated that this traffic is minimal and that Qwest had offered to conduct a study.

Julia Redman-Carter-McLeod said that this type of traffic may be minimal but would like Qwest to conduct a study.

Karen Ferguson-Qwest said that this change involves a large territory and there is no way to globally study this type of traffic. She said that the CLECs need to choose the LRN and DEOT. Qwest does not know the CLECs network and that a customer needs to provide something to study.

Chris Gilbert-Integra asked why Qwest was making this change if they can’t measure it.

Todd Rodgers-Qwest stated that this change is in reaction to customers requests. He said the feedback received is that SLRN is not customer friendly and that ARLRN is more customer focused.

Scott Thorne-Sprint stated that they were in favor of what Qwest is doing and feel that the traffic is minimal. He said that they could provide an example and do a quick study to determine percent of change of utilization. Scott asked if 3-5 examples would be an accurate representation,

Todd Rodgers-Qwest stated that Sprint could provide the LRN where the NPA of the end office has DEOT trunking. He said that 3 examples in 3 different states would be fine and could send in the next day or two and would be done in five business days from receipt. Qwest stated that it would be easier to conduct the study at the same time so that the trace only had to be done once.

McLeod asked if the Sprint study would be shared with everyone or would this information be proprietary.

Scott Thorne-Sprint stated that from their perspective they are willing to share the number of trunks and the percent of change. Jeff Sonnier – Sprint said this information is beneficial and could be shared with everyone.

Bonnie Johnson-Integra stated that they would discuss internally to determine if they want a study done.

Roxanne Hoover-McLeod stated that she totally agreed that the traffic is minimal and does not want to bother with a study. Roxanne said that this does not stop Qwest from growing this traffic in the future and adding new customers to the QC PIC and that they would not know that the traffic will go up. She also said that the problem of this being in violation of the ICA has not been addressed.

Sandy Stulen-Qwest stated that she would follow up today and would provide a response to the ICA language Roxanne sent through the service team.

Roxanne Hoover-McLeod reiterated that they want something in writing and that this could have a huge impact to their business.

Karen Ferguson-Qwest stated that Qwest is not planning on growing the 5123 type of traffic and that is not one of Qwest’s objectives. This is not why we are implementing ARLRN. She reiterated that the CLECs don’t have to request ARLRN.

Bonnie Johnson-Integra stated that they have the same concern and that corporate direction has changed in the past.

Comment to minutes received from Integra 1/15/08 Qwest (unknown though I believe it was Karen) stated that she is not in a position to make a commitment about Qwest Corporate strategy in CMP or to commit that Qwest will not start assigning the 5123 PIC in the future.

Susan Lorence-Qwest stated that this discussion about corporate strategy is not appropriate to CMP. She said that the purpose of this discussion today is specific to the ARLRN CR and asked if there were any question associated with the change in process.

Roxanne Hoover-McLeod stated that they have expressed their concerns and would like to see the SLRN process in a separate diagram.

Susan Lorence-Qwest stated that Qwest would take that as a follow up item. She asked if there were any questions on the ordering form.

Julia Redman-Carter –McLeod stated that on the ordering the ‘R’ is missing from ARLRN. McLeod asked if there was a change in the last bullet re: the 30 day due date.

Connee Moffatt-Qwest stated that there was no change and that the changes are noted in blue.

Susan Lorence-Qwest stated that Qwest will proceed in sending the notice and document out for formal comment and we will follow up with Sprint to determine how the results of the study will be shared.

Julia Redman-Carter-McLeod expressed concern regarding billing and costs to them associated with putting in new trunks and especially if there is an increase in traffic and requires putting in new trunks.

Sandy Stulen-Qwest said that trunking is part of their ICA and that it depends on their relative use factor.

Karen Ferguson-Qwest stated that the decision of who pays for what is very customer specific to their relative use factor and that the they should discuss that process with their access manager. This is dealt with in a different PCAT and is ICA specific.

McLeod stated that diagram 2 could potentially have an impact on routing and want that issue addressed.

Susan Lorence-Qwest stated that we would take this back to the SME team to determine if referencing another PCAT is appropriate. She said that the next step is to sending out the documentation for comment and to conduct the study. Susan also asked if there were any more questions on the CORR form.

Bonnie Johnson-Integra stated they have not had the opportunity to review the form.

Julia Redman-Carter-McLeod stated that they want the answers in writing to Roxanne’s (Mcleod) questions before they will consider this request.

Susan Lorence-Qwest stated that any questions associated to their ICA are outside of CMP and should be worked with their Service Managers. Qwest will provide the response to ICA questions back to McLeod and if McLeod so chooses, they can share the information with other CLECs.

The meeting was adjourned.

December 17, 2007 Adhoc Meeting -- CR PC112807-2 Change from Single Location Routing Number Process to Location Routing Process

Note: Unless otherwise noted, comments in bold are feedback and input received from Qwest

Attendees: Susan Lorence-Qwest, Lynn Stecklein-Qwest,Vicki Dryden-Qwest, Sandy Stulen-Qwest, Todd Rodgers-Qwest, Jeff Sonnier-Sprint, Susie Wells-Qwest, Georganne Weidenbach-Qwest, Connee Moffatt-Qwest, Karen Ferguson-Qwest, Ralph Smith-Sprint, Craig Stone-Sprint, Scott-Sprint, Bonnie Johnson-Eschelon, Kim Isaacs-Eschelon, Marcelle-Integra, Roger Maxwell-Integra, Roxanne Hoover-McLeod, Sherry Krewett-McLeod, Mike Whaley-Qwest, Julia Redman-Carter-McLeod, Ron-XO Communications, Sue Wright-XO Communications, Gary-XO Communications, John-XO Communications, Kathi Lee-AT&T, Nancy Sanders-Comcast, Jason-AT&T, Laurie Roberson-Integra, Nancy Sanders-Comcast

Susan Lorence-Qwest provided a background on this CR. The process change was originally submitted on November 5, 2007 as a Level 3 notification PROS.11.05.07.F.05018.LocationRoutingNumber. She said that a customer comment was received to change the disposition of this notice to a level 4. The comment was discussed at the November 2007 CMP monthly meeting and on November 27 where a decision was made to retract the Level 3 notice and issue a CR. Susan said that both those meeting minutes have been posted to this CR. She said that this CR was presented in the December CMP Meeting by Karen Ferguson (Qwest). She said that the purpose of this meeting is to further discuss this change. She said that the LRN diagram document that will be discussed in the meeting can be found at: http://www.qwest.com/wholesale/cmp/teammeetings.html Connee Moffatt-Qwest stated that this CR was issued to change the SRLN routing number process to ARLRN. She said that SRLN will no longer be offered and that existing SRLN will be left in place. She said that during the last ad hoc meeting, the CLECs asked Qwest to provide diagrams to explain SRLN and how we want to change from 10digit routing to 6-digit routing.

Todd Rodgers-Qwest reviewed slide 1 of the LRN Diagrams – Typical End Office LRN Routing (LRN outside of local calling area). NOTE: The slides are included at the end of these meeting minutes.

Julia Redman-Carter-McLeod asked what kind of trunks were associated with step 4 on slide 1 and whether they were IntraLATA or local traffic.

Todd Rodgers-Qwest stated that this is LIS trunking and that the trunks were primarily for IntraLATA traffic. He said that this call is a local call to your next door neighbor over a toll trunk group. He said that this occurs today and everywhere not just in Qwest territory.

Julia Redman-Carter-McLeod stated that it is a local call coming from Qwest, ported number which is why we did the dip and also is a transit call.

Todd Rodgers-Qwest said it would be a transit call.

Connee Moffatt-Qwest said it could be non-Qwest also.

Todd Rodgers-Qwest stated that this would be the transit scenario.

Julia Redman-Carter-McLeod said that the call is coming back to the end office where we did the dip and it’s going across the IntraLATA trunk not necessarily access. This is a call from the tandem going out through an IntraLATA trunk group to the CLEC end office.

Bonnie Johnson-Eschelon asked if this scenario was the default scenario described in an earlier call.

Todd Rodgers-Qwest said that it is.

Julia Redman-Carter-McLeod asked for clarification whether this is typical end office LRN routing.

Todd Rodgers-Qwest said that it is typical LRN routing and happens all day everyday.

Todd Rodgers-Qwest reviewed Slide 2 of the LRN Diagram.

The question was asked what kind of trunks. NOTE: This question was asked multiple times throughout the call and the response was that the trunks are LIS trunks for IntraLATA or local traffic. The slides will be updated accordingly.

Todd Rodgers-Qwest reviewed Slide 3. He stated that the trunks in steps 5 are Qwest infrastructure trunking.

Jason-AT&T said that instead of your local tandem being isolated, they are actually going to have links to access tandems.

Todd Rodgers-Qwest said that these are one way links specifically for this type of traffic.

Jason-AT&T asked if this was based on the provider or if everybody’s traffic will be pointed to the same trunks groups.

Todd Rodgers-Qwest responded that everybody’s traffic would be combined and further said that this is non-Qwest, non-dipped traffic delivered to the local tandem. Todd Rodgers-Qwest said that this would be primarily for those ILECs who are incapable of doing the LNP dip and that that number is diminishing. He said that if a call comes into Qwest un-queried for whatever reason, we are the query of last resort on the default routing query at the local tandem. He said that this is diminishing also.

Jeff Sonnier-Sprint asked what percentage of ILECs are doing dips.

Todd Rodgers-Qwest said that it is increasing every day. If he had to guess based on his experience in the routing group, it is probably approaching 90%.

Jason-AT&T asked if the CLECs have to establish an ARLRN group or will it just be one giant group that this traffic will terminate over.

Todd Rodgers-Qwest stated that (Number 6 on slide 3) the trunk group will have already been established by a CLEC.

Jason-AT&T said that they don’t have to do anything for line 5 that is strictly Qwest building that infrastructure.

Integra asked if slide 3 is applicable for CLECs who don’t have trunks to the local tandem.

Todd Rodgers-Qwest stated that slide 2 is what exists today with SRLN and slide 4 describes when you want to put in trunks to implement ARLRN.

Sandy Stulen-Qwest stated that SPOP (step 6) could be combined IntraLATA/local and that is how you would have ordered it.

Integra asked if a customer already has trunks to the local tandem would they have to go to slide 3 and build trunks to the access tandem and remove the local tandem trunks.

Todd Rodgers-Qwest said you can and it is an option. He said that SRLN can remain in place and you don’t have to change anything. He said that if you choose, you can remove those trunk groups from the local tandem.

Julia Redman-Carter-McLeod asked if the documentation has been updated with the current process or are you just describing the process based on the diagrams. She said that the current process does not describe that SRLN is an option and asked if that meant they could keep doing it.

Todd Rodgers-Qwest stated that you can continue SRLN as you have it today but you can’t add in new areas.

Qwest stated that the (PCATs) are being updated.

Todd Rodgers-Qwest reviewed Slide 4 and said that this is similar to slide 2 but only translating to 6 digits. He indicated that this is transit traffic and is a non- Qwest service provider.

AT&T said that this would be going from multiple trunks to single trunk and from 10 digits to 6 digits on LRN.

Todd Rodgers-Qwest stated that Qwest is responding to feedback from our customers. He said that many times we have heard that Qwest should not route on 10 digits because the LNPA working group describes that we should use 6. He said that many times customers have said we shouldn’t require multiple trunk groups vs. one.

Sandy Stulen-Qwest said that this change will not happen overnight. She said that if you already have multiple trunks groups with LRN, the embedded base stays as it is. She that if a customer wants to make a change, they would have to work with their service manager.

Sherry Krewitt-McLeod said that Qwest said ARLRN is an option but is that the case for new trunks groups.

Further discussion indicated that changes from SRLN to ARLRN would be on a project basis, 1st come 1st served and that each customer should work with their service manager if they wanted to change.

Todd Rodgers-Qwest stated that one could have a local tandem and follow slide 3. If you choose to put in direct trunking to a local tandem that is where ARLRN would come in. He said that you could have direct trunking to a local tandem and only have NPA NXX routing. This could be a mix of slide 3 and 4 and your LRN could follow slide 3 and your local NXX could follow slide 4.

Jeff Sonnier-Sprint said one of the advantages of going to 4 would be to combine trunk groups rather than SLRN multiple trunks on slide 3.

Todd Rodgers-Qwest stated that slide 3 is if you are homing off the Qwest access tandem, that trunk group is out of the access tandem.

Karen Ferguson-Qwest asked if Sprint was referring to slide 2.

Jeff Sonnier-Sprint said that slide 2 and slide 4 is where the difference is.

Integra said that so far we have only talked about local calls.

Todd Rodgers-Qwest agreed and said that we would talk about toll in slides 7, 8 9.

Todd Rodgers-Qwest explained the difference between slide 2 and 4. He said that slide 2 is the SLRN process where Qwest translates down to a 10-digit LRN and does that once per trunk group.

McLeod said that really the SRLN or the ARLRN process is that the traffic is going the same way when routed. She said that the difference between SRLN and traffic routed on ARLRN is the same.

Todd Rodgers-Qwest stated that the difference is the translation on ARLRN will translate on 6 digits and SRLN will translate on 10 digits. SRLN is one LRN per trunk group and multiple ARLRN allows for multiple trunk groups within the same NPA NXX.

A question was asked if the result will be the same for transit traffic.

Todd Rodgers-Qwest said yes and this is a large change for Qwest.

Todd Rodgers-Qwest reviewed Slide 5and Slide 6. He said slides 1-6 are all local and slides 7-9 are toll.

Todd Rodgers-Qwest reviewed Slide 7 and relayed that # 4 is a JPSA/toll LIS trunk. Todd mentioned that on SPOP, you could combine local or toll.

Todd Rodgers-Qwest reviewed Slide 8 and 9.

There was discussion about other NPA NXXs ported to LRN and Todd said only traffic to the NPA NXX of the LRN would be affected and said Qwest would not do the look up of any other NXX at that end office.

Todd Rodgers-Qwest provided an NPA NXX example: the LRN is xxx xxx 1234 and my Qwest customer is calling xxx xxx 1235. That call would route the same way of the local call using the 1234 LRN, if the Qwest customer was LPIC’d to 5123. This is a specific, small set.

There was discussion about how toll and local traffic is tracked, whether it is different, if toll how much, when etc.

Karen Ferguson-Qwest stated the call referred to on slide 9 is not a transit call. The way a customer knows whether a call is toll or local depends on how the CLEC does recording and billing. She said that for bill validation, Qwest only looks at the originating and terminating number to determine jurisdiction. No record is sent by Qwest to the CLEC on this kind of call. Qwest pays based on the bill sent to us and every CLEC is different and how they create the bill is not clear to Qwest. She said that Qwest doesn’t provide a record to you but that you make some kind of recording in your company to identify the call as local or toll. In regard to meet point billing, Karen stated only would apply to slide 7 where there is an IXC call involved. These types of records are MPB/JPSA and transit for a LIS service - Not for a Qwest originated toll call. She referred the CLECs to their access managers to discuss specific questions/concerns about Qwest payment of their bills.

Todd Rodgers-Qwest provided clarification on what occurs when a number that is part of LRN is ported out. If ARLRN is requested, it would be a triggered in the end office. He said if a number was ported away, the Qwest end office would do a look up, receive the LRN and route based on whatever is in place for the owner of the new LRN For ARLRN routing on a specific NPA NXX, the CLEC calls ported away from them will not be delivered. If a call is ported away, Qwest will do the look up and deliver to the appropriate party. On local calls ported to you via ARLRN, only local calls ported will be delivered using your specific NPA NXX. For LRN or toll calls to that NPA NXX, if the Qwest customer is LPICd to 5123 and that customer makes a toll outside of the calling, Qwest will not give you other ported calls from that DEOT trunk group.

McLeod stated that per their ICA, their position is that they don’t want IntraLATA toll traffic over their local trunks and wanted to make sure that would not happen.

Sandy-Stulen-Qwest stated that this is a matter for legal and Qwest is not coming up with the same answer as McLeod. Sandy said we received McLeod’s email and that something will be sent back via the service manager.

Bonnie Johnson-Eschelon stated that they have the same concern and are in agreement with McLeod.

Sandy Stulen-Qwest stated that she would prefer that Eschelon send their own e-mail either via their service manager or directly to her regarding their concern.

McLeod continued to express their concern about this change and how it would impact them and whether they could continue with the SLRN process. There is a concern that this change in process will require more of their resources and their routing staff has more to do.

Todd Rodgers-Qwest stated that this is a change in process and if a CLEC does not request anything different, Qwest will keep what is there in place. Todd reiterated slide 3 illustrates what happens if you do request ARLRN routing and slide 1 is what happens if you don’t request ARLRN routing. The call works and gets delivered to you.

An example was given if the Qwest customer is making an IntraLATA call that is PIC’d to 5123to a McLeod customer using the same NPA NXX as McLeod’s LRN. That call will travel over the local trunk group only if ARLRN routing is requested and if you don’t will follow slide 8 which is what it is doing today.

There was a question on whether there would be a tandem or local charge like in slide 3 however it was stated that you don’t pay tandem when you are receiving a call.

Bonnie Johnson-Eschelon asked if this impacts the relative usage.

Karen Ferguson-Qwest stated that this is very customer specific and each customer needs to talk with their access manager about the specific location you are concerned about. This is a small amount of traffic and it is unclear how it would impact the transport for the relative use factor.

It was again stated that Qwest should label the diagrams to insure it was clear what kind of trunks are being referenced. Qwest said that these are all LIS trunks. It was stated that LIS is a Qwest term and based on different ICAs, there is a question as whether toll group or IntraLATA traffic. Qwest stated that it all depends on how each company’s network is set up. Each CLEC may do this differently however it is all basically LIS trunks.

McLeod again stated their concern that SRLN routing will no longer be available and questioned where the ARLRN scenario is. Qwest reiterated that SLRN remains available where already in place. McLeod asked if ARLRN routing is requested, what happens to the flow when a toll call is made. Todd Rodgers-Qwest said you would follow slide 9. If you put in DEOT and don’t implement, then you would follow slide 8.

McLeod brought up the 512 CCS report and asked whether it will be changed to reflect CLEC routing. They indicated that every month they get a report that tells them where Qwest believes end office trunks should be installed. McLeod indicated they have had a lot of problems with this report. They relayed the reports would have to more sophisticated or are going to be worthless.

Todd Rodgers-Qwest stated that he has not been very involved with the 512 report and that with porting and pooling, it is difficult for Qwest to understand how an LRN might be used outside of the area. He said that ARLRN gives you more control over the 512 report. Joint planning of your network, would help to determine if a customer would need ARLRN routing rather than relying solely on Qwest. McLeod again stated their concern with the 512 report and its accuracy. They believe the report needs to be adjusted.

Todd Rodgers-Qwest asked if they were solely designing their network based on a report provided by Qwest. McLeod responded that they were forced to per their ICA but questioned if they can change it.

Susan Lorence-Qwest stated that the meeting was only scheduled 1 hour for this meeting and that it would be more logical to handle some of these questions offline. She questioned if this call had made the process more clear or whether there were major outstanding questions.

Jeff Sonnier-Sprint stated that Todd (Qwest) has done an excellent job and should be commended on the diagrams and explaining the differences on the SRLN, ARLRN and default routing. He said that the billing concerns and routing concerns etc. by the other CLECs should have more discussion. He said that overall this has been a great job.

Susan Lorence-Qwest said thank you and has been a big effort to pull together.

Julia-McLeod stated that they do appreciate the help and that the diagrams have been helpful but that they need more clarity and information. She said that she is not prepared to go further without a process outline. Once the document is updated, then more discussion should occur. She asked if the diagrams would be included in the document.

Susan Lorence-Qwest said that she was not sure if they would be included.

Bonnie Johnson-Eschelon said that she would like to see the diagrams included and some definitions would be helpful.

Susan Lorence-Qwest stated that we would take that back.

Julia-McLeod asked what they need to do if there are other questions especially if they are related to their ICA and requested the name of the Qwest attorney.

Susan Lorence-Qwest stated that the ICA is outside of CMP and those issues should be worked with their service managers or to send those questions to Sandy Stulen (Qwest).

Susan Lorence-Qwest stated that we need to regroup internally and then decide how to proceed and whether another adhoc meeting would be worthwhile. She said that the process will be sent out for formal review. She proposed using the formal level 4 notification process and cycle which allows a 15 day CLEC comment period.

Julia-McLeod stated that this is not acceptable and that she did not feel comfortable about the process.

Bonnie Johnson-Eschelon stated that we have had ad hoc meetings in the past for further discussion and there needs to be a commitment from Qwest to update the documentation.

Susan Lorence-Qwest stated that we would have another ad hoc meeting after the 1st of the year due to the holidays and SME availability. Qwest will regroup internally to discuss the documentation concerns. She said that if there are ICA concerns that they need to work with their service manager.

Julia-McLeod stated that we need to address the issues on billing, what trunks need to be adjusted, respond on how Qwest proposes to address the costs and to redline the process document. She asked what other CLECs could do if there were additional questions.

Susan Lorence-Qwest stated that questions could be sent to the CMPCR@qwest.com mailbox.

The meeting was adjourned.

December 12, 2007 Product/Process CMP Meeting Susan Lorence-Qwest stated that this CR is a result of a Level 3 change to disposition that was discussed in an adhoc meeting on November 27th. She said that subsequent to that meeting, Qwest agreed to retract the level 3 notice and issue a level 4. Karen Ferguson-Qwest stated that Qwest has reviewed its current Single Location Routing Number (SLRN) process, and proposes to change the SLRN process to be more closely aligned with industry guidelines. Qwest proposes modifications to the SLRN process to reflect a modified Location Routing Number (LRN) process to improve routing and trunking. Qwest proposes to simplify the process for customers to route based on the first 6 digits of the LRN as if it were a dialed number rather than using the full 10 digit LRN. Karen stated that an adhoc meeting is scheduled to discuss the details of this change on Monday, December 17th. Kim Isaacs-Eschelon asked if the meeting minutes from prior meetings would be posted to this change request. Susan Lorence-Qwest stated that they would be.

November 27, 2007 Adhoc Meeting Integra/Eschelon Objection to a Leve 3 Process Notice – Comment received 11/12/07 in CMP CR and CMP COMM mailboxes

Attendees: Susan Lorence-Qwest, Vicki Dryden-Qwest, Mark Coyne-Qwest, Sandy Stulen-Qwest, Todd Rodgers-Qwest, Jan Wittnebel-Qwest, Mike Hammer-Sprint, Jeff Sonnier-Sprint, Susie Wells-Qwest, Neil Houston-Qwest, Georganne Weidenbach-Qwest, Ralph Smith-Sprint, Connee Moffatt-Qwest, Karen Ferguson-Qwest, Craig Stone-Sprint, Bonnie Johnson-Eschelon, Kim Isaacs-Eschelon, Mike Hammer-Eschelon, Doug-Eschelon, Marcelle-Eschelon, Lee-Integra, Dennis-Integra, Roger-Integra, Roxanne Hoover-McLeodUSA, Sherry Krewett-McLeodUSA

Susan Lorence-Qwest stated that the purpose of this call is to discuss a proposed change in process that was originally submitted on November 5, 2007 as a Level 3 notification PROS.11.05.07.F.05018.LocationRoutingNumber. She said that a customer comment was received to change the disposition of this notice to a level 4. Susan said that per CMP requirements, this change to disposition request was discussed at the November 2007 CMP monthly meeting and the decision was made to schedule this adhoc meeting to further discuss this change in process. Susan stated that the minutes from the November 14th meeting were posted to the Wholesale Calendar. She said that she would like Sandy Stulen (Qwest) and Todd Rodgers (Qwest) to provide an overview of this change in process and then would open the discussion to questions and/or comments.

Sandy Stulen-Qwest stated that Qwest reviewed its LRN processes and in response to customer feedback made the decision to change the SRLN process to be more closely aligned with industry guidelines. She said that those customers who currently have SLRN routing in place are not required to make any changes in their embedded network. Sandy said that all new requests will follow the LRN process. Sandy said that there are benefits for both the CLECs and Qwest. She said that one of the benefits is that it will reduce the number of trunks between Qwest and the CLEC. She said that the SLRN process required a trunk group per LRN and that this change in process allows multiple LRNs on a trunk group. Sandy said that when Qwest implements a new local tandem, this change in process eliminates the necessity for a CLEC who is porting and pooling in the local tandem area to order trunking for LRN routing. She said that this change in process allows the CLEC to be in charge of managing their porting and pooling network.

Todd Rodgers-Qwest stated that prior to this change in process, Qwest looked at the full 10 digit LRN and routing required additional customer trunking for each LRN. Todd said that as a result of customer feedback this change in process will allow the traffic to be delivered to the access tandem and will reduce the CLECs trunking needs. He said that we will route based on the first 6 digits of the LRN and this is transparent to the CLEC and Qwest.

Susan Lorence-Qwest asked if there were any general questions.

Dennis-Integra stated that (12/6/07 Comment Submitted by Eschelon) one LRN per switch per LATA has been the industry standard for years and asked if this change was for porting and pooling providers only.

Todd Rodgers-Qwest stated that this change in process was not directed at any one customer. He said that with SRLN routing it is per switch per LATA and you don’t own a NPA-NXX within the local calling area.

Dennis-Integra stated that toll LRN identifies the switch location based on the (12/6/07 Comment submitted by Eschelon) NPA-NXX of the originating and terminating number. He said that DEOT under version 3 vs. version 2 says you route direct to a tandem owner of LRN.

Todd Rodgers-Qwest stated that LRN has no jurisdiction and said it is more like an IP address or mailing address.

Todd Rodgers-Qwest stated that about 10 years ago one LRN per rate center was required and when the Industry changed the requirement to one LRN per switch per LATA Qwest created the SRLN process for the separation of local from toll because of internet traffic. Qwest wanted the dial up local internet traffic off of the access network.

Dennis-Integra asked if he meant in this part of the country.

Dennis-Integra said that if they don’t request any changes then there will be no change to what happens today.

Todd Rodgers-Qwest agreed. Kim Isaacs-Eschelon asked if this was for any augment.

Todd Rodgers-Qwest said this change does not apply to augments on current trunks and with a new trunk groups this change in process will apply. He said that it is your choice and if LRN is not implemented the calls will route.

Dennis-Integra said that nothing works without LRN routing.

Todd Rodgers-Qwest stated that when a Qwest customer calls there will be a LNP look up and if the LRN returned is outside of the local calling area the call will be routed to the access tandem. Todd said that there will be no change to the lookup with this proposed change. He said that Qwest will route the LRN to the access tandem as if dialed by an end user. Todd said that Qwest will route the NPA NXX on the trunk group you request. He said that if an unqueried call routed to the local tandem prior to the change, there was no way to route the traffic and it would not complete. Qwest has added LRN infrastructure between the local and access tandem. He said that non-Qwest companies complete 90% or better LNP local queries and that the LRN outside of the local calling is minimal. Todd said there is less intervention and that the inter-tandem routing is the major change here.

Dennis-Integra asked if the traffic would be routed the way they wanted.

Todd Rodgers-Qwest said yes.

Marcelle-Integra cited an example of a customer in Fort Collins with a ported number – Qwest to Integra and asked how the call would be routed. Todd Rodgers-Qwest stated that the routing would stay in place and if you choose to implement LRN routing we can divert the NPA-NXX away from the access tandem to a specific trunk group. Dennis-Integra asked if this was regardless of the type of call.

Todd Rodgers-Qwest stated that due to switch limitations, if a customer is LPIC’d to 5123 – INTRALATA CIC and they make a call to the NPA NXX of the LRN that traffic would route over the designated trunk group. Marcelle-Integra said that it does not say whether customer is PIC’d to Qwest.

Todd Rodgers-Qwest said that it would be the trunk you designate.

Roger-Integra said that if it is PIC’d to Qwest our CIC then it would route to the access tandem.

Roger-Integra asked about the blockage of trunks.

Todd Rodgers-Qwest said that would be minimal. (12/6/07 Comment submitted by Eschelon) – is a legitimate concern).

Dennis-Integra said that some time ago Qwest has 50% of LPICs.

Todd Rodgers-Qwest stated that when a customer made changes to a calling plan they are normally moved to QCC CIC 432 or 236 – another branch of Qwest.

Dennis-Integra asked if Qwest could provide traffic studies.

Todd Rodgers-Qwest said that he would have to defer to determine scope.

Dennis-Integra asked if they would run out of trunks because toll traffic is routed over the trunks.

Todd Rodgers-Qwest stated that not all Qwest toll traffic would be routed over these groups– just from the end office of the DEOT to the specific NPA-NXX of the LRN.

Roxanne Hoover-McLeod said that you have your own code.

Bonnie Johnson-Eschelon asked if this change applied to new requests and only if you request the change.

Todd Rodgers-Qwest stated that if it was new and you don’t request a change it will route to the tandem and that there is no change to the existing process unless you ask for it.

Todd Rogers-Qwest stated that we would route toll over local only if you requested LRN routing.

Roxanne Hoover-McLeod stated that Qwest has taken on an industry term and used it differently. (Comment from McLeodUSA 12/5/07) – Qwest either needs to pick a different name for their new product or figure out a way to identify it separately from the industry standard meaning.

Dennis-Integra stated that there is LRN routing all over the country, He said that he needed further explanation associated with the LRN to trunk group routing.

Dennis-Integra stated that the balance of traffic we receive reciprocal compensation (12/6/07 Comment submitted by Eschelon) and reciprocal compensation rates are based on the balance of traffic. He said now with this swing of toll traffic and more Qwest originated traffic and they will receive a lower compensation rate.

Todd Rodgers-Qwest stated that he was not familiar with reciprocal compensation.

Sandy Stulen-Qwest asked if these were transport costs.

Dennis-Integra stated that it was 3-1 balance ISP Compensation at a lower rating.

Dennis-Integra stated that with ELI/Integra stated that they look at the trunk group for the 3-1 balance on the originating /terminating. He said not knowing what kind of traffic we are talking about today and with the new process could skew this balance.

Sandy Stulen-Qwest stated that we would have to take a look at the 3-1 balance.

Marcelle-Integra stated that this could be issues for anyone in all six Regions. He said that it could be VNXX trap with the originating/terminating balance.

Karen Ferguson-Qwest stated that VNXX has no bearing on the change and that this will not change the local originating/terminating balance.

Dennis-Integra stated that it was not clear in the VNXX proceedings.

Karen Ferguson-Qwest stated that we have been clear and that it starts with a call that looks like a local call and has no bearing on this.

Susan Lorence-Qwest asked if anyone else on the call had any input.

Integra- stated that Qwest mentioned that they wanted to simplify routing and said if Qwest was going to require LRN routing from Integra, will Qwest (12/6/07 Comment submitted by Eschelon) allow Integra to route toll traffic on the same trunk group.

Todd Rodgers-Qwest stated that he could not speak to toll on direct trunk groups.

Integra- stated that it was the same thing but a different way of routing.

Todd Rodgers-Qwest stated that with porting and pooling and there is a new local tandem conversion. He said that we look at all traffic and identify pooling and porting providers and we require a trunk group to the local tandem. He said that with porting and pooling we needed a way to deliver the traffic. He said that with this change in process if you own a NPA NXX and you are in control and it is your choice with routing.

Integra-stated that it is not pure toll.

Todd Rodgers-Qwest said only Qwest originated 5123 LPIC to NPA NXX of LRN traffic will be directed to the DEOT group.

Bonnie Johnson-Eschelon asked if it was fair to say that this change in process would be an advantage for a specific type of business - porting and pooling. Todd Rodgers-Qwest said that this only applies to customers with pooling and porting and it only happens with LRN routing. He said that you can allow routing to happen as it happens today and that if you implement LRN routing the existing traffic will be overridden with the 6 digits rather than 10 digits.

Bonnie Johnson-Eschelon said that now it is SLRN and asked if going forward and you don’t implement LRN, can you keep SRLN.

Todd Rodgers-Qwest stated that in the normal course the LRN is routed as if dialed by the originator. He said that with this change in process you can if you choose to override that routing. Dennis-Integra stated that in the Seattle area that most customers started as Qwest customer and a large number were ported numbers to other carriers. He said that all calls will come back as LRN for all LPIC’d to Qwest. He said that if you have a Qwest customer dialing the LRN of switch there will be more traffic.

Integra- said not toll - only dip if local. – LPIC to Qwest Intrastate/Intralata – Toll was the exception.

Todd Rodgers-Qwest stated that if you request us to implement this process change and if you see LRN put on Trunk group A we will only do the LNP dip on local. He said that the basis of exception or the thing we want you to be aware of is a Qwest customer LPICd to 5123, a diminishing base, makes a 1+ call to NPA-NXX of the LRN it will also follow the same 6 digit routing.

Dennis-Integra stated that dialed digits not returning LRN that you have to do a query.

Todd Rodgers-Qwest said we don’t query on toll.

Marcelle-Integra 1+ Time Warner you are assuming we own LNP process Qwest- last resort – default by accident.

Dennis-Integra stated that you are the IXC and asked if something is PIC’d to you who does the query.

Roxanne Hoover-McLeod stated that the process needs to be documented.

Susan Lorence-Qwest stated that McLeod made the comment that they were not enthused with the way the document was worded and that we would like to focus on the process. (12/6/07 - Comment submitted by Eschelon) She said Qwest took the documentation back internally and Qwest did not think any changes needed to be made and the documentation was correct.

Roxanne Hoover-McLeod stated that the document needs to reflect the process and the document is not correct.

(12/6/07 Comment submitted by Eschelon) Susan Lorence-Qwest statedt hat there is a process to request documentation updates.

Todd Rodgers-Qwest asked if the document before this change tells you how to remove the SRLN.

Roxanne Hoover-McLeodUSA said that she never read the document but that they were forced to fill out forms. She said that the prior process did not tell them how to remove the SRLN. (12/5/07 - Comment from McLeodUSA ) because we were never allowed to remove SLRN routing.

Todd Rodgers-Qwest stated that SRLN and LRN routing are options.

Roxanne Hoover-McLeod stated that they were forced to fill out a form and that she would like to see a process to make suggestions and to request changes. She said that she does not want to rewrite Qwest’s document and all Qwest did in the documentation was to take out the “S”.

Bonnie Johnson-Eschelon stated that she agrees that the process is not clear based on the questions from this call. She said that she wants the process documented to determine the impacts to the process. She said that she did not think that this call would get us there. Bonnie said that she needs to understand what happens today vs. tomorrow and that the CLECs should not have to request that the process be documented. (12/6/07- Comment submitted by Eschelon) Bonnie said for purposes of this discussion Qwest should make diagrams of routing the way it is today and how it will be for the new process.

Susan Lorence-Qwest stated that she agreed that clarification was needed in some areas of the document. She said that Qwest will regroup to determine if diagrams would be helpful.

Roxanne Hoover-McLeod stated that they need this process in writing and that Qwest has explained 3 or 4 times and still no one understands the process (12/5/07 - Comment from McLeodUSA) because the document does not reflect the same answers Qwest is giving on the calls. She said that sending INTRALATA TOLL over local trunk groups is a violation of the ICA in all 14 states.

Sandy Stulen-Qwest stated that the Qwest attorneys did not see where we were in violation of the contract. She said that if there were specific areas of concern they need to get with their Service Managers.

Roxanne Hoover-McLeod stated that she could pull examples in a couple of different states.

Bonnie Johnson-Eschelon asked if Qwest considered 5123 only as resold toll.

Todd Rodgers-Qwest said no.

Bonnie Johnson-Eschelon asked if Qwest was going to get volumes on that PIC to see how many 5123 PICs there are, how many minutes are we going to see, per trunk group and per end office.

Todd Rodgers-Qwest stated that if the CLECs could provide an example of an end office and NXX, he would see what he could do.

Integra- stated that they did not care about the number of customers and that Qwest is the only one that has the customer PIC of 5123. He said that he wanted to know how many are calling his customer (12/6/07 Comment submitted by Eschelon) and where the calls will be routed.

Todd Rodgers-Qwest stated that this would only happen in a dedicated end office and that if they could tell him what their LRN is he could tell how many toll calls were made to that NXX.

Dennis-Integra stated that if Qwest would query they would have the LRN.

Todd Rodgers-Qwest stated that he would check to see what could be done.

Integra-asked if they choose this option what will happen to the existing trunk.

Todd Rodgers-Qwest stated that there is no change if you don’t request this change in process.

Kim Isaacs-Eschelon requested that the Level 3 be retracted and that a Level 4 be submitted to make this change clear. She said that collaborative sessions could be held and if applicable raise any red flags at that time.

Susan Lorence-Qwest asked if there were any other comments from anyone on the bridge.

Jeff Sonnier-Sprint stated that they had no problems with the Level 3.

Susan Lorence-Qwest stated that Sprint was comfortable with the Level 3 and said that an official vote would require a majority vote. She said that Qwest would retract the Level 3, work on the document as discussed and reissue a Level 4 CR.

Jeff Sonnier-Sprint asked how long it would take to issue the Level 4.

Susan Lorence-Qwest stated that the Level 4 would be presented in the December 12th CMP meeting. Susan said that another adhoc meeting would be held and we would renotify from that point. She said that the 80 day time period could be reduced by shortening the Qwest response time.

Jeff Sonnier-Sprint asked if something could be done in parallel. He said that they do agree with the need for diagrams and the work on presentations.

Susan Lorence-Qwest stated that the current process vs. the LRN process.

Bonnie Johnson-Eschelon asked if Qwest could include in the future what happens with new trunk group and that you don’t have to ask for LRN on the new trunk group.

Integra-stated that they also need a diagram to know how routing works and what the definition of the new scenario is if they don’t request LRN routing.

Susan Lorence-Qwest said that we would consider that request.

Integra- said that they were confused about what the LRN alternative is and need to understand the default.

Jeff Sonnier-Sprint stated that he could not find version 3 on the website.

Susan Lorence-Qwest stated that version 2 is only compared to version 3 and that the current version on the web is version 2. Susan said that we would proceed with the Level 3 retraction, issue a level 4 CR and provide clarification.

November 14, 2007 Product/Process CMP Meeting

Integra/Eschelon Objection to a Level 3 Process Notice - Comment received 11/12/07 in CMPCR and CMPCOMM mailboxes Integra/Eschelon objects to level 3 CMP notice: PROS.11.05.07.F.05018.LocationRoutingNumber. Integra/Eschelon has a number of concerns regarding Qwest’s proposal to remove the SLRN practice. The Qwest proposed changes appear to limit the availability and applicability or functionality of an existing product. CLECs should have the opportunity to discuss the scope and possible negative impacts of the proposed changes in a collaborative forum. Therefore, Integra/Eschelon is requesting the Qwest retract notice: PROS.11.05.07.F.05018.LocationRoutingNumber and open a level 4 change request to present the proposed changes to the CLEC community. Thank you. Here is a list of Integra/Eschelon’s preliminary concerns regarding Qwest’s proposal to remove the SLRN practice: o This is a significant change in network routing, not a change in process. We need time and a proper forum to discuss ramifications. o LIS trunking is priced based on balance of traffic o Balance of traffic can trigger $0.0007 ISP rate o Will this result in hidden Qwest traffic that should be charged access? o Will this generate billing records that aren't needed today? o When Qwest makes this routing change, they will be routing toll calls on existing Local trunks. ? We may experience blockage due to increase traffic on Local trunk. ? Will Qwest implement alternate routing for all Local calling via IntraLATA toll trunks? ? Will there be reservations set on the existing local trunks. If not we will be blocking outbound without alternate routing via IntraLATA Toll trunks. ? Is Integra expected to Alternate route existing local traffic to IntraLATA Toll trunks. ? Due to Qwest changes to routing, will we have a period of time to augment existing Local trunks without occurring NRC? ? Will Integra be able to route IntraLATA toll calls on same trunks to forgo cost of Tandem Transit/Switching cost?

Susan Lorence-Qwest stated that on 11/5/07 Qwest submitted PROS.11.05.07.F.05018.LocationRoutingNumber to change the existing process. She said that the document is available for review on the CMP Document Review website. Susan said that Eschelon submitted a change to disposition on 11/12/07. Susan provided the background as to why this change to disposition needed to be addressed in this meeting. She referred to Section 5.4.4.1 in the CMP Document that states ‘...CLECs and Qwest will discuss requests to change the disposition level of notified changes at the next Monthly CMP Product/Process Meeting. In the event that timing doesn’t allow for discussion at the upcoming Monthly CMP Product/Process Meeting, Qwest will call a special ad hoc meeting to address the request…’. Susan relayed that if we cannot reach agreement on how we should proceed on this change to disposition, that the requirement is to take a vote in accordance which must follow Section 17.0. The result then is determined by the majority. Susan Lorence-Qwest stated that before the Qwest SMEs address the specific questions that Eschelon has identified that she wanted to address Eschelon’s first general comment that this change appears to limit the availability and applicability of an existing product. Susan said that Single Local Routing is not a product, it is a process and that in the further discussion, Qwest would be able to make that clear. Sandy Stulen-Qwest stated that Qwest has reviewed its LRN processes and in response to customer feedback made the decision to change the SLRN process to be more closely aligned with industry guidelines. She said that those customers who currently have SLRN routing in place are NOT required to make any changes in their embedded network and that all new requests will follow the LRN process.

Todd Rodgers-Qwest stated that previously with the SLRN, Qwest looked at the full 10 digit LRN and routing required additional customer trunking for each 10 digit LRN. He stated that Qwest has simplified the process for customers and will route based on the first 6 digits of the LRN as if it were a dialed number and that this may, as a result, reduce the trunking needs.

Kim Isaacs-Eschelon stated that she was not qualified to address this subject and that her SMEs were not on this call.

Roxanne Hoover-McLeod stated that she shares some of the same concerns as Eschelon/Integra. She said that Qwest said that they are trying to mirror the industry standard but that other companies route with the 10 digit LRN and do not route toll on local trunks.

Jeff Sonnier-Sprint stated that a 6 digit LRN works for them and that they were using 6 digits with other providers also.

Todd Rodgers-Qwest stated that the LRN should be routed on 6 digits and that the last 4 digits should be placeholders per industry guidelines.

Roxanne Hoover-McLeod asked if the existing routing would continue to work unless the customer requests a change.

Todd Rodgers-Qwest agreed.

Luke Mestas-Comcast said that Qwest alluded to the fact that this would require less trunking and asked how this would work.

Todd Rodgers-Qwest said with the SRLN process, we require a trunk group at the local tandem. He said that with the change to the LRN process, using LRN outside of the Local Calling Area, it would be routed as dialed through the access tandem. Qwest has added infrastructure to the local tandem that allows for routing of toll LRNs on a 1 way basis to the access tandem.

Luke Mestas-Comcast said that there will be less traffic to the tandem.

Todd Rodgers-Qwest said that in an end office today, when you have the LRN outside the local calling area, Qwest will route the LRN to the access tandem as if dialed by an end user. He said that if you don’t require different trunking, then set the trunking up to the tandem and it is delivered to you. He said that with the change in process, all LRN routing will be based on NPA NXX rather than the full 10 digits.

Luke Mestas-Comcast asked if the 1 LRN per trunk group rule applies to the changed process. Todd Rodgers-Qwest stated No.

Luke Mestas-Comcast said that worked for them and asked how they know what is SRLN routed currently.

Todd Rodgers-Qwest stated that it is best that they work with their Service Manager to determine how the LRN is being routed. He said that if the customer wants to change we can accommodate.

Susan Lorence-Qwest asked if there were any other questions or comments about this change to the process.

Roxanne Hoover-McLeod stated that some of Eschelon/Integra’s concerns made sense and others did not. She said that in the document, it doesn’t describe how this will work. She said that the process states that Qwest will route toll on Local Trunk groups. Roxanne asked if they could route toll traffic to Qwest the same way.

Todd Rodgers-Qwest said in answer to the last question, the answer is no. He said that the change to the LRN process delivers all calls to the service provider and translates on six digits. He said that because of that, Qwest end user’s LPIC’ed to 5123 would follow the same pattern and, therefore, only those toll calls would be delivered over local trunk groups with the caveat that the existing base is diminishing. Todd said that with 271/272 relief, QCC CIC 432 is used for toll traffic and is treated as Feature D traffic.

Roxanne Hoover-McLeod agreed that it is limited. She said it would only be on the NPA NXX of the LRN for a number ported away. Roxanne asked how they get away from the fact that the trunk type is local only. (11/26/07 - Comment submitted by Eschelon) She said that this violates McLeod’s ICA.

Todd Rodgers-Qwest stated that we wanted to be as upfront as possible and describe what “could” happen if a customer requests LRN routing.

Bonnie Johnson-Eschelon stated that unfortunately she did not know that this discussion would require SME attendance. She said that she (11/26/07 - Comment submitted by Eschelon) has an issue with Qwest implementing a Product/Process change (11/26/07 - Comment submitted by Eschelon) that knowingly violates an ICA agreement. She said that Roxanne (McLeod) has the technical expertise and in light of the fact the Eschelon SMEs weren’t on the call, she would depend on the meeting minutes from this call (11/26/07 - Comment submitted by Eschelon) and hope they will be accurate. Bonnie said that this change in process going forward would have a major impact to any CLEC with the 10 digit routing and that there may be major internal changes required to what a CLEC is currently doing. She said that this change should be a Level 4 CR and that they wanted their technical SMEs on a call to understand current routing requirements and any further impacts.

Roxanne Hoover-McLeod stated that she had billing system concerns and that the LRN document does not help. She said that the document is poorly written and confusing and asked Qwest to review and correct the document. Roxanne stated that this will always look like toll in the billing system and could Qwest use class of service screening to separate the traffic. (11/26/07 Comment submitted by Eschelon) She said she knows now what Qwest is doing and doesn’t like it.

Kim Isaacs-Eschelon stated that they have additional questions. Kim stated that this process change should be collaborative and should be discussed in some type of forum – especially if there is to be toll on local trunks.

Todd Rodgers-Qwest stated that the only time there would be toll on local is if the CLEC requests the LRN process. He said that the customer’s LRN will work with little intervention from the customer. He said that the calls will remain as they are today unless the customer requests a change.

Kim Isaacs-Eschelon asked when this change would be required.

Todd Rodgers-Qwest stated that there are no plans on making this a required change.

Bonnie Johnson-Eschelon said that she understood this change would be a requirement on a going forward basis. She said that if they open up collocation in a certain state, what LRN they give.

Todd Rodgers-Qwest said that if you read the LRN document and insert the word “process” after LRN, it makes more sense.

Bonnie Johnson-Eschelon said that she was glad to hear that Mcleod has some of the same concerns with this change.

Susan Lorence-Qwest said that we could have a separate adhoc meeting to continue discussion on these issues and to fully review this change. She said that the comment cycle for this change closes on November 20th. Susan said that we need to decide whether to retract this notice and issue a level 4 or reissue as a level 3.

Bonnie Johnson-Eschelon said that she agreed with McLeod’s recommendation to update the document first. She said that it may lead to different questions and that it is a critical first step in understanding the change taking place.

Susan Lorence-Qwest asked if anyone else on the call besides Eschelon and McLeod had any comments.

Bonnie Johnson-Eschelon said that she would like (11/26/07 - Comment submitted by Eschelon) Qwest to revise the documentation first, and then we may need an adhoc meeting to determine billing impacts and the scope of all impacts to determine if this change warrants a level 4 CR. Bonnie said that she is taking McLeod’s lead regarding the other questions as to their validity or not and that they may come to the same conclusion.

Susan Lorence-Qwest stated that we will take as feedback and regroup internally at Qwest and follow-up with an adhoc meeting to determine how we proceed and determine next steps.


Open Product/Process CR PC010808-1 Detail

 
Title: Change to Collocation Interval for Non Impaired Office Additions
CR Number Current Status
Date
Area Impacted Products Impacted

PC010808-1 Completed
5/21/2008
Provisioning Collocation
Originator: Buckmaster, Cindy
Originator Company Name: Qwest Corporation
Owner: Buckmaster, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Allows CLECs to request Collocation in additional Non-Impaired offices at forecasted interval


Status History


Project Meetings

5/21/08 Product/Process CMP Meeting Mark Coyne-Qwest stated that the effective date of this request is 4/4/08 and that we would like to close this CR. There were no objections.

April 16, 2008 Product/Process CMP Meeting Mark Coyne-Qwest stated that the effective date of this request is 4/4/08 and will remain in CLEC Test. He said that we will address closure in May.

March 19, 2008 Product/Process CMP Meeting Mark Coyne-Qwest stated that the notice went out 2/19/08 with an effective date of 4/4/08.

February 20, 2008 Product/Process CMP Meeting Mark Coyne-Qwest stated that the notice went out yesterday. This CR will move to Development.

January 16, 2008 Product/Process CMP Meeting

Cindy Buckmaster-Qwest stated (1/22/08 Comments to minutes received from Eschelon) that when the Commission approves additional non-impaired this request will allow CLECs to request Collocation in those additional non-impaired offices at the forecasted interval. She said that, for example, if EEL falls into a non-impaired office that would drive the CLEC to Collocation, we will honor the shortened interval for the construction of a new collocation.

Mark Coyne-Qwest stated that this would be a positive thing for the customer.

Bonnie Johnson-Eschelon asked if this change is associated with a CR.

Cindy Buckmaster-Qwest said that the CR was in the walk on section of the package.

Bonnie Johnson-Eschelon (1/22/08 Comments to minutes received from Eschelon) asked when the detail would be available because they would like to take a closer look at the detail and the CR and asked if they should send questions to CMP CR.

(1/22/08 Comments to minutes received from Eschelon) Cindy Buckmaster-Qwest asked Mark Coyne if there was some time frame she was required to meet.

(1/22/08 Comments to minutes received from Eschelon) Mark Coyne-Qwest said no.

Liz Balvin-Covad asked if Qwest will restrict the CLEC from placing orders until the Collocation is constructed and will this process be documented.

Cindy Buckmaster-Qwest said yes orders would be restricted and that the process would be documented.


Open Product/Process CR PC012908-1 Detail

 
Title: Elimination of Virtual to Cageless Collocation conversion option
CR Number Current Status
Date
Area Impacted Products Impacted

PC012908-1 Completed
5/21/2008
Originator: Buckmaster, Cindy
Originator Company Name: Qwest Corporation
Owner: Buckmaster, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Elimination of Virtual to Cageless Collocation conversion option


Status History


Project Meetings

5/21/08 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this request has an effective date of 4/18/08 and that we would like to close this CR. Kim Isaacs-Integra said that this request was implemented over their objection. Bonnie Johnson-Integra agreed that this request was implemented over their objection (5/27/08 Comment to minutes received from Integra) and Qwest would close it over our objection. Mark Coyne-Qwest said that Integra’s objection has been noted.

April 16, 2008 Product/Process CMP Meeting Mark Coyne-Qwest stated that this request has an effective date of 4/18/08 and will be revisited in May.

March 19, 2008 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the notice went out on 3/4/08 with an effective date of 4/18/08 and the comment cycle closes today. Susan Lorence-Qwest stated that the comment cycle did close today and there were no comments.

February 20, 2008 Product/Process CMP Meeting

Lynn Stecklein-Qwest presented this CR on behalf of Cindy Buckmaster (Qwest). This request is for the elimination of the Virtual to Cageless Collocation conversion option. She said that changes from one form of collocation to another require complete construction of the new collocation and decommissioning of the old collocation. Bonnie Johnson-Eschelon asked why Qwest was doing this. Lynn Stecklein-Qwest stated that the volumes were very low for the conversion option and that there have only been approximately 5 in 10 years. Bonnie Johnson-Eschelon said that they would take this back and may have more questions.


Open Product/Process CR PC013108-01 Detail

 
Title: Grandfather LAN Switching Service.
CR Number Current Status
Date
Area Impacted Products Impacted

PC013108-01 Completed
5/21/2008
Resale - LSS
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest will be grandfathering the LAN Switching Service (LSS). Currently there are no Wholesale customers with this product. Attached is a list of associated LSS USOCs to be grandfathered.

XL3XN. XL3XX

DLUDM,DLUEM,DPUDM,DPUEM,DLUFM,

DLUGM,DPUFM,DPUGM,DLUD1,DLUE1,

DPUD1,DPUE1,DLUF1,DLUG1,DPUF1,

DPUG1,DLUD2,DLUE2,DPUD2,DPUE2,

DLUF2,DLUG2,DPUF2,DPUG2,DLUD3,

DLUE3,DPUD3,DPUE3,DLUF3,DLUG3,

DPUF3,DPUG3,DLUD4DLUE4,DPUD4,

DPUE4,DLUF4,DLUG4,DPUF4,DPUG4,

DLUD5,DLUE5,DPUD5,DPUE5,DLUF5,

DLUG5,DPUF5,DPUG5,DLUHM,DLUJM,

DPUHM,DPUJM,JZXAM,JZXBM,DLUH1,

DLUJ1,DPUH,1DPUJ1,JZXA1,JZXB1,

DLUH2,DLUJ2,DPUH2,DPUJ2,JZXA2,

JZXB2,DLUH3,DLUJ3,DPUH3,DPUJ3,

JZXA3,JZXB3,DLUH4,DLUJ4,DPUH4,

DPUJ4,JZXA4,JZXB4,DLUH5,DLUJ5,

DPUH5,DPUJ5,JZXA5,JZXB5

RLUCM,RLU1M,JZ3OA,JZ3XA,JZ3ZA

JZ35A,RLUC1,RLU11,JZ3OB,JZ3XB,

JZ3ZB,JZ35B,RLUC3,RLU13,JZ3OC,

JZ3XC,JZ3ZC,JZ35C,RLUC5,RLU15,

JZ3OD,JZ3XD,JZ3ZD,JZ35D,JZ36A,

JZ37A,JZ38A,JZ39A,JZ36B,JZ37B,

JZ38B,JZ39B,JZ36C,JZ37C,JZ38C,

JZ39C,JZ36D,JZ37D,JZ38D,JZ39D

The proposed implementation date for grandfathering LSS is 4/17/08. No Sunset date has been determined.


Status History


Project Meetings

May 21, 2008 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this request was effective on 4/18/08 and that we would like to close this CR. Bonnie Johnson-Integra said that this request was also implemented over their objection (5/27/08 Comment to minutes received from Integra) and would be closed over our objection.

April 16, 2008 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the Level 2 notification per agreement in the March CMP meeting was issued on 3/27/07 with an effective date of 4/18/08.

March 19, 2008 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the Level 2 notification will be issued within the week. Bonnie Johnson-Integra said that she brought up a concern last month regarding (Comments to minutes received from Eschelon 3/27/08) this and the above product being in the ICA. She said that Qwest responded in the meeting minutes. Lynn Stecklein-Qwest reviewed the response - 3/3/08 Qwest Response - All Retail/Resale specific products are treated the same as our Qwest Customers. The ICA has no impact. If the customer (whether CLEC or Retail) has the grandfathered product, they are allowed to retain that product, however, no new customers are allowed.

Bonnie Johnson-Integra (Comments to minutes received from Eschelon 3/27/08) verified with Qwest that Qwest has replaced the SGAT with the negotiation template. Qwest confirmed.

February 20, 2008 Product/Process CMP Meeting

Lynn Stecklein-Qwest stated that Qwest will be grandfathering the LAN Switching Service (LSS) in all states. See USOCs to be grandfathered on the Product/Process Interactive report at: http://www.qwest.com/wholesale/cmp/cr/CLECQwestCMPProductProcessInteractiveReport.html The proposed implementation date for grandfathering LSS is 4/17/08 and no Sunset date has been determined. She said that currently there are no Wholesale customers with this product and Qwest would like to request a Level 2 notice. Bonnie Johnson-Eschelon asked if these services were in the interconnection agreement. Mark Coyne-Qwest stated that we would research Eschelon’s question. 3/3/08 Qwest - All Retail/Resale specific products are treated the same as our Qwest Customers. The ICA has no impact. If the customer (whether CLEC or Retail) has the grandfathered product, they are allowed to retain that product, however, no new customers are allowed.


Open Product/Process CR PC013108-02 Detail

 
Title: Grandfathering and eliminating certain USOCs in Utah.
CR Number Current Status
Date
Area Impacted Products Impacted

PC013108-02 Completed
5/21/2008
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest will be eliminating the following grandfathered USOCs in Utah: 4FB (4 Party Flat Business Service), SB1 (Service Station Business Line), SBB (8 Party Flat Business Service Station Line). There are no Wholesale Customers with these services.

Qwest will be grandfathering and eliminating the following USOCs in Utah: JUP (Joint Use-PBX), JUM (Joint Use-Message), JND (Joint Use-Message with hunting). There are no Wholesale Customers with these services.

Qwest will be grandfathering the following USOCs in Utah: JUF (Joint Use-Individual Line) and JND (Joint Use-Individual Line with hunting. There are no Wholesale Customers with these services.

The proposed implementation date for grandfathering and eliminating these USOCs is 4/1/08.

3/6/08 Revised CR to include USOC 8FB for grandfathering which was inadvertently left off of original CR. Regulatory notification announced 2/29/08 with effective date of 4/1/08 including USOC 8FB (Document Number: PROD.02.29.08.B.003021.Utah-Rate-Chng


Status History


Project Meetings

5/21/08 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this request has as effective date of 4/1/08 and that we would like to close this CR. There were no objections.

April 16, 2008 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this request has as effective date of 4/1/08 and closure will be addressed in May.

March 19, 2008 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the notice went out 3/7/08 with an effective date of 4/1/08.

February 20, 2008 Product/Process CMP Meeting

Lynn Stecklein-Qwest stated that Qwest will be eliminating the following grandfathered USOCs in Utah: 4FB (4 Party Flat Business Service), SB1 (Service Station Business Line), SBB (8 Party Flat Business Service Station Line). There are no Wholesale Customers with these services. She said that Qwest will be grandfathering and eliminating the following USOCs in Utah: JUP (Joint Use-PBX), JUM (Joint Use-Message), JND (Joint Use-Message with hunting). There are no Wholesale Customers with these services. Qwest will be grandfathering the following USOCs in Utah: JUF (Joint Use-Individual Line) and JND (Joint Use-Individual Line with hunting. There are no Wholesale Customers with these services. She said that since there are no Wholesale Customers, Qwest would like to submit a Level 2 notice. The proposed implementation date for grandfathering and eliminating these USOCs is 4/1/08. Ev Montez-Qwest addressed Eschelon’s question on the previous CR on whether these services were in the interconnection agreement. She said that in the past when we have a product in the Interconnect Agreement, we honor it until we have negotiated a new contract. She said that we would take this as an action item. Bonnie Johnson-Eschelon said that if the product is in the state SGAT it (Comment from Eschelon 2/27/08) could require commission approval.


Open Product/Process CR PC031408-01 Detail

 
Title: Digital Certifcate Cleanup
CR Number Current Status
Date
Area Impacted Products Impacted

PC031408-01 Completed
6/24/2008
Originator: Holm, Wendy
Originator Company Name: Qwest Corporation
Owner: Holm, Wendy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest has identified that there are digital certificates in existence that do not appear to be valid any longer. Qwest is proposing a process to work with each customer where they will review their current list of users to identify those that are no longer active or no longer require access.

Qwest will be requesting a single point of contact from each company. Qwest will then provide a list of current users to that single point of contact for each company for review and cleanup.

Valid list of digital certificate users/ Proposed cleanup to be completed by July 1, 2008.


Status History


Project Meetings

6/24/09 E-mail from PAETEC

Lynn,

Attached are my edits to the product/process meeting minutes. I was unable to open the system meeting minutes document.

Also, PAETEC has verified that we have completed the Digital Certificate clean-up CR and we are fine with closing that CR.

Thank you.

Julia

Julia Redman-Carter Carrier Relations Manager

6/17/09 ProdProc CMP Meeting

Mark Coyne-Qwest said this is the Digital Certificate cleanup where we have worked with each company and we are ready to close this project as it is completed. Mark said that we looked at over 8500 certificates. Julia Redman-Carter-PAETEC said that she wanted to check with Joyce Bilow (PAETEC) to see if their effort was done. Mark Coyne-Qwest asked if they had changes to submit. Julia Redman-Carter-PAETEC said that she wanted to verify before closing this CR.

5/20/09 ProdProcCMP Meeting

Mark Coyne-Qwest said that the Digital Certificate effort is ongoing and that we are closer to finishing the cleanup. He said that we hope to complete by the end of the summer.

4/15/09 Product/Process CMP Meeting

Mark Coyne-Qwest said that the Digital Certificate effort is ongoing and that we are still collecting information from some CLECs. This CR will remain in CLEC Test.

3/18/09 Product/Process CMP Meeting

Mark Coyne-Qwest said that the Digital Certificate effort is an ongoing effort and is almost complete.

2/18/09 Product/Process CMP Meeting

Mark Coyne-Qwest said that the Digital Certificate effort is ongoing and that we are still working on the cleanup.

1/21/09 Product/Process CMP Meeting

Mark Coyne-Qwest said that the Digital Certificate effort is ongoing and that we hope to wrap up the project in the next couple of months. Jeff Sonnier-Sprint said that Qwest should be getting Sprint’s information within the next couple of weeks.

12/17/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that the Digital Certificate effort is ongoing and is taking some time. He said that we continue to get information back from the CLECs.

11/19/08 Product/Process CMP Meeting Mark Coyne-Qwest said that the Digital Certificate effort is ongoing. He said that we continue to work on the cleanup with great cooperation from the CLECs. Susan Lorence-Qwest said that she wanted to respond to the questions asked by McLeod USA. She said that if a person has multiple certificates, the one with the correct name should be used. She said that if there are different names for multiple applications, the CLEC needs to contact the IT Help Desk so that the applications can be tied together. Gloria Velez-AT&T asked what the IT Help Desk number was and if they should use a specific phrase when calling. Susan Lorence-Qwest said that they need to call the regular IT Help Desk and that there is no specific phrase. She said that the Help Desk is aware that these requests may be coming.

10/15/08 Product/Process CMP Meeting

Mark Coyne – Qwest stated that this project is ongoing and information has been sent to the SPOCs of each company.

Joyce Bilow-McLeod stated that she has users who have different names on digital certificates. This could be due to a marriage. Joyce asked how this could be narrowed down to 1 name.

Susan Lorence – Qwest asked if the names are different for each system.

Joyce Bilow – McLeod stated that there could be a certificate for IMA and CEMR with a different name. Joyce stated that this might be a divorce situation where one goes back to a previous name. She asked how the names could be combined.

Susan Lorence – Qwest stated that this is a unique situation. Susan said that she would take this scenario back to the SME Team.

Joyce Bilow-McLeod said that there could be slang names like Robert, Bob, and Ed. Joyce stated that the person has the same certificate but with different names. Joyce asked if it mattered which one is chosen.

Susan Lorence – Qwest stated that she would talk with IT and would include the answer in the minutes.

Jeff Sonnier – Sprint stated that he has a similar concern where there are 8 certificates with the same user name and ID but with a different certificate number. He said that they are for the same system.

Susan Lorence – Qwest said that they should choose 1 and eliminate the others.

Jeff Sonnier – Sprint asked if it mattered which one he chose.

Susan Lorence – Qwest stated that the most current one should be used.

Sandie Tekavec – Qwest stated that addressing multiple certificates is one of the steps in the clean-up process. . Mark Coyne – Qwest stated that he appreciated everyone’s efforts in this project.

Joyce Bilow – McLeod stated that her concern is due to manpower. Joyce stated that she may have look at 1400-1600 and that it could not be her full time job. She asked about the 30 day timeline to complete this project.

Mark Coyne – Qwest stated that he understands their concerns and that he would like everyone to complete this project as quickly as they can.

Gloria Velez – AT&T stated that there is a row on the spreadsheet that has user information with no serial number. Gloria asked if there would be a Digital Certificate for that person.

Susan Lorence – Qwest stated that we provided a combined list and that no serial number is needed. Susan said that we need to eliminate the duplicates.

Gloria Velez-AT&T said that the list is very large. She asked how they could tell what system it is if they have 1 user name and ID with multiple certificates.

Susan Lorence-Qwest stated that the specific system is not identified on the list. She said that in the instructions it states that if you have multiple certificates you choose the user ID and that ID can be used for all systems.

Gloria Velez-AT&T asked if it mattered which certificate was returned.

Susan Lorence-Qwest said that they should choose the most current. She said that the most current would mean that you wouldn’t have to renew.

Joyce Bilow –McLeod stated that sometimes a user ID may be deleted in error and asked when it could be activated again.

Susan Lorence – Qwest stated that it could be done quickly, in a matter of days.

Joyce Bilow – McLeod stated that if the user ID is used every day they cannot wait 4 to 5 days for reactivation and is unacceptable.

Mark Coyne – Qwest stated that it could be worked as an escalation with the IT Help Desk if it is urgent.

9/17/08 Product/Process CMP Meeting

Susan Lorence-Qwest said that files have been sent to the SPOCs that we have received for the various companies. Those are in the review stage by the SPOCs. If we have not received a SPOC, Qwest is contacting the Service Managers.

Bonnie Johnson-Integra asked for Qwest to repeat the status of this CR.

Susan Lorence-Qwest said that we had to resend some files and had to pull some additional data that was older than what we originally provided. We have resent some files out since the mid August timeframe for the companies we have SPOCs for and that we were going to be contacting service managers for those that we don’t have a SPOC for.

Bonnie Johnson-Integra said that she will get more information internally.

8/20/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that SPOCs have been identified.

Sandie Tekavec-Qwest said that the lists will be (8/29/08 - Update to minutes from Integra) resent by the end of the week.

Susan Lorence-Qwest said that we were holding the lists pending the outcome of the contract negotiations. She said due to questions initiated by the SPOCs, we have re-extracted digital certificate data prior to 2005 as well as names that aren’t listed as active.

7/16/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that the final notice was sent on 5/6/08 to become effective on 6/20/08. He also reminded everyone who has not responded already to provide their SPOC information and send it to Digital.cert@qwest.com and not to the WSST.

Kim Isaacs-Integra said that they have reason to believe that their information is incorrect. She said that they have sent notification that their data is not correct to the Digital Certificate Team.

Mark Coyne-Qwest said that we would check.

Brenda Bloemke-Comcast said that she has not received any information and asked if Qwest sent it yet.

Susan Lorence-Qwest asked if Comcast submitted their SPOC.

Brenda Bloemke-Comcast said that information had been sent out but would check again.

Susan Lorence-Qwest asked if their might be a recent addition.

Kim Isaacs-Integra said that recent users weren’t on the list.

Liz Balvin-Covad asked where to send the information.

Mark Coyne-Qwest said to send the information to Digital.cert@qwest.com and said that he appreciated everyone addressing this item.

6/18/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that the final notice was sent on 5/6/08 to become effective on 6/20/08. He also reminded everyone to respond back with their company information.

5/21/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that the final notice was sent on 5/6/08 with an effective date of 6/20/08.

Jeff Sonnier-Sprint said that he understood that they were supposed to be getting a spreadsheet from Qwest and asked when they would be receiving the information.

Sandie Tekavec-Qwest said that she was in the process of putting the information together and that the CLECs would be getting the information in the month of June.

Susan Lorence-Qwest said that we were also waiting for the effective date of June 20th.

4/16/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that this CR was presented as a walk on in the March CMP Meeting. He said that an adhoc meeting was held on 4/14 and Qwest will be sending out the notice later this week or next week.

Adhoc Meeting for Product/Process CR PC031408-01 Digital Certificate Cleanup April 14, 2008

Attendees: John Shriner-Sprint, Jeff Sonnier-Sprint, Chris Terrell-AT&T, Bonnie Johnson-Integra, Kim Isaacs-Integra, Laurie Roberson-Integra, Kathy Stichter-Eschelon, Leo Dimitriadus-AT&T, Leilani Hines-Verizon Business, Thane-Comcast, Jen-Comcast, Michelle-Comcast, Susan Lorence-Qwest, Denise Martinez-Qwest, Sandie Tekavec-Qwest, Matt Osielski-Qwest, Chris Tidball-Qwest, Rosanne Suomala-Qwest, Bill West-Qwest, Jim Reardon-Qwest, Lynn Stecklein-Qwest

Lynn Stecklein-Qwest said that the purpose of this meeting is to discuss PC031408-01 (Digital Certificate Cleanup) that was submitted by Qwest and presented in the March CMP Meeting. Qwest has identified that there are digital certificates in existence that do not appear to be valid any longer. Qwest is proposing a process to work with each customer where they will review their current list of users to identify those that are no longer active or no longer require access. Qwest will be requesting a single point of contact from each company. Qwest will then provide a list of current users to that single point of contact for each company for review and cleanup. She said that the proposed cleanup steps document was posted to the Wholesale Resource Calendar.

Denise Martinez-Qwest reviewed the proposed cleanup steps.

Proposed Cleanup steps 1. Qwest will request each customer to identify one person who will be the Single Point of Contact (SPOC) on the digital certificate cleanup effort for their company. The responsibility of the SPOC will be to receive the report from Qwest of current digital certificate users and to return the completed/updated report back to Qwest. Bonnie Johnson-Integra asked if the spreadsheet will be separated by Company. Sandie Tekavec-Qwest said that the report will be broken down by Company. Denise Martinez-Qwest said that the report will be going to one person based on the Company or User ID. Bonnie Johnson-Integra said that there (Comment to minutes from Eschelon 4/17/08) may would be one SPOC provided for all in the e-mail but and that they would discuss internally if necessary. 2. Each company will provide the designated SPOC information to Qwest. This information includes Company name, first and last name, email address, and phone number. This SPOC information will be emailed to a designated mailbox with a copy to their service manager. The mailbox will be provided on the final notification. 3. Qwest will then send each SPOC a list of that company’s current digital certificate users with a copy to their Service Manager. 4. The list that Qwest provides to the customer SPOC will include company name, User ID, each person’s first and last name, email address, digital certificate establishment date and current expiration date. (System will not be included.) Denise Martinez-Qwest said that we will provide all information that is available to us. 5. Qwest will provide the list sorted by name to indicate if the same person has multiple certificates. Qwest is requesting that if multiple certificates exist for the same person, the response on the report must identify which digital certificate Qwest should retain and which to delete. Qwest will then combine those multiple digital certificates into one certificate. (See sample report) Laurie Fredricksen-Integra asked if Qwest will combine beforehand. Susan Lorence-Qwest said that we will combine into one report. Kathy Stichter-Eschelon said that if we aren’t going to provide the system how will they know what to look for. Chris Tidball-Qwest said that the report will have serial numbers. He said that the serial number will be embedded in the certificate and that they will need to look at the details. Kathy Stichter-Eschelon asked if you provide all numbers would one of those be the serial number. Chris Tidball-Qwest said that you have to view the properties of the certificate to find this information. Bonnie Johnson-Integra asked if Qwest would indicate the latest request or if there was a possibility of including the last time it was used. Chris Tidball-Qwest said that we don’t have that information. NOTE: The IT Help Desk should be used for questions regarding combining of digital certificates. Otherwise questions should be directed to the designated mailbox. 6. The report will be in an excel spreadsheet which will include a column of RETAIN; this RETAIN column must be populated with either a Y to indicate Yes RETAIN or an N to indicate NO do not retain this person’s certificate. Qwest is requesting a confirmed entry for each person on the list. 7. Qwest is requesting that the cleanup list be returned within 30 days. If the cleanup list is not returned within 30 days, Qwest will send reminder notices as required to complete the task. 8. The list will be returned to the designated mailbox with a copy to their Service Manager. 9. Any User ID that is marked with NO (indicating it should NOT be retained) will be deleted by Qwest within approximately 30 days of receipt of the returned list.

See sample report below:

CompanyUSER ID (UID)First and Last Name Email Address Certificate Establishment date Certificate Expiration DateRETAIN Y OR N ABC Company 123456789 John Smith jsmith@abc.com 12/25/2007 12/25/2012 N ABC Company 987654321 Jane Doe jdoe@abc.com 12/25/2007 12/25/2012 Y Susan Lorence-Qwest said that we will be sending out the Level 4 notification next w

March 19, 2008 Product/Process CMP Meeting

Mark Coyne-Qwest presented this CR on behalf of Denise Martinez (Qwest). He said Qwest identified that there are digital certificates in existence that do not appear to be valid any longer. Qwest is proposing a process to work with each customer where they will review their current list of users to identify those that are no longer active or no longer require access. Qwest will be requesting a single point of contact from each company. Qwest will then provide a list of current users to that single point of contact for each company for review and cleanup. He said that the valid list of digital certificate users/ proposed cleanup to be completed by July 1, 2008.

Liz Balvin-Covad asked what Qwest needed from the single point of contact from each company.

Mark Coyne-Qwest stated that we will be scheduling an ad hoc meeting to review the process and provide information regarding what we need from the single point of contact. Mark said that we would provide a notification that outlines the plan following the meeting.


Open Product/Process CR PC040408-01 Detail

 
Title: Eliminating certain USOCs in South Dakota
CR Number Current Status
Date
Area Impacted Products Impacted

PC040408-01 Completed
6/18/2008
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM:

Description Of Change

Qwest will be eliminating the following USOCs in South Dakota: 2FB (2 Party Business Service), 2FR (2 Party Residence Service), 4FR (4 Party Residence Service). There are no Wholesale or Retail Customers with these services.

Qwest will be eliminating the following grandfathered USOCs in South Dakota: 9RR (Service Station Line) and LSF (Service Line). There are no Wholesale or Retail Customers with these services.


Status History


Project Meetings

6/18/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that this was effective on 6/2/08 and is in CLEC Test. He asked if there were any objections to closure. There were no objections.

5/21/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that the Level 2 notice was sent on 5/12/08 to become effective 6/2/08.

April 16, 2008 Product/Process CMP Meeting

Cindy Schwartze-Qwest said that Qwest will be eliminating the following USOCs in South Dakota: 2FB (2 Party Business Service), 2FR (2 Party Residence Service), 4FR (4 Party Residence Service). She said that there are no Wholesale or Retail Customers with these services. Cindy said that this will be effective on 6/2/08 and since there are no customers would like to submit a level 2 notice instead of a level 4 notice.

Bonnie Johnson-Integra confirmed that there were no customers using this USOC.

Cindy Schwartze-Qwest confirmed that there were no customers.

Bonnie Johnson-Integra said that she has no objection to the level 2 notice.


Open Product/Process CR PC041508-01 Detail

 
Title: ANSI PRM provisioning
CR Number Current Status
Date
Area Impacted Products Impacted

PC041508-01 Completed
7/16/2008
Provisioning Private Line, Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Ferrington, Becky
Director:
CR PM: Stecklein, Lynn

Description Of Change

ANSI PRM – Performance Report Messages is to locate the trouble source on a T-1 circuit to either the telco or customer side of the demarc. Will be provided, where available, when a customer orders service. We do not know until we design the order whether this functionality will be able to be provided. We request that the NCI code used to order this report be changed by Qwest network automatically, without a supp, to enable the continued provisioning of the service. The CLEC will be notified of the change on their

confirmation or otherwise.


Status History


Project Meetings

7/16/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that the final notification was sent on 6/10/08 and was effective on 6/25/08 and that we would like to close. There was no objection.

From: New Cr, Cmp Sent: Thursday, July 10, 2008 9:27 AM To: 'Isaacs, Kimberly D.' Subject: RE: Action required: June CMP Meeting Minutes for your review andfeedback Hi Kim,

Here is the response to the questions you submitted in the June CMP Meeting Minutes on PC041508-01 (ANSI PRM provisioning). I will include this response in the final draft of the meeting minutes and re-post them to the Qwest Wholesale Calendar.

(6/27/08 - Question received from Integra) Does this mean there are no technical constraints on ANSI PRM for Intrastate service? I am assuming that this means technically ANSI PRM would work on Intrastate DS1 but Qwest did not add it as a product in the Intrastate tariffs?

7/10/08 Qwest Response 1. Yes, there are no technical constraints on ANSI PRM for Intrastate Service. 2. ANSI PRM is a function of a DS1, not a product. You are correct, Qwest did not add it in the Intrastate tariff.

Thanks,

Lynn Stecklein Qwest Wholesale CMP

--Original Message-- From: Isaacs, Kimberly D. [mailto:kdisaacs@integratelecom.com] Sent: Friday, June 27, 2008 8:28 AM To: Stecklein, Lynn; Bloemke, Brenda; Fauscett, Kasha; Roberson, Laurie; Sonnier, Jeff J [NTK]; Stichter, Kathleen L.; jnelson@popp.com Cc: Lorence, Susan Subject: RE: Action required: June CMP Meeting Minutes for your review andfeedback

Hello,

Attached are my updates to the June CMP Product/Process meeting minutes.

Lynn, I included an additional clarifying question/request for confirmation about ANSI PRM. I would appreciate it, if you could send Qwest's response to me and post the clarification in the minutes. Thanks.

6/30/08 E-mail Sent to Integra

Hi Kim,

The Product person that can provide this specific response is out of the office through July 8. We will send the response to your request for additional clarification and make an additional revision to the meeting minutes by July 10.

Thank you and have a great afternoon! Susan Lorence Qwest CMP Manager 402 422-4999

6/18/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that the final was sent on 6/10/08 to become effective on 6/25/08. He said that there was a partial retraction on 6/12/08 because ANSI PRM does not apply to Intrastate DS1s.

Kim Isaacs-Integra asked if the partial retraction was due to technical parameters (6/27/08 - Comments to minutes received from Integra) of ANSI PRM or if ANSI PRM was just not added to the Intrastate Tariffs as a product.

Mark Coyne-Qwest stated that we will respond to Integra’s question in the meeting minutes.

6/24/08 Qwest Response

The partial retraction was done because ANSI PRM is not available in the Intrastate DS1s.

(6/27/08 - Question received from Integra) Does this mean there are no technical constraints on ANSI PRM for Intrastate service? I am assuming that this means technically ANSI PRM would work on Intrastate DS1 but Qwest did not add it as a product in the Intrastate tariffs?

5/21/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that the notice was sent on 5/20/08 with an effective date of 6/25/08.

Kim Isaacs-Integra said that the update in the provisioning and installation overview does not include the NCI code for the ANSI PRM provisioning.

Mark Coyne-Qwest asked if Kim was referring to the documentation.

Kim Isaacs-Integra said that she was and that they would like to see the specific NCI code.

Susan Lorence-Qwest said that the Tech Pub update for the new NCI code will be going out later (15 days in advance) to synch up with the 6/25/08 effective date.

Bonnie Johnson-Integra said that the codes would be critical for comments.

Susan Lorence-Qwest said that we will look at the timeline and did not think that the NCI codes would be required for the comment cycle.

Bonnie Johnson-Integra said that they would not know if they are required unless they could review them.

Susan Lorence-Qwest said that we would provide the NCI code in the meeting minutes.

5/29/08 NCI Codes associated with PC041508-01 (ANSI PRM provisioning) 04DU9.1KP 04DU9.1XP 04DU9.1NP 04DU9.1SP

4/30/08 Adhoc Meeting

Final Adhoc Meeting for Product/Process CR PC041508-01 ANSI PRM Provisioning

Attendees: Chris Terrell-AT&T, Kathy Lee - AT&T, Joe McLean - AT&T, Jeff Sonnier-Sprint, Sandra Branch-O'Neill – Qwest, Jim Hickle – Velocity; Laurie Roberson-Integra, Jan Bailey-Qwest, Becky Ferrington-Qwest, Janean VanDusen-Qwest, Diane Diebel-Qwest, Doug Slominski-Qwest, Danelle Haynes-Qwest, Vicki Dryden – Qwest, Susan Lorence-Qwest

Susan Lorence-Qwest said that the purpose of this meeting is to discuss Change Request PC041508-01, ANSI PRM Provisioning.

Becky Ferrington - Qwest identified that the CR was presented in the April CMP Meeting and provided a high level overview of the CR. Becky shared that ANSI Performance Report Messages (ANSI PRM) purpose is to locate the trouble source on a T1 circuit to either the Qwest/telco or customer side of the demarcation point. ANSI PRM will be provided where available when a customer orders service via a unique NC/NCI code, and will be added to our tech pub. When PRM is determined to not be available, Becky identified that Qwest is proposing that we change the NC/NCI to a non-PRM code and proceed with the design and remaining provisioning critical dates in order to avoid any affect on the Due Date originally send via FOC. Becky relayed that for ASR requested services, Qwest will send a Clarification Notification Request (C/NR) to advise the access customer of the new NC/NCI code. For LSR, Qwest will send an FOC with the new NC/NCI code. Doug Slominski – Qwest clarified that this is just on DS1 circuits.

Joe McLean – AT&T relayed that they are in agreement with this change.

Becky Ferrington – Qwest said that at this time there were no specific timelines that could be provided associated with the documentation updates but that there were new NC/NCIs that needed to be added to the Tech Pub.

Laurie Roberson-Integra asked if this type of PRM monitoring is a new product or whether it has been offered previously. Becky Ferrington – Qwest relayed that this product has not been historically available for any length of time; that it was an emerging service within the industry to add to T1s – especially for Access customers.

Jan Bailey - Qwest relayed that there are some circuits in existence with this technology. With this CR, Qwest is providing the customer with the capability to order it if they want it.

There was a question associated with the charges associated with ANSI PRM. Diane Diebel - Qwest clarified that there is no additional charge to put ANSI on a new circuit. However, if it is added to an existing circuit, there would be a charge. This charge is a non-recurring change order charge vs. a new charge that is standard when making the NC/NCI code changes.

There were no further questions.

Susan Lorence - Qwest closed the meeting relaying that the documentation updates would be made and submitted with the appropriate notification.

The following questions were submitted following the Ad hoc call:

04-30-08 From Kathy Lee, AT&T: When you mentioned that the changed nc/nci code would come back to the CLEC on the CNR or FOC if the PRM was not available, we looked at the forms at could not tell where this information would be. Would you please clarify what field or line would carry the new nc/nci code on both the CNR and FOC?

Qwest Response: For the ASR side and specifically the C/NR Response, Qwest intends to send an Informational CNR (no reason or jeopardy code). Specifically, the planned approach is: o Populate the CNT field with a ‘D’ (remarks information only) o Provide detail in the Remarks Section, along the lines of “ANSI PRM not available for this circuit, the original NC/NCI of xxx.xxxx has been updated by Qwest with a non-ANSI PRM NC/CNI of xxx.xxxx”

For the LSR side FOC, Qwest will also put the updated NCI information in the Remarks section.

04-30-08 From Kathy Lee, AT&T: when ANSI PRM becomes available for ordering, how will we be notified? Qwest Response: Once the documentation updates become effective through the CMP notification process, the NC/NCI codes will be available for ordering and all related supporting processes will be in place. There has not yet been a final target effective date established. 4/16/08 Product/Process CMP Meeting

Janean Van Dusen-Qwest stated that Qwest ANSI PRM – Performance Report Messages is to locate the trouble source on a T-1 circuit to either the Telco or customer side of the demarc. She said this will be provided, where available, when a customer orders service. Janean said that we do not know until we design the order whether this functionality will be able to be provided. She said that we are requesting that the NCI code be used to order this report be changed by Qwest network automatically, without a supp, to enable the continued provisioning of the service. She said that the CLEC will be notified of the change to the LSR with a re-FOC and the ASR a CNR will be sent with the changed information. She said that an adhoc meeting will be scheduled to discuss this request further.


Open Product/Process CR PC042308-01 Detail

 
Title: Grandfathering certain listing USOCs
CR Number Current Status
Date
Area Impacted Products Impacted

PC042308-01 Completed
7/16/2008
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest will be grandfathering the following listing USOC’s

ENU (Special Reverse Charge LD Listing –Residence and Business) – in Colorado and Iowa.

SZS (WATS Listing), 9FK (TAS Bureau Listing), and L96 (Mobile Radio Listing) – in Colorado, So. Idaho, Utah, and Wyoming.

LMS (Mobile Unit Number Listing) – in Colorado, Utah and Wyoming.

There are no Wholesale customers currently with the ENU, SZS, L96 or LMS USOCs.

There are currently 31 Resale customers with the 9FK (TAS Bureau Listing).


Status History


Project Meetings

7/16/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that the final notification was sent on 6/16/08 and was effective 7/1/08 and that we would like to close. There was no objection.

6/18/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that the final will go out on 6/16/08 to become effective 7/1/08.

5/21/08 Product/Process CMP Meeting

Cindy Schwartze-Qwest said that we will be grandfathering the following listing USOC’s: ENU (Special Reverse Charge LD Listing –Residence and Business) – in Colorado and Iowa, SZS (WATS Listing), 9FK (TAS Bureau Listing), and L96 (Mobile Radio Listing) – in Colorado, So. Idaho, Utah, and Wyoming. LMS (Mobile Unit Number Listing) – in Colorado, Utah and Wyoming. Cindy said that there are no Wholesale customers currently with the ENU, SZS, L96 or LMS USOCs and there are currently 31 Resale customers with the 9FK (TAS Bureau Listing). Cindy said that the proposed effective date is 7/1/08. Bonnie Johnson-Integra asked if Qwest was going to contact those Wholesale Customer’s with these USOCs. Cindy Schwartze-Qwest said that we are only grandfathering these USOCs and not sunsetting at this time. She said that these customers can have these USOCs until we sunset.


Open Product/Process CR PC060208-01 Detail

 
Title: Local Questionnaire Billing Media format Change Process
CR Number Current Status
Date
Area Impacted Products Impacted

PC060208-01 Completed
9/17/2008
Customer Questionnaire Processing
Originator: Dimmitt, Jan
Originator Company Name: Qwest Corporation
Owner: Dimmitt, Jan
Director:
CR PM: Stecklein, Lynn

Description Of Change

Add customer instructions to sections 2.11 and 2.12 of Facility Based Questionnaire.

Add customer instructions to section 2.11 of Resale Questionnaire

The added language requires customers to provide required information earlier and in a different manner than what is occurring today:

If the customer sends in an “UPDATE” to their questionnaire to change their Billing Media Format, Qwest desires to quickly fulfill the request.

Today the questionnaire is reviewed and interactions begin between the implementation team and service management to obtain a list of the impacted summary bans. This usually involves a call to the customer to create a spread sheet outlining the summary ban list. Many times this interaction results in several phone calls and potential delays from days to weeks.

Qwest would like to better manage this request to update media options more quickly by requiring the customer to provide Qwest with a list of their Summary BANS that are affected with their updated questionnaire. We are proposing that our customers attach the list of affected Summary BANS to the email that includes the updated questionnaire and include a copy to the customer’s assigned Service Manager.


Status History


Project Meetings

9/17/08 Product/Process CMP Meeting

Susan Lorence-Qwest said that the final notice was sent on 8/15/08 and that we would like to close this CR.

There was no objection to closure.

8/20/08 Product/Process CMP Meetig

Mark Coyne-Qwest said that the final notice was sent on 8/15/08 and is now in CLEC Test. We will revisit this CR in September.

7/16/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that the notice for this request will go out later this week.

6/18/08 Product/Process CMP Meeting

Jan Dimmit-Qwest said that Qwest has a strong desire to better manage the questionnaire media updates to get your change request done more quickly. Qwest is asking the CLECs to send in their list of Summary BANS along with the updated questionnaire to the WSST@qwest.com with a copy to their Service Manager. Qwest believes by providing the Summary BAN List earlier (at the same time the CLEC sends in their questionnaire update), there may be a reduction in the number of calls and emails between teams that may help us to fulfill the change request sooner.

Kim Isaacs-Integra asked if this was the same Summary BAN list that (6/27/08 Comment received from Integra) Qwest asks for after the Questionnaire is submitted today.

Jan Dimmitt-Qwest said that it was.

Kim Isaacs-Integra asked if the Summary BAN list was required when changing contact information and asked if Qwest (6/27/08 - Comments to minutes received from Integra) would consider including a tentative effective date as to when Qwest thinks the requested questionnaire updates will be done or a notification on when the updates have been completed by Qwest.

Jan Dimmit-Qwest said that she will take this as an action item.

6/24/08 Qwest Response

1. Yes, when changing the billing name or media format, the summary BAN list is required. If you are only changing the contact at your current billing location, then a Summary BAN list is not required.

2. Today, when Qwest receives an update to the questionnaire, Qwest provides an acknowledgement that we have received the request and we are working on it. Based on additional discussion with the various work groups that act on the requested questionnaire updates, it has been determined that it is not feasible to provide a tentative effective date due to the variations in policy and process within each organization


Open Product/Process CR PC060308-01 Detail

 
Title: Modifications to PDR Forms to Provide Additional Information on Pole Attachments
CR Number Current Status
Date
Area Impacted Products Impacted

PC060308-01 Completed
9/17/2008
Pre-Ordering, Ordering PDR
Originator: Buckmaster, Cindy
Originator Company Name: Qwest Corporation
Owner: Buckmaster, Cindy
Director:
CR PM: Lorence, Susan

Description Of Change

Added form and required information in order to ensure safe load on aerial runs.


Status History


Project Meetings

9/17/08 Product/Process CMP Meeting

Susan Lorence-Qwest said that the final notice was sent on 8/14/08 with an effective of 8/29/08 and Qwest would like to close this CR.

There was no objection to closure.

8/20/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that the final notice was sent on 8/14/08 and is now in CLEC Test. We will revisit this CR in September.

7/16/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that the notice for this request went out on 7/15/08.

6/18/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that this request is for modifications to the PDR Form to provide additional information on pole attachments. He said that the added form and required information is to ensure safe load on aerial run.

Kim Isaacs-Integra said that she was not familiar with what is a safe load and asked if it had to do with the weight of the cable.

Mark Coyne-Qwest said that it was associated with the weight of the cable.

Kim Isaacs-Integra asked if the definition of safe load will be included in any updates.

Cindy Buckmaster-Qwest confirmed that safe load is related to the weight of the aerial from an engineering perspective.

Mark Coyne-Qwest asked if the definition would be included in the documentation.

Cindy Buckmaster-Qwest said that she would check with engineering. She said that the definition is located in the telcordia Q&A information. She said that she would check to see if the information could be added to the PCAT.


Open Product/Process CR PC060508-01CM Detail

 
Title: Add New Level 2 Change Category in Section 5.4.3 of CMP Document
CR Number Current Status
Date
Area Impacted Products Impacted

PC060508-01CM Denied
7/27/2009
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM:

Description Of Change

Add New Level 2 Change Category in Section 5.4.3 of CMP Document that states: Limiting or discontinuing the availability and applicability or functionality of an existing product or existing feature as a result of a tariff filing where no wholesale customers are impacted.


Status History


Project Meetings

7/16/08 Product/Process CMP Meeting

Mark Coyne-Qwest stated that Qwest would like to add a new Level 2 Change Category in Section 5.4.3 of the CMP Document. He said that this CR was presented in the June Product/Process CMP meeting and that today we will be conducting the vote. Lynn Stecklein-Qwest stated that Qwest would like to add a New Level 2 Change Category in Section 5.4.3 of CMP Document that states: Limiting or discontinuing the availability and applicability or functionality of an existing product or existing feature as a result of a tariff filing where no wholesale customers are impacted. She reviewed the ‘yes’ and ‘no’ vote.

A vote of ‘Yes’ will indicate a preference that updates be made to the CMP Document as identified in the attached document.

A vote of ‘No’ will indicate a preference that updates should not be made to the CMP Document as identified in the attached document.

Lynn said the incorporating a change into the Change Management Process requires unanimous agreement and that 2 ‘yes’ votes were received via e-mail – Qwest and Sprint. The results of the vote were as follows:

AT&T – Yes Comcast – Yes Covad – Abstain Integra - No Verizon – Yes Velocity – No XO – Yes

Lynn said that as stated earlier this type of change required a unanimous vote. This request will be not granted.

Susan Lorence-Qwest asked if there was any way that we could change the wording to make it possible to make this change.

Kim Isaacs-Integra said that the existing process works and that they like having it presented in CMP to allow for the extra security and scrutiny. She also said that with the current process we can agree in the CMP meeting to (7/24/08 Comments to minutes received from Integra) to have the notification sent out as a Level 2.

Jim Hickle-Velocity said that he agreed with Integra.

Susan Lorence-Qwest thanked Integra and Velocity for their comments

6/18/08 Product/Process CMP Meeting

Mark Coyne-Qwest stated that Qwest would like to add a new Level 2 Change Category in Section 5.4.3 of the CMP Document that states: Limiting or discontinuing the availability and applicability or functionality of an existing product or existing product or existing feature as a result of a tariff filing where no wholesale customers are impacted. Mark said that today we submit the change as a Level 4 and make a request in the monthly CMP meeting to submit as a Level 2 when there are no customers. He said that this change will streamline that process. He said that there was a similar request awhile back and one CLEC opposed the change. He said that CLEC is no longer an active CMP member. Mark said that we will conduct the vote in July.


Open Product/Process CR PC061208-01 Detail

 
Title: Grandfathering and eliminating certain USOCs in North Dakota
CR Number Current Status
Date
Area Impacted Products Impacted

PC061208-01 Completed
11/19/2008
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest will be grandfathering the following USOCs in North Dakota: 7FB (Business Incoming Only Line) and JUL (Joint User Listing). There are currently 21 Wholesale customers with the Joint User Listing.

Qwest will be eliminating the following USOCs in North Dakota: 1SP (Flat Public Access Line-Two Way), 852 (Coin-Outward), G7N (Flat Public Access Line). There are no Wholesale or Retail Customers with these services.


Status History


Project Meetings

11/19/08 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this request was effective on 11/9/08 and asked if there was any objection to closure.

There was no objection to closure

10/15/08 Product/Process CMP Meeting

Mark Coyne – Qwest stated that notification was sent on September 25th and will become effective November 9th.

9/17/08 Product/Process CMP Meeting

Susan Lorence-Qwest said that this CR is on hold and will remain in development.

Bonnie Johnson-Integra asked if there were any CLEC customers that have these USOCs in North Dakota.

Lynn Stecklein-Qwest said that when we presented the CR we did communicate that there were 21 wholesale customers with the joint user listing.

Bonnie Johnson-Integra verified Qwest meant said that these are not 21 end user customers but are 21 wholesale customers that have that USOC.

8/20/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that the Qwest SMEs are currently working on the details for this notice.

7/16/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that the notice for this request will go out next week

6/18/08 Product/Process CMP Meeting

Lynn Stecklein-Qwest stated that Qwest will be grandfathering the following USOCs in North Dakota: 7FB (Business Incoming Only Line) and JUL (Joint User Listing). There are currently 21 Wholesale customers with the Joint User Listing. Qwest will be eliminating the following USOCs in North Dakota: 1SP (Flat Public Access Line-Two Way), 852 (Coin-Outward), G7N (Flat Public Access Line). There are no Wholesale or Retail Customers with these services.


Open Product/Process CR PC062408-01 Detail

 
Title: Grandfather QCB Packages
CR Number Current Status
Date
Area Impacted Products Impacted

PC062408-01 Withdrawn
9/17/2008
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest will be grandfathering the following Business Packages: PGOQL (Choice Business ), PGOQM (Choice Business Plus), PGOQN (Choice Business Add-A-Line), and PGOQT (Choice Business Prime) in all 14 states. There are currently 466 wholesale customers with these packages. These same packages will be grandfathered within the Purchase Plus Reward pricing plan . There are currently no wholesale customers with this pricing plan. Additionally, the pricing plan Qwest Line

Volume Advantage (QLVA) will also be grandfathered. There is currently one wholesale customer with the plan.


Status History


Project Meetings

9/17/08 Product/Process CMP Meeting

Susan Lorence-Qwest said that Qwest will be withdrawing this CR and we are re-looking at these services. The status will change to withdrawn.

Bonnie Johnson-Integra asked if there any customers with the QCB packages.

Susan Lorence-Qwest said that we were going to be withdrawing this CR.

8/20/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that this notice should be sent out in the next couple of weeks.

7/16/08 Product/Product CMP Meeting

Cindy Schwartze-Qwest that Qwest will be grandfathering the following Business Packages: PGOQL (Choice Business), PGOQM (Choice Business Plus), PGOQN (Choice Business Add-A-Line), and PGOQT (Choice Business Prime) in all 14 states. There are currently 466 wholesale customers with these packages. These same packages will be grandfathered within the Purchase Plus Reward pricing plan. There are currently no wholesale customers with this pricing plan. Additionally, the pricing plan Qwest Line Volume Advantage (QLVA) will also be grandfathered. There is currently one wholesale customer with the plan. Cindy said that the proposed implementation if 10/20/08 and the proposed sunset date is 10/20/09.

Kim Isaacs-Integra asked if all customers need to be moved off these packages on 10/20/09.

Cindy Schwartze-Qwest said yes.

Kim Isaacs-Integra asked if Qwest would be notifying those customers impacted.

Cindy Schwartze-Qwest said that they would be notified if they have customers impacted and they would work with their Service Manager. Cindy said that the sunset date may change and that we will be looking at introducing new package plans that customer’s could move to on the sunset date.


Open Product/Process CR PC090208-1CM Detail

 
Title: IMA Application to Application Support Change Change to CMP Doc
CR Number Current Status
Date
Area Impacted Products Impacted

PC090208-1CM Withdrawn
5/20/2015
Originator: Lorence, Susan
Originator Company Name: Qwest Corporation
Owner: Coyne, Mark
Director:
CR PM: Lorence, Susan

Description Of Change

With the implementation of XML in October 2006, the transition to a new release has been greatly simplified, is less costly, and the migration process occurs much more easily.

Qwest is proposing that a change be made to how we support the previous Major Release of the Interconnect Mediated Access (IMA) Application-to-Application interface. Rather than supporting a previous release for 180 days, Qwest is proposing that the previous release be supported for a 60 (sixty) calendar day period after the subsequent Major Release of IMA has been implemented. As part of this change, Qwest is proposing a change to how long a release can be extended and a clarification of the process when a CLEC fails to successfully migrate to the next release in the required timeframe.

Qwest is also proposing that the language associated with the number of IMA releases which will be supported be modified to reflect what has been the Qwest standard operating practice since IMA 16 in 2004. The practice has been to implement two Major Releases and two Point Releases, if necessary, (for IMA only) within a calendar year.

Qwest is proposing updating the CMP Document to support this operating standard.

Expected Deliverables/Proposed Implementation Date (if applicable):

Proposed implementation of April 2009 with IMA 25.0; IMA 24.0 would be retired 60 days after IMA 25.0, i.e., June 2009


Status History


Project Meetings

5/20/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this CenturyLink CR originated in 2008 after the implementation of XML in October 2006. Mark said the CR was associated with a proposal to reduce the number of days a previous IMA release was supported. After a CMP vote in 2009, this CR was moved to a Deferred status. CenturyLink is proposing we move this CR to a Withdrawn status and asked if there were any questions or concerns. There were none.

11/14/12 Product/Process CMP Meeting Mark Coyne - CenturyLink said this CR was on the Deferred list and that CenturyLink has moved it back to a Deferred status at this time. Mark said CenturyLink will continue to evaluate the timeframes.

10/17/12 Product/Process CMP Meeting Mark Coyne - CenturyLink said this was also on the Deferred list and that we are still evaluating this CR and will either move it to Pending Withdrawal for November or share some status.

08/15/12 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed that in the July meeting, CenturyLink had asked the owner of each Deferred CR to determine if it should remain in Deferred status, is it should be Withdrawn, or whether it should be re- evaluated. Mark then reviewed the status of each CR as listed on the Attachment:

PC090208-1CM - IMA Application to Application Support Change Change to CMP Doc – Still under investigation.

1/21/09 Prod/Proc CMP Meeting

Lynn Stecklein-Qwest stated that this CR is proposing updates that a change be made to how we support the previous Major Release of the IMA Application-to-Application Interface. She said the redline is located in Attachment E of the distribution package that provides the detail on the changes that have been discussed in adhoc and CMP monthly meetings. Bonnie Johnson-Integra said that during the last adhoc meeting, Integra said they would not agree to the change where Qwest is proposing to change from 3 major releases to 2 because there may be a potential regulatory change Qwest needs to meet outside of the scheduled releases. (1/30/09 Comments to Minutes received from Integra) Bonnie said Integra may agree to something like the CLECs that migrated the last 30 days. Integra believed Qwest was going to change this language. She said that Integra also did not agree to the change where Qwest will confirm with the last CLEC migration off the previous release. Bonnie said that because of these proposed changes as still in the document, Integra will be voting no. Lynn Stecklein-Qwest said Quorum for this vote is 8 and has been achieved. She said that Section 2.1 of the CMP document states that incorporating a change into the Change Management Process requires unanimous agreement. Lynn said that a vote of ‘Yes’ will indicate a preference that updates be made to the CMP Document as identified in the attached document. A vote of ‘No’ will indicate a preference that updates should not be made to the CMP Document as identified in the attached document. Qwest has received 2 e-mail votes, one from Sprint who voted yes and 1 from Velocity who abstained. AT&T - Yes Covad - Abstain Comcast - No Integra - No McLeod/Paetec - No Sprint – Yes Qwest – Yes Time Warner - Yes Velocity – Abstain Verizon Business – No

In this vote, conducted in accordance with Section 16.4 and 17.0 of the CMP Document, the participants voted not to grant the requested change that a change be made to how we support the previous Major Release of the IMA Application-to-Application Interface.

1/12/09 Clarification Meeting

Doug Allen-AT&T, Gloria Velez-AT&T, Dawn Beck-Qwest, Susan Lorence-Qwest, Lynn Stecklein-Qwest

Doug Allen-AT&T asked if the 12/1/08 update was for IMA only.

Dawn Beck-Qwest said that we were referring to the XML interface.

Susan Lorence-Qwest said that we are trying to relay that all other app to app interfaces will continue to have a 73 day notification timeline but in the case of IMA we will use a 90 day timeline.

Doug Allen-AT&T asked if the 90 day days won’t change.

Susan Lorence-Qwest said that we will send the draft tech specs at 90 days but we will allow the rest of that section to remain with the timelines that are there. She said that we are going to send the draft specs 90 days prior to the implementation and the walk though will be within the 58 to 68 day timeframe. She said that we weren’t going to change that and it gives them a much longer time and a longer comment cycle.

Gloria Velez-AT&t said that Qwest is changing the 73 day timeframe to 90 days as it relates to the draft. She said that is the difference between 73 and 90 calendar days or 17 days.

Susan Lorence-Qwest said that we are sending them earlier but the important thing to remember is that we are just lengthening your comment cycle. The final goes out in the 45 day timeframe.

Gloria Velez-AT&T said that having a longer comment cycle might be good for some. She said that they are trying to start working on their internal requirements sooner.

Dawn Beck-Qwest said that Qwest was asked to provide the draft earlier.

Gloria Velez-AT&T said that she was not sure that there was an agreement to 90 days there but that it was only discussion.

Doug Allen-AT&T said that there was discussion but no final agreement.

Susan Lorence-Qwest said that there was an agreement of what our proposal was.

Dawn Beck-Qwest said that that the 73 days was always was in our original draft and now we are trying to provide 90 days.

Gloria Velez-AT&T said that since the final is not changing there is a longer period from draft to final.

Dawn Beck-Qwest said that you are going to get notified when changes occur between draft and final. She said that if there are changes to developer worksheets we keep a running log and make changes to the final.

Gloria Velez-AT&T asked if when you do find changes to the worksheets is Qwest sending another versions of the developer worksheets.

Dawn Beck-Qwest said that we show what is changing from and to and the changes are very clear.

Gloria Velez-AT&T asked if the information is in the actual e-mail body or in the links.

Dawn Beck-Qwest said that it is in the document sent.

Susan Lorence-Qwest asked how we know who to send it to.

Dawn Beck-Qwest said via the subscription process.

Gloria Velez-AT&T said that they have difficulty on the changes being made and asked if the changes would be in the e-mail and is the word document attached.

Dawn Beck-Qwest said yes the documents will be attached.

Gloria Velez-AT&T asked for clarification on the exception process.

Dawn Beck-Qwest said that occasionally a late adder is requested in a release and goes through the formal CMP review.

Doug Allen-AT&T asked if everyone has to vote.

Dawn Beck-Qwest said yes and the vote has to be unanimous.

Susan Lorence-Qwest said that the voting process is in Section 16.4 of the CMP document and if it has anything to do with a systems request or changes any part of the CMP Document a unanimous vote is required.

Dawn Beck-Qwest said that an example of this was the LNP FCC order that order that came out very late and were not able to meet a 73 day timeline. She said that we had an exception for a point release and that we took a vote to meet the mandated date.

Dawn Beck-Qwest said that is the only time that she could remember where we have used the process.

Gloria Velez-AT&T said that in the past other people have asked that Qwest provide the draft prior to the 73 day timeline and it was not well received. She said now Qwest is interested in changing the timeline and asked why. She said her fear with this language unless an exception is granted is that they could see an issue with the timeline.

Dawn Beck-Qwest said that may have been true in the past because of the complexity of EDI and that we could not turnaround as quickly as we can now with XML. She said that is why Qwest submitted this CR and also because the releases are now half of what they used to be.

Gloria Velez-AT&T said that based on her knowledge what would be the future likelihood of going through the exception process.

Dawn Beck-Qwest said that it would be highly unlikely. Gloria Velez-AT&T asked if it would only be CLEC initiated not associated with internal Qwe work, i.e. trouble tickets that would impact CLEC work.

Dawn Beck- Qwest said that if there was a problem with trouble tickets that would mean that we would have a bug in our systems that would go through the event notification process and would be how we would fix and resolve and is a totally different process and team.

Gloria Velez-AT&T asked for confirmation on the published dates they provide at day-90 are the firm dates and are not tentative and/or subject to change.

Dawn Beck-Qwest said that yes the only time it would be tentative is in the event that Qwest is going through, for example, through contract negotiations.

Gloria Velez-AT&T said that she would take this information back to her internal teams and asked when the vote would take place.

Lynn Stecklein-Qwest said that the vote is scheduled on January 21st and to send any questions to CMP CR.

12/17/08 Product/Process CMP Meeting Susan Lorence-Qwest said that we have revised the redline from the feedback we received in the November CMP Meeting. She said that in Section 8.0 under Application to Application OSS Interface we are proposing to add the following: Prior to Retiring the IMA Release, Qwest will confirm with the last CLECs that the migration was completed successfully. She said that we also removed the wording “no later than 30 days prior to the planned retirement date”. Susan said that in Section 8.1.1 Draft Interface Technical Specifications we are proposing to add the following “For IMA Only, Qwest will issue draft Technical Specifications no later than ninety calendar days prior to the implementation date unless an exception has been granted. Susan said that we are also proposing specific to IMA planned available migration dates.

Bonnie Johnson-Integra said that they don’t have questions now but will let us know if they do.

Doug Allen-AT&T said that he will also take this information back and let us know if they have questions.

Samia Majid-Accenture said that they are not thrilled with this change and asked why this change was originated. Susan Lorence-Qwest said that eventually we won’t always be granting a 30 day extension and we want to work towards accommodating the CLECs so that they can migrate earlier.

Susan Lorence-Qwest said that we will propose a vote in the January CMP meeting and we will include this redline.

Mark Coyne-Qwest said that we will address questions from those CLECs that have concerns

11/19/08 Product/Process CMP Meeting Susan Lorence-Qwest said that we discussed this change in last month’s meeting and in the adhoc meeting held on 10/7/08. She said that we have revised the original redline with the new proposed updates. (See redline posted to the Wholesale Calendar) Susan said that in Section 8.0 we left the wording associated with “Qwest standard operating practice…” She said that we had originally proposed a change but left the wording “Qwest will implement no more that four (4) releases”.

Bonnie Johnson-Integra said that she wanted to add the language that “all CLECs agree”.

Mark Coyne-Qwest asked what would be the benefit if all CLECs had migrated off.

Bonnie Johnson-Integra said that Qwest may be having a major issue or the industry may require an additional release and that we had this discussion in the adhoc meeting.

Susan Lorence-Qwest said that we would consider.

Dawn Beck-Qwest said that if there is a problem with the migration we would know by that Sunday (or in 5 days). She said that if we had to roll a CLEC back then they are not considered to have been migrated and will still have to schedule a migration. She also pointed out that we have never rolled back a customer.

Bonnie Johnson-Integra said that she couldn’t imagine why a CLEC wouldn’t agree and asked what the harm is.

Dawn Beck-Qwest said if it would require a CMP vote then there wouldn't be much point due to the timely process, the release would already have retired by the time the vote was taken.

Gloria Velez-AT&T said that the track record is good but that is not a guarantee (11/26/08 Comments to minutes received from Integra) for the future.

Susan Lorence-Qwest said that we could add language that would have the last Carrier migrating send an e-mail with their concurrence and ok.

Jeff Sonnier-Sprint asked if he could no longer skip a release. He said that he did not think any CLEC would be able to skip releases with the 150 + 30 day extension = 180 days.

Dawn Beck-Qwest said that since migrating onto XML, CLECs haven’t been able to skip releases.

Jeff Sonnier-Sprint said that he has.

Dawn Beck-Qwest said that Sprint skipped 20 and with pre-XML went from 17, 19, and 21. Jeff Sonnier-Sprint said that most releases have no impact on Sprint and he likes being able to skip a release so that he isn't wasting resources.

Dawn Beck-Qwest said that with only 2 releases per year you go to the next release and the answer would be no a CLEC will not be able to skip a release.

Susan Lorence-Qwest said that with XML it is easier to migrate to a release. Susan said that the next change is based on feedback and we changed to timeline to 150 days.

Dawn Beck-Qwest said that in most cases you can just change the release number in the TPID section and do a singular order test case when no changes in the IMA release impact the CLECs implemented products. She said that you can’t technically skip releases with the Qwest release test cycle.

Gloria Velez-AT&T said that Qwest is now talking about 150 days.

Dawn Beck-Qwest said that AT&T indicated that they needed the 180 days and Qwest is technically still giving them the 180 days if they need it (150+30 days).

Susan Lorence-Qwest said that any CLEC can submit a CR and we will guarantee an extension of up to 30 days and no vote will be required.

Gloria Velez-AT&T asked if this required a unanimous vote.

Susan Lorence-Qwest said that a vote is required only for a CMP Document language change.

Gloria Velez-AT&T said that there is too much overhead to go through the CR process.

Julia Redman-Carter-McLeodUSA asked if there would ever be a situation when everyone would be migrated prior to the 30 days before the extension requested.

Dawn Beck-Qwest said that every CLEC would be migrated before the retirement of the release.

Julia Redman-Carter-McLeodUSA said if there are multiple migration dates and on day 140 (11/26/08 Comments to minutes received from Integra) a CLEC determines they want a 30 day extension. However, the CLEC didn’t put the request in by day 120 (referring to the required 30 days prior to the 150 day to get the extension) because the CLEC was not migrated prior to day 120 and CLEC did not have an opportunity to determine that they need the extension until the 145th day. Based on the current language , the CLEC may not get the 30 day extension because they didn’t give notice by the 120th day. She said that she would like to see language that would protect the CLEC if they miss the extension notice period or an exception to give them the extension without the 30-day prior notice.

Dawn Beck-Qwest said that she can see the point that Julia was making.

Susan Lorence-Qwest said that we will take this offline to see if there is something that can be done.

Bonnie Johnson-Integra said that they won’t agree with the requirement of the having to submit the request extension by the 120 day deadline.

Susan Lorence-Qwest said that the next change corrected the word “migration” to “implementation in Section 8.0.

Bonnie Johnson-Integra said that they won’t agree to the change on page 1 where the 3 major releases was changed to 2.

CLEC – said that in Section 8.17 it should say unless an extension has been requested.

Susan Lorence-Qwest said that figure 4 has been updated with changes.

Bonnie Johnson-Integra said that you can’t always identify what is going to happen in the future. She said what if Qwest decides to go back to EDI. She said that some CLECs were opposed to XML (11/26/08 Comments to minutes received from Integra) and Qwest implemented it anyway.

She said that Qwest would vote no if the CLECs submitted a CR to change back to the 180 day timeline. She said that several CLECs have said that they need the 180 days but Qwest changed it to 150 days.

Susan Lorence-Qwest said that we are trying to move forward because it is so easier to migrate to XML.

Bonnie Johnson-Integra asked what is gained with the 180 days and what is the benefit if Qwest knows there will always be three CLECs asking for the extension.

Dawn Beck-Qwest said that at some point those CLECs that Integra mentioned will not be asking for an extension. She said that in the beginning of EDI, extensions were always requested but in the last few EDI releases requests for extensions have tapered off and the releases are less impacting.

Bonnie Johnson-Integra said that there used to be 120k hours in a release and now Qwest has reduced the hours to 20k per year. She said that we are not making any headway with the extension.

Susan Lorence-Qwest said that we can regroup to review everyone’s feedback.

Jeff Sonnier-Sprint said that he can live with 150 days.

Gloria Velez-AT&T said that there was some discussion about the length of notification timeframes for business rules and tech specs (73 days)

Dawn Beck-Qwest said that we are not offering that extension anymore because we aren’t looking at the 60 day timeframe.

Susan Lorence-Qwest said that we can look at the migration schedule 90 days prior to the release.

Gloria Velez-AT&T said that Qwest keeps saying that it is ‘easier’ but Qwest does not understand the CLEC side of it. She asked if Qwest has changed the language to provide the cut dates sooner.

Dawn Beck-Qwest said that we don’t have the language out there today.

Gloria Velez-AT&T said that the current process has been working fine and that this change has no benefit to the CLEC.

Dawn Beck-Qwest said that we removed the language requiring the vote for the extension and would be a benefit to the CLEC.

Bonnie Johnson-Integra said that the CLECs are saying that there is no benefit and that there has to be give and take.

Susan Lorence-Qwest disagreed and said that we tried to modify the proposal based on feedback.

Gloria Velez-AT&T asked if there would ever be a timeline where there is only 1 release.

Dawn Beck-Qwest said that there could possibly be 30 days with 1 release.

Mark Coyne-Qwest said that we will regroup and look at next steps.

10/15/08 Product/Process CMP Meeting

Mark Coyne – Qwest stated that this CR was presented in the September CMP Meeting. Susan Lorence – Qwest said that there was an ad hoc call on October 7th and that the proposed changes were reviewed. Susan noted that Qwest is re-evaluating the proposal and options. Susan stated that we are looking at 120 day option instead of the 60 day option. Susan said that we are looking at guaranteeing an extension of 30 days with caveats prior to the sunset date. Susan said that no vote may be required. Susan said that Qwest is looking at posting the migration windows earlier on the Wholesale Calendar. Susan said that if all customers are migrated we are proposing to sunset early. Susan said that we are reviewing the CMP Document and will submit redlines prior to the November meeting and that we may request an adhoc meeting. Susan said that there could be a vote in December CMP Meeting. . Jeff Sonnier – Sprint asked if there was going to be a vote today. Susan Lorence – Qwest said no. Bonnie Johnson – Integra said that if Qwest is proposing to a change to sunset early and is developing language re: if all customers migrate, then there needs to be by a vote and it has to be unanimous. Susan Lorence – Qwest said that we would take a look at that. Bonnie Johnson – Integra said that she wanted to ask the question surrounding the proposal of 120 days. She told Qwest that Qwest should make sure that there are no CLECs that cannot live without the 180 days. Susan Lorence – Qwest said that if that is the case this proposal would be retracted. Jeff Sonnier – Sprint said that he needs 180 days because of their long and drawn out process, Mark Coyne – Qwest stated that he was hearing that Sprint would vote no on anything less then 180 days. Jeff Sonnier – Sprint said that was correct and even with the 180 days they are still scrambling. He said they have to skip a release now. Susan Lorence – Qwest said based on this discussion we need to review internally to see what to do with this CR. Bonnie Johnson – Integra said she was not sure if all of the changes were related to 180 days. Susan Lorence – Qwest said that Qwest would regroup due to today’s discussion. Leilani Hines – Verizon said that she agreed with Sprint and that they need more time and she would vote no on this request. Susan Lorence – Qwest thanked all for the feedback. Gloria Velez – AT&T clarified that the change to the 90 day notice is when you publish 90 days prior to the next release production date and when they go into production from that date that one they would use. Susan Lorence – Qwest stated that the 90 days prior to the next Release production date would be the firm date if we go forward with this CR.

CMP Adhoc Meeting PC090208-01CM Application to Application Support Change – Change to CMP Doc October 7, 2008

Attendees: Kathy Stamps-Level 3, Doug Allen-AT&T, Tim Kagle-Comcast, Kim Isaacs-Integra, Bonnie Johnson-Integra, Julie Stearns-Integra, Loriann Burke- XO Communications, Jim Hickle-Velocity, Dawn Beck-Qwest, Gloria Velez-AT&T, Bennet Pang-Comcast, Cim Chambers-Qwest, Gary Sallee-Qwest, Susan Lorence-Qwest, Lynn Stecklein-Qwest Susan Lorence-Qwest stated that the redline document and matrix that would be discussed in this meeting can be found at: http://www.qwest.com/wholesale/calendar/ Susan Lorence-Qwest stated that with the implementation of XML in 2006and based on Customer feedback, the implementation of a release becomes a much more simplified process. She said that Qwest is proposing shortening the window an old release stays in production after a new release is implemented. She said that changing the implementation timeline would require a change to the CMP Document. She said that an old release now stays in production for 180 days and Qwest is proposing shortening that timeframe to 60 days. She said that in Section 8.0 of the CMP document (Application-to-Application) is cleanup to be more representative of our current practice. Our standard practice for a number of years has been 2 releases per year and a point release if necessary. Bonnie Johnson-Integra said that she has no questions now and understands the change. (10/15/08 Comments to minutes received from Integra) She said she may not agree with the change. Bonnie said she will let Susan explain the changes and then comment rather than commenting on each change. Susan Lorence-Qwest said that we took out segment sentence in the event that IMA major release are implemented more than 6 months apart and with this change the releases will still be implemented approximately 6 months apart. She said that in the sentence that says ‘any CLEC desiring to delay retirement of the previous release’. She said that ‘in the event’ was no longer appropriate. She said that Qwest will review and grant an extension of the planned retirement date up to additional 30 days and our intent is to maintain no more than 2 releases in production at anytime. Gloria Velez-AT&T clarified that if a company wanted to request an extension of an additional 30 days they would have to issue a CR and go through the approval process. Susan Lorence-Qwest said that is the process. Gloria Velez-AT&T confirmed that there is no guarantee with this language that if a customer needed the extension it would be granted and is subject to some type of approval. Cim Chambers-Qwest said there was one instance where this type of request was not granted because the request extended beyond what we were able to support .She said we would have been supporting an additional release in production. She said that it got scaled back and we weren’t able to meet the entire request. Gloria Velez-AT&T said that Qwest maintains no more than 2 major releases in production and was trying to correlate the language to the matrix. She said that when she looks at the proposed chart she did not see how there would be 2 releases up. Susan Lorence-Qwest said that in this instance Qwest will maintain no more than 2 releases. She said that the upcoming release is scheduled on October 20, 2008 and would have IMA 23.0 and IMA 24.0 in production. Gloria Velez-AT&T said that with the new proposal release B comes into play in October and release A goes away in December and when December comes around there is only release B. Lan Nyugen-Neustar said that if you look at next year’s calendar between June and October the only release in production would be IMA 25.0. Susan Lorence-Qwest said that this wording says that we would not have anymore than 2 releases but we don’t guarantee that we would have more than 2 at all times. Gloria Velez-AT&T said that until you implement your next release you will only have 1 release up which is different than what is happening today with the 180 day window. Bennet Pang-Comcast said that with IMA 25.0 and ongoing you would have 60 days with 2 releases at the same time and 120 days with a single release and then 60 days with 2 releases and then 120 days in a single release in that pattern. He said that the language (10/16/08 -Comments to minutes from Comcast) in the CMP Document does not reflect that. Susan Lorence-Qwest said that we can highlight that sentence and consider how we can modify. Leo Dimitriadus-AT&T said that once you implement for example IMA 24.0 you are giving 60 days to move off of IMA 23.0 unless you request an extension and could mean 90 days. He said that he understands the need for Qwest but it may not conform to their schedule. He said that the way Qwest has been doing it so far has worked for them at least from their release schedules. He said that the planning cycle is not the issue it is the release support date that we have to use to upgrade to Qwest release dates. Susan Lorence-Qwest said that we want to discuss all options and would like to get through the changes 1st. She said that the next change is in Section 8.1.7 that is associated with the release documentation addenda to go from 180 days to 60days. She said that there was a sentence at the end of the bullet that says ‘CLEC are not required to support all new releases’. She said that with this proposed change this sentence no longer applies because once the 60 day or with the 90 day extension has occurred every CLEC would have to migrate to each release and there is no chance of skipping a release. Dawn Beck-Qwest said that this sentence is technically not true today. She said that our release schedules are every 6 months and, for example, the CLECs have had to migrate from 22 to 23 they will have to go from 23 to 24. Bonnie Johnson-Integra said that she understood but under the current CMP if it was left at 4 releases and there were regulatory changes and you did do 4 it would be true unless you change that 4 to something else. Dawn Beck-Qwest clarified that it was 3 not 4. Bonnie Johnson-Integra said that the 4 was in the 1st section of 8.0 of the CMP document ‘ unless mandated as a regulatory change, Qwest will implement no more than 4 release per year’. Susan Lorence-Qwest said that the current figure 4 shows the timeline if we were to have 3 releases in a year (180 day timeline). She reviewed the proposed timeline exhibit (see redline for exhibits). Gloria Velez-AT&T said that she had a question on the release B test window. She said that it shows 9/1 to 10/1 and asked if that is when Qwest is expecting all the company’s on XML. Dawn Beck-Qwest said that it is saying that our test window is available 30 days prior to the release date. Gloria Velez-AT&T asked if this was for testing externally. Dawn Beck-Qwest said yes. Gloria Velez-AT&T asked if a CLEC doesn’t take advantage of testing between 9/1 and 10/1 how many test dates or window are there. Dawn Beck-Qwest said that we allow our customers to test at anytime they want and can support everyone at the same time. Gloria Velez-AT&T said with either the 30 or 60 day window the Qwest resources are there today and can support this compressed window. She said the CLEC can pick whatever date to start testing. Dawn Beck-Qwest said yes and that it is the way it is done today. Gloria Velez-AT&T said that there is a big difference today, the window is much larger. Dawn Beck-Qwest said that today, and in the future, the customers can test anytime they want even test outside the schedules. If they have a release on their side and they want to test that change with Qwest, they can file a regression test even though it is not in conjunction with a Qwest release. Susan Lorence-Qwest said that they would work with their IMA contact. Gloria Velez-AT&T said that she was trying to understand with the shortening of days. Dawn Beck-Qwest said that you have 90 days to test unlike other ILECs that restrict the timeframe. Susan Lorence-Qwest clarified that’s the 30 days that’s available in advance of the release production date and the 60 days after in the proposal and if there was a release extension of the prior release granted then there is another 30 days so in effect it is 120 days requested under this current proposal.. She said that this is Qwest’s proposal for change and we are willing to consider other options. She said that we understood that the implementation becomes easier with XML which is why we think this proposal is reasonable. Bennet Pang - Comcast said that if there is no impact to the product (10/15/08 Comments to minutes received from Comcast) used by the CLEC with the new release the minimum he would have to do is change the release number in his application and install the new WSDL provided by Qwest, is this correct. Dawn Beck-Qwest said that is correct and that he would have to send in 1 order regardless of the number of products they have. She said that on pre-order one of each pre-order is needed to test the change. Bennet Pang-Comcast asked how many opportunities of upgrades (10/15/08 Comments to minutes received from Comcast) (meaning mid cycle conversions) do they have within 60 day window. Dawn Beck-Qwest said that Qwest could give concrete (10/15/08 Comments to minutes received from Comcast) dates for mid cycle conversions going forward and is negotiable. Susan Lorence-Qwest said that this may be something we can provide. She said that there would be a minimum of 3 mid cycle dates to allow the opportunity to upgrade and the tentative timeframes would be the 35, 45 and 60. Bennet Pang-Comcast said that is a severe restriction if the duration is only 60 days and you don’t open up all the weekends for mid cycle conversions. Bonnie Johnson-Integra said that there are probably some CLECs that would not agree to the 60 days but may agree to something less than 180. She said that Integra may agree to the 120. Dawn Beck-Qwest asked Integra why they would only agree to 120 when normally Integra mid cycle the very 1st mid cycle date available. Bonnie Johnson-Integra said that it has to do with other changes in the document that they would not agree to and that she is uncertain about what changes may made in the future. She said that this change requires unanimous vote and (10/15/08 Comments to minutes received from Integra) if in the future we need that time back in the past if something changed and we needed more time etc. Qwest would vote no. Bennet Pang-Comcast said that the date is not the only restriction, it is the number of the mid cycle conversions. Bonnie Johnson-Integra asked if this would require additional changes to the document because it is not addressed in the paragraphs that are changing. Dawn Beck-Qwest said that is has never been addressed and we are saying that we could add it in. She said that it would not be feasible to be available every weekend because of other work. Susan Lorence-Qwest said that going back to 8.0 4th paragraph our current practice is to implement 2 major releases and if necessary 2 point release and asked if there was a problem with making this change.She said that this has been the case in the last 3-4 years. Bonnie Johnson-Integra said that they would agree to something like Qwest’s typical practice is to implement 2 major releases and if necessary 2 point releases. Susan Lorence-Qwest said that is a good change and asked if anyone else had any other changes. Bonnie Johnson-Integra said that they are not willing to change the 4 to 2. Susan Lorence-Qwest said that Integra wanted to leave no more than 4. Bonnie Johnson-Integra said that is correct. Susan Lorence-Qwest said that on the App-to-App interface said that we heard from Integra that they would consider the 120 days and asked how everyone else felt. Doug Allen-AT&T said that at this point AT&T could not agree to the 120days and that they prefer no change. He said that he also did not agree that XML is a simplified process from an AT&T perspective. He said that with the coordination of internal releases and resources they can’t agree to any change and that 180 days is the preference. Susan Lorence-Qwest asked if AT&T would consider a phased approach with IMA giving time to plan for that. Doug Allen-AT&T said that they would have to take that back and review the phased approach. Dawn Beck-Qwest asked if AT&T would accept the 120 day with the 30 day available extension which adds up to 180. Doug Allen-AT&T said no because that (the extension) would requires an approval. Dawn Beck-Qwest said that currently AT&T does not go the full 180 days and never has. Gloria Velez-AT&T said that 180 days gives them a buffer and the cut dates Qwest provided they have always had to make adjustment to their schedules. She said that they have specific release timeframes and the 3rd Saturday and Sunday of the month is something that Qwest does not offer. Dawn Beck-Qwest said that that we would be willing to do is provide concrete timelines as to when Qwest would do the mid cycles to help them in planning. Susan Lorence-Qwest said that we could provide the 120 day and guarantee an extension of 30 days if requested and we would provide the mid cycle dates. Gloria Velez-AT&T said that they would have to take this proposal back internally. She asked at what point in this timeline would the mid cycle dates be provided. Dawn Beck-Qwest said that we could take a look at that and asked Susan when we publish our calendar. Susan Lorence-Qwest said we could include it in with the 73 day notification when we send the tech specs. Bennet Pang-Comcast said that (10/15/08 Comments to minutes received from Comcast) the mid cycle conversion dates should be provided when Qwest publishes the release schedule the test windows and the production date is provided.

Susan Lorence-Qwest said that when we submit our draft tech specs 73 days in advance of the release production date we could provide the (10/15/08 Comments to minutes received from Comcast) mid cycle conversion dates. Bennet Pang-Comcast said that would work for Comcast. Bonnie Johnson-Integra asked if Qwest was going to do a new proposal for the CLECs to look at. Susan Lorence-Qwest said that we would consider doing a new proposal based on the feedback and said that if there were too many caveats it would not be as beneficial for Qwest either. We want to make it a collaborative approach on both sides. She said that AT&T can’t agree on anything less than 120 days and that we want to make sure we have all the parameters that might make it more beneficial. CLEC-asked what AT&T’s current policy was re: upgrades and timeframes. He said that what Qwest is asking for is similar to what AT&T’s methods and procedures He asked asked why AT&T could not agree to this change. Bonnie Johnson-Integra said that this question was way off base and that we are in a wholesale discussion with AT&T wholesale people and that this was not an appropriate question. CLEC - said that he thought it was an appropriate question especially since we are delaying things because of one person having that opportunity. He said that there is some standardization that should happen in this environment and if you have one company disagreeing it gets turned down. He said that there is a lot of discussion re: this change and no one even takes 180 days for this process. Gloria Velez-AT&T said that the statement that AT&T has not taken 180 days is not true. Dawn Beck-Qwest said that we have never had a mid cycle at 180 days before. Susan Lorence-Qwest asked if there were any other suggestions beside the phased approach and the mid cycle dates Bonnie Johnson-Integra said that Qwest changed the word migration in the app-to-app interface paragraph and said that they want it retained as migration. She asked Qwest to identify the reason we did that when we do the new proposal Dawn Beck-Qwest said that the reason was because there was a typo in the document. She said out practice is that if a CLEC fails to migrate and we remove them from the electronic order processing, they have to do a new implementation to get back into it. Bonnie Johnson-Integra said she would like to see how this lined up with their ICA. Dawn Beck-Qwest said that she did not know what was in their ICA but when a customer fails to migrate and the release retires they have to do a new implementation. Susan Lorence-Qwest said it was more of a cleanup. Bonnie Johnson-Integra said she would take this back and review. She that they won’t agree to omit the sentence ‘the CLECs are not required to support all new releases’ . She said the reasoning is that if Qwest has a regulatory release they don’t agree that it should count towards the 2 releases. There could be an opportunity to have more than 1 release per year. She said that Qwest may have a regulatory commitment they need to meet that is outside of the scheduled releases and would have to do an additional release. Susan Lorence-Qwest said like the LNP Port release. She asked if there were any other ideas to move past the 180 days to something shortened other than a phased approach. Gloria Velez-AT&T said that historically Qwest has been doing releases in April and October. She said that in the matrix provided using the 60 day example, there would be a sunset occurring in December. She said that December is a tough month because there are a lot of code freezes and blackout dates. Dawn Beck-Qwest said that we are not changing when we would be doing our releases. Gloria Velez-AT&T said that she wants to avoid a sunset at the end of the year. Susan Lorence-Qwest said that was a good point but that we really don’t have that condition since it does not look like the 60 days timeline will get approved and that there won’t be a sunset in December. Gloria Velez-AT&T said unless you go off your April and October schedule. Susan Lorence-Qwest said that we would consider all feedback with the new proposal.

9/17/08 Product/Process CMP Meeting

Susan Lorence-Qwest said that this is a change to the CMP Document. Qwest implemented XML to replace EDI in October of 2006 and with the implementation of XML installing the next upgrade to IMA became a simplified process. She said that because of that, Qwest is proposing that we change from the current 180 days to keep a release up to a 60 day timeline. She said that we are also proposing to change how long a release can be extended. She said clean up language is included to support our standard operating practice since 2004 of only having 2 releases per year. She said that we would like to have an adhoc meeting if there is enough interest. Gloria Velez-AT&T said that she has not had an opportunity to review the documents in detail and asked if a timeline using the current example could be provided to make the language clear. She said that Qwest is implementing IMA 24.0 on 10/20/08 and at some point IMA 23.0 would have to be retired and IMA 25.0 would have to come on board Susan Lorence-Qwest said that we could provide a timeline using this example. She that we are not proposing any changes to IMA 23.0. She said that this change would occur with the implementation of IMA 25.0 on April 20, 2009. She said that if we get agreement on this change, IMA 24.0 would be retired on June 20, 2009 which is 60 days after IMA 25.0 goes in vs. 180 days. Gloria Velez-AT&T said that IMA 25.0 would become available in April of 09 and IMA 24.0 would retire in June of 09 giving them only 60 days to move forward. She asked what constitutes agreement to make this change. Susan Lorence-Qwest said a vote is conducted in the October meeting on the changes to this language and a unanimous vote is required. Gloria Velez-AT&T asked if there is one carrier having difficulty with this timeframe and votes no what happens to the request. Susan Lorence-Qwest said that the change does not get implemented. She said that if there is any concern regarding this request an adhoc meeting can be held to possibly modify any of these changes to make it agreeable to everyone. Bonnie Johnson-Integra said that in the redline changes there are more changes that just changing 3 to 2 releases. She said that she knows Integra would not agree on one of the last deletions in Section 8.1.7 that states CLECs are not required to support all new releases. Susan Lorence-Qwest said that we removed that point because it becomes a given that each CLEC would have to go to the next release because you can’t jump releases any longer. She said that we will schedule an adhoc meeting to review each of the proposed changes. She said that all of the related changes are associated to the proposed change of going from 180 to 60 days. Gloria Velez-AT&T asked if this was the 1st time this information was being presented to the CLEC Community. Susan Lorence-Qwest said yes. Gloria Velez-AT&T asked Qwest if Qwest presented the request in September and your expectation is to vote on the change the following month. Susan Lorence-Qwest said that would be the 1st possible chance to vote on it if there are no questions. Gloria Velez-AT&T said that expectation is a bit much and short and said that they would like an adhoc meeting.


Open Product/Process CR PC093008-01 Detail

 
Title: Mechanization CLEC/Resale Questionnaire
CR Number Current Status
Date
Area Impacted Products Impacted

PC093008-01 Completed
3/18/2009
Ordering
Originator: Hauck, Paulette
Originator Company Name: Qwest Corporation
Owner: Hauck, Paulette
Director:
CR PM: Stecklein, Lynn

Description Of Change

Move from WORD documentation/Paper of CLEC/Resale Questionnaire to Electronic via internet questionnaire


Status History


Project Meetings

3/18/09 Product/Process CMP Meeting

Mark Coyne-Qwest said that this CR was implemented on 2/9/09 and is working well. Mark said that we would like to close.

Kim Isaacs-Integra said that this CR can be closed.

2/18/09 Product/Process CMP Meeting

Mark Coyne-Qwest said that a revised final was sent on 1/16/09 and became effective 2/9/09. Mark said that several customers have used the mechanized questionnaire and are saying that it is working very well and is easy to use. Mark asked if there was any objection in closing this CR. Kim Isaacs-Integra said that she has gotten through the last of their electronic questionnaires but has not seen any feedback from Qwest. She said that she thought they would receive confirmation that Qwest received the questionnaires and that they have been accepted. Susan Lorence-Qwest said that she did not believe there was to be anything sent back but will confirm that is true. Kim Isaacs-Integra said that she would like the CR to remain open to determine if there are any issues on the Qwest side. Kim said that they like the tool but would feel more comfortable leaving the CR open for another month. 2/24/09 Qwest Response After investigation with the technical staff, it was determined that there was a problem with the email feedback loop that is part of the online Customer Questionnaires process. The email response was not being provided when the submitted Customer Questionnaire had been received. This problem has since been corrected. As documented in the Customer Questionnaires Business Procedure, you will receive an email acknowledgement when a new or revised questionnaire has been received by Qwest. PC121208-01 Eliminate the establishment of Remote Access Forwarding and Scheduled Forwarding on Custom Ringing Numbers Mark Coyne-Qwest stated that the notice was sent on 2/6/09 to become effective on 2/27/09

1/21/09 Product/Process CMP Meeting

Mark Coyne-Qwest said that a revised final was sent on 1/16/09 to become effective 2/9/09.

12/17/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that the Level 4 notice was sent on 12/11/08 to be effective 2/2/08. He said that the comment cycle ends on 12/26/08.

11/19/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that an adhoc meeting was held on 11/10/08 and went very well. He said that the CLECs provided input that is being considered. He said that future adhoc meetings will be held to address any changes.

PC093008-01 Mechanization – CLEC/Resale Questionnaire Adhoc Meeting, November 10, 2008

Attendees: Kim Isaacs-Integra, Bonnie Johnson-Integra, Chris Terrell-AT&T, Doug Allen-AT&T, Mindy Chapman-Neustar, Kasha Fauscett-Comcast, Susan Lorence-Qwest, Paulette Hauck-Qwest, Judy Lewis-Qwest, Sandie Tekavec-Qwest, Lynn Stecklein- Qwest Paulette Hauck-Qwest said that Qwest would like to have several meetings to discuss the changes associated with PC093008-01 Mechanization – CLEC/Resale Questionnaire. She said that we have 2 more months of development and will conduct testing in January. She said that Integra volunteered to test. Paulette reviewed some of the changes in Section G – General Information. Section G.2 (States) is now G.1 and Section G.1 (Name/Address is now G.2. She said that there will be a new section asking what states the CLEC is conducting business and that circles indicate completions. In section G.2 – Legal Corporate Name and Address there will be a verbiage change that will request the contract name for customer by all or by state (s). The DBA option was added and ‘Request if completed by consultant, enter name and company data’. Kim Isaacs-Integra asked if (11/18/08 - Comments to minutes from Integra) Qwest could add navigational help to explain what is in each section instead of just G.1. G2 could it say G.1 States, G.2 Legal Corporate Name. Paulette Hauck-Qwest said (11/18/08 - Comment to minutes from Integra) that is a good suggestion. We could provide a pop up or provide a field that would provide information on what was in each section. Paulette indicated she would take this back to the developers. Paulette reviewed some of the changes in Section G.3. She said that this section has a new title due to the merging of G.3 and G.5. She said that we removed QPP language and the date associated with the LIS Trunks product “Date NPA/NXX filed”. She said that Section G.4 will have the state option to identify ACNA, OCN by State. In Section G.5 the Date Commission Approved has been removed. In Section G.6 there will be an extensive programming change. She said that there will be an option 2 that will request additional information to identify DA or Publisher Name. In Section G.7 you will be asked to identify if you are providing these services or if you are updating your TAP form and there will be a link to the worksheet. Paulette reviewed some of the changes in the Billing Section. She said that one person can fill out their portion and not the whole form and that the “if other” section was deleted. She said that we are asking for the date the business was established and that we will be requesting e-mail addresses for officers and owners. Kim Isaacs-Integra asked if this information was required. Paulette Hauck-Qwest said no it is just nice to have. She said that in Section 1.2, the revenue estimates will be required for all services identified in section G.3. Kim Isaacs-Integra asked why you need to provide this information if you are establishing the company. Paulette Hauck-Qwest said that we can set the BAN numbers up for the new CLEC. She said that she may try to temporarily relax the code for customers already established. She said that there is a small verbiage change in the Tax Exception Section. She said that we are adding that all Tax Forms must be completed to Qwest Corporation. She said that there will be a new state requesting section associated with the state universal fund with a link to the form. Under the Tax Exemption section – Requesting – “Are you registered with states as a CLEC y/n, if yes identify those states”. She said that there is no huge change in the contact section except that we will be asking for the e-mail address. Paulette asked for feedback. (11/18/08 Comments to minutes from Integra) Kim Isaacs- Integra asked if the existing CLECs will need to create a new electronic profile. Paulette Hauck – Qwest stated yes, existing CLECs will need to populate all of the fields in to establish a mechanized questionnaire. Kim Isaacs-Integra said that this seems to be a good improvement (11/18/08 Comments to minutes from Integra) over the manual paper process and time well spent. Paulette Hauck-Qwest asked if this change was logical and understandable and asked if the CLECs wanted another call. Kim Isaacs-Integra said that this change was logical and did not feel the need for another call at this time. Bonnie Johnson-Integra asked if they wanted to make a change would it be too late during testing. Paulette Hauck-Qwest said that maybe something simple like a pop up could be done but if the change was a huge logic change that might be a problem. (11/18/08 - Comments to minutes from Integra) Bonnie Johnson – Integra indicated that we should have additional meetings in case there large changes needed. Kim Isaacs – Integra agreed Paulette Hauck-Qwest indicated that Qwest would scheduled additional calls. Bonnie Johnson-Integra said that this was time well spent. Paulette Hauck-Qwest said that maybe something simple like a pop up could be done but if the change was a huge logic change that might be a problem.

10/15/08 Product/Process CMP Meeting

Paulette Hauck – Qwest stated that this will mechanize an in-region questionnaire for all 14 states. Paulette stated that we are currently programming and testing and stated we will be scheduling an adhoc meeting in the next few weeks to show the CLECs what it will look like. She said that we are looking for volunteers to test in January and that there will be a 2 month synch up period beginning February 1st. Paulette said that we are targeting April 1, 2009 as the implementation for the questionnaire to be 100% online. Bonnie Johnson – Integra stated that she was disappointed that Kim was not on the call because she will be very excited about this change. She said that Integra will volunteer to test with Qwest. Bonnie said that there was a CR submitted by Eschelon that Qwest denied. Bonnie asked if Qwest was going to review that CR along with this request. Paulette Hauck – Qwest stated she was not aware of Eschelon’s CR but that we will take a look at the CR Bonnie Johnson – Integra said that she was excited about this CR. Gloria Velez – AT&T asked where she could find information on the questionnaire and what it is used for. Paulette Hauck – Qwest stated that information is on the website at: http://www.qwest.com/wholesale/clecs/newcustquestionnaire.html Paulette said that the questionnaire ask questions about their ACNA, OCN, etc. and advises how you will interface with Qwest on Systems and Network processes. She said that it will also provide how you receive files from Qwest. Paulette stated that this is for CLEC and Resale items. Doug Allen – AT&T asked if they have a Commercial Agreement with Qwest do they need to fill out the questionnaire Paulette Hauck –Qwest said that they would need to fill out the questionnaire. Susan Lorence – Qwest said that we will include the link in the Meeting Minutes. CLEC – will talk with AT&T. Susan Lorence – Qwest stated that she would send a link so all CLECs will have access to it. Paulette Hauck – Qwest stated that AT&T had sent questionnaires and that those questionnaires are on file. 10/16/08 Update to minutes Bonnie provided the CR that was denied on 5/19/04 as PC022304-1 New Customer Questionnaire. 10/17/08 - Update to Minutes The link for the customer questionnaire can be found at: http://www.qwest.com/wholesale/clecs/newcustquestionnaire.html


Open Product/Process CR PC062905-1CM Detail

 
Title: Add New Level 3 Change Category in Section 5.4.4 of CMP Document
CR Number Current Status
Date
Area Impacted Products Impacted

PC062905-1CM Denied
7/21/2009
Originator: Martain, Jill
Originator Company Name: Qwest Corporation
Owner: Martain, Jill
Director:
CR PM: Stecklein, Lynn

Description Of Change

Add New Level 3 Change Category in Section 5.4.4 of CMP Document that states:

Revision submitted 7/27/05

Limiting or discontinuing the availability and applicability or functionality of an existing product or existing feature as a result of a tariff filing where no Wholesale customers are impacted.

Revision submitted 7/27/05

Revise existing Level 4 change category

Limiting or discontinuing the availability and applicability or functionality of an existing product or existing feature as a result of a tariff filing where no Wholesale customers are impacted.

Limiting the availability and applicability of an existing product or existing feature as a result of a tariff filing where no Wholesale customers are impacted.


Status History

6/29/05 - CR submitted

6/29/05 - CR acknowledged

7/20/05 - Status changed to Presented

7/20/05 - Discussed in the July Product/Process CMP Meeting - - See Attachment G in the Distribution Package

8/17/05 - Discussed in the August Product/Process CMP Meeting - See Attachment G in the Distribution Package

8/17/05 - Status changed to Completed


Project Meetings

8/17/05 Product/Process CMP Meeting

Lynn Stecklein - Qwest stated this CR is requesting to add a New Level 3 Change Category in Section 5.4.5 of the CMP Document and clarify wording on existing Level 4 Category. Lynn stated that a vote of ‘Yes’ will indicate a preference to add a new Level 3 change category in Section 5.4.4 and to revise the existing Level 4 change category in Section 5.4.5 of the CMP Document. She said that a vote of ‘No’ will indicate a preference not to add a new Level 3 change category in Section 5.4.4 and to revise the existing Level 4 change category in Section 5.4.5 of the CMP Document.

The vote was conducted: AT&T – Yes Eschelon – Yes Covad – Yes VCI – Yes Time Warner Telecom - Yes Sue Wright – XO Communications Qwest – Yes Velocity (e-mail vote) – Yes Action Communications (e-mail vote) – Abstain Sprint – Yes Rockynet – No

Lynn Stecklein - Qwest stated that incorporating a change into the Change Management Process requires unanimous agreement using the Voting Process. There were 9 ‘yes’ votes, 1 ‘abstain’ vote and 1 ‘no’ vote. Based on the results of the vote, this request will not be granted.

Liz Balvin - Covad asked if Qwest can’t determine would they automatically default to a Level 3.

Susan Lorence - Qwest said that the change to the process to add new process was not granted and that we will keep the current process. She said that CRs will be issued even for products not ordered. Susan said that we will continue to ask if we can do the change via a level 1 notice.

Jeff Sonnier - Sprint asked if the process could be modified that an explanation is needed when a ‘no’ vote is received.

Jill Martain - Qwest said that the change would require a unanimous decision to change the language.

Liz Balvin - Covad said that the voting process was discussed extensively in redesign. She said that the reason for the e-mail vote was so that the participants did not want to feel swayed with how they voted. Liz said that this might be a situation where a call to the CLEC is warranted.

Jill Martain - Qwest said that the best thing to do at this point is to close the CR and shorten the timeframe on an individual case basis.

7/20/05 Product/Process CMP Meeting

Jill Martain- Qwest presented this CR.

Becky Quintana - CO PUC questioned if this was also applicable to discontinuance of a product.

Jill Martain - Qwest, advised yes.

Becky Quintana - CO PUC stated that she didn’t believe that was clearly stated in the wording.

(Comments to minutes from Eschelon 7/27/05) Liz Balvin - Covad said that she was also concerned about the fact that the language did not state it included discontinuance.

Susan Lorence - Qwest, stated that we had used the wording that appeared on the level 4 notice and just added wording to the end of it to specify that it would be used when no Wholesale customers were impacted.

Jill Martain - Qwest agreed to clarify the wording to include the discontinuance of service as well and also advised we would add that clarification to the level 4 criteria as well

5.4.4 Level 3 Changes Level 3 changes are defined as changes that have moderate effect on CLEC operating procedures and require more lead-time before implementation than Level 2 changes. Qwest will provide initial notification of Level 3 changes at least thirty-one (31) calendar days prior to implementation. Level 3 Change Categories are: NC/NCI code changes Adding of new features to existing products (excluding resale) Customer-facing Center hours and holiday schedule changes Modify/change existing manual process Expanding the availability and applicability or functionality of an existing product or existing feature (excluding resale) Regulatory Orders that mandate a product/process change to be effective in twenty-one (21) days or more Limiting or discontinuing the availability and applicability or functionality of an existing product or existing feature as a result of a tariff filing where no Wholesale customers are impacted For any change that Qwest considers a Level 3 change that does not specifically fit into one of the categories listed above, Qwest shall issue a Level 3 notification.

5.4.5 Level 4 Changes Level 4 changes are defined as changes that have a major effect on existing CLEC operating procedures or that require the development of new procedures. Level 4 changes will be originated using the CMP CR process and provide CLECs an opportunity to have input into the development of the change prior to implementation. Level 4 Change Categories are: New products, features, services (excluding resale) Increase to an interval in Qwest’s Service Interval Guide (SIG) Changes to CMP New PCAT/Tech Pub for new processes New manual process Limiting or discontinuing the availability and applicability or functionality of an existing product or existing feature Addition of a required field on a form excluding mechanized forms that are changed through an OSS Interface CR (See Section 5.1) For any noticed change that Qwest considers a Level 4 change that does not specifically fit into one of the categories listed above, Qwest shall issue a Level 3 notification with an indication in the notification that Qwest believes the change should be a Level 4 change.


Open Product/Process CR PC051605-1 Detail

 
Title: Grandparent Voice Mail 100 Extra Message Capacity
CR Number Current Status
Date
Area Impacted Products Impacted

PC051605-1 Completed
9/22/2005
Resale, UNE-P
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Qwest will be grandparenting the 100 message extra capacity for Voice Mail. The USOC is VMC2X. With this grandparenting, the rate for existing customers will be reduced and will be the same as the tariffed rate for 50 message capacity service.

Expected Delivery:

August 8, 2005


Status History

05/16/2005 - CR Submitted

05/16/2005 - CR Ackknowledged

06/15/2005 - Discussed in the Monthly Product/Process CMP Meeting

06/20/2005 - PROD.06.20.05.B.000920.Res_Bus_Voi_Mail_Svc

06/23/2005 - PROD.06.23.05.F.02934.GrandparentAddlMsgCap100 (Level 4)

07/20/2005 - Discussed in the Monthly Product Process CMP Meeting

07/22/2005 - PROD.07.22.05.F.03106.Final_GrandparentAddlMsg (Level 4)

08/05/2005 - PROD.08.05.05.F.02932.GrandparentAddlMsgCap100 (Level 1)

08/05/2005 - PROD.08.05.05.F.02933.GrandparentAddlMsgCap100

08/17/2005 - Discussed in the Monthly Product Process CMP Meeting

08/17/2005 - Status Changed to CLEC Test Due to 08-08-05 Implementation

09/21/2005 - Discussed in the Monthly Product Process CMP Meeting


Project Meetings

September 21, 2005 Monthly Product Process CMP Meeting Discussion: Jill Martain/Qwest stated that this CR deployed on August 22nd and said that Qwest would like to close. There was no objection to close this CR.

-- August 17, 2005 Monthly Product Process CMP Meeting discussion: Jill Martain-Qwest stated that this was effective on August 8th and moves to CLEC Test.

COMMUNICATOR EXCERPT: Announcement Date: July 22, 2005 Effective Date: August 08, 2005 Document Number: PROD.07.22.05.F.03106.FinalGrandparentAddlMsg Notification Category: Product Notification Target Audience: CLECs, Resellers Subject: CMP FINAL NOTICE - Additional Message Capacity 50/100 Residence and Business- V5.0 Level of Change: Level 4 Associated CR Number or System Release Number: Qwest CR PC051605-1 Qwest recently posted proposed updates to Additional Message Capacity 50/100 Residence and Business- V5.0. CLECs were invited to provide comments to these proposed changes during a Document Review period from June 24, 2005, through July 8, 2005. No CLEC comments were received during the comment cycle. The proposed changes will become operational on August 8, 2005. Resources: Customer Notice Archive http://www.qwest.com/wholesale/notices/cnla/ Original Notice Number PROD.06.23.05.F.02934.GrandparentAddlMsgCap100 Change Request Interactive Report: http://www.qwest.com/wholesale/cmp/changerequest.html

- July 20, 2005 Monthly Product Process CMP Meeting discussion: Lynn Stecklein-Qwest stated that this request will deploy on August 8th and that notices will go out on July 20th and July 23rd. She said that this CR will move to Development.

- June 23, 2005 Email Sent to Bonnie Johnson, Eschelon: Bonnie, During the July CMP Meeting you asked 2 questions regarding PC051605-1. I did check with Janean and the information is as follows: Q: Is this effort for all states? A: I confirmed that it is for all states

Q: Current customers could have the 100 extra capacity and it was asked if there was a potential for multiple 50’s A: Multiples of 50 will not be an option

Have a good day. Peggy Esquibel-Reed Qwest CMP

- COMMUNICATOR EXCERPT: Announcement Date: June 23, 2005 Proposed Effective Date: August 08, 2005 Document Number: PROD.06.23.05.F.02934.GrandparentAddlMsgCap100 Notification Category: Product Notification Target Audience: CLECs, Resellers Subject: CMP - Additional Message Capacity - 50/100 Residence and Business- V5.0 Level of Change: Level 4 Associated CR Number or System Release Number: Qwest CR PC051605-1

Summary of Change: On June 23, 2005, Qwest will post planned updates to its Wholesale Product Catalog that include new/revised documentation for Additional Message Capacity - 50/100 Residence and Business- V5.0. These will be posted to the Qwest Wholesale Document Review Site located at http://www.qwest.com/wholesale/cmp/review.html.

Changes that limit the availability of an existing product are being added to this document. Grandparenting information for Additional Message Capacity - 100 Residence and Business is being added to the Product Description. This feature is grandparented in all states and is not available as new service effective August 8, 2005.

Current operational documentation for this product or business procedure is found on the Qwest Wholesale Web Site at this URL: http://www.qwest.com/wholesale/clecs/features/amc50100resbus.html

Further information about the Change Request identified above is available on the Wholesale Web site at URL http://www.qwest.com/wholesale/cmp/changerequest.html.

Timeline: Planned Updates Posted to Document Review Site: Available June 23, 2005 CLEC Comment Cycle on Documentation Begins: June 24, 2005 CLEC Comment Cycle Ends: 5:00 PM, MT July 08, 2005 Qwest Response to CLEC Comments (if applicable): Available July 23, 2005 http://www.qwest.com/wholesale/cmp/reviewarchive.html Proposed Effective Date: August 08, 2005

- COMMUNICATOR EXCERPT: Announcement Date: June 20, 2005 Effective Date: August 8, 2005 Document Number: PROD.06.20.05.B.000920.ResBusVoiMailSvc Notification Category: Product Notification Target Audience: CLEC’s, Resellers and ISP-GET- 14 State Region Subject/Product Name: Residence and Business Voice Mail Service-Additional Message Capacity-100 Messages This is to advise you of changes to a Qwest retail service offering. Please be advised that retail offers that are subject to Commission approval may change. Resellers should monitor filings since Qwest will not provide notification of changes. Tariff/catalog/price list reference: Arizona - Exchange and Network Services Catalog, Sections 10.12.1, 10.12.2, 110.12.1 & 110.12.2 Colorado - Exchange and Network Services Catalog, Sections 10.12.1, 10.12.2, 110.12.1 & 110.12.2 Idaho North - Exchange and Network Services Catalog, Sections 10.12.1 and 10.12.2 Idaho South - Exchange and Network Services Catalog, Sections 10.12.1, 10.12.2, 110.12.1 & 110.12.2 Iowa - Exchange and Network Services Catalog, Sections 10.12.1, 10.12.2, 110.12.1 & 110.12.2 Minnesota - Exchange and Network Services Price List, Sections 10.12.1, 10.12.2, 110.12.1 & 110.12.2 Montana - Exchange and Network Services Catalog 10.12.1, 10.12.2, 110.12.1 & 110.12.2 Nebraska - Exchange and Network Services Catalog 10.12.1, 10.12.2, 110.12.1 & 110.12.2 New Mexico - Exchange and Network Services Catalog, Sections 10.12.1, 10.12.2, 110.12.1 & 110.12.2 North Dakota - Exchange and Network Services Price Schedule, Sections 10.12.1, 10.12.2, 110.12.1 & 110.12.2 Oregon - Exchange and Network Services Catalog, Sections 10.12.1, 10.12.2, 110.12.1 & 110.12.2 South Dakota - Exchange and Network Services Catalog, Sections 10.12.1, 10.12.2, 110.12.1 & 110.12.2 Utah - Exchange and Network Services Catalog, Sections 10.12.1, 10.12.2, 110.12.1 & 110.12.2 Washington - Exchange and Network Services Catalog, Section 10.12.2 & 110.12.2 Wyoming - Exchange and Network Services Price Schedule, Sections 10.12.1, 10.12.2, 110.12.1 & 110.12.2 State(s): 14 State Region

Description: With this filing, the 100 Additional Message Capacity optional feature associated with residence and business Voice Mail Service is being grandfathered (USOC VMC2X). In addition, the description is being revised and the rate for VMC2X is being reduced to $4.95 from $9.95. The service is being eliminated in Northern Idaho since there are no customers. This change is being proposed with a August 8, 2005 effective date.

Sincerely Qwest Communications

-- June 15, 2005 Monthly Product Process CMP Meeting Minutes: Peggy Esquibel Reed-Qwest stated that Qwest would be grandparenting the 100 message extra capacity for voice mail and that the USOC is VMC2X. Peggy noted that with this grandparenting, the rate for existing customers would be reduced and would be the same as the tariffed rate for 50 message capacity service. Peggy noted that the current standard number of messages is 35 and that there could be 50 extra. Peggy noted that the total potential capacity would be 85. Bonnie Johnson-Eschelon asked if this was for all states. Peggy Esquibel Reed-Qwest stated that she believed that it was. Bonnie Johnson-Eschelon stated current customers could have the 100 extra capacity and asked if there was a potential for multiple 50’s. Peggy Esquibel Reed-Qwest stated that she would check into and could send the information to Bonnie (Johnson-Eschelon) in an email. Bonnie Johnson-Eschelon said that would be fine.


Open Product/Process CR PC051605-2 Detail

 
Title: SFG FID Elimination
CR Number Current Status
Date
Area Impacted Products Impacted

PC051605-2 Withdrawn
4/15/2009
Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Qwest will be eliminating the need for the SFG FID (Simulated Facilities Group) on MEL/RCF orders. The SFG FID, provided by NSAC, is a 1 - 4 character number that represents the central office' simulated facility'.This is only used in the western region but it has been determined that it is not necessary.

Expected Delivery:

August 8, 2005


Status History

05/16/2005 - CR Submitted

05/16/2005 - CR Acknowledged


Project Meetings


Open Product/Process CR PC052605-1 Detail

 
Title: Grandparent 1FC, AVV, ALN in North Dakota
CR Number Current Status
Date
Area Impacted Products Impacted

PC052605-1 Withdrawn
4/15/2009
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Stecklein, Lynn

Description Of Change

The following USOCs will be grandparented in ND:

1FC = Combination Bus/Res line flat local calling

AVV = Flat - Combination Res/Bus - non primary line

ALN = Auxiliary - In western, 976 information delivery service


Status History

5/26/05 - CR Submitted

5/26/05 - CR Acknowledged


Project Meetings


Open Product/Process CR PC052605-2CM Detail

 
Title: Remove all references to the Interop Environment in the Change Management Document
CR Number Current Status
Date
Area Impacted Products Impacted

PC052605-2CM Completed
7/20/2005
Originator: Stecklein, Lynn
Originator Company Name: Qwest Corporation
Owner: Stecklein, Lynn
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest is retiring the Interoperability (Interop) Environment. All references of the environment in the Change Management Process Document need to be removed from Section 11.0 and from the Definition of Terms. The proposed redlined language is attached.


Status History

5/26/05 - CR Submitted

5/26/05 - CR Acknowledged

6/15/05 - Discussed in the June CMP Product/Process Meeting - See Attachment G in the Distribution Package

6/15/05 - Status changed to Presented

7/25/05 - Communicator Issued: Disposition notice CMPR.07.18.05.F.3115.CMRequestVoteResults

7/20/05 - Discussed in the July CMP Product/Process Meeting - See Attachment G in the Distribution Package

7/20/05 - Status changed to Completed

9/13/05 - Communicator Issued - CMPR.09.13.05.F03271.CMP_Vote_Disposition

9/13/05 - Communicator Issued - PROS.09.13.05.F.03270.CMP_Doc_Changes_interop


Project Meetings

7/20/05 Product/Process CMP Meeting

Lynn Stecklein - Qwest said that the Interop Environment was retired on June 27th and this CR is requesting that all references to the Interop Environment be removed from the Change Management Document. She said that the redline document was included in the Distribution Package. She said that the sections impacted were 11.0 and the Definitions. Lynn said that Quorum for this vote was 6 and was achieved. Lynn reviewed what the ‘Yes’ and ‘No’ votes would mean.

A Vote of ‘Yes’ will indicate a preference that all references to the Interop Environment will be removed from the Change Management Document

A Vote of ‘No’ will indicate a preference that all references to the Interop Environment will not be removed from the Change Management Document.

Lynn Stecklein - Qwest said that incorporating a change to the Change Management Process requires unanimous agreement using the Voting Process. Lynn said that 3 ‘Yes’ e-mail votes were submitted from Sprint, Qwest and AT&T. She requested that all participants cast their vote.

Qwest – Yes – Received via e-mail Sprint – Yes – Received via e-mail AT&T – Yes – Received via e-mail Time Warner – Yes Eschelon – Yes Covad – Yes Cox – Yes MCI – Yes Integra – Yes VCI – Yes

Lynn Stecklein - Qwest stated that the vote was unanimous with 10 ‘Yes’ votes, 0 ‘No’ votes and 0 ‘Abstain’ votes. She said that the disposition notice, vote results and meeting minutes will be sent within the next 5 days.

Susan Lorence - Qwest stated that a Level 1 notification will be sent.

7/20/05 Announcement Date: July 25, 2005 Effective Date: Immediately Notification Number: CMPR.07.18.05.F.03115.CMRequestVoteResults Notification Category: Change Management Notification Target Audience: CLECs, Resellers Subject: CMP CM Request - Vote Disposition Associated CR # or System Name and Number: QWEST PC052605-2CM Change to CMP Document, Remove all references to the Interop Environment Pursuant to Sections and 17.4 of the Qwest Wholesale Change Management Process Document, http://www.qwest.com/wholesale/cmp/whatiscmp.html, this notification announces the disposition of Change Request PC052605-2CM and the result of the vote taken during the Vote Meeting on July 20, 2005. In this vote, conducted in accordance with Sections 16.4 and 17.0, the participants voted to grant the Request to remove all references to the Interop Environment in the Change Management Document. The request was granted by a vote of 10 'Yes' votes, 0 "No" votes, and 0 "Abstain" votes. Please see the attached tally form and meeting minutes for specific voting results.

6/15/05 Product/Process CMP Meeting

Lynn Stecklein - Qwest stated that this CR has been issued to remove all references to the Interop Environment in the Change Management Document. She said that the Interop Environment System would be retired on June 27, 2005 with SCR042105-01. Lynn said that a vote would be conducted in the July Product/Process meeting requesting to remove the language from the CMP Document. Jill Martain - Qwest stated that this CR would move to Presented

This change request will be presented in the June 15, 2005 Product/Process Meeting. A vote will be conducted in the July Product/Process Meeting to remove the language from the CMP Document.


Open Product/Process CR PC041205-1 Detail

 
Title: Qwest Critical Facility Video/Photography Policy V1.0
CR Number Current Status
Date
Area Impacted Products Impacted

PC041205-1 Completed
9/21/2005
Originator: Nickell, Mark
Originator Company Name: Qwest Corporation
Owner: Nickell, Mark
Director:
CR PM: Stecklein, Lynn

Description Of Change

Update the existing policy to address the following items:

1. Expand scope to include all Qwest Facilities designated as Critical.

2. Provide additional clarification regarding authorization process

a. All individuals (Qwest, CLEC, vendor, ect.) are subject to approval process

b. Non-Qwest applicants are restricted to photographing their own equipment

c. Qwest applicants will be permitted, under certain circumstances, to photograph Non-Qwest owned equipment

3. Provide additional contact information for normal and after hours activities


Status History

4/12/05 - CR submitted

4/12/05 - CR acknowledged

5/18/05 - CR not presented as Mark was ill during meeting - agreed to present in June

6/15/05 - Status changed to Presented

6/15/05 - Discussed in the June Product/Process CMP Meeting - See attachment E in the Distribution Package

7/20/05 - Status changed to Development

7/20/05 - Discussed in the July Product/Process CMP Meeting - See attachment E in the Distribution Package

8/01/05 - PROS.08.01.05.F.03137.Qwest_Video_Photo_Policy (Level 2)

8/19/05 - PROD.08.19.05.F.03145.Collocation_V43.0

8/17/05 - Discussed in the August Product/Process CMP Meeting - See attachment E in the Distribution Package

8/24/05 - Status changed to CLEC Test

8/23/05 - Qwest Critical Facility Video Photography Policy Published - http://www.qwest.com/wholesale/clecs/qwestvidephotopolicy.html

9/21/05 - Status changed to Completed

9/21/05 - Discussed in the September Product/Process CMP Meeting - See attachment E in the Distribution Package


Project Meetings

9/17/05 Product/Process CMP Meeting

Jill Martain/Qwest stated that this CR deployed on August 22nd and said that Qwest would like to close.

There was no objection to close this CR.

8/17/05 Product/Process CMP Meeting

Jill Martain - Qwest stated that a Level 2 notification was sent on 8/1/05 and there were no comments. Jill said that this CR will become effective on August 22nd and that we will change the status to CLEC Test at that time.

7/20/05 Product/Process CMP Meeting Mark Nickell - Qwest stated that an adhoc meeting was held to discuss the Video/Photography Policy. Mark said that we reviewed several points and received feedback, comments and recommendations. He said that the last version of the policy appears to be favorable and that we will be reviewing this final draft internally and will resubmit for comments.

Susan Lorence - Qwest said that she would propose a Level 2 with a 21 day cycle or if the CLECs agree, we could propose a Level 1 notification.

Bonnie Johnson - Eschelon said that she would prefer a Level 2 so that she can review the final version.

Susan Lorence - Qwest said that a Level 2 notification will be sent.

6/15/05 Product/Process CMP Meeting

Mark Nickell-Qwest stated that this CR is updating the existing policy to address the following items: Expand scope to include all Qwest Facilities designated as Critical. Provide additional clarification regarding authorization process All individuals (Qwest, CLEC, vendor, etc.) are subject to approval process Non-Qwest applicants are restricted to photographing their own equipment Qwest applicants will be permitted, under certain circumstances, to photograph Non-Qwest owned equipment Provide additional contact information for normal and after hours activities [Comment received from Eschelon: Mark Nickell-Qwest stated that this CR was updated at the request of corporate security and is expanding the scope and providing additional information for the approval process.]

Mark Nickell-Qwest said that an adhoc meeting will be scheduled to discuss further and that we will provide the redline document. Bonnie Johnson- Eschelon asked if the redlined version is the same version that Qwest retracted. Mark Nickell - Qwest said that there have been some changes and that we tried to address some of Eschelon’s concern, but not everything in the original document has been changed. Bonnie Johnson-Eschelon said that she needs to invite critical people to the adhoc meeting but that she has not seen the notice. [Comment received from Eschelon: Bonnie asked if Qwest could send the red line in advance so Eschelon could review.] Lynn Stecklein - Qwest said that the meeting is scheduled June 23rd and the notice will go out today.


Open Product/Process CR PC030205-1IG Detail

 
Title: Port In PCAT Stop Force Port Activities
CR Number Current Status
Date
Area Impacted Products Impacted

PC030205-1IG Completed
11/16/2005
Ordering Resale, UNE-P
Originator: Urevig, Russell
Originator Company Name: Qwest Corporation
Owner: Urevig, Russell
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

This change is based on the Industry Standards established via the LNPA Working Group at NANC for LNP Practices.

Qwest would like to change the current agreed upon process where Qwest acting on behalf of a new service provider (NSLP) issues an LSR to the Old service provider (OSLP) to Port a TN back to the Qwest switch to complete a service request for the new provider. Currently, if Qwest does NOT receive an FOC from the OLSP Qwest will continue to force the port on the requested due date by the NSLP. With this change Qwest would Jeopardy the LSR back to the NSLP when the FOC is NOT received from the OLSP and follow the existing error identified after a FOC process. Jeopardy conditions may include bad LSR data, the information on the LSR does not match the OLSP CSR or no response from OLSP. Jeopardy resolution activities would be required by the NSLP when confirmation for the Port is not met. If the Port request to the OLSP has any problems, which drive a due date change requirement on the FOC Qwest receives back, Qwest will re-FOC the NLSP with new date

Expected Deliverable:

Qwest would terminate Forced Ports from wholesale activities, which would also bring the process within industry guidelines established for LNP. Qwest would like to implement this change by May 1, 2005.


Status History

03/02/2005 - CR Submitted

03/02/2005 - CR Acknowledged

03/16/2005 - Discussed in the Monthly Product/Process CMP Meeting

04/20/2005 - Discussed in the Monthly Product/Process CMP Meeting

04/21/2005 - CMPR.04.21.05.F.02858.CLEC_Input_Meeting

04/28/2005 - CLEC Input Meeting Held

05/18/2005 - Discussed in the Monthly Product/Process CMP Meeting

05/24/2005 - CMPR.05.24.05.F.02950.Ad_Hoc_Meeting (scheduled for June 1st)

06/01/2005 - Ad Hoc Meeting Held

06/15/2005 - Discussed in the Monthly Product Process CMP Meeting

07/20/2005 - Discussed in the Monthly Product Process CMP Meeting

08/17/2005 - Discussed in the Monthly Product Process CMP Meeting

09/20/2005 - PROS.09.20.05.F.03278.Port_In_V11.0 (Level 4)

09/21/2005 - Discussed in the Monthly Product Process CMP Meeting

10/06/2005 - PROS.10.06.05.F.03367.FNL_Port_In_V11 (Level 4)

10/19/2005 - Discussed in the Monthly Product Process CMP Meeting

11/16/2005 - Discussed in the Monthly Product Process CMP Meeting


Project Meetings

November 16, 2005 Monthly Product Process CMP Meeting Discussion: Jill Martain/Qwest stated that this change was effective on October 22nd and asked if there were any objections to closing the CR. There were no objections. This CR is Closed.

-- October 19, 2005 Monthly Product Process CMP Meeting Discussion: Jill Martain/Qwest stated that the notice had been sent for this CR and that the CR would move to CLEC Test on October 21, 2005.

-- September 21, 2005 Monthly Product Process CMP Meeting Discussion: Jill Martain/Qwest stated that a Level 4 notice was sent on September 20th with an October 21st effective date. Jill stated that this CR will move to Development.

- August 17, 2005 Monthly Product Process CMP Meeting discussion: Russ Urevig-Qwest stated that he is targeting the PCAT Updates to go out to the CLECs by the end of the month. Russ stated that the implementation date for this CR is targeted for October 2005. Russ stated that he would be handing this CR off to another person. Bonnie Johnson-Eschelon stated that she would like this implemented before October because she has problems with activity and that the customer is working on 2 switches. Bonnie stated that as we worked thru this process, she made a request about a new service provider getting involved. Bonnie asked if that was incorporated into the process. Russ Urevig-Qwest stated that if there were conflicts, when the LSR is sent to the old service provider (information causes a reject), there would be a notice to the new provider because of the mismatch. The new provider will need to work with the old provider in order to populate the LSR correctly. Bonnie Johnson-Eschelon asked that in regard to the no response from the old provider, if the new service provider is allowed to get engaged. [Comment received from Eschelon: Bonnie Johnson-Eschelon said she understood a reject from the OLSP but the question was asked in regard to the no response from the old provider, if the new service provider is allowed to get engaged.] Bonnie stated that Qwest is the Network provider and has no vested interest in getting the order through. Russ Urevig-Qwest stated that Qwest will send a notice to the new service provider and that the due date cannot be granted. Russ stated that Qwest would advise, in remarks that they need to contact the old service provider with issues. Russ stated that the new provider can reissue with a new date. Russ stated that Qwest does not want to issue an order that will cause an interruption of service to the end user customer. Bonnie Johnson-Eschelon asked if it would still reject. Russ Urevig-Qwest stated that we would provide information on the contact and the data that the new provider will need to go to the old provider in order to resolve. Russ stated that information that will be provided is LSR #, when it was sent, and the name of the interface person. Bonnie Johnson-Eschelon stated that she has 7 to 8 CLECs Contacts and will send them to Qwest. Russ Urevig-Qwest stated that there has been an improvement, just from this being discussed. Bonnie Johnson-Eschelon noted that she was disappointed that there would not be a jeopardy for non-response orders. Bonnie stated that it would be easier to supp then to do a reject. Russ Urevig-Qwest stated that you could send in version 1 or version 2 of a reject without reentering everything. Bonnie Johnson-Eschelon stated that she would look into that and the documentation when it is sent. Jill Martain-Qwest stated that CR remains in Development status.

July 20, 2005 Monthly Product Process CMP Meeting discussion: Russ Urevig-Qwest stated that the Stop Port Activities was implemented for the GETO exchange customers to determine how we wanted to incorporate into the PCAT. He said that the PCAT will be out shortly. Bonnie Johnson-Eschelon asked what a GET Customer was. Russ Urevig-Qwest said that a GET Customer orders PRI from Qwest through the General Exchange Tariff. Bonnie Johnson-Eschelon asked if Retail was porting into Retail. Russ Urevig-Qwest said that the customer is getting PRI from Retail and they are porting in these numbers. Bonnie Johnson-Eschelon said that when Eschelon’s comments were addressed, they had concerns and had suggested that Qwest do a one time sweep with the Service Managers to get a good contact. She said that the request could be sent out and the link could be provided to those that respond. She said that those that don’t respond, the Service Managers could get involved. Jill Martain-Qwest said that this CR will remain in Development.

June 15, 2005 Monthly Product Process CMP Meeting discussion: Russ Urevig-Qwest stated that an ad hoc meeting was held on June 1st and discussion took place regarding the feedback that Qwest received. Russ stated that Qwest discussion surrounded option with the perspectives of an OSP and an NSP. Russ stated that he is looking to develop the PCAT language by July 1st. Russ noted that changes were being made to some Qwest back-end systems and that he would line-up the PCAT updates with the implementation of the back-end system changes. Russ stated that he is targeting the PCAT updates by July 1st and that this CR would remain in Development status.

-- June 1, 2005 Ad Hoc Meeting ATTENDEES: Ann Hurley-SBC, Jackie Diebold-TDSMetroCom, Sharon Van Meter-AT&T, Kim Isaacs-Eschelon, Joseph Koltis-Eschelon, Bonnie Johnson-Eschelon, Tiffany Ellwood-McLeodUSA, Rosalin Davis-MCI, Liz Balvin-Covad, Stephanie Prull-Eschelon, Pete Stave-Eschelon, Russ Urevig-Qwest, Jim Recker-Qwest, Jamal Boudhaouia-Qwest, Peggy Esquibel Reed-Qwest, Jennifer Fisher-Qwest MEETING DISCUSSION: Peggy Esquibel Reed-Qwest stated that there was an ad hoc meeting held on April 28th where Qwest asked the CLEC Community for input. Peggy stated that at the May CMP Meeting, Qwest noted that input was received from the perspective of an old service provider and from the perspective of a new service provider. Peggy then stated that today’s call was for further discussion of this change request. Peggy asked if there were any questions so far. There were none. Russ Urevig-Qwest reviewed the intent of this call and stated that when Qwest makes a request of an OSP for port-in and Qwest receives an LSR from the NSP (port-in from the OSP), Qwest handles the LSR to the OSP on the behalf of the NSP. Qwest then expects an FOC from the OSP with the date. When Qwest sends the LSR and reclaims facilities from an UBL, Qwest identifies that and would be an analog loop. Russ stated that this could be a port-in with a new facility pair, if the OSP is loosing in its entirety. The OSP would then send an LSR to Qwest. Russ stated that currently there are several steps if Qwest does receive the FOC; another LSR is sent, a call is placed to the OSP using the contacts, and if no response is received, Qwest proceeds on the due date and is a forced port, which is a concern. Russ noted that the concern is that if the OSP has not ported the number, the calls could die at the switch. Russ stated that Qwest is proposing a modification to the PCAT to no longer perform forced ports if no FOC was received from the OSP. Russ stated that on day-3, Qwest would send a jeopardy to the NSP and advise that the date was in jeopardy. The PON of the LSR that was sent to the OSP is sent to the NSP and if the NSP then needs to interface with the OSP due to Qwest not receiving the FOC, from the OSP. Russ noted that a due date change may be needed from the OSP. Russ stated that if the OSP does not send Qwest an FOC, the number would not be ported. Russ stated that Qwest received feedback from a few CLECs, which gave the perspectives of an OSP and an NSP. Russ noted that the one item, received in the feedback, was that a CLEC would like to see a modified code that would identify this condition. Russ noted that Qwest looked at this suggestion and stated that this would require system changes to IMA and that the 19.0 prioritization was scheduled for July. Russ noted that this would be a Qwest concern due to the timing; and that non-impacting system changes were already scheduled for October. Russ stated that those changes follow the normal Level 4 timeline, if the PCATs are updated by the 1st of July. Russ then stated that other feedback was that an OSP has concerns regarding the NSP interfacing with them and that an NSP would work with Qwest as a third party. Russ noted that the OSP only wants to interface with Qwest when no FOC was sent. Russ stated that this could be worked out with the current escalation process for wireline and wireless numbers. Russ stated that based on LNP activity guidelines, the number cannot be ported in. Russ noted that there are issues on both sides and stated that Qwest wants to deliver service in the right fashion. Russ stated that Qwest would like to proceed with the modification of the PCAT, send the modifications out for review, and receive comments. Russ asked for questions. Bonnie Johnson-Eschelon stated that she believes that if the OSP had followed Industry Standards and had not responded to the LSR or to the escalation that it should be too bad. Bonnie stated that the OSP should be responding to Qwest. Bonnie stated that there are three parties involved, which are the NSP, the OSP, and the Network provider. Bonnie stated that the NSP getting involved only makes sense and stated that forced ports should stop. Bonnie stated that she was not aware that Qwest moved forward if there was no response received from the OSP. Bonnie stated that this could always end-up as an escalation and a repair call. Bonnie stated that if an OSP does not want the NSP involved, the OSP should then be responding via the FOC, the reject, or to the escalation. Russ Urevig-Qwest stated that information is sent to the OSP and stated that Qwest is the Network provider and has no stake in this transaction. Russ stated that Qwest would not move forward if no response is received from the OSP. Russ stated that the interface then would become outside of the Network Service Provider realm and is then between the OSP and the NSP. Bonnie Johnson-Eschelon stated that she agreed with Russ (Urevig-Qwest). Russ Urevig-Qwest stated that at that point, the LSR would need to be resubmitted, by the NSP, with a different due date or would need to interface with the OSP. Russ stated that we need to allow the end user to move between providers. Russ stated that Qwest is the network provider of the facilities and has no control. Russ stated that the PCAT would state the network service providers position and that the NSP would be provided with information. Russ stated it would then be up to the NSP and OSP. Russ stated that Qwest would not suggest that the NSP interface with the OSP, it is up to the NSP to decide. Russ noted that Qwest would provide information to the NSP and leave it at that. Russ stated that there would be appointment scheduler activity anytime there are new facilities and would not be applicable if reusing facilities. Russ stated that if the OSP sends concurrence to Qwest, the transaction would take place. Russ stated that Qwest is still looking at a unique jeopardy code but that it would be a new/separate CR for the IMA effort. Russ noted that it would not be eligible for 19.0. Russ stated that this was a possibility in the future and stated that it is really a secondary issue. Bonnie Johnson-Eschelon stated that the new CR could be the long term effort and that this existing CR could be the short term. Russ Urevig-Qwest stated that Qwest would look into it. Russ noted that if it is prior tot the FOC, it would result in a reject for the error to be sent back to the NSP. Russ stated that the reject could be due to an incorrect address. Bonnie Johnson-Eschelon stated that this should be a reject and that the NSP LSR would need to be corrected. Bonnie asked if this would be 2 CRs. Russ Urevig-Qwest said yes and stated that it could be 2 different activities. Russ stated that there could be a reject from the OSP due to incorrect information, and if no FOC is received by Qwest from the OSP, this would be a jeopardy. Russ stated that something would need to be done with the error. Bonnie Johnson-Eschelon stated that we would need to define the terms. Bonnie then stated that a customer jeopardy was a good long term solution and that the short term could be accommodated via the error process. Russ Urevig-Qwest stated that he would update the port-in PCAT before July 1st and present the changes for review. Russ stated that this CR would remain in development status and that Qwest would proceed with the implementation of the CR. Bonnie Johnson-Eschelon stated that another recommendation was that the Qwest Service Managers, for the facility based CLECs, solicit for updated contact information for LSRs and escalations. Russ Urevig-Qwest stated that this is a good idea so all are working from the same list. Bonnie Johnson-Eschelon stated that the information or a link to the information would be helpful for getting a response. Russ Urevig-Qwest stated that he agreed. Kim Isaacs-Eschelon asked if the reuse of loops would be for analog only and stated that the migration/conversion PCAT says that LX Loops for DSL capable loops would be reused, if they qualify. Kim asked that if they go from UBL to a Qwest product, if that was not the case. Russ Urevig-Qwest stated that when is equivalent to a 1FR; if the circuit is to be reused facilities. Russ stated that he would need to look at UBL going to the end user. If LX--, Qwest will automatically take it. If the circuit is LX-N (more than basic or a voice grade loop) Qwest does not know if the NSP wants DSL capability from the OSP. Qwest would then ask for the port only. Russ stated that this is the current practice and that it has been working well. Russ stated that Qwest does not want to take facilities from an LXR-, LX-N, or from an ISDN line the end user may want to keep with the OSP. Kim Isaacs-Eschelon thanked Russ for the clarification. Bonnie Johnson-Eschelon asked that if the LSR, from the NSP, indicates the circuit id, if the facilities would be taken. Russ Urevig-Qwest said yes and stated that if sees LX-N or LXR-, Qwest does not know and won’t leave a customer without DSL. Tiffany Ellwood-McLeodUSA asked that in regard to the NSP contacting the OSP, that Qwest would do all that they can, with the OSP, before the NSP contacts the OSP. Russ Urevig-Qwest stated that the internal method is being modified so that data from the NSP LSR will be validated and if there are changes, Qwest will ask the OSP for concurrence. Russ stated that Qwest would do all that Qwest can. Bonnie Johnson-Eschelon stated that the NSP LSR could be rejected to the NSP and that a new LSR may be needed from the NSP to Qwest. Russ Urevig-Qwest stated that when Qwest gets the reject from the OSP, it will take Qwest out of the loop in requesting a CSR from the OSP. Russ stated that in some cases, Qwest can see that no CSR was requested because the data provided is not even close to what it should be. Russ stated that today, Qwest pulls the CSR and this could delay the process and stated that this should not be the network providers responsibility. Russ stated that Qwest will populate data as it was provided to Qwest and in the future, this will reject because the information does not match the information from the OSP and Qwest will not pull the CSR. Russ stated that the NSP needs to pull the CSR from the OSP. Russ stated that this will make this a lot smoother and that the end user is currently not getting all the calls from the OSP. Russ Urevig-Qwest stated that he would update the PCAT by July 1st. Peggy Esquibel Reed-Qwest asked if there were any additional questions or comments. There were none. Peggy stated that Qwest will proceed with this CR and that a status would be given at the June CMP Meeting.

- May 18, 2005 Product Process CMP Meeting Discusson: PC030205-1IG Port In PCAT-Stop Force Port Activities Russ Urevig-Qwest stated that an ad hoc meeting was held and that it provided good input. Russ stated that input was due back to Qwest by May 13th and noted that Qwest did receive information from an old provider perspective and from the perspective of a new provider. Russ stated that we are internally reviewing the information and that another ad hoc is being scheduled for June 1st. Russ stated that a status would be provided at the June CMP Meeting. Russ then noted that this CR would remain in Development status.

- April 28, 2005 CLEC Input Meeting Minutes Attendees: Bonnie Johnson-Eschelon, Kim Isaacs-Eschelon, Tiffany Ellwood-McLeod, Liz Balvin-Covad, Kerry Birks-Comcast, Tom Larson-Cox Communications, Linda Minasola-Comcast, Russ Urevig-Qwest, Jennifer Fisher-Qwest, Peggy Esquibel Reed-Qwest, Jamal Boudhaouia-Qwest, Connee Moffatt-Qwest, Scott Ellefson-Qwest, Chris Quinn-Struck-Qwest

Peggy Esquibel Reed-Qwest stated that the purpose of the call was for PC030205-1IG Port In PCAT-Stop Force Port Activities, originated by Qwest. Peggy stated that this change is based on the Industry Standards that were established via the LNPA Working Group at NANC for LNP Practices. Peggy then stated that Russ (Urevig-Qwest) had mentioned, at the CMP Meeting, that he wanted to talk to the CLEC Community about this Change Request. Peggy then noted that included with the meeting notification were 3 documents: the Port In Process Documentation changes, the Inter-Service Provider LNP Operations Flow Charts, and the Narratives for the Flow Charts. Peggy then asked if there were any questions before the call was turned over to Russ Urevig (Qwest). There were no questions brought forward. Russ Urevig-Qwest stated that the current process if a new LSP requested is that Qwest port in a number from another provider on their behalf, Qwest issues an LSR to the OLSP. Qwest issues the order to the SOP and FOCs the new provider, and then proceeds. Qwest generates an LSR to the OLSP requesting concurrence based on the interval and waits for the FOC. The service is already in the system for the new provider; the current date is for the OLSP. Russ stated that this may result in a date adjustment, which then Qwest re-FOCs to the new provider. Russ stated that if no FOC is received from the old provider, Qwest then has no confirmation. Qwest would then issue another LSR to the old provider and continues with the new provider. Billing would start to the new provider. Russ stated that this could result in the end user not receiving all of their calls. Russ stated that the calls originating for the OSP switch would not go through. Russ stated that Qwest works with the OSP to get the number ported. Russ then noted that Qwest does have issues getting the confirmation from the OSP and that the issue for the new service provider is that the service would not be working as it should. Russ then stated that Qwest is proposing to become more standard with the LNP Working Group. Russ stated that the flow charts and narratives indicate the Network and stated that Step 9 & 12 of the narrative says that the Network Service Provider issues the LSR, service order, and send an FOC. Russ then noted that was where the change in this process is. Russ stated that in the 6 day interval, on Day 0-Qwest receives the LSR from NLSP and issues LSR to OLSP and reserves the requested due date in appointment scheduler; then on Day 1-Qwest is waiting for FOC from OLSP and if received, issues the order and FOC to the NLSP. Russ stated that Qwest waits for the FOC thru Day 1 and does not issue the service order until concurrence is received. On Day 3 if the FOC is received, the service order gets issued. Russ stated that if the FOC is not received, Qwest starts the escalation process with the OLSP and noted that Qwest does have contact names and telephone numbers. The LSR is then in jeopardy status, after a 4 hour wait on the escalation, and the NLSP is advised of a possible no port condition. Russ stated that this could increase the number of jeopardies and rejects to the new service provider. Linda Minasola-Comcast stated that on page 5 of the narrative, it states that if Qwest has an arrangement with the reseller and no notification is sent, would they know about that and stated that her concern is regarding the lengthening of the timeframe if it is not known. Linda asked how this would impact a Facilities Based Provider. Russ Urevig-Qwest stated that there would be no lengthening and stated that Qwest would port the number to the LSP. Russ stated that there would be no effect to the Facility Based providers. Russ stated that in this specific scenario, it would only impact when Qwest is requesting a port-in from Comcast. Linda Minasola-Comcast thanked Russ. Russ Urevig-Qwest stated that the effects that can occur for the NLSP is when they send an LSR, they normally receive the FOC within 24-hours and now the FOC could take 3-days. Then would get a reject, an FOC, or a jeopardy on that 3rd day. Bonnie Johnson-Eschelon stated that she was surprised because when the current process was being developed, she was not aware that Qwest was moving forward if no concurrence was received from the OLSP. Bonnie stated that if a call originates from a non-Qwest switch, that call would not go through. Bonnie stated that she was aware of the escalation process. Bonnie then stated that she did not disagree that this needs to be fixed because this is not good for the end users. Bonnie stated that it can be fixed by working on the process. Bonnie then stated that she understood that the reject, FOC, jeopardies could be implemented. Bonnie stated that she looked at this closely in order to come up with some recommendations. Bonnie stated that the escalation process needed to be no less than the escalation process for the Retail customer. Bonnie stated that the new provider is the middle person and has no control. Bonnie stated that she would like a process that Qwest escalates and then if no response is received, to have the new provider get involved in the escalation. Bonnie noted that she has had to contact the old service provider before. Bonnie then made the following recommendations: she agreed that if no concurrence is received from the OSP, that cannot move forward and need to work together. Bonnie then stated that possibly a unique jeopardy code could be used. Bonnie stated that in regard to the process, where under the traditional process it could take 4-hours, that maybe could have a longer timeframe so the due date could be met without supplementing the LSR; i.e.: don’t reject if the new service provider wants to take the escalation over, and then supp the order with the due date. Bonnie stated that this could result in no missed due dates. Russ Urevig-Qwest asked to confirm that when Bonnie refers to the order she is talking about the LSR. Bonnie Johnson-Eschelon said yes and stated that Qwest needs to determine what works best for Qwest. Bonnie stated that at a high level, a unique jeopardy code that when it is jeop’d, Qwest could give a high level history of the escalation, including the name and telephone number, so that if an escalation is taken over they have the history. Bonnie stated that the Service Management team needs to get contact names and numbers, especially for those CLECs who do not attend CMP, so that there could be a current common contact list. Bonnie stated that Eschelon has contact names & numbers on their web site and noted that it is continually updated but noted that not all CLECs have that is why CLECs need to provide contacts or links to the information. Bonnie stated that she thought the orders were already being rejected and noted that it does need to move if the old provider does not do their work. Bonnie stated that this impacts the old provider, the new provider, and Qwest. Bonnie stated that if jeop’s, maybe the CLEC needs to positively respond with either yes or no that they would become involved in the escalation or take the escalation over in order to try and get the FOC for Qwest. Russ Urevig-Qwest stated that the new provider sends the LSR, the information is transferred to the LSR and forwards to the OSP. Russ stated that sometimes there is a reject due to incorrect data. Qwest then has to request a CSR from the OSP in order to populate the LSR correctly. The new service provider should be responsible to make sure that the OSP CSR information is correct. Russ stated that some CLECs do make sure but that some CLECs do have problems, so would like to automatically pull them. Bonnie Johnson-Eschelon said that if Qwest gets a reject from the OSP, she thought that the NSP would be notified because the LSR from the NSP would probably be wrong. Russ Urevig-Qwest stated that it would meet the edit validations. Russ stated that the information is sent to the OSP and that the edits are more stringent on the CLEC side because of requests to have Qwest edits relaxed or removed. Russ stated that we try and make sure that the information is correct and that a CSR is requested, if needed. Russ stated that for those where we get a lot of rejects, the rejects are back sooner. Bonnie Johnson-Eschelon stated that was a different issue and noted that all are happy to work with Qwest. Bonnie stated that for the purpose of this CR, we are talking about no response received at all. Russ Urevig-Qwest stated that when modifying the PCAT, when the condition occurs, this will also have to be included. Bonnie Johnson-Eschelon stated that both should be done at once. Kim Isaacs-Eschelon asked that after the order is rejected back, what if you get the FOC after the order is rejected to the OSP? Russ Urevig-Qwest stated that when the LSR is rejected to the NSP at the same time as the order is sent to the OSP, the LSR is cancelled. Russ stated that looking from Bonnie’s perspective, if look at the new jeop code, maybe it would not be a reject and could possibly move forward, and then FOC. Russ stated that we need to work through this and have further discussion. Bonnie Johnson-Eschelon stated that maybe the NSP does not want to get involved, so in that case it would be logical to cancel the LSR. Kim Isaacs-Eschelon stated that we do need to work through this. Russ Urevig-Qwest asked for additional questions. None were brought forward. Russ then asked the CLECs to document their suggestions and forward them to Peggy.Esquibel-Reed@qwest.com, we would look at the suggestions, discuss, and see how can do hand-offs. Russ stated that we could then have another call. Russ stated that this process has been around for a while and noted that a change is needed and that we would work together through this. Bonnie Johnson-Eschelon stated that this is doable and that we do need to work together. Russ Urevig-Qwest stated that the next steps are that the CLECs are to send their suggestions to Peggy Esquibel Reed (Qwest); we would work on the process, review the PCAT changes, and then issue documentation for review and approval. Russ stated that Qwest does want to incorporate the feedback from the CLECs. Bonnie Johnson-Eschelon stated that she would send-in her thoughts and asked at what point, in the 6-day interval, if a due date is reserved, does Qwest need the FOC and what day to look at a new due date. Russ Urevig-Qwest stated on day-3 a new appointment would be needed. Bonnie Johnson-Eschelon asked to confirm that it would be on day-4 and after. Russ Urevig-Qwest said yes and asked that the CLECs discuss suggestions amongst themselves. Bonnie Johnson-Eschelon stated that those who participate are not traditionally the CLECs that have problems with. Russ Urevig-Qwest stated that we do have Service Manager’s on the call and stated that they have been asked to interface with their customers regarding the proposed changes and to get feedback. Peggy Esquibel Reed-Qwest asked for the timeframe that the feedback is needed. Russ Urevig-Qwest stated that he would like the information by May 13th and stated that a status would be provided at the May CMP Meeting, Qwest would meet internally, and then a status would be given in June. Peggy Esquibel Reed-Qwest asked if there were any additional questions or comments. There were none. Peggy thanked the call participants for their input and stated that Qwest would certainly take the input into consideration and again provided the email address for suggestions Peggy.Esquibel-Reed@qwest.com The call was then concluded.

April 20, 2005 Product Process CMP Meeting Discussion: Russ Urevig-Qwest stated that there was a CLEC Input Meeting scheduled for April 28th at noon MT and that the notice was being sent. Russ stated that the meeting was delayed due to additional internal discussions. Jill Martain-Qwest stated that there would be discussion at the CLEC Input Meeting. Liz Balvin-Covad asked if references could be added to the CR for the IG classification. Jill Martain-Qwest stated that they would be added. Liz Balvin-Covad stated that the (Change to minutes submitted by Covad 4/28/05) reference would come from Industry Guidelines. Bonnie Johnson-Eschelon stated that she would like the information prior to the CLEC Input Meeting. Jill Martain-Qwest stated that this CR moves to Development status.

March 16, 2005 Product Process CMP Meeting Discussion: Russ Urevig-Qwest reviewed the CR and stated that when the PCAT was developed, it was a joint effort with the CLECs. Russ stated that we now have a forced port scenario and that it causes concern for both the old and new provider’s. Russ stated that when the process was developed it was prior to the Industry Standard being established. Russ stated that we never do a forced port without an okay from the old provider and now we are operating outside of the Industry Standard. Russ stated that Qwest and the CLECs need to work together and that he was currently working on a proposal. Russ stated that we would have an ad hoc meeting to discuss the proposal with the CLECs. Bonnie Johnson-Eschelon stated that she is anxious to discuss this and agrees that the customer was highly impacted. [Comment received from Eschelon: Eschelon stated that she had just sent an example where Qwest did an unauthorized port to her service manager and Qwest was unable to produce the LSR Qwest sent for the port and is anxious to discuss this and agrees that this customer was out of service highly impacted.] Bonnie stated that she agreed that conversation is needed regarding the options. Sue Wright-XO asked if this was in reference to CLEC to CLEC migrations. Russ Urevig-Qwest said yes. Sharon Van Meter-AT&T asked to confirm that the PCAT would not be changed until after the ad hoc call. Russ Urevig-Qwest stated that was correct. Russ then noted that this was originally going to just be a Level 3 notice, but he felt strongly about obtaining CLEC input, so he issued the Level 4 CR. Bonnie Johnson-Eschelon stated that she appreciated that a CR had been issued and that the CLECs would be able to provide input. Jill Martain-Qwest stated that the meeting would be scheduled. This CR moves to Presented status

- March 2, 2005 Clarification: Russ Urevig-Qwest requested a CLEC Input Meeting to review the CR with the CLEC Community. Russ will provide Peggy Esquibel-Reed (Qwest) with an attachment to include with the notification of the CLEC Input Call.


Open Product/Process CR PC012505-1 Detail

 
Title: Title Revised 6 7 05: Grandparent All Business Packages in the Qwest 14 States, Except N. Idaho (Orig Title: Grandparent All Business Packages)
CR Number Current Status
Date
Area Impacted Products Impacted

PC012505-1 Completed
6/15/2005
Resale, UNE-P (excluding CTX 21 for UNE-P)
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

JUNE 7, 2005 REVISED CR DESCRIPTION:

Qwest will be grandparenting all business packages. This will include Qwest Choice Business, CustomChoice for Business, Qwest Business Line Plus, call Manager, Smart Set, Multiline Variety Package and CTX21. This effort is effective on April 11, 2005 for all Qwest States, with the exception of N. Idaho. The impacted USOCs are listed below, in the original CR Description.

----------------------------------------------------------

ORIGINAL CR DESCRIPTION:

Qwest will be grandparenting all business packages. This will include Qwest Choice Business, CustomChoice for Business, Qwest Business Line Plus, call Manager, Smart Set, Multiline Variety Package and CTX21.

USOCs:

PGOBA "Old" Qwest Choice Business

PGOBD "Old" Qwest Choice 2-Line Business

PGOCL CustomChoice for Business month to month

PGOCN CustomChoice for Business 1 year term

PGOCO CustomChoice for Business 2 year term

PGOCQ CustomChoice for Business 3 year term

PGOCD CustomChoice for Business additional line month to month

AWL Utility line

NLUDD "Old" Qwest Business Line Plus 1 year term

NLUDY Qwest Business Line Plus 1 year term

NLUDG "Old" Qwest Business Line Plus 2 year term

NLUDZ Qwest Business Line Plus 2 year term

NLUDL Qwest Business Line Plus 3 year term

NLUDE Qwest Business Line Plus month to month

NLUBQ Call Manager without Call Waiting

NLUBR Call Manager Connection with Call Waiting

NLUBS Call Manager Connection with Business Receptionist

NLUBT Call Manager Connection with Call Waiting ID

NLUY1 Smart Set

NLUY2 Smart Set Plus

MVP11 MULTILINE VARIETY PACKAGE - PLAN 3 - CENTRON I-BASIC PACKAGE INCLUDES TT, CALL HOLD, TRANSFR, 3-WAY CALLING

MVPAA MULTILINE VARIETY PACKAGE - ALTERNATE ANSWERING; CENTRON I

MVPDA MULTILINE VARIETY PACKAGE - ALT ANSG - DON'T ANS; CENTRON I

MVPBC MULTILINE VARIETY PACKAGE - ALTERNATE ANSWERING - BUSY LINE - ALL CALLS; CENTRON I-ALTERNATE ANSWER BUSY LINE

MVPDC MULTILINE VARIETY PACKAGE - ALT ANSWERING - DON'T ANS - ALL CALLS; CENTRON I-ALTERNATE ANSWER DON'T ANS

MVPCF MULTILINE VARIETY PACKAGE - CALL FORWARDING; CENTRON I-CALL FORWARDING

MVPCB MULTILINE VARIETY PACKAGE - CALL FORWARDING - BUSY LINE - WITH CUSTOMER ACTIVATION, DEACTIVATION & CHANGE CAPABILITY

MVPCA MULTILINE VARIETY PACKAGE - CALL FORWARDING - DON'T ANSWER - WITH CUSTOMER ACTIVATION, DEACTIVATION & CHANGE CAPABILITY

MVPCU MULTILINE VARIETY PACKAGE - CALL PICKUP; CENTRON I

MVPCW MULTILINE VARIETY PACKAGE - CALL WAITING; CENTRON I-CALL WAITING

MBWCD MULTILINE VARIETY PACKAGE - CONVENIENCE DIALING - 6 NO LIST; CENTRON I

MVPCD MULTILINE VARIETY PACKAGE - CONVENIENCE DIALING - 30 NO LIST; CENTRON I-CONV DIALING 30 NUMBER LIST

MVPSR MULTILINE VARIETY PACKAGE - SELECTIVE CALL REJECTION; PER LINE

MVPAC MULTILINE VARIETY PACKAGE - AUTOMATIC CALL RETURN; PER LINE

MVPDW MULTILINE VARIETY PACKAGE - DISTINCTIVE RINGING - CALL WAITING; PRIORITY CALL PER LINE

MVPSF MULTILINE VARIETY PACKAGE - SELECTIVE CALL FORWARDING; PER LINE

MVPAR MULTILINE VARIETY PACKAGE - AUTOMATIC REDIAL; LAST CALL RETURN PER LINE

MVP1N MULTILINE VARIETY PACKAGE - INTERCOM - 6 CODE CAPACITY; CENTRON I

MVP1C MULTILINE VARIETY PACKAGE - INTERCOM; CENTRON I

MVP6C MULTILINE VARIETY PACKAGE - CONFERENCE CALLING - 6 PORT

MVPDR MULTILINE VARIETY PACKAGE - DISTINCTIVE RINGING; CENTRON I

JBG Exchange Access Lines for CCMS

JBH Exchange Access Lines for CCMS

JBV Exchange Access Lines for CCMS

JBW Exchange Access Lines for CCMS

JBM Exchange Access Lines for CCMS

JBT Exchange Access Lines for CCMS

WTK 800 Terminating Line Agmt - WATS - 800 SERVICE

MVPBL Alternate Answer Call Forward Busy Line - MULTILINE VARIETY PACKAGE - ALTERNATE ANSWERING - BUSY LINE - INC ONLY; CENTRON I

MXPBD Alternate Answer CFBL/DA - MULTILINE VARIETY PACKAGE - ALT ANSWERING - BUSY LINE - DON'T ANS - ALL CALLS;CENTRON I-ALTERNATE ANSWER

ESTC1 Convenience Dialing 1 Digit - SPEED CALLING - 6 CODE CAPACITY - 1ST LINE; CENTRON I

ESFC3 Convenience Dialing 2 Digit - SPEED CALLING - 30 CODE CAPACITY - CUSTOMER CHANGEABLE - PER LIST; CENTRON I

WF9 WATS Termination Interstate - INWARD WATS FEATURE ON EXCHANGE ACCESS LINE- INTERSTATE

WF8 WATS Termination Intrastate - INWARD WATS FEATURE ON EXCHANGE ACCESS LINE - 2ND RATE LEVEL

MVP14 CCMS - MULTILINE VARIETY PACKAGE - PLAN 4 - CENTRON I-BASIC FEATURE PACKAGE DISCOUNTED

ESH Cnvnc Dialing - Shared User - SPEED CALLING LIST; 30 NUMBER SPEED CALL LIST USER - PROVISIONING ONLY

EPB One party flat rate, EBS, month to month.

R4V One party flat rate, EBS, rate stabilized.

R4X Analog with Megabit, month to month

R6X Analog with Megabit, rate stabilized

XRW One party flat rate, ISDN, month to month.

XRS One party flat rate, ISDN, rate stabilized.

RXB One party flat rate, Analog, with DSL, Month-to-Month

RSX One party flat rate, Analog, with DSL, Rate Stabilized

FPKXX (Used with EPB, RXB) Exception feature packages for Month to Month. In CO, IA, ID-S, MN this package element is separately rated.

FPKXR (Used with R4V, RSX) Exception feature packages for Rate Stabilized. In CO, IA, ID-S, MN this package element is separately rated.

Expected Deliverable: April 11, 2005.


Status History

01/25/2005 CR Submitted

01/27/2005 CR Acknowledged

02/16/2005 - Discussed in the February Product Process Monthly CMP Meeting

02/22/2005 - PROD.02.22.05.B.000677.Qwest_Choice_Business

02/24/2005 - PROD.02.24.05.F.02533.GrandparentBusPkgs_CTX21

03/16/2005 - Discussed in the Monthly Product/Process CMP Meeting

03/25/2005 - PROD.03.25.05.F.02699.FNL_GrandparentPkgs_CTX21

03/29/2005 - CMPR.03.29.05.F.02770.AdHocMeeting (meeting scheduled for 4/5/05)

04/05/2005 - Ad Hoc Meeting Held. See Project Meetings Section for Meeting Minutes.

04/08/2005 - PROD.04.08.05.F.02532.GrandparentBusPkgs_CTX21 (Level1 for corrections)

04/08/2005 - PROD.04.08.05.F.02769.GrandparentBusPkgs_CTX21 (Level 1)

04/15/2005 - PROD.04.15.05.F.02824.ResalePOTS_V36

04/20/2005 - Discussed in the Monthly Product/Process CMP Meeting

04/29/2005 - PROD.04.29.05.F.02825.Resale_CCMS_V16 (Level 1)

05/18/2005 - Discussed in the Monthly Product Process CMP Meeting

05/18/2005 - Status Changed back to Development for implementation in N. Idaho

06/07/2005 - CR Revised to Exclude N. Idaho

06/15/2005 - Discussed in the Monthly Product Process CMP Meeting


Project Meetings

June 15, 2005 Monthly Product Process CMP Meeting discussion: Peggy Esquibel Reed-Qwest stated that this effort was effective for all states except N. Idaho on April 11, 2005. Peggy noted that the CR was moved to CLEC Test, then back to Development for N. Idaho. Peggy stated that N. Idaho now might not be impacted until possibly the 4th quarter and due to that information; Qwest has revised this CR to remove N. Idaho from this request. Peggy stated that a new CR could be issued for N. Idaho when that state is impacted and asked for closure of this CR. This CR was moved to Completed status.

- May 18, 2005 Monthly Product Process CMP Meeting discussion: Jill Martain-Qwest stated that this was effective for all states on April 11th, except for N. ID, so will move back to Development status pending N. ID.

April 20, 2005 Product Process CMP Meeting Discussion: Janean Van Dusen-Qwest stated that this change was effective on April 11th and stated that this CR would move to CLEC Test.

- April 5, 2005 Ad Hoc Meeting Minutes: ATTENDEES: Bishom Agraval-AT&T, Kim Isaacs-Eschelon, Janean Van Dusen-Qwest, Becky Ferrington-Qwest, Susie Wells-Qwest, John Hansen-Qwest, Peggy Esquibel Reed-Qwest

Peggy Esquibel Reed-Qwest stated that the purpose of the call was for Qwest to communicate a change regarding PC012505-1 Grandparenting All Business Packages for Northern Idaho. Becky Ferrington-Qwest stated that Qwest was recently notified that there was a change to the overall grandparenting of business packages, including Centrex 21. There is additional work needed for Northern Idaho regarding key features in the Business Packages. Qwest will leave the existing packages, Qwest Business Line Plus, Call Manager Connection, and Centrex 21 until some time in the third quarter. Part of the work required for the new packages includes making certain key features are available for N. Idaho that are not available today, but are part of the new packages being launched in the rest of our 14-state region. Becky noted that this is similar to activity that took place last summer where Qwest launched new Retail/Consumer packages and, at the same time grandparented existing/previous packages. Becky stated that this effort does the same thing, but on the Retail/Business side. This effort includes grandparenting of Centrex 21. Becky stated that this is a minor change because of the impacted geography (N. Idaho). Becky then stated that in order to manage the requests for Northern Idaho, Qwest asks that the CLEC Community mark their N. Idaho requests for existing Business Packages and Centrex 21 for manual handling and to make a note in Remarks. Becky stated that this would avoid leaving Northern Idaho D-N ‘packageless’ until the third quarter of 2005. Peggy Esquibel Reed-Qwest asked for questions or concerns. AT&T stated that they had none. Eschelon also stated that they had none. Becky Ferrington-Qwest again noted that this was a small change. Peggy Esquibel Reed-Qwest stated that Qwest would proceed with the appropriate notices.

March 16, 2005 Product Process CMP Meeting Discussion: Janean Van Dusen-Qwest stated that we are on track for the April 11th effective date, and noted that all the documentation would be updated by that date. Janean stated that this CR moves to Development status. Sharon Van Meter-AT&T asked what was meant by all business packages. Janean Van Dusen-Qwest stated that the information, including USOCs, is detailed in the CR.

-- February 16, 2005 Product Process CMP Meeting Discussion: Janean Van Dusen-Qwest reviewed the CR and stated that the CR would be revised to grandparent Centrex 21 for Resale and not grandparent for UNE-P. Janean stated that the targeted effective date for this change was April 11, 2005. Jill Martain-Qwest stated that this CR moves to Presented status.


Open Product/Process CR PC020205-1 Detail

 
Title: DD Intervals on 911
CR Number Current Status
Date
Area Impacted Products Impacted

PC020205-1 Completed
6/15/2005
Ordering 911 - PS/ALI
Originator: Recker, Jim
Originator Company Name: Qwest Corporation
Owner: Recker, Jim
Director:
CR PM: Stecklein, Lynn

Description Of Change

Change the service intervals associated with the PS/ALI CAMA trunks/circuits from 5 days, as referenced in EEL-DS0, to a 12 business day interval to assure diversity is designed to the level available using the existing infrastructure.


Status History

2/2/05 CR Submitted

2/3/05 CR Acknowledged

2/16/05 Status changed to presented

2/16/05 Discussed at the Product/Process CMP Meeting - See Attachment E in the Distribution Package

3/16/05 Discussed at the Product/Process CMP Meeting - See Attachment E in the Distribution Package

3/16/05 Status changed to Development

3/23/05 PROD.03.23.05.F.02717.AccessEmergencySvcsV16

4/20/05 Discussed at the Product/Process CMP Meeting - See Attachment E In the Distribution Package

4/21/05 PROD.0421.05.F.02850.FNLAccessEmergencySvcsV16

5/18/05 Status changed to CLEC Test

5/18/05 Discusssed at the May Product/Process CMP Meeting - See Attachment E in the Distribution Package

6/15/05 Discussed at the June Product/Process CMP Meeting - See Attachment E in the Distribution Package


Project Meetings

6/15/05 Product/Process CMP Meeting

Jill Martain - Qwest stated that this request was effective on 5/7/05 and will move to a Completed Status.

5/18/05 Product/Process CMP Meeting

Lynn Stecklein - Qwest stated that the final notice was sent on 4/21/05 with an effective date of 5/7/05. The CR will move to CLEC Test.

4/20/05 Product/Process CMP Meeting

Lynn Stecklein - Qwest stated that the comment cycle ended on 4/7/05 and there were no comments. Lynn said that the final notice will go out 15 days prior to the effective date of 5/7/05.

Jill Martain - Qwest stated that this CR will remain in Development.

3/23/05 Timeline: Planned Updates Posted to Document Review Site Available March 23, 2005 CLEC Comment Cycle on Documentation Begins Beginning March 24, 2005 CLEC Comment Cycle Ends 5:00 PM, MT April 07, 2005 Qwest Response to CLEC Comments (if applicable) Available April 22, 2005 http://www.qwest.com/wholesale/cmp/reviewarchive.html Proposed Effective Date May 07, 2005

3/16/05 Product/Process CMP Meeting

Lynn Stecklein - Qwest stated that we are moving forward on the PCAT updates and that this request will move to Development.

2/16/05 Product/Process CMP Meeting Jim Carroll - Qwest presented this CR. Jim stated that this CR will change the service intervals associated with the PS/ALI CAMA trunks/circuits from 5 days, as referenced in EEL-DS0, to a 12 business day interval to assure diversity is designed to the level available using the existing infrastructure.

Liz Balvin - Covad asked if Qwest was extending the interval from 5 to 12 days to get a more accurate listing.

Jim Carroll - Qwest said that it is due to the design of the trunk and will allow Qwest to bring in a greater design for more diversity in the trunks.

Liz Balvin - Covad asked if the end user will have services and that this request will enhance.

Jim Carroll - Qwest stated that this request is for new services only.

Bonnie Johnson - Eschelon asked if this detail will be on the notification so that they could forward to their engineering department to appropriately comment.

Jim Carroll - Qwest said that the detail will be provided.

Jill Martain - Qwest stated that this status of this CR moves to Presented.


Open Product/Process CR PC020205-2EX Detail

 
Title: Fiber to the Premise (FTTP) Battery Replacement Process
CR Number Current Status
Date
Area Impacted Products Impacted

PC020205-2EX Completed
4/20/2005
Maintenance & Repair Resale POTS
Originator: Inman, Janie
Originator Company Name: Qwest Corporation
Owner: Inman, Janie
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Qwest has informed the CLEC community of its plans to deploy Fiber To The Premise architecture in certain communities. Because this architecture is fiber based, Qwest will not be able to technically line power the customer phone from the serving wire center. Therefore, a battery back up unit is required at the end user customer location for lifeline capability. The maintenance of this battery backup unit will be the responsibility of the end user customer. It is proposed that Qwest will monitor this battery backup unit for alarms and provide notice to a CLEC providing resale service to an impacted end user location so that the CLEC end user customer may make arrangements to ensure that the battery is replaced.

Qwest is seeking otiQwest is also requesting implementation via a Level 1 Notice, in lieu of a Level 4 Notice.


Status History

02/02/2005 - CR Submitted

02/02/2005 - CR Acknowledged

02/03/2005 - CMPR.02.03.05.F.02538.ExceptionRequestPreMtg

02/07/2005 - Pre-Meeting Held.

02/07/2005 - CMPR.02.07.05.F.02539.ExceptionVoteRequired

02/10/2005 - CMPR.02.10.05.F.02575.ExceptionRqstPCATUpdates

02/14/2005 - Exception Vote Meeting Held, Quorum not achieved, vote will be rescheduled for February 17th.

02/14/2005 - CMPR.02.14.05.F.02581.Exception VoteRequired

02/16/2005 - Discussed in the February Product Process Monthly CMP Meeting

02/17/2005 - Exception Vote Meeting Held and vote conducted.

02/18/2005 - CMPR.02.18.05.F.02600.ExceptRequestVoteResults

02/22/2005 - PROD.02.22.05.F.02598.Resale_POTS_V34

02/28/2005 - Meeting Held, at the request of AT&T, for Q & A.

03/16/2005 - Discussed in the Monthly Product/Process CMP Meeting

04/20/2005 - Discussed in the Monthly Product/Process CMP Meeting

05/05/2005 - PROD.05.05.05.F.02865.Resale_POTS_V37 (Level 1)


Project Meetings

April 20, 2005 Product Process CMP Meeting Discussion: Joy McConnell Couch-Qwest stated that she has a correction in that the Linebacker would be available for resale at locations served by FTTP. Joy stated that it would not be available to these customers on a retail or resale basis. Joy stated that this was effective on February 23rd and asked for closure of the CR. Liz Balvin-Covad asked for the specific product set for this change. Joy McConnell Couch-Qwest stated it was for Resale POTs only. Liz Balvin-Covad asked that the products be updated for this change. Jill Martain-Qwest stated that the CR only could be updated because all the notices have already been sent. Liz Balvin-Covad stated that was acceptable. Jill Martain-Qwest agreed to have the CR updated to stated that it was for the specific product only. There was no dissent to close this CR.

- March 16, 2005 Product Process CMP Meeting Discussion: Joy McConnell Couch-Qwest stated that there are a few questions that she will provide the response for, at today’s meeting. Joy stated that one of the questions was if this process would be available for QPP. Joy stated that it would not be available for QPP and noted that QPP services are specifically for 2 and 4 wire loops and not FTTP loops. Joy stated that there was another meeting held on February 28th, due to AT&Ts request, and that there were a few questions from that meeting. Joy stated that one question was in regard to inside wiring. Joy stated that the end user customer could purchase LineBacker and that inside wire is probably a warranty that a homeowner would have with an inside wire provider. Joy stated that inside wire can be done via the home owner’s request. Sharon Van Meter-AT&T asked why the end user customer would go with their vendor and not go to Qwest. Joy McConnell Couch-Qwest stated that the end user customer would most likely have a 10-year warranty with their vendor. Sharon Van Meter-AT&T asked to confirm that this process is only for new development. Joy McConnell Couch-Qwest said yes. Joy McConnell Couch-Qwest stated that another question was how Qwest would notify of an alarm. Joy stated that the notification of an alarm would be sent to the billing address that was on the order. Joy stated that if a reseller at an FTTP location wants the battery replacement notice sent to a different address, other than the billing address, they should mark the order for manual handling and note the alternate contact information in the Remark’s field of the order. Joy stated that if a dead battery alarm is received, the Qwest Service Manager would contact the reseller in order to notify them that battery replacement is required. Sharon Van Meter-AT&T stated that she may request another call. Sharon stated that she would open it up to all CLECs and noted that if another call is needed, she would send the request via email. Jill Martain-Qwest stated that this was effective on February 23rd and the CR would move to CLEC Test. Jill stated that we would work through any questions that we receive, if any.

- February 28, 2005 AT&T Requested Meeting ATTENDEES: Sharon Van Meter-AT&T, Mike Antanucci-AT&T, Patty Nisonger-AT&T, Joy McConnell Couch-Qwest, Janean Van Dusen-Qwest, Peggy Esquibel Reed-Qwest PURPOSE: Peggy Esquibel Reed-Qwest stated that AT&T requested the meeting and invited the CLEC Community, as a Q&A session. Sharon Van Meter-AT&T stated that AT&T could not attend the previous scheduled calls and that AT&T appreciated the scheduling of this call. Patty Nisonger-AT&T asked, for existing customers, how they would be advised of the changes and that a battery back-up would be needed. Joy McConnell Couch-Qwest stated that this process is effective for new customers and that they would be advised up-front as to what it entails. Joy noted that there is no impact to existing customers. Patty Nisonger-AT&T asked if Qwest was providing the back-up unit to the new customers. Joy McConnell Couch-Qwest stated yes. Patty Nisonger-AT&T asked how notification would occur in regard to the alarms. Joy McConnell Couch-Qwest stated that a letter would be sent. Patty Nisonger-AT&T asked if the letter would be sent to the end user customer or to the CLEC. Joy McConnell Couch-Qwest stated that the letter would be sent to the CLEC that is managing the account, as it would be inappropriate for Qwest to contact the end user customer directly. Patty Nisonger-AT&T asked if the letter would be timely enough and asked how long it would take the CLEC to get the letter. Joy McConnell Couch-Qwest stated that the letter would be sent with the first low battery alarm and that it would normally take about 3-5 weeks for the battery to actually expire. Joy stated that Qwest would keep sending notices. Sharon Van Meter-AT&T asked who specifically would get the letter, within the CLEC. Joy McConnell Couch-Qwest stated that the letter would be sent to the CLECs designated person. Patty Nisonger-AT&T asked how Qwest knows who to send the letter to. Janean Van Dusen-Qwest stated that the letter would be sent to the contact that is listed in the mailout distribution. Sharon Van Meter-Qwest asked which mailout distribution that Qwest was referencing. Janean Van Dusen-Qwest stated the distribution list of those who have opted to receive mailouts for Resale notifications. Sharon Van Meter-AT&T advised Patty Nisonger at AT&T that they would be Change Management Notices and that she, and others, can subscribe to receive them. Patty Nisonger-AT&T asked if the notifications could be flagged differently or have a different category. Patty noted that AT&Ts repair center would need to monitor the notices and something separate, just for this purpose, would be helpful. Janean Van Dusen-Qwest stated that she would check into the request and see if the notices could somehow be flagged or have a separate category. Sharon Van Meter-AT&T stated that this could be a change to the title of a notification. Sharon stated that she does not want this to be a change to the CMP Process. Peggy Esquibel Reed-Qwest stated that we would discuss internally to see what could be accommodated. Joy McConnell Couch-Qwest stated that with the deployment of the Fiber to the Premise architecture, the customer end needs a power source, which is the battery back-up unit at the customer’s location. Joy McConnell Couch-Qwest noted that Qwest would receive an alarm when the battery was failing and when it did fail, to be able to maintain lifeline capability. Mike Antanucci-AT&T asked if this was a fiber modem. Joy McConnell Couch-Qwest stated that it is an Optical Network terminating device. Mike Antanucci-AT&T asked how this would be tested for trouble. Joy McConnell Couch-Qwest stated that she was not too familiar with the testing process but stated that there would be specific test sets. Joy stated that this is a standard RJ11 jack. Mike Antanucci-AT&T asked to confirm that there would be no MLT Test. Joy McConnell Couch-Qwest stated that an MLT Test would not be appropriate, as MLT is copper based. Joy stated that this is a Greenfield deployment and that Qwest is not obligated to provide unbundling. Joy stated that Qwest provides resale voice. Patty Nisonger-AT&T stated that AT&T determines, via the test results, if they need their own technicians for the wire. Mike Antanucci-AT&T asked for Qwest’s position on inside wiring and if there was trouble. Joy McConnell Couch-Qwest stated that each development may be different and stated that there is only 1 development deploying at this time. Joy stated that she does not know if linebacker would apply or if they would be referred to an outside vendor. Mike Antanucci-AT&T noted to Patty Nisonger (AT&T) that they should have Qwest owned circuits. Patty Nisonger-AT&T stated that this is a significant issue and this would require AT&T to change all processes on their side of the house. Sharon Van Meter-AT&T stated that she understood and noted that once is handed off at the box, it is up to the customer to get inside wiring. Joy McConnell-Couch-Qwest stated that the DMARC is at the ONT, where the optical network takes place, is outside of the house. Joy stated that the battery back-up unit is located inside of the customer’s location. Mike Antanucci-AT&T stated that the battery back-up unit uses inside wire to power it. Patty Nisonger-AT&T stated that when there is trouble, they need Qwest to dispatch first and is concerned about a TIC charge. Patty stated that they cannot isolate the trouble without Qwest’s support. Sharon Van Meter-AT&T asked if the customer had to purchase the battery back-up unit. Joy McConnell Couch-Qwest stated that the unit is located within the customer’s premise and is part of the infrastructure. Joy stated that the battery replacement is paid by the end user. Joy stated that Qwest would provide the unit but the customer is responsible to maintain it. Joy stated that when the battery fails, Qwest would send a notice. Patty Nisonger-AT&T asked what happens if the unit goes bad. Mike Antanucci-AT&T stated that would occur probably 1 out of 10,000 times. Mike stated that because there are no moving parts, they usually don’t go bad. Mike then asked if the NID was located outside. Joy McConnell Couch-Qwest stated that the NID is the ONT and is located outside of the home. Mike Antanucci-AT&T stated that AT&T is a reseller of dial tone and if the customer has no dial tone, AT&T calls Qwest and would be business as usual; unless Qwest will maintain the inside wire. Mike stated that AT&T needs Qwest to check into that so that AT&T would know which of their processes they would need to change. Joy McConnell Couch-Qwest stated that she would check into the inside wire. Patty Nisonger-AT&T asked if for this process, AT&T would be charged for an isolation charge. Joy McConnell Couch-Qwest stated that the isolation charge is not a CMP item. Mike Antanucci-AT&T stated to Sharon and Patty (AT&T) that they need to discuss this internally. Sharon Van Meter-AT&T advised Patty (AT&T that they need Qwest to respond to the action items before they can change AT&Ts maintenance processes. Patty Nisonger-AT&T stated that AT&Ts existing decision making process is moot. Mike Antanucci-AT&T stated that they would need a new process. Sharon Van Meter-AT&T asked if Qwest was currently doing this only for Lone Tree and if there are other developments that will be done quickly. Joy McConnell Couch-Qwest stated that Lone Tree is the only development that has been disclosed. Mike Antanucci-AT&T stated to Sharon and Patty (AT&T) that other ILECs are also doing this, so AT&T needs to work on developing the new processes. Sharon Van Meter-AT&T stated that there could be additional questions at a later date. Peggy Esquibel Reed-Qwest stated that several calls had already been scheduled and that Qwest would proceed with this CR. The call was concluded.

- Exception Vote Meeting Minutes - February 17, 2005 Treatment of PC020205-2EX Fiber to the Premise (FTTP) Battery Replacement Process Purpose: The purpose of the Exception Meeting was to vote on whether to grant implementation prior to the normal implementation timeline, via a Level 1 Notice for PC020205-2EX Fiber to the Premise (FTTP) Battery Replacement Process. Attendees: Peggy Esquibel Reed-Qwest, Joy McConnell Couch-Qwest, Lynn Stecklein-Qwest, Janean Van Dusen-Qwest, Mike Johnson-Qwest, Susan Lorence-Qwest, John Hansen-Qwest, Loretta Huff-Qwest (emailed vote), Bonnie Johnson-Eschelon (emailed vote), Rosalin Davis-MCI (emailed vote), Marty Patrovsky-Wantel/Comspan (emailed vote), Jeff Sonnier-Sprint (emailed vote), Sharon Van Meter-AT&T (emailed vote), Amanda Silva-VCI (emailed vote) Meeting Minutes: Peggy Esquibel Reed-Qwest stated that this vote was rescheduled, from February 14th, because quorum was not achieved on the 14th in order for the vote to be conducted. Peggy Esquibel Reed-Qwest stated that some emailed votes have been received. CLEC participation in the Exception Vote Meeting was via email. Peggy Esquibel Reed-Qwest reviewed what the vote of ‘Yes’ and the vote of ‘No’ would indicate. A vote of ‘Yes’ will indicate a preference to allow PC020205-2EX Fiber to the Premise (FTTP) Battery Replacement Process to be implemented prior to the normal implementation timeline for this Level 4 Change Request, via a Level 1 notice. A vote of ‘No’ will indicate a preference that PC020205-2EX Fiber to the Premise (FTTP) Battery Replacement Process not be implemented prior to the normal implementation timeline. Peggy Esquibel Reed-Qwest asked if there were any additional emailed votes. Peggy Esquibel Reed-Qwest stated that the results of the vote are: Qwest voted Yes, via email Eschelon voted Yes, via email MCI voted Yes, via email Wantel/Compspan voted Yes, via email Sprint voted to Abstain, via email AT&T voted Yes, via email VCI voted Yes, via email Peggy Esquibel Reed-Qwest asked if there were any additional emailed votes. There were none. Peggy Esquibel Reed-Qwest stated that the exception passed and that the Exception CR, PC020205-2EX, was granted by a vote of 6 ‘Yes’ votes, 0 ‘No’ votes, and 1 ‘Abstain’ vote. Peggy Esquibel Reed-Qwest stated that implementation of this Exception Change Request would proceed, with a Level 1 Notice.

The vote was concluded at 1:15 p.m. MT

February 16, 2005 Product Process CMP Meeting Discussion: Joy McConnell Couch-Qwest stated that it was noticed last August via a joint planning session and also in November via Network Disclosure that Qwest is deploying FTTP in Lone Tree, Colorado which consists of fiber from the serving wire center to the end user customer location. Joy stated that Qwest cannot line power the phone at the end user location and that a battery back-up unit is needed to provide lifeline capability. Joy stated that Qwest would monitor the battery backup unit and when alarm is received, provide notice to resellers of how to obtain a replacement battery. Joy noted that the lifetime of a battery is 4-6 years, so battery replacement would be infrequent. Liz Balvin-Covad Comments to notes from Eschelon 2/24/05 said she was concerned the products noted were only resale and asked if Qwest would consider applying this process for UNE-P. Janean Van Dusen-Qwest stated that in the order, it states that this would be for resold services, and would not apply to unbundled elements. Joy McConnell Couch-Qwest also stated that rules per the TRO do not obligate unbundling of Greenfield FTTP deployments and agreed that UNE-P would not be available on FTTP. Bonnie Johnson-Eschelon asked if this would apply to QPP. Joy McConnell Couch-Qwest stated that she would check into what the commercial agreements cover. Bonnie Johnson-Eschelon asked if this only applied to Lone Tree or to all localities. Joy McConnell Couch-Qwest stated that this applies to all fiber to the premise locations and the first deployment is in Lone Tree, CO. Jill Martain-Qwest stated that the exception vote is scheduled to be conducted the next day. Bonnie Johnson-Eschelon asked Comments to notes received from Eschelon 2/24/05 if the reason Qwest was escalating this CR is because it is customer impacting and when the anticipated demand would start. Joy McConnell Couch-Qwest stated that it could be as soon as next week. Jill Martain-Qwest stated that this CR moves to Development status.

-- February 14, 2005 Exception Vote Meeting ATTENDEES: Rosalin Davis-MCI, Peggy Esquibel Reed-Qwest, Jamal Boudhaouia-Qwest, Michael Johnson-Qwest, Jannean Van Dusen-Qwest, Joy McConnell Couch-Qwest, Susan Lorence-Qwest, Georganne Weidenbach-Qwest, Lynn Stecklwein-Qwest Peggy Esquibel Reed-Qwest stated that the Quorum for the vote was 8 and that so far have 2 of the 8. Peggy stated that if Quorum was not achieved, the vote would be rescheduled for February 17th. Rosalin Davis-MCI stated that she submitted MCIs vote via email. Quorum was not achieved, the call was adjourned

-- Exception Pre-Meeting February 7, 2005 ATTENDEES: Jeff-Accenture, Rosalin Davis-MCI, Kim Isaacs-Eschelon, Bonnie Johnson-Eschelon, Peggy Esquibel Reed-Qwest, Michael Johnson-Qwest, John Hansen-Qwest, Janean Van Dusen-Qwest, Joy McConnell Couch-Qwest, Susan Lorence-Qwest, Georganne Weidenbach-Qwest

Peggy Esquibel Reed-Qwest stated that an exception change request was received from Qwest and that the purpose of this pre-meeting was to review the change request, answer questions, agree to the date/time for the vote meeting, and for Qwest to communicate what a vote of yes would mean and what a vote of no would mean. Peggy stated that Qwest is seeking an exception to the normal implementation timeline for this Level 4 change request. Peggy asked for questions, there were none brought forward. Joy McConnell Couch-Qwest stated that last August Qwest issued a joint planning notice and held the joint planning meeting. Joy stated that there were no CLECs that participated in the call. Joy stated that there was Network disclosure for Fiber to the Premise (FTTP) last November. Joy stated that when FTTP is deployed, that it would not allow Qwest to line power the End User phone from the Serving Wire Center. Joy stated that there is a battery back-up unit inside the customer location, powered by the customer, and noted that it is the responsibility of the customer to maintain it. Joy stated that Qwest would monitor the battery and that a notice of an alarm would be sent to the reseller in order for the reseller to contact the end user customer to arrange for battery replacement. Bonnie Johnson-Eschelon asked if there would be information provided on a facility check that would indicate that the architecture is Fiber to the Premise. Joy McConnell Couch-Qwest stated that the addresses that are served by Fiber to the Premise architecture are in the Network disclosure. Bonnie Johnson-Eschelon stated that currently the system does not indicate FTTP architecture and asked for the timeframe that Qwest will have the information contained in the system so that when a facility check is done, they will know that it is FTTP architecture. Joy McConnell Couch-Qwest stated that it is currently targeted for late summer. There were no other questions. Peggy Esquibel Reed-Qwest stated that the vote is scheduled to occur on February 14th at 9:00 a.m. MT. There was no dissent. Peggy then stated that a vote of ‘yes’ will indicate a preference to allow PC020205-2EX Fiber to the Premise (FTTP) Battery Replacement Process to be implemented prior to the normal implementation timeline for this Level 4 Change Request, via a Level 1 notice, in anticipation of customer demand. A vote of ‘no’ will indicate a preference that PC020205-2EX Fiber to the Premise (FTTP) Battery Replacement Process not be implemented prior to the normal implementation timeline. Peggy asked if there were questions regarding the yes/no vote. There were no questions. Peggy again noted that the vote would be on February 14th and stated that the notice and ballot would be sent today. Peggy also stated that the proposed PCAT Updates would be provided to the CLECs, prior to the vote meeting. Peggy noted that a quorum of 8 will be required for the vote to occur on the 14th and noted that the vote is a 2/3 majority vote in order for this exception to be granted. There were no additional comments or questions.


Open Product/Process CR PC020205-3CM Detail

 
Title: Update CMP Document to allow flexibility on monthly meetings schedule
CR Number Current Status
Date
Area Impacted Products Impacted

PC020205-3CM Completed
2/16/2005
NA
Originator: Martain, Jill
Originator Company Name: Qwest Corporation
Owner: Martain, Jill
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest is requesting that the CMP document be updated to reflect that monthly CMP meetings for Product/Process and Systems be allowed to be held on the same day each month vs. two consecutive days unless other arrangements are agreed upon.

Redline Updates to Section 3.0 (Change noted in CAPS)

3.0 Change Management Process Meetings

Change Management Process meetings will be conducted on a regularly scheduled basis. THE CMP PRODUCT/PROCESS AND SYSTEMS MEETINGS WILL BE CONDUCTED ON THE SAME DAY OF EACH MONTH OR ON, or on at least two (2) consecutive days on a monthly basis, unless other arrangements are agreed upon by the CLECs and Qwest. Meeting participants can choose to attend meetings in person or participate by conference call.

Meetings are held to review, manage the implementation of Product/Process and System changes, and address Change Requests. Qwest will review the status of all applicable Change Requests. The meeting may also include discussions of Qwest’s OSS Interface Release Calendar.

CLEC’s request for additional agenda items and associated materials must be submitted to Qwest at least five (5) business days by noon (MT) in advance of the meeting. Qwest is responsible for distributing the agenda and associated meeting materials and will be responsible for preparing, maintaining, and distributing meeting minutes. Attendees with any walk-on items should bring hard copy materials of the walk-on items to the meeting and should, at least two (2) hours prior to the meeting, provide copies of such materials electronically (soft copy) to the CMP Manager, cmpcr@qwest.com, for distribution to all parties.

All attendees, whether in person or by phone, must identify themselves and the company they represent.

Additional meetings may be held at the request of Qwest or any CLEC. Meeting notification must contain an agenda plus any supporting meeting materials. Notification for these meetings will be distributed at least five (5) business days prior to their occurrence. Qwest will record and distribute meeting minutes, unless otherwise noted in this CMP.


Status History

2/2/05 CR Submitted

2/3/05 CR Acknowledged

2/16/05 Status changed to presented

2/16/05 Discussed at the February Product Process CMP Meeting

3/17/05 - CMPR.03.17.05.F.0270_Vote_Disposition

3/25/05 PROS.03.25.05.F.02750.CMP_Doc_Chng_Monthly_Mtg


Project Meetings

3/16/05 Product/Process CMP Meeting

Jill Martain - Qwest stated that this CR is requesting that the CMP Document be updated to allow flexibility on monthly meetings. She stated that the notifications have been sent out that a vote was to be held in this meeting. Lynn Stecklein - Qwest stated that this CR is requesting that the CMP Product/Process and Systems Meetings be allowed to be held on the same day each month vs. two consecutives days unless other arrangements are agreed upon. Lynn stated that the Quorum required for this vote was 8 and was achieved. Lynn stated that a vote of ‘Yes’ will indicate a preference that the Product/Process and Systems Meetings will be conducted on the same day of each month. A vote of ‘No’ will indicate a preference that the Product/Process and Systems Meetings will not be conducted on the same day of each month. Lynn stated that ‘Yes’ votes were received from Covad, Qwest, Rockynet.Com and McLeod USA. The following votes were cast in the meeting: AT&T - Yes 180 - Yes Time Warner Telecom - Yes Eschelon - Yes TDS MetroCom - Yes VCI Company - Yes Cox Communications - Yes XO Communications - Yes MCI - Yes Lynn Stecklein - Qwest stated that this request was granted with 13 ‘Yes’ votes, 0 ‘No’ votes and ‘0 ‘Abstain votes. She stated that a disposition notice will be sent within 5 days. Susan Lorence - Qwest asked if everyone agreed that this could be processed as a Level 1 Notification to be effective immediately. Everyone concurred.

Sharon Van Meter - AT&T asked if this language would accommodate the need for a two day meeting in the future. Jill Martain - Qwest stated that the language is flexible enough to accommodate other arrangements if necessary and that we would confirm the dates of the next meeting at the end of the Systems CMP portion of meetings.

2/16/05 Product/Process CMP Meeting

Jill Martain - Qwest said that the Redline updates to Section 3 of the CMP Document were sent out requesting that the Monthly CMP meetings be held on Wednesdays going forward. Jill said that we will take the vote at the March CMP Meeting.

Liz Balvin - Covad asked if the Monthly Distribution Package could be identified by Product/Process and Systems.

Jill Martain - Qwest stated that we would identify the Distribution Package by Product/Process and Systems beginning in March.


Open Product/Process CR PC120104-1 Detail

 
Title: Remove Conditioning from Resale and UNE P for Qwest DSL
CR Number Current Status
Date
Area Impacted Products Impacted

PC120104-1 Completed
4/20/2005
Resale, UNE P
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Qwest will no longer perform Conditioning (removal of Bridged Taps and Load Coils) for provisioning of Qwest DSL. Retail is ceasing this work immediately, Resale and UNE-P will follow suit following documentation updates and client notification.

Expected Deliverables/Proposed Implementation Date (if applicable):

2/15/2005


Status History

12/1/04 CR Received

12/2/04 CR Acknowledged

12/2/04 Contacted originator

12/7/04 CR Clarified

12/15/04 - December meeting minutes will be posted to the database

12/15/04 - CLEC Input meeting scheduled for Jan. 12

01/19/05 - PROD.01.19.05.F.02484.Resale V47_UNEPV36_QDSL

01/19/2005 - Discussed in the January Product Process Monthly CMP Meeting

02/16/2005 - Discussed in the February Product Process Monthly CMP Meeting

02/17/2005 - PROD.02.17.05.F.02559.FNL_ResaleV47_UNEPV36_DSL

02/25/2005 - PROD.02.25.05.F.ResaleV48_UNEPV40_DSL

03/03/2005 - PROS.03.03.05.F.02631.LineConditioning

03/16/2005 - Discussed in the Monthly Product/Process CMP Meeting

04/20/2005 - Discussed in the Monthly Product/Process CMP Meeting


Project Meetings

April 20, 2005 Product Process CMP Meeting Discussion: Janean Van Dusen-Qwest stated that this change was effective on March 4th and asked for closure of the CR. There was no dissent to close. Liz Balvin-Covad asked if there were any rejects so far. Janean Van Dusen-Qwest stated that she was not aware of any, (Change to minutes submitted by Eschelon 4/29/05) however Janean said she would now know because she is not involved in tracking this information. Liz Balvin-Covad stated that in previous discussions that Qwest believed that it would be a small percentage. Liz asked if this would also be for QPP. Janean Van Dusen-Qwest stated that she was not familiar if QPP provides DSL. Liz Balvin-Covad stated that the option did exist for QPP DSL. Janean Van Dusen-Qwest stated if that was the case, then this change would cover it unless there was a charge for it. Janean stated that she would verify and send an email off-line. Liz Balvin-Covad stated that she wants to be clearer in that if it says Resale that QPP is not impacted, but it is equivalent service so she assumed that it was impacted. Janean Van Dusen-Qwest stated that it is affected, as a whole. Kim Isaacs-Eschelon stated that the QPP DSL PCAT was updated on April 11th and noted that it was effective for conditioning. Kim then read the notice. Janean Van Dusen-Qwest stated that QPP is not part of CMP. Jill Martain-Qwest clarified that it was a non-CMP notice. Janean Van Dusen-Qwest asked if this CR could be closed. Liz Balvin-Covad stated yes. Liz then noted that she was struggling with the impacted products and how QPP is a non-CMP product. Bonnie Johnson-Eschelon stated that traditionally CMP notices are for Resale and a separate notice is sent for QPP. Mark Coyne-Qwest stated that QPP notices are non-CMP and noted that they do not have a comment period. Kim Isaacs-Eschelon stated that the QPP notice was dated March 3rd and did have an effective date of March 4th. Kim stated that the (Change to minutes submitted by Eschelon 4/29/05) Qwest QPP notice said that there would be no bridge tap or load coils removal for Qwest DSL on QPP. Liz Balvin-Covad stated that she was okay with the CR closing.

March 16, 2005 Product Process CMP Meeting Discussion: Janean Van Dusen-Qwest stated that this was effective March 4th and that this CR moves to CLEC Test.

-- February 16, 2005 Product Process CMP Meeting Discussion: Janean Van Dusen-Qwest stated that we were on track for the March 4th effective date, noted that the notices would be sent and the PCAT would be updated. This CR remains in Development.

- January 19, 2005 Product Process CMP Meeting Discussion Janean Van Dusen/Qwest stated that there was a meeting on January 12th with the CLECs where it was clarified that this change is only for Qwest DSL and is available for Resale and UNE-P. Janean stated that she has several documentation updates to make and that the notices would be out shortly. Janean stated that there would be a PCAT Level 4 change and a Level 1 process change. Janean stated that we are looking at a March 4, 2005 effective date. Bonnie Johnson/Eschelon noted that this change will impact their ability to sell Qwest DSL and noted that she was disappointed. Jill Martain/Qwest stated that this CR moves to Development Status.

-- December CMP Meeting Minutes Janean Van Dusen- Qwest presented this CR and advised that Qwest will no longer be performing conditioning on DSL. Kim Isaacs-Eschelon clarified that when the Loop Qual comes back with bridge taps and load coils, the CLEC can not request to have these removed? Janean advised yes. (Insert comment from Eschelon) Kim stated that Eschelon objects to this change request because it will limit the CLECs ability to provide Qwest DSL. Kim asked how Qwest retail is handling conditioning. (End comment) Retail has been dong this since November. Liz Balvin-Covad advised this does not make sense as the loop would need to be conditioned. (Begin insert comment from Covad) In addition, Liz questioned what Qwest expected the CLEC could do at that point. (End comment) Janean suggested that a CLEC Input Meeting be held to discuss this in more detail. John Berard-Covad confirmed that in November a new policy for retail went into effect that if conditioning is needed (Begin insert comment from Covad) Qwest would not provision their end user’s service request (End comment) we are not doing it? Janean verified that is correct and we will have an ad hoc meeting to discuss in more detail. Cindy Macy-Qwest advised that she will schedule an ad hoc meeting. This CR will move to Presented Status.


Open Product/Process CR PC010505-1 Detail

 
Title: Enhanced Extended Loop (EEL) and Loop Mux Combo (LMC) Service Code Modifier Change
CR Number Current Status
Date
Area Impacted Products Impacted

PC010505-1 Completed
7/20/2005
Ordering, Provisioning, M&R EEL, LMC
Originator: Libadia, Robyn
Originator Company Name: Qwest Corporation
Owner: Libadia, Robyn
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Currently EEL and LMC circuit IDs share the same service code modifiers as Private Line and Private Line Resale. To uniquely identify EEL and LMC circuits from all PLT circuits in all Qwest systems, Qwest will be changing the service code modifiers for EEL and LMC. In addition, Qwest sought to use this opportunity to find a solution to recent CLEC requests to identify LMC from the EEL product. While investigating mechanized improvements, Qwest found that Telcordia had issued industry standards with unique service code modifiers for EEL. As there are no industry standard service code modifiers for LMC, Qwest has assigned distinct service code modifiers to LMC. This will result in changes to all EEL and LMC circuit IDs with a serial number format on the CLECs’ embedded base, conversions from Private Line/Special Access, and new provisioning. Qwest will begin changing circuit IDs in April 2005. Qwest will provide notification of the circuit ID changes to each CLEC. With this solution, Qwest will be utilizing industry standard EEL service code modifiers, and CLECs will also have the ability to differentiate between EEL and LMC circuits.

Examples of Serial Number Format Circuit Ids (Old to New):

Bandwidth TRAK FID Old Circuit ID New Circuit ID

LMC DS0 ILMC xx.lcfs.xxxxxx..xx xx.lyfx.xxxxxx.xx

LMC DS0 ILMC xx.ldfs.xxxxxx..xx xx.lyfx.xxxxxx.xx

LMC DS0 ILMC xx.lhfs.xxxxxx..xx xx.lyfx.xxxxxx.xx

LMC DS1 ILMC xx.hcfs.xxxxxx.xx xx.hcfx.xxxxxx.xx

LMC DS1 ILMC xx.hcgs.xxxxxx.xx xx.hcfx.xxxxxx.xx

EEL DS0 IEEL xx.lcfs.xxxxxx..xx xx.lyfe.xxxxxx.xx

EEL DS0 IEEL xx.ldfs.xxxxxx..xx xx.lyfe.xxxxxx.xx

EEL DS0 IEEL xx.lhfs.xxxxxx..xx xx.lyfe.xxxxxx.xx

EEL DS1 IEEL xx.hcfs.xxxxxx.xx xx.hcfd.xxxxxx.xx

EEL DS1 IEEL xx.hcgs.xxxxxx.xx xx.hcfd.xxxxxx.xx

EEL DS3 IEEL xx.hffs.xxxxxx.xx xx.hffg.xxxxxx.xx

EEL DS3 IEEL xx.hfgs.xxxxxx.xx xx.hffg.xxxxxx.xx


Status History

01/05/2005 - CR Submitted

01/06/2005 - CR Acknowledged

01/20/2005 - CMPR.01.20.05.F.02498.CLEC_Input_Meeting

01/19/2005 - Discussed in the January Product Process Monthly CMP Meeting

02/16/2005 - Discussed in the February Product Process Monthly CMP Meeting

02/21/2005 - PROD.02.21.05.F.02543.SrvsModifierCode_EEL_LMC

02/21/2005 - PROS.02.21.05.F.02546.ConvEEL_LMC_ServCodeChng

02/28/2005 - NETW.02.28.05.F.02627.TechPub77403_IssD

03/16/2005 - Discussed in the Monthly Product/Process CMP Meeting

03/16/2005 - CMPR.03.16.05.F.02716.AdHocMeetingEELandLMC

03/23/2005 - PROD.03.23.05.F.02743.DelayedRespEEL-LMC (Level 3)

03/23/2005 - PROS.03.23.05.F.02744.DelayedResp_Conv_EEL_LMC (Level 4)

03/24/2005 - NETW.03.24.05.F.02734.FNL_TechPub77403_IssD

03/25/2005 - PROS.03.25.05.F.02710.Final_Conv_ModifierCodeCh (Level 4)

03/25/2005 - PROD.03.25.05.F.02759.Final-QwestResp-SrvModife (Level 3)

04/04/2005 - CMPR.04.04.05.F.02788.AdHocEEL_LMC_EmbeddedBase

04/08/2005 - CMPR.04.08.05.F02818.AdHocMtgEEL_LMC_CANCELLED (to be rescheduled for a later date/time)

04/20/2005 - Discussed in the Monthly Product/Process CMP Meeting

04/28/2005 - Ad Hoc Meeting Held

04/29/2005 - PROS.04.29.05.F02880.RenoticeConvEEL_LMC_Circu (Level 4)

05/16/2005 - PROS.05.16.05.F.02929.FNL_ConvEEL_LMC_Circuit (Level 4)

05/18/2005 - Discussed in the Monthly Product Process CMP Meeting

06/15/2005 - Discussed in the Monthly Product Process CMP Meeting

07/20/2005 - Discussed in the Monthly Product Process CMP Meeting


Project Meetings

July 20, 2005 Monthly Product Process CMP Meeting discussion: Jill Martain-Qwest asked if this CR could be closed. Kathy Stichter-Eschelon said that they have not had any problems so far on EEL and that she was ok to close the CR.

June 15, 2005 Monthly Product Process CMP Meeting discussion: Jill Martain-Qwest stated that this CR is in CLEC Test and Qwest would like to close the CR. Bonnie Johnson-Eschelon asked that the CR remain open another month for a complete bill cycle. Jill Martain-Qwest agreed and stated that the CR would remain in CLEC Test.

May 18, 2005 Monthly Product Process CMP Meeting discussion: Robyn Libadia-Qwest stated that an ad hoc meeting was held on April 28th and that on April 29th it was re-noticed. Robyn stated that Qwest offered an opt out option for the embedded base and noted that the CLECs had until the close of business on May 16th to opt out. Robyn then stated that the Final Notice was sent on May 16th and that on June 1st, Qwest will begin conversion of the embedded base for those CLECs who are participating. Jill Martain-Qwest stated that this CR currently remains in CLEC Test.

- COMMUNICATOR EXCERPT April 29, 2005 Announcement Date: April 29, 2005 Proposed Effective Date: June 1, 2005 Document Number: PROS.04.29.05.F.02880.RenoticeConvEELLMCCircu Notification Category: Process Notification Target Audience: CLECs, Resellers Subject: CMP - RENOTICE of Conversion of Enhanced Extended Loop (EEL) and Loop MUX Combination (LMC) Circuits and Service Code Modifier Change Level of Change: Level 4 Associated CR Number or System Release Number: Qwest CR # PC010505-1

Summary of Change: On April 29, 2005, Qwest is providing information associated with Change Request PC010505-1 and the planned process to convert Enhanced Extended Loop (EEL) and Loop Mux Combination (LMC) circuits in the embedded base to new service code modifiers.

On April 11, 2005 Qwest began assigning the new service code modifiers specific to Enhanced Extended Loop (EEL) and Loop MUX Combination (LMC) on all new activity service requests for EEL and LMC circuits. Assigning the new service code modifiers to all new activity requests was the first phase of Qwest CR PC010505-1 and was implemented with support and agreement from the CLEC community. Based on discussion on the March 23, 2005 adhoc call, Qwest delayed the implementation of the second phase, updating EEL and LMC circuit IDs in the embedded base.

The current plan which remains consistent with the original plan includes a notification to each CLEC from their assigned Qwest Service Manager 2 weeks prior to conversion of their embedded base. Once conversion begins, the Service Manager will also provide a daily report of all circuit ID changes made the previous day so that the CLEC can make the necessary updates to circuit IDs in their operating systems. This report will be in spreadsheet format and will provide the state, ZCID, BTN, service order number, completion date, and old and new circuit IDs.

Recognizing the resource impacts to manually update a very large embedded base, Qwest is offering CLECs the option to opt out of the conversion to the circuit IDs in their EEL and LMC embedded base. Any CLEC wishing to take advantage of opting out of the embedded base conversion must affirmatively respond to their Qwest Service Manager by email by the close of business on May 16, 2005, stating that they do NOT want updates to the circuit IDs in their embedded base of EEL and LMC circuits. Should a CLEC decide between now and May 16, 2005 to not convert their embedded base and then later desire to do so, due in part to system complexities, Qwest can not guarantee that the conversion process will still be available after May 16, 2005.

For those customers converting their embedded base, Qwest will begin conversions to the new service code modifiers on June 1, 2005. Based on the process identified above, those CLECs will still receive notification 2 weeks prior to any conversions of their embedded base.

Resources: Customer Notice Archive http://www.qwest.com/wholesale/notices/cnla/ Change Request Interactive Report http://www.qwest.com/wholesale/cmp/changerequest.html Original Notice Number PROS.02.21.05.F.02546.ConvEELLMCServCodeChng Related Original Notice Number PROD.02.21.05.F.02543.SrvsModifierCodeEELLMC Final Notice PROS.03.25.05.F.02710.FinalConvModifierCodeCh

Current operational documentation for these products are found on the Qwest Wholesale Web Site at this URL: http://www.qwest.com/wholesale/pcat/eel.html http://www.qwest.com/wholesale/pcat/lmc.html

Comment Cycle: CLEC customers are encouraged to review these proposed changes and provide comment at any time during the 15-day review period. Qwest will have up to 15 days following the close of the comment review to respond to any CLEC comments. This response will be included as part of the final notification. Qwest will not implement the change sooner than 15 days following the final notification.

Qwest provides an electronic means for CLEC customers to comment on proposed changes. The Document Review Web Site provides a list of all documents that are in the review stage, the process for CLECs to use to comment on documents, the submit comment link, and links to current documentation and past review documents. The Document Review Web Site is found at http://www.qwest.com/wholesale/cmp/review.html. Fill in all required fields and be sure to reference the Notification Number listed above.

Timeline: Planned Updates Posted to Document Review Site: Available April 29, 2005 CLEC Comment Cycle on Documentation Begins: April 30, 2005 CLEC Comment Cycle Ends: 5:00 p.m. MT May 14, 2005 Qwest Response to CLEC Comments (if applicable): Available May 16, 2005 http://www.qwest.com/wholesale/cmp/reviewarchive.html Proposed Effective Date: June 1, 2005

-- April 28, 2005 Ad Hoc Meeting Minutes Attendees: Gary Huber-McLeod, Mark Mattson-SBC, Jim Hickle-Velocity Telephone, James LeBlanc-McLeod, Sue Wright-XO, Stephanie Prull-Eschelon, Bonnie Johnson-Eschelon, Kathy Stichter-Eschelon, Kim Isaacs-Eschelon, Rich Base-XO, Doug Dalby-McLeod, Rosalin Davis-MCI, Jennifer Fisher-Qwest, Peggy Esquibel Reed-Qwest, Robyn Libadia-Qwest, Sami Hooper-Qwest, Susan Lorence-Qwest, Lori Baker-Qwest, Jill Martain-Qwest, Vicki Dryden-Qwest, Shirley Tallman-Qwest, Pat Finley-Qwest, Nancy Tangeman-Qwest, Cindy Harlan-Qwest

Peggy Esquibel Reed-Qwest stated that the purpose of the call was for PC010505-1, which is the EEL and LMC Service Code Modifier Change CR. Peggy stated that the CR is currently in CLEC Test status due to the April 11th effective date for the going forward piece of the CR. Peggy stated that the discussion will be for the conversion of the EEL and LMC circuits in the embedded base. Robyn Libadia-Qwest stated that since the last ad hoc meeting, there have been several internal meetings in order to discuss options for the conversion of the embedded base. Robyn stated that one of the items discussed was the sending of FOCs and that as noted in prior discussions, with the CLECs, the sending of FOCs is not a viable option for Qwest because Qwest does not have the ability to send FOCs on the behalf of the CLEC Community. Robyn noted that data points were also requested by the CLECs and that one of them was the original PON. Robyn stated that there is not a mechanized process to identify what the original PON was. Robyn stated that another data point was for Qwest to provide the CKR and noted that from IABS, when the circuit is special access, it is not available for EEL or LMC. Robyn stated that there is no alternate solution. Robyn then noted what would be provided: old circuit id, new circuit id, service order number, ZCID, and BTN. Robyn then stated that Qwest does intend to offer an opt out option for the conversion of the embedded base. Robyn noted that the notification would be sent on Friday, April 29th, to the CLEC Community. Robyn stated that Qwest does ask that for those CLECs wanting to opt out, that they notify their Service Manager no later than May 16th. Robyn then stated that those CLECs who are willing to convert, June 1st is the date that the conversion will begin. Sue Wright-XO asked that assuming that a CLEC is not opting out, if the timeline was the same or if the end date was negotiable. Robyn Libadia-Qwest stated that Qwest would work with the CLECs willing to convert and stated that circuits would convert on a daily basis. James LeBlanc-McLeod asked that if a CLEC opts out of the conversion of the embedded base, if going forward, the modifiers would be changed but the embedded base would remain the same. Robyn Libadia-Qwest stated yes but that it would take longer for all circuits to be converted. Robyn noted that some of the changes would be accomplished via attrition and this may take a few years. Robyn stated that if a CLEC opts out, there would be no changes to their embedded base circuits. Robyn then asked if there were any additional questions. None were brought forward. Robyn then stated that the notice would be sent on April 29th and stated that those CLECs wanting to opt out to send an email to their Service Manager by the close of business on May 16th. Robyn stated that for those CLECs participating, that no further action is required and that they would be contacted 2 weeks prior to the conversion. Peggy Esquibel Reed-Qwest asked if there were any additional questions or comments. None were brought forward. Peggy then thanked all the call participants and the call was concluded.

April 20, 2005 Product Process CMP Meeting Discussion: Peggy Esquibel Reed-Qwest stated that Qwest would like to move this CR to CLEC Test due to the effective date of April 11th for the going forward piece of this request and noted that an ad hoc meeting has been scheduled for April 28th for further discussion regarding the conversion of the embedded base circuits. Liz Balvin-Covad (Change to minutes submitted by Covad 4/28/05) stated that per last months meeting minutes, there was a reference to several issues raised by the CLEC Community but that Covad could not find what issues were raised. Liz asked if there could be an issues list created. Peggy Esquibel Reed-Qwest stated she was aware of the issues list and thought that the issues list could be accommodated. (Change to minutes submitted by Eschelon 4/29/05) – Eschelon does not believe this is still required as a result of the 4/28 adhoc call, however, they wanted the minutes to read accurately. Jill Martain-Qwest stated that this CR is in CLEC Test for the first piece of the request.

- March 23, 2005 Ad Hoc Meeting Minutes ATTENDEES: Carol Desborough-Wisor, Sue Wright-XO, Sharon Van Meter-AT&T, Kim Isaacs-Eschelon, James LeBlanc-McLeod, Kathy Lee-AT&T, Rich Case-XO, Stephanie Prull-Eschelon, Tom Hyde-Cbeyond, Diane Bowers-McLeod, Ross Martin-XO, Stephan Calhoun-Cbeyond, Peggy Esquibel Reed-Qwest, Robyn Libadia-Qwest, Sami Hooper-Qwest, Susan Lorence-Qwest, Jill Martain-Qwest, Vicki Dryden-Qwest, Shirley Tallman-Qwest, Cindy Harlan-Qwest, Pat Finley-Qwest, Lori Baker-Qwest, Jennifer Fisher-Qwest, Chris Quinn Struck-Qwest, Lydell Peterson-Qwest

Peggy Esquibel Reed-Qwest stated that this ad hoc meeting was scheduled in order to have further discussion regarding PC010505-1 Enhanced Extended Loop (EEL) and Loop Mux Combo (LMC) Service Code Modifier Change. Robyn Libadia-Qwest stated that she would first like to address the questions that were posed in the March 16th CMP Meeting. Robyn noted that there was a lot of positive response regarding this process on a going forward basis and stated that she would like to use today’s call to brainstorm in order for this to be less painful to the CLEC Community, in the updating of the CLECs imbedded bases. Robyn stated that because FOCs are mechanically generated in response to a mechanized LSR and LSRs will not be generated with this project, it is not possible to notify you via the FOC. Robyn noted that an IMA edit also comes into play. Robyn stated that it was asked if Qwest would retag circuits with the new circuit ID. Robyn said that Qwest would not retag circuits at the end user’s premises; however, there is a 'file' step in this process and the circuits will be retagged in the central offices. A third question was if Qwest would consider keeping both circuit IDs in our systems. Robyn stated that once the disconnect, or out portion of the record work was completed, we have no way to retain the old circuit IDs in the systems; once it flows thru the systems, the circuit id is eliminated from all systems. Another question was if the orders would appear on the loss report. Robyn stated that the orders would appear on the completion reports, not on the loss report. Robyn noted that the orders would have a PON of RECCOR on the completion report. Tom Hyde-Cbeyond asked if the same PON would be on all orders. Robyn Libadia-Qwest responded yes. Robyn Libadia stated that the orders would not be manually typed, that they would be mechanically generated. Robyn stated that identifying the circuits would be a manual process. Robyn stated that it was asked what the benefit was for converting the EEL and LMC circuits in the embedded base. Robyn stated that both Qwest and the CLECs would benefit because the circuits could be correctly identified by product; to be able to differentiate between Private Line and Private Line Resale. Tom Hyde-Cbeyond stated that it was a small benefit for all the work. Tom noted that Cbeyond had issued a CR and was denied. Robyn Libadia-Qwest stated that she remembered the CR and stated that the CR asked to split the billing and noted that it would have been very costly to do. Stephan Calhoun-Cbeyond stated that the process should be mimicked, even though Qwest is not resending an FOC. Tom Hyde-Cbeyond stated that a separate PON is needed for each endeavor. Robyn Libadia-Qwest stated that to issue an FOC, an LSR would need to be generated. Tom Hyde-Cbeyond stated that without an FOC, this is a full manual process that would require him to hire temporary employees in order to do the work. Stephanie Prull-Eschelon stated that it would be a manual process for them as well. Kim Isaacs-Eschelon asked what the business need was for Qwest and noted that last year Qwest did not want to identify them. Robin Libadia-Qwest stated that last year the solution was to utilize the TRAK FID. Robin stated that we then discovered that the TRAK FID does not flow down to all systems. Pat Finley-Qwest stated that we were assured that it would flow and that was not the case. Kim Isaacs-Eschelon asked why this is now needed. Robyn Libadia-Qwest stated it is needed in order to differentiate EEL & LMC from Private Line and Private Line Resale. Robyn noted that they currently have the same service code modifiers. Robyn stated that this is also needed for performance reporting. Tom Hyde-Cbeyond stated that EEL & LMC are lumped together so asked why they needed to be differentiated. [Comment received from Eschelon: Tom Hyde-Cbeyond stated that EEL & LMC are lumped together on performance reporting] Robyn Libadia-Qwest stated that it is also to come in line with the Industry Standards which were established in 2003. Stephan Calhoun-Cbeyond stated that they had indicated to Qwest that Qwest was not in compliant and Qwest stated that they were within the guidelines. Pat Finley-Qwest stated that with the TRAK FID, Qwest did believe to be in compliance. Stephan Calhoun-Cbeyond stated that the billing elements were inconsistent with their ICA. Robyn Libadia-Qwest stated that she was comfortable that the billing of the Channel Termination, Channel Mileage, and the class of service USOCs, was correct. Robyn stated that the SGAT defines as an EEL Link but that on the bill it appears as Channel Term. Robyn stated that the Link is now referred to as the loop. Robyn noted that the rates billed are accurate in relation to the ICAs. Pat Finley-Qwest stated that the USOCs are published in the PCAT. Robyn Libadia-Qwest stated that in the ICA, the Channel Term equates to the loop. Tom Hyde-Cbeyond stated that when they are audited, they have to educate the auditors. Robyn Libadia-Qwest stated that Qwest does as well. Robyn Libadia-Qwest stated that this call was not to discuss the bill and stated that this CR is a benefit in the cleaning of the embedded base. Robyn stated that the benefit for the CLEC is not huge, but noted that in doing this it would eliminate interstate class of service, and other, USOCs. Tom Hyde-Cbeyond stated that the CLECs are being asked to do this and Qwest did not implement his CR. [Comment received from Eschelon: Tom Hyde-Cbeyond stated that the CLECs are being asked to do the work and spend resources when this and Qwest would did not implement his CR] Robyn Libadia-Qwest stated that this effort is costly but noted that it is not as costly as the Cbeyond request. Stephan Calhoun-Cbeyond asked why service orders couldn’t be issued. Robyn Libadia-Qwest stated that service orders are being mechanically generated; LSRs are not being generated. Stephan Calhoun-Cbeyond asked if manual service orders could be FOC’d. Robyn Libadia-Qwest stated that FOCs require an LSR and LSRs are not being generated. Tom Hyde-Cbeyond stated that the CLECs will have to issue service orders. Robyn Libadia-Qwest stated that she did not want to minimize the pain and stated that wee all have to bear the cost of changing our systems. Tom Hyde-Cbeyond stated that Qwest is changing data, not the operating system. Tom stated that this is a data base update. Stephanie Prull-Eschelon asked if Qwest was doing bulk service orders and that is why they would have the same PON. [Comment received from Eschelon: Robyn Libadia stated that the circuits are identified through a focus report which are then fed to IT so a mechanized service order can be created] Robyn Libadia-Qwest stated that we do have some flexibility in changing the embedded base and noted that the effort would start on April 11th and end on July 1st. Robyn stated that the time of when it is done and the pace that it is done in has some flexibility. Sami Hooper-Qwest stated that these will be mechanical service orders and that the PON would be the same because they would all be record correction orders. Sami stated that they would all have unique service order numbers. Stephanie Prull-Eschelon stated that this was a problem a year ago and the TRAK was to have corrected it and it did not, and now service orders to make the changes are to have the same PON. Stephanie states that if something drops for the customer, it would be a problem for Qwest and for the CLECs if all orders have the same PON. Stephanie stated that she is not confidant that if this issue was not fixed a year ago that it would now be taken care of. Stephanie stated that this could be a big impact to the end user customer. [Comment received from Eschelon: Stephanie stated that she is not confidant that if this issue was not tested correctly fixed a year ago that Qwest it would be able to would now be taken care of it now.. Stephanie stated it makes her leary that the Qwest PM was assured a year ago that the TRAK fid would flow down and we are finding out a year later that this is not the case. Stephanie asked what assurances we would have that this would be tested completely and work as we are assured it is going to before this moves forward] Pat Finley-Qwest stated that the orders would pass down to the different departments so that all would get the modifier changes. Tom Hyde-Cbeyond stated that even if Qwest were successful in keeping disconnects from occurring, a problem in regard to repair could exist in that the CLEC could report on the old circuit and could get back a circuit unknown. Tom stated that they would then need to escalate and it could take a lot of time for trouble resolution. Kim Isaacs-Eschelon asked how any order activity in the embedded base would be handled at the time of conversion. Sami Hooper-Qwest stated that there would be a master list of which CLEC was being converted and when the conversion would take place. Sami stated that the Center would also know that if the modifier had not yet been changed, to change it at that time. Sami stated that in this instance an FOC would have the new circuit id. Kim Isaacs-Eschelon asked about pre-order picking up the CSR. Sami Hooper-Qwest stated that when the service order is done, it would pick it up. Sue Wright-XO stated that they would then get a completion report with the new circuit id on it but that there could be a time lag until the CLEC issues their service orders. Sue asked how Qwest could help with that between when the Qwest order is done and the CLEC order is done. Robyn Libadia-Qwest stated that the completion report and the spreadsheet would have the service order number, State, ZCID, BTN, old circuit id, new circuit id, and the completion date. Sue Wright-XO asked if the CLECs would have the information prior to the completion date in order to prevent Qwest saying one thing and the CLECs saying another. Sami Hooper-Qwest asked how much lag time the CLECs needed and noted that the spreadsheet would indicate what needs to be done and by what date. Tom Hyde-Cbeyond asked how many for each CLEC, each day. Robyn Libadia-Qwest stated it would be no more than approximately 500 per day, per CLEC. Robyn stated that this would include no more than 100 in the Western region, per day. Robyn stated that this is where we have flexibility of how many per day are to be done. Tom Hyde-Cbeyond stated that it could not be 500 per day, and stated that he would want 5 per day. Susan Lorence-Qwest stated that Qwest would work with each CLEC individually in regard to the timing of the work effort. Susan stated that she believed it to be 500 per day, overall. Susan stated that a spreadsheet would be sent to a CLEC simultaneously with when we would convert a group of circuits, to keep in synch. Susan stated that the spreadsheet might be sent after the fact. Sue Wright-XO stated that XO had resource issues and that if they receive a spreadsheet after the circuits are converted, it could take XO 3 weeks to get their orders done and that could create a problem. Sue stated that they would need to tie their process to match the Qwest due dates. Susan Lorence-Qwest stated that this is something to look at. Kim Isaacs-Eschelon asked if a CLEC could opt out of this and not have the embedded base changed. Robyn Libadia-Qwest stated that this is not the position that Qwest would like to take. Kim Isaacs-Eschelon stated that the CLECs have given Qwest their concerns and asked if that with the impacts to ordering and repair if Qwest was moving forward. Kim stated that that there was not an issue with going forward with new circuit id’s but that the CLECs are waving a flag in regard to the conversion of the embedded base. Robyn Libadia-Qwest stated that Qwest wants to work with the CLECs in the conversion of the embedded base. Robyn stated that not changing them would make it more difficult to identify them. Robyn noted that this is only affecting the serial number formatted circuit ids. Robyn stated that there would be no changes to LATA Codes, the 1st & 2nd alphas, the serial numbers, or the suffixes. Robyn stated that for DS1/DS3, the only changes would be to the 5th & 6th characters, which are the 3rd & 4th alphas. Robyn stated that repair had been notified of this effort, so they would be aware in order to look for the old and the new circuit ids. Tom Hyde-Cbeyond stated that they would not be able to use mechanized repair. Robyn Libadia-Qwest stated that mechanized repair could be used with the new circuit ids. Tom Hyde-Cbeyond stated that they would have circuit ids that they could not report so will need to hire people for manual trouble reporting. Tom stated that the benefit to the CLECs is not sufficient. Sue Wright-XO stated that she is estimating that there 60 working days for this project. Robyn Libadia-Qwest stated that it is about 500 per day. Sue Wright-XO stated that there is a lot of internal work to do in 60 days. Robyn Libadia-Qwest stated that the 500 per day is not necessarily 500 per day for each CLEC. Sue Wright-XO stated that for XO, 30 per day would need to convert. [Comment received from Eschelon: Sue Wright-XO stated that looking at for XO’s current embedded to be completed in 60 day would mean, 30 circuits per day would need to convert ] Tom Hyde-Cbeyond stated that he wants 5 per day. Stephanie Prull-Eschelon stated that each company could have bigger projects and priorities and that could come into play. Stephanie stated that Eschelon could have bigger priorities than this effort. Robyn Libadia-Qwest stated that we hope that we can work together and explore options. Robyn stated that an FOC is not an option for Qwest. Sharon Van Meter-AT&T asked to confirm that this is an administrative change and not a physical change. Robyn Libadia-Qwest stated yes, that was correct. Sharon Van Meter-AT&T asked if the CLECs circuits could stay as-is and Qwest could have a cross reference in a Qwest system. Robyn Libadia-Qwest stated that this was discussed at the March CMP Meeting and noted that once the out order is done, the circuit is eliminated from all Qwest systems, so there could not be a cross reference. Tom Hyde-Cbeyond asked if all trouble reports would need to have the new circuit ids. Stephanie Prull-Eschelon stated that this would be bad for customers who use Mediaac. Diane Bowers-McLeod asked when they would get a list of the circuit ids impacted and asked that on the characters that are changing, if the same characters were going on each circuit. Robyn Libadia-Qwest stated that they would be consistent to EEL and consistent to LMC. Robyn stated that EEL & LMC would be different. Robyn stated that the plan is that Qwest would notify you 2 – 3 weeks prior to the conversion starting and would provide you with the circuit ids to convert. Robyn stated that daily, the CLEC would get the circuits that were converted the previous day. Robyn stated that Record orders have a 3 day interval and stated that maybe the spreadsheet could be provided sooner. Diane Bowers-McLeod asked to confirm that it would be 500 per day overall and not per CLEC. Robyn Libadia-Qwest stated that can be worked out and noted that if McLeod wanted to do all of theirs in 1 day, there was flexibility. Diane Bowers-McLeod stated that they may want to do theirs all in 1 day, as they have a workaround in place. Susan Lorence-Qwest asked if the other CLECs could look to see if they had workarounds in place. Stephanie Prull-Eschelon stated that Eschelon has no other means and due to vendor constraints, they do not have code rights to Eschelon’s system. Tom Hyde-Cbeyond stated that it is either an FOC from Qwest or manual orders. Robyn Libadia-Qwest stated that the CLECs could utilize the CSR and stated that orders and circuit ids would be on the CSR. Stephanie Prull-Eschelon stated that their vendor did not have the CSR and that the bill did not feed into their system. Jill Martain-Qwest stated that now that we have heard the CLEC concerns, we would revisit options based on the feedback received from the CLECs and have another meeting. Kim Isaacs-Eschelon stated that on the spreadsheet, they need the old circuit id, new circuit id, order number, and the CKR or the end user name. Diane Bowers-McLeod stated that there could be an OBF issue in that this should be EDI. Diane asked if the spreadsheet would be manually created and noted that if it were there could be human error. Sami Hooper-Qwest stated that it is mechanized. Sue Wright-XO stated that they cannot pull by circuit id alone; they need a CKR, customer name, and the original PON. Tom Hyde-Cbeyond stated that they want the original PON due to lack of consistency and mismatches. Jill Martain-Qwest stated that she did not know if we had the original PON but maybe have the other information. Sue Wright-XO stated that she wants to minimize the research time. Susan Lorence-Qwest stated that Qwest would regroup and would determine if we will hold everything or hold the embedded base piece. Susan asked to confirm that the CLECs were okay with Qwest’s moving forward with the going forward piece. Tom Hyde-Cbeyond stated that he was okay to keep the same and is okay with the going forward piece. Sue Wright-XO stated that if the new circuit ids are OBF, IMA needs to be used because certain REQTYPES cannot be used in EDI. Sue asked if Qwest was changing the ordering systems. Sami Hooper-Qwest stated that the ordering process was not changing. Stephanie Prull-Eschelon asked if IMA could handle the new format of the circuits, that most are EDI, and that could be an issue for the going forward piece. Sami Hooper-Qwest stated that only 2 characters were changing. Sue Wright-XO stated that if EDI, can REQTYPE of A be used for EEL. Rich-XO stated that he did not see the benefit. Robyn Libadia-Qwest stated that we would be able to uniquely identify the EEL & LMC circuits and stated that EEL now has specific service code modifiers. Sue Wright-XO asked what the benefit was for the going forward piece if the ordering systems were not being changed. Robyn Libadia-Qwest stated that starting on April 11th we would begin using the new service code modifiers. Robyn noted that none of the ordering or provisioning systems would change. Kim Isaacs-Eschelon stated that there is no benefit for Eschelon, as they have workarounds to identify EEL from LMC. Kim stated that Eschelon does not want the embedded base touched. Kim stated that there was no business benefit for the CLECs. [Comment received from Eschelon: Kim Isaacs-Eschelon stated that there is no benefit for Eschelon, as they have workarounds are able to identify EEL from LMC Private Line. Kim stated that Eschelon prefers that Eschelon’s does not want the embedded base not be included in the conversion touched. Kim stated that Qwest has not shown that there was no is a demonstrable business benefit for the CLECs.] Robyn Libadia-Qwest asked if the CLECs were then not interested in the developing of individual plans, even with the flexibility that we have. Kim Isaacs-Eschelon stated that if Qwest proceeds, it will be 5 per day. Tom Hyde-Cbeyond agreed with Eschelon. Jill Martain-Qwest stated that Qwest would discuss the feedback and that another ad hoc call would be scheduled to readdress this. Tom Hyde-Cbeyond requested a different start time. There was a question if Qwest would provide the data elements that would be on the spreadsheet. Robyn Libadia-Qwest stated that the data elements were provided on the 1st notice that was sent. Kim Isaacs-Eschelon stated that they would need additional elements, as discussed earlier. Tom Hyde-Cbeyond stated that Cbeyond has made major changes due to Qwest not implementing the Cbeyond CR and stated that Cbeyond does not need more changes. Kim Isaacs-Eschelon stated that Eschelon does not order EELs and stated that Eschelon can differentiate their private line circuits. [Comment received from Eschelon: Kim Isaacs-Eschelon stated that Eschelon does not only orders EELs and stated that Eschelon has no problems can differentiateing their private line circuits] Robyn Libadia-Qwest stated that the 3rd & 4th alpha’s were changing and that would be an impact to Eschelon. Kim Isaacs-Eschelon stated that Eschelon could not do this. [Comment received from Eschelon: . Kim Isaacs-Eschelon stated that Eschelon did not see any business benefit to changing the embedded base]. Jill Martain-Qwest stated that Qwest would revisit and asked the CLECs to send any other options to Qwest. Jill stated that another meeting would be scheduled for next steps. Jill asked the CLECs to look for the notification.

- March 16, 2005 Product Process CMP Meeting Discussion: Bonnie Johnson-Eschelon stated that she and Susan Lorence (Qwest) have been communicating via emails and stated that Eschelon had not yet decided to pursue a formal postponement but noted that Eschelon does have an objection. Bonnie stated that the CLECs are okay with the change on a going forward basis but that there were concerns with the conversion of the embedded base. Bonnie asked if Qwest could just move forward with the change on a going forward basis due to the CLEC concerns regarding the embedded base. Bonnie stated that one of the concerns is in regard to CLEC resources to accommodate this change. Bonnie stated that in an ad hoc meeting, the CLECs asked Qwest to generate a new FOC and Qwest said no. Bonnie stated that a new FOC is the preference of the CLEC Community, instead of working off of a spreadsheet. Bonnie stated that this would diminish CLEC resources. Bonnie stated that another concern is if Qwest was going to re-label and tag the circuits. Bonnie stated that both circuit IDs should be kept for the repair process. Bonnie asked if loss notification would be given for the disconnect portions. Bonnie stated that the CLECs are concerned with the conversion of the embedded base. Bonnie then stated that Eschelon had asked, in an email, if the service orders were going to be manually typed and that Qwest’s response was no, the service orders will be mechanized but that the process to identify the circuits is manual. Bonnie asked for confirmation and stated that she did not understand that with the CLEC resource issues that could arise, what the benefit to the CLEC is. Jill Martain-Qwest stated that meetings had been held with the CLECs and that these concerns had not been raised so Qwest made the assumption that we were OK to move forward with the CR. Jill stated that the notices had gone out and noted that it is important to Qwest to move forward with the conversion of the embedded base. Jill stated that if the timeframe was the issue, that maybe Qwest needs to better understand the CLECs concerns in order to determine if there are other options. Bonnie Johnson-Eschelon stated that she was unable to attend the ad hoc’s but that she was not sure that all the CLECs had a true understanding of this change. [Comment received from Eschelon: Eschelon stated that she was unable to attend the ad hoc’s due to other commitments and would not apologize for that but that she was not sure that all the CLECs had a true understanding of this change.] Bonnie stated that the CLECs have no issue with moving forward on a going forward basis, on the due date. Bonnie stated that maybe additional discussion is needed. Sue Wright-XO stated that XO sees this as a positive change going forward to help identify EEL circuits and asked if a change is needed, would they need to issue C and/or R orders. Sue stated that XO would then need to issue over 2,000 orders, which is a lot of internal work. Susan Lorence-Qwest stated that another ad hoc meeting could be scheduled in order to discuss the concerns in detail and to see if there are any options. Susan stated that there may or may not be any other options. Tom Hyde-Cbeyond stated that he agrees with the going forward approach but that the conversion of the embedded base is a large effort. Tom asked if the circuit ID from billing or from the FOC would be used. [Comment received from Eschelon: Tom said even if Qwest sent an electronic FOC there would still be a great amount of work to do.] Tom then noted that he had hoped that Qwest would perform a clean-up effort as the information on the FOC and Billing records did not always match. Robyn Libadia-Qwest stated that she agrees that another ad hoc meeting should be scheduled in order to have further discussion and see if we can work out a solution with the CLEC Community, individually, for the embedded base. Jill Martain-Qwest asked if Qwest was to find a way electronically to provide the CLECs with the new circuit IDs, if that would be acceptable. Bonnie Johnson-Eschelon stated that it would be helpful for the CLECs who use EDI, but that it would depend on how the systems interact with each other. Bonnie stated that she did not know if that could be the entire solution. [Comment received from Eschelon: Bonnie stated that she did not know if that could be the solution for all CLECs and a one size fits all approach may not work.] Sue Wright-XO stated that it could mean a different set of resources. Tom Hyde-Cbeyond stated that spreadsheet would need resources in order to match-up the circuits and get them changed. Tom stated that mechanically would be better but then it may not be the solution. Jill Martain-Qwest stated that an ad hoc would be scheduled so we can better understand the CLEC concerns and impacts. Tom Hyde-Cbeyond stated that they would attend the meeting. Susan Lorence-Qwest asked to confirm that all the CLECs are okay with the going forward approach for the circuit ID changes and that the embedded base is what needs further discussion. Tom Hyde-Cbeyond stated yes. Bonnie Johnson-Eschelon stated yes. Sue Wright-XO stated that she also concurred. Bonnie Johnson-Eschelon stated that the CR states that Telcordia had issued industry standards with unique service code modifiers for EEL, and asked when that was done. Robyn Libadia-Qwest stated that it was in 2003. [Comment received from Eschelon: Bonnie Johnson-Eschelon stated that then that industry standard was in place when C-Beyond issued its CR.] Robyn Libadia-Qwest asked if the CLECs receive any other form of mechanized communication, other than FOCs, for Record Order work. Tom Hyde-Cbeyond stated that he would need to get with his IT group to see if there was another method. Tom stated that he would bring that information to the ad hoc meeting. Robyn Libadia-Qwest stated that an FOC was generated via the LSR and noted that an LSR was not applicable for this process. [Comment received from Eschelon: Qwest stated that an FOC was generated via the LSR a CLEC sends and noted that the CLEC would not send an LSR for this process.] Tom Hyde-Cbeyond stated that there could be other methods and stated that he would check internally. Stephanie Prull-Eschelon stated that Qwest needs to take another look at other notices in order to see if any will meet their needs. Robyn Libadia-Qwest stated that Qwest would look into all options. Jill Martain-Qwest stated that the ad hoc meeting would be scheduled and asked the CLEC Community to look for the notification. This CR remains in Development status.

-- February 16, 2005 Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that this CR was walked-on last month. Robyn Libadia-Qwest stated that the CLEC Input meeting was held on January 27th and resulted in 1 action item. Robyn stated that there was a question as to where to locate the meaning of the circuit ID format. Robyn stated that the information is located in the CEMR on-line help, circuit ID tutorial, in the FAQ section. Robyn noted that the URL is provided in the CR meeting minutes for the January 27th meeting. Robyn stated that Qwest plans to move forward with our targeted implementation date of April 11, 2005. Jill Martain-Qwest stated that this CR would move to Development status.

- January 27, 2005 CLEC Input Meeting Minutes: ATTENDEES: Sharon Van Meter-AT&T, Rosalin Davis-MCI, Amanda Silva-VCI, Kelly Morris-ELI, Peggy Esquibel Reed-Qwest, Robyn Libadia-Qwest, Sami Hooper-Qwest, Jeff Farra-Qwest, Julie Pena-Qwest, Jennifer Fisher-Qwest The current service code modifiers used for EEL and LMC circuits are the same as those used for Private Line and Private Line Resale circuits. The service code modifiers are the 3rd and 4th alpha characters or positions 5 & 6 embedded in a serial number formatted circuit id. Qwest will be changing the service code modifiers All EEL and LMC Loops (DS0, DS1, and DS3) have a serial number formatted circuit id. Qwest is changing the service code modifiers to uniquely identify EEL and LMC circuits from all PLT circuits in all Qwest systems. Telcordia has established industry standard service code modifiers specific to EEL,. LMC is a product unique to Qwest, has no standard modifiers, and Qwest has assigned service code modifiers to use specifically for LMC. Robyn noted that the CR contains a table with examples of old and new serial number formats.. Qwest will be going from 3 to 1 Network Channel Codes on EEL and LMC Loops at DS0 bandwidth which will result in additional changes to the 1st and 2nd alpha characters (or positions 3 & 4) of the circuit ID on EEL/LMC Loops at DS0 bandwidth. Robyn noted that this would only impact 2 CLECs that have DS0 bandwidth. On DS1 EEL/LMC and DS3 EEL Loops on the 3rd and 4th alpha characters will be changing. There will be no changes to the circuit IDs’ LATA code, serial number, or region suffix. There will be no changes to EEL or LMC multiplexed facilities as they have a CLLI code formatted circuit ID and the service code modifiers are not included in a CLLI code circuit ID. Qwest will begin using the new service code modifiers on all conversions from Private Line/Special Access and new installs of EEL and LMC Loops on April 11, 2005. Qwest will also begin conversions of the CLECs’ EEL/LMC Loops existing in their embedded base. Each CLEC will be contacted by their Service Management Team 2-3 weeks prior to conversion of their embedded base; and they will also be notified as the conversion of their embedded base is completed. Robyn then noted that we all will be able to differentiate between EEL and LMC. Sharon Van Meter-AT&T asked to confirm that the 3rd and 4th alpha characters of the circuit id are changing. Robyn Libadia-Qwest stated yes, on all bandwidths-DS0, DS1, and DS3. Sharon Van Meter-AT&T stated that the first example shows going from xx.lcfs to xx.lyfx. Robyn Libadia-Qwest stated that there are no changes where the xx is shown and noted that the f&s are service code modifiers. Robyn stated that since we are going to 1 NC code for DS0, LC, LD, LH will change to LY; and the 1st and 2nd alpha characters will also change on DS0 bandwidth only. Sharon Van Meter-AT&T asked if only the alphas were changing. Robyn Libadia-Qwest stated yes and that only DS0 is changing all four alphas. On DS1/DS3 loops, only the 3rd and 4th alpha characters will change. Robyn stated that effective 4/11/05; all new installs and conversions from PLT/SA to EEL/LMC will be assigned the new modifiers. Robyn stated that also on 4/11, conversions of the embedded base will begin.. Sharon Van Meter-AT&T asked if this was for local only and not for IXCs. Robyn Libadia-Qwest stated yes, this is for EEL and LMC Loops; and that Private Line and Special Access service code modifiers would remain the same as they are today. Sharon Van Meter-AT&T asked if a table of changes would be provided. Robyn Libadia-Qwest stated that Qwest will notify the CLECs individually 2-3 weeks prior to beginning conversion on their embedded base; and then daily with the old and new ids until the conversion of their embedded base is completed. Sharon Van Meter-AT&T asked what the meaning of L, Y, and X were. Robyn Libadia-Qwest stated that the Tech Pub provides information as to the values. Jeff Farra-Qwest clarified that the Tech Pub does have NC/NCI codes but not sure about circuit ids. Robyn Libadia-Qwest stated that the 1st 2 positions are the LATA Code, positions 3 & 4 are the first 2 characters of the NC, and that the 5th & 6th positions are the service code modifiers Qwest will be changing. Robyn also noted that an F (5th position) indicates intrastate and a G is for inter state. Sharon Van Meter-AT&T asked if this information was noted anywhere for future reference. Sharon stated that this was not a show stopper. Robyn Libadia-Qwest stated we would check. {Information on Circuit ID Format is located in the Circuit ID Format Tutorial located in the CEMR on-line help FAQ Section; URL: http://www.qwest.com/wholesale/systems/cemrandrce.html Robyn Libadia-Qwest stated that the length of time to convert an individual CLEC’s embedded base is dependant on the region and the number of circuits. There were no additional questions or comments.

- January 19, 2005 Product Process CMP Meeting Discussion Robyn Libadia/Qwest stated that currently the service code modifiers used for EEL and LMC circuits are the same as those used for Private Line and Private Line Resale circuits. The service code modifiers are the 3rd and 4th alpha characters embedded in a serial number formatted circuit id. Robyn reviewed the CR Description and stated that Telcordia has established industry standard service code modifiers specific to EEL. Robyn stated that because LMC is a product unique to Qwest, there are no standard modifiers for LMC; and Qwest has designated service code modifiers to use specifically for LMC. Robyn noted that the CR contains examples of old and new serial number formats. Robyn then stated that Qwest will be going from 3 to 1 Network Channel Codes, for EEL and LMC Loops at DS0 bandwidth. This CR will result in changes to the first 4 alpha characters embedded in the circuit ID on EEL/LMC Loops at DS0 bandwidth. On DS1 EEL/LMC and DS3 EEL Loops on the 3rd and 4th alpha characters will be changing. Robyn stated there would be no changes to the LATA codes, serial numbers, or suffixes on EEL/LMC Loop circuit IDs. There also will be no changes to multiplexed facilities with a CLLI code formatted circuit ID. Robyn stated that she is targeting an April implementation date. Robyn stated that before conversions of the embedded base begin, the CLECs will be contacted by their Service Management Team, 2-3 weeks prior to the conversion. The CLECs will also be notified after the conversion is complete. Robyn then noted that there is an ad-hoc meeting scheduled for January 27th. Jill Martain/Qwest asked for questions. There were none brought forward. Jeff Sonnier/Sprint asked if the circuit IDs that are changed would be re-FOC’d. Robyn Libadia/Qwest stated they would be notified by their Service Manager on a daily basis after conversions are completed; and that the Qwest is still working on the details of post conversion notifications of the CLECs embedded base. Jeff Sonnier/Sprint stated that Sprint would like the circuit id changes to be re-FOC’d in order for his system to automatically updated. Jill Martain/Qwest stated that the details need to be worked out and that discussion can take place on the ad-hoc call. Jill stated that IMA cannot FOC on a completed LSR. This CR moves to Presented status.


Open Product/Process CR PC102704-2 Detail

 
Title: Eliminate DS1 Radio
CR Number Current Status
Date
Area Impacted Products Impacted

PC102704-2 Completed
8/17/2005
Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Stecklein, Lynn

Description Of Change

DS1 Radio equipment is obsolete and no longer available. DS1 Radio service offering will be removed from the tariff – FCC 1 Section 7.11.1.A

Expected Deliverable: 1/15/05

1/13/05 Expected Deliverable changed to 7/16/05


Status History

10/27/04 - CR Submitted

10/27/04 - Acknowledgement sent

10/27/04 - Spoke with originator and clarified CR

11/5/04 - changed CR # to reflect PC102704-2

11/17/04 - November CMP Meeting minutes will be posted to the database

12/15/04 - December meeting minutes will be posted to the database

1/13/05 - PROD.01.13.05.F02469.REV_FNL_Elmnat_DS-1_Radio Product Notification

1/19/05 - Discussed in the January Product/Process Meeting - See Attachment E in the Distribution Package

2/16/05 - Discussed in the February Product/Process Meeting - See Attachment E in the Distribution Package

3/16/05 - Discussed in the March Product/Process Meeting - See Attachment E in the Distribution Package

3/31/05 - PROD.03.31.05.F.02764.REV_FNL_Elmnat_DS-1_Radio

4/20/05 - Discussed in the April Product/Process Meeting - See Attachment E in the Distribution Package

5/18/05 - Discussed in the MayProduct/Process Meeting - See Attachment E in the Distribution Package

5/27/05 -PROD.05.26.05.F.02941.REV_FNL_Elmnat_DS-1_Radio

6/15/05 - Discussed in the June Product/Process Meeting - See Attachment E in the Distribution Package

7/20/05 - Discussed in the July Product/Process CMP Meeting - See attachment E in the Distribution Package

7/20/05 - Status changed to CLEC Test

8/17/05 - Discussed in the August Product/process CMP Meeting - See Attachment in the Distribution Package

8/17/05 - Status changed to Completed


Project Meetings

7/20/05 Product/Process CMP Meeting Lynn Stecklein - Qwest said that this request deployed on July 16th and will move to CLEC Test.

6/15/05 Product/Process CMP Meeting

Jill Martain - Qwest stated that this CR is still on target for 7/16/05 and will remain in Development.

5/18/05 Product/Process CMP Meeting

Jill Martain - Qwest stated that the tariff effective date was moved from 8/1/05 to 7/16/05 and will remain in Development.

4/20/05/ Product/Process CMP Meeting

Jan VanDusen - Qwest stated that the tariff effective date is 8/1/05 and that this CR will remain in Development.

3/16/05 Product/Process CMP Meeting

Janean Van Dusen - Qwest stated that there was a delay in the February 14th filing and will now be effective on May 1st. She also said that the tariff notification is not out yet for review.

2/16/05 Product/Process CMP Meeting

Janean Van Dusen - Qwest stated that this CR is still on target for April 1, 2005.

Jill Martain - Qwest stated that this CR will remain in Development Status.

1/19/05 Product/Process Meeting

Janean Van Dusen/Qwest stated that a notification was sent on January 13, 2005 advising that the effective date was changed to April 1, 2005. Jill Martain/Qwest stated that this CR will remain in Development.

1/13/05

PROD.01.13.05.F.02469.REVFNLElmnatDS-1Radio Product Notification

Notification sent to change effective date from January 15th to April 1, 2005.

December CMP Meeting Minutes Janean Van Dusen – Qwest advised this CR is effective January 15. There are not any customers using this service. The alternate service is to provide DS1 over copper or fiber facilities. This CR will move to Development Status.

11/17/04 November meeting minutes Cindy Macy – Qwest presented this CR for Janean VanDusen. This CR is effective January 15, 2005. We currently do not have any customers. Sharon Van Meter – ATT asked if there is a similar product offering that is available. Cindy advised she would check on this and provide information back in the meeting notes. This CR will move to Presented Status. Janean VanDusen – Qwest provided additional information after the meeting that she is verifying the customer impact as there may be a limited number of existing customers. Additional information will be provided at the December CMP meeting.


Open Product/Process CR PC102704-1ES Detail

 
Title: CR 1: New Revised title effective 1/11/05: Certain Unbundled Network Elements (UNE) Product Discontinuance (see Description of Change for previous title) CR 2 = PC102704 1ES2
CR Number Current Status
Date
Area Impacted Products Impacted

PC102704-1ES Completed
3/23/2007
Provisioning, Ordering See Description of Change
Originator: Whitt, Michael
Originator Company Name: Qwest Corporation
Owner: Buckmaster, Cindy
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

DOCUMENTATION FOR THIS CR IS CONTINUED ON PC102704-1ES2

Revised Description of Change effective 3/23/07:

The following products, from the original CR, are removed from this Change Request and were not completed with this CR. The effort for these products may occur via separate CRs.

Unbundled Local Loop-General Information

Unbundled Local Loop-Digital Signal Level 1 (DS1) Capable Loop

Unbundled Local Loop-Digital Signal Level 3 (DS3) Capable Loop

Enhanced Extended Loop (EEL)

Loop MUX Combination (LMC)

Unbundled Dark Fiber (UDF)

Unbundled Dedicated Interoffice Transport (UDIT)

Unbundled Customer Controlled Rearrangement Element (UCCRE)

----------------------------------------------------------------------

Revised Description of Change effective 3/1/05:

This CR will be implemented as a product/process CR as there are no CLEC facing system changes.

This CR details changes to availability of certain Unbundled Network Elements (UNE) products.

The following UNE products are no longer available to CLECs unless the most current effective version of the CLEC's Interconnection

Agreement (ICA) of Amendment includes terms, conditions, and pricing for the products before 6/14/04.

Unbundled Network Element (UNE)- Switching (UBS) http://www.qwest.com/wholesale/pcat/unswitch.html

Unbundled Network Elements- Platform (UNE-P)-General Information http://www.qwest.com/wholesale/pcat/unep.html

Unbundled Network Elements - Platform (UNE-P) - Integrated Services Digital Network (ISDN) Basic Rate Interface (BRI)

http://www.qwest.com/wholesale/pcat/unepisdnbri.html

Unbundled Network Elements-Platform (UNE-P)-Centrex http://www.qwest.com/wholesale/pcat/unepcentrex.html

Unbundled Network Elements-Platform (UNE-P)-Public Access Lines (PAL) http://www.qwest.com/wholesale/pcat/uneppal.html

Unbundled Network Elements- Platform (UNE-P)- Private Branch Exchange (PBX) Trunks http://www.qwest.com/wholesale/pcat/uneppbx.html

Unbundled Network Elements - Platform (UNE-P)-Plain Old Telephone Service (POTS) http://www.qwest.com/wholesale/pcat/uneppots.html

Unbundled Network Elements - Platform (UNE-P) - Digital Switched Service (DSS) http://www.qwest.com/wholesale/pcat/unepdss.html

Unbundled Network Elements -Platform (UNE-P) - Integrated Services Digital Network (ISDN) Primary Rate Interface (PRI)

http://www.qwest.com/wholesale/pcat/unepisdnpri.html

The remaining products on this CR are being revised due to changes based on the FCC Order received 2/4/05. The following products will be revised and will be noticed on a future date associated with this change request.

Unbundled Local Loop-General Information

Unbundled Local Loop-Digital Signal Level 1 (DS1) Capable Loop

Unbundled Local Loop-Digital Signal Level 3 (DS3) Capable Loop

Enhanced Extended Loop (EEL)

Loop MUX Combination (LMC)

Unbundled Dark Fiber (UDF)

Unbundled Dedicated Interoffice Transport (UDIT)

Unbundled Customer Controlled Rearrangement Element (UCCRE)

As always, any future changes of law may impact this notification and will be supported by the applicable notification.

Expected Deliverables/Proposed Implementation Date (if applicable):

Implement PCAT changes retroactive to 6-15-04 subject to CMP Guidelines

----------------------------------------------------------------------------------------------

Revised Description of Change effective 1/11/05:

This CR will be implemented as a product/process CR as there are no CLEC facing system changes.

This CR details changes to availability of certain Unbundled Network Elements (UNE) products.

The following UNE products are no longer available to CLECs unless the most current effective version of the CLEC's Interconnection Agreement (ICA) of Amendment includes terms, conditions, and pricing for the products before 6/14/04.

-All Enterprise and Mass Market Unbundled Network Elements Switching (UBS) products, detailed in the following Product Catalog

(PCAT): http://www.qwest.com/wholesale/pcat/unswitch.html

-All Enterprise and Mass Market Unbundled Network Elements-Platform (UNE-P) products, detailed in the following PCAT:

http://www.qwest.com/wholesale/pcat/unep.html

-DS1 Unbundled Loop detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/unloopds1caploop.html

-DS3 Unbundled Loop detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/unloopds3caploop.html

-Unbundled Dark Fiber (UDF), including E-UDF and Meet-Point UDF, detailed in the following PCAT:

http://www.qwest.com/wholesale/pcat/darkfiber.html

-DS1 and DS3 Unbundled Dedicated Interoffice Transport (UDIT), including E-UDIT and M-UDIT, detailed in the following PCAT:

http://www.qwest.com/wholesale/pcat/udit.html

-DS1 and DS3 Enhanced Extended Loop (EEL) detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/eel.html

-Unbundled Customer Controlled Rearrangement Element (UCCRE) detailed in the following PCAT:

http://www.qwest.com/wholesale/pcat/uccre.html

-DS1 and DS3 Loop Mux Combo detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/lmc.html

As always, any future changes of law may impact this notification and will be supported by the applicable notification.

Expected Deliverables/Proposed Implementation Date (if applicable):

Implement PCAT changes retroactive to 6-15-04 subject to CMP Guidelines

_______________________________________________________

Previous Title and CR Description of Change - see below for information prior to 1/10/05. This CR was Revised on 1/11/05

Previous Title:

U.S. Court of Appeals for the DC Circuit decision (USTA II) Decision No. 00-1012, and FCC Interim Rules Compliance: Certain Unbundled Network Elements (UNE) Product Discontinuance

Previous Description of Change:

This CR will be implemented as a product/process CR as there are no CLEC facing system changes.

This CR details changes to availability of certain Unbundled Network Elements (UNE) products pursuant to the U.S. Court of Appeals for the DC Circuit decision 00-1012 ('USTA II') which vacated some of the FCC's unbundling rules, and the subsequent FCC Interim Rules which preserved some of the unbundling rules vacated in USTA II.

In accordance with these orders and findings, the following UNE products are no longer available to CLECs unless the most current, effective version of the CLEC’s Interconnection Agreement (ICA) or Amendment includes terms, conditions, and pricing for the products before 6/15/04:

-All Enterprise and Mass Market Unbundled Network Elements Switching (UBS) products, detailed in the following Product Catalog (PCAT): http://www.qwest.com/wholesale/pcat/unswitch.html

-All Enterprise and Mass Market Unbundled Network Elements-Platform (UNE-P) products, detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/unep.html

-DS1 Unbundled Loop detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/unloopds1caploop.html

-DS3 Unbundled Loop detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/unloopds3caploop.html

-Unbundled Dark Fiber (UDF), including E-UDF and Meet-Point UDF, detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/darkfiber.html

-DS1 and DS3 Unbundled Dedicated Interoffice Transport (UDIT), including E-UDIT and M-UDIT, detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/udit.html

-DS1 and DS3 Enhanced Extended Loop (EEL) detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/eel.html

-Unbundled Customer Controlled Rearrangement Element (UCCRE) detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/uccre.html

-DS1 and DS3 Loop Mux Combo detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/lmc.html

Expected Deliverables/Proposed Implementation Date (if applicable):

Retroactive to 6/15/04 pursuant to FCC Interim Rules, subject to CMP Guidelines.

___________________________________________________


Status History

10/27/04: CR Received

10/29/04: CR Acknowledged

10/29/04: Customer contacted / clarification held

10/29/04 - CMPR.10.29;04.F.02250.Regulatory_CR_FCC_Interim

11/02/04 - CMPR.11.02.04.F.02261.Regulatory_CR_FCC_Interim

11/04/04 - Revised the CR to remove regulatory classification

11/04/04 - CMPR.11.04.04.F.02273.Regulatory_CR_FCC_Interim

11/09/04 - CMPR.11.09.04.F.02287.Escalation Notification

11/9/04 - Escalation received/posted to web http://www.qwest.com/wholesale/cmp/escalations.html

11/10/04 - Revised the CR title, description, scope in the database

11/17/04 - November CMP Meeting minutes will be posted to the database

12/15/04 - December CMP Meeting minutes will be posted to the database

1/4/05 - Oversight Meeting held URL for Oversight: http://www.qwest.com/wholesale/cmp/coc.html

1/10/05 - Oversight Meeting held URL for Oversight: http://www.qwest.com/wholesale/cmp/coc.html

1/11/05 - Added url to Status History for Escalation and Oversight Meeting information and documentation. Please review the below url for additional project information.

URL for Escalations: http://www.qwest.com/wholesale/cmp/escalations.html

URL for Oversight: http://www.qwest.com/wholesale/cmp/coc.html

1/18/05 - CMPR.01.18.05.F.02487.AdHocMeeting

01/19/2005 - Discussed in the January Product Process Monthly CMP Meeting

01/25/2005 - Ad Hoc Meeting Held

02/01/2005 - PROD.02.01.05.F.02515.MultiplePCATs_CR Related

02/16/2005 - Discussed in the February Product Process Monthly CMP Meeting

03/01/2005 - Revision made to CR

03/03/2005 - PROD.03.03.05.F.02628.FNL-MultiplePCATs_CR_Rela (Final Notice and Qwest Response to Comments)

03/16/2005 - Discussed in the Monthly Product/Process CMP Meeting

03/21/2005 - Status Changed to CLEC Test, as agreed at the March CMP Meeting, Due to the Implementation of Part 1.

04/20/2005 - Discussed in the Monthly Product/Process CMP Meeting

05/18/2005 - Discussed in the Monthly Product Process CMP Meeting

06/14/2005 - CMPR.06.14.05.F.03015.TRO_TRRO_Ad_Hoc_Meeting

06/15/2005 - Discussed in the Monthly Product Process CMP Meeting

06/20/2005 - CMPR..6.20.05.F.03042.AdHocMeetingRescheduled

06/30/2005 - Ad Hoc Meeting Held

07/20/2005 - Discussed in the Monthly Product Process CMP Meeting

08/17/2005 - Discussed in the Monthly Product Process CMP Meeting

09/21/2005 - Discussed in the Monthly Product Process CMP Meeting

09/29/2005 - PROS.09.29.05.F.03322.TRRO_USERID_Passwaord

10/19/2005 - Discussed in the Monthly Product Process CMP Meeting

10/25/2005 - PROD.10.25.05.F.03400.TRRO_EEL_V2

11/16/2005 - Discussed in the Monthly Product Process CMP Meeting

12/14/2005 - Discussed in the Monthly Product Process CMP Meeting

01/18/2006 - Discussed in the Monthly Product Process CMP Meeting

11/09/2006 - Status Changed from Deferred to CLEC Test, for Discussion in the November 15, 2006 CMP Meeting

11/15/2006 - Discussed in the November Monthly Product Process CMP Meeting.

11/16/2006 - CMPR.11.16.06.F.04340.Ad_Hoc_Meeting

11/27/2006 - Ad Hoc Meeting Held

12/05/2006 - Matrix Emailed to Call Participants

12/06/2006 - Emailed Received from Eschelon: May not agree with the Matrix and are Reviewing Further.

12/07/2006 - CMPR.12.07.06.F.04394.Ad_hoc_meeting: Included Matrix and Info for Next Call, on Jan. 3, 2007

12/14/2006 - Discussed in the December Monthly Product Process CMP Meeting.

12/14/2006 - CMPR.12.14.06.F.04405.Ad_hoc_meeting_RESCHEDULED


Project Meetings

DOCUMENTATION FOR THIS CR IS CONTINUED ON PC102704-1ES2

12-14-06 Prod Proc CMP Mtg: Mark C-Qwest stated that this CR is in Development status & that an ad hoc call was held a few weeks ago which resulted in the creation & distribution of a product matrix being provided to the CLECs. Mark stated that Qwest is awaiting feedback, on the matrix and then will regroup internally & evaluate. Mark then stated that the next ad hoc call is scheduled for January 11th. Mark asked for questions or comments. Bonnie J-Eschelon asked if Qwest could outline what is going to happen with the items in each of the four buckets. Bonnie asked for Qwest’s proposal for each of the buckets. Cindy B-Qwest stated that as previously mentioned, discussions would take place in the ad hoc mtgs & noted that Qwest has no set plan. [Comment from Eschelon: Cindy B-Qwest stated that as previously mentioned, discussions would take place in the ad hoc meetings & noted that Qwest has no strategic plan.] Cindy stated that Qwest is waiting for concurrence on the list & feedback on where each item belongs; we can then proceed. Cindy stated that this effort is casual & that Qwest does not want to dictate the flow of the ad hoc mtgs. [Comment from Eschelon: Cindy stated that Qwest is coming at this very casually & that Qwest does not want to dictate the flow of the ad hoc mtgs.] Cindy asked if that answered Eschelon’s question. Bonnie J-Eschelon stated that in regard to Qwest’s proposal, she is hearing that Qwest does not really have one. Cindy B-Qwest stated that was correct. Cindy suggested that we move forward with the discussions & noted that everyone was now aware of the classifications, including buckets 2&3. Cindy stated that some items, in buckets 2&3, could also end up in bucket 4. Cindy then stated that items that are in litigation are not open for discussion at this time. Cindy stated that buckets 2&3 will be the focus, unless they are in litigation. Bonnie J-Eschelon thanked Cindy for the information & stated that all, except Unbundled Dark Fiber, are currently in litigation. [Comment from Eschelon: Bonnie J-Eschelon thanked Cindy for the information & stated that Eschelon believes that products all, with possibly the exception of Unbundled Dark Fiber, are currently in litigation.] Cindy B-Qwest stated that we would discuss that in the ad hoc mtg. Lynn O-Covad asked when the matrix was sent. Cindy B-Qwest stated that it was sent a few weeks ago. Susan L-Qwest stated that it was provided via email to the call participants on 12/9 & was provided via a notification on 12/7 There were no additional questions or comments.

11-27-06 Ad Hoc Mtg: Kim Isaacs-Eschelon, Sherry Krewett-McLeod, Doug Denney-Eschelon, Laurie Fredricksen-Integra, Sheila Harris-Integra, Kathy Lee-ATT, Kelly Leveritch-Elec Light Wave, Bonnie Johnson-Eschelon, Peggy Esquibel Reed-Qwest, Cindy Buckmaster-Qwest, Mark Nickell-Qwest, Candace Mowers-Qwest, Vicki Dryden-Qwest, Susan Lorence-Qwest, Karen Ferguson-Qwest. Discussion: Peg ER-Qwest stated that this CR that was submitted, by Qwest, in 10-04 for the discontinuance of certain UNE Products. Peg then stated that some products on this CR were implemented & that some of the products were put on hold & the CR was placed in Deferred Status. Peg then noted that at the October Monthly CMP Meeting, Qwest stated that we wanted to take this CR out of deferred status & to start conversations around how to move forward. This CR was placed in CLEC Test. Peg stated that we then received an email in regard to the CR being in CLEC Test status & the thought that Presented might be more appropriate. Peg stated that the CR was changed from Deferred to CLEC Test due to the implementation of this change for 9 UNE Prods on 3-18-05. There are 8 remaining products on the current CR & noted that Qwest agrees that it is not yet appropriate to ask for closure & that additional discussions are needed & that is what today’s meeting is for. Peg then stated that Presented was not an appropriate status, due to the partial implementation of this CR. Peg stated that Presented was for new CRs, after they have been presented in a Monthly CMP Meeting. Peg stated that if the CLECs are uncomfortable with the CLEC Test Status, that the status could be changed to Development. Bonnie J-Eschelon asked if the status could be changed to Evaluation. Peg ER-Qwest stated that CRs in similar situations have been placed in Development status. Bonnie J-Eschelon stated that she would check the CMP Document & would send an email with her decision. Peg ER-Qwest advised Bonnie J-Eschelon to send her email to the cmpcr mailbox, & then turned the call over to Cindy B-Qwest. Cindy B-Qwest stated that she would tee-up the subject in order to introduce & discuss the items that were deferred in 2005. Cindy then stated that she has a suggested approach & noted that she has no structure, agenda, or intention. She wants to talk about subjects to discuss, the order, & grouping. Once the participants decide, we could set an agenda for future meetings. Cindy stated that if subjects are grouped, we would like to work CRs one at a time, from submission to completion. Cindy stated that it would help eliminate confusion & that discussions would be focused on the topic that is current at that time. Cindy then asked the call participants for feedback & suggestions. Bonnie J-Eschelon stated at the October CMP Meeting that there were some products that needed to be addressed & suggested that is where to start the discussion. Cindy B-Qwest stated that the discussions could start there because we need to talk about what is not currently under the ruling, arbitration, on the wire center list, or items that are not currently in the CMP process. Cindy gave examples of OCN, UBL, & Unbundled Packet Switching. Cindy stated that those are not available or that there is no volume. Cindy noted that there could be small elements at the TRRO level. Cindy stated that these discussions should be unstructured & stated that there is no list. Cindy then stated that she wanted to get the CLECs interests & would then go from there. Bonnie J-Eschelon asked which products were completed & which were not completed on the current CR & asked if they could get a list. Susan L stated that she would get the information from the Final Notification & would provide the information later on the call. Cindy B-Qwest stated that the CR is a tracking mechanism for what was implemented & what was not. Cindy stated that this discussion is related only to Local Service products therefore there are items that will not to be discussed on this call, such as 800 data base query. Cindy stated that other Product Managers may want to be addressing those items. Cindy provided examples of EEL, Comingling, LMC, DS1/DS3 Transport, Optical Carrier Level UDIT, UCCRE, Line Sharing, Unbundled Packet Switching, Fiber to the Curb, & others. Cindy asked if the CLECs were asking for a list of all impacted products that will be discussed on this call. CLECsresponded yes. Cindy B stated that she could not discuss the products that she is not responsible for. Sheila H-Integra stated that she would like a list of what was implemented, what is left, what products would be discussed on these calls, & which products would not be discussed. Susan L-Qwest read the list from the current CR of what was implemented & what was not implemented with the current CR. Cindy B-Qwest stated that was a list of PCATs that need to be addressed & asked to clarify if the requested list would be by products or by PCATs. Bonnie J-Eschelon asked that the list be by products with their associated PCATs identified. Cindy B-Qwest stated that she would do her best to compile the list. Bonnie J-Eschelon stated that she noticed that quite a few, such as commingling & shared distribution, are not to be on the list that Susan L read. Cindy B-Qwest stated that is why she asked if the list being requested was to be by prod. Bonnie J-Eschelon stated that she sees 3 buckets: done with PCATs, left to do with PCATs, & those currently in some type of legal arena. Cindy B-Qwest stated she sees 4 lists: the original CR list of what has been implemented, what has not yet been implemented, then what was not addressed on the current CR, & those held for some legal forum. Bonnie J-Eschelon asked if those items that are held for some legal forum are items that could also reside on the list of what has not yet been implemented & on the list of what has not been addressed via the original CR. Cindy B-Qwest stated that they could & stated that she would leave that up to CLEC input. Cindy stated that is due to the fact that she is not involved in all that is being challenged, as the CLECs are. Cindy noted that the CLECs would need to help identify those. Bonnie J-Eschelon stated that we needed to get our arms around that before we can proceed with the discussions. Bonnie stated that we need the grouping before we can proceed. Cindy B-Qwest stated that she was fine with that & that she would deliver the list in the next few days. Cindy then asked when we would then meet. Bonnie J-Eschelon suggested that we have our next call about 3 days after Qwest provides the list. Peggy ER-Qwest stated that the CMP Process does call for at least 5 business days advanced notice for a call & would base the next call on that as well. Susan L-Qwest stated that Qwest would get the list out & that CLECs could provide suggested groupings back to the cmpcr mailbox, Qwest would compile the list, then schedule the next meeting for further discussion. Cindy B.noted that she would be available after 12-6.

11-15-06 Prod Proc CMP Mtg: Mark C-Qwest stated that this CR had been in deferred status & is now in CLEC Test status. (Comment from Eschelon - Mark C-Qwest stated that this CR had been in deferred status & Qwest is now bringing this in CLEC Test status.) Cindy B-Qwest stated that the FCC issued & released The Report, Order on Remand, &d Further Notice of Proposed Rulemaking (FCC 03-36), referred to as the Triennial Review Order (TRO) effective 10-2-2003 & the Remand Order (CC 01-338) referred to as the Triennial Review Remand Order (TRRO) effective 3-11-2005. Subsequently, Qwest issued CR PC102704-1ES. At that time, Qwest provided notification only on items that were clearly not challenged in the TRO order. CLECs have signed the TRO TRRO amendments to their ICAs & are operating under processes associated with that amendment. Qwest would now like to move forward & release the post TRRO documentation through CMP. TRRO issues that are being addressed by Qwest & CLECs in arbitration of their ICAs or items being challenged by law will not immediately be processed through CMP. Cindy stated that Qwest would like to re-open this CR & would also like to issue subsequent CRs for this effort. (Comments from Eschelon: Cindy B-Qwest stated that the FCC issued & released The Report, Order on Remand, & Further Notice of Proposed Rulemaking (FCC 03-36), referred to as the Triennial Review Order (TRO) effective 10-2-2003 & the Remand Order (CC 01-338) referred to as the Triennial Review Remand Order (TRRO) effective 3-11-2005. Subsequently, Qwest issued Change Request PC102704-1ES. Cindy said, at that time, Qwest provided notification only on items that were clearly not challenged in the TRO order. She said CLECs have signed the TRO TRRO amendments to their ICAs and are operating under processes associated with that amendment. She said Qwest would now like to move forward & release the post TRRO documentation through CMP. Cindy said Qwest is asking to release the undisputed items, those not in arbitration or items being challenged under law. Disputed items will not immediately be processed through CMP. Cindy stated that Qwest would like to re-open this CR & would also like to issue subsequent CRs for this effort.) Bonnie J-Eschelon asked to clarify that Qwest wants to add, in CMP, those not in arbitration or are not being challenged under law. Bonnie asked what Qwest was doing. (Comment from Eschelon:Bonnie J-Eschelon asked Qwest to explain & indicate what products Qwest wants to add in CMP. Cindy B-Qwest stated that Qwest would like to move the current CR, for UNE-P and UBL products, to CLEC Test. The other products would then be addressed via different CRs.) Cindy B-Qwest stated that Qwest would like to move the current CR, for UNE-P and UBL products, to CLEC Test. The other products would then be addressed via different CRs. Bonnie J-Eschelon stated that on the 6-30-2005 call, Qwest said that this would be deferred until Qwest filed SGATS, with CLEC input. Bonnie asked if that was still the plan. [Comment from Eschelon: Bonnie J-Eschelon stated that, on the 6-30-2005 call, CLECs said they wanted to negotiate these terms in ICA negotiations, and Qwest said that, when it filed SGATs, CLECs would at least get an opportunity to have input. Bonnie asked if that was still the plan.) Cindy B-Qwest stated that Qwest is not planning to file SGATs in any state in the near future. Cindy noted that one & a half years ago, we were planning to & that was the intent at that time.Cindy then stated that Qwest is not planning to file SGATs in any state in the near future & would like to move forward based on the CMP process. (Comment from Eschelon: Cindy B-Qwest stated that Qwest is not planning to file SGATs in any state, and that is a change. Cindy noted that was a good point. She said, one & a half years ago, we were planning to & that was the intent at that time.Cindy then stated that Qwest is not planning to file SGATs and would like to move forward based on the CMP process.) Bonnie J-Eschelon stated that there were TRRO PCATs changed outside of CMP & asked how that would work when the TRRO PCATs would be changed without CLEC input. (Comment from Eschelon: Bonnie J-Eschelon stated that TRRO PCATs were changed outside of CMP without CLEC input & asked how that would work.) Cindy B-Qwest the intent was to cover all issues under this CR. Other products, not contested, such as OCN, UPS; those that can no longer be ordered, the PCATs were moved to a separate place on the web site for those who have signed amendments & for other CLECs to look at. Cindy then stated that Qwest wants to add the PCATs that are not currently under arbitration or under a legal status (i.e. wire center lists) or where states need to finish to resolution. Cindy stated that Qwest wants to propose how to add and post those PCATs, with CLEC input. Cindy then noted that Qwest would like to move forward & make discussions public in an open forum. Cindy proposed that questions & discussion on the structure take place on the first meeting that is currently scheduled for 11-27. (Comment from Eschelon: Cindy B-Qwest said the intent was to cover all issues under this CR. Other products, not contested, such as OCN, UPS; those that can no longer be ordered, the PCATs were moved to a separate place on the web site to cover those who have signed amendments & for other CLECs to look at if you want to see them before you sign an amendment. Cindy then stated that Qwest wants to readdress the PCATs that CLECs did not have input on & that are not currently under arbitration or under a legal status (i.e.wire center lists) or where states need to finish to resolution. Cindy stated that Qwest wants to propose how to add and post those PCATs, with CLEC input. Cindy said Qwest would like to address similarly situated products in chunks for all products with the same flavor. Cindy then noted that Qwest would like to move forward & make discussions public in an open forum. Cindy proposed that questions and discussion on the structure take place on the first meeting that is currently scheduled for 11-27) Bonnie J-Eschelon asked if the statement regarding legal proceedings for wire centers included the Qwest/Eschelon arbitration. (Comment from Eschelon: Bonnie J-Eschelon asked if the statement regarding legal challenges included the Qwest/Eschelon arbitration.) Cindy B-Qwest said yes. Bonnie J-Eschelon said okay. Cindy B-Qwest stated that she proposes that this current CR be moved to CLEC Test & to have the 11-27 ad hoc call in order to start discussions. There were no questions or comments. Mark C-Qwest asked to clarify that the current CR would not be changed or updated. Cindy B-Qwest said that was correct. Mark C-Qwest then asked if the new items would be addressed via new CRs. Cindy B-Qwest said yes. Mark C-Qwest asked if there were any questions or comments. Mark N-Qwest stated that at this time Qwest would like the current CR to reflect CLEC Test in order to maintain continuity going forward. Once the new CRs are discussed & there is more comfort around this effort, the closing of this current CR can be addressed. (Comment from Eschelon: Mark N-Qwest stated that at this time Qwest would like the current CR to reflect CLEC Test in order to maintain continuity going forward. Once the new CRs are discussed & there is more comfort around this effort, Qwest will request closure of the existing CR.) Mark C-Qwest stated that this CR would reflect a CLEC Test status & that Qwest would move forward with the recommended call on 11-27. Bonnie J-Eschelon asked if Cindy B-Qwest had any idea as to what was not included in the legal proceedings at this time. Cindy B-Qwest stated that she is unable to provide a comprehensive list & provided examples of OCN, UBL, & Unbundled Packet Switching. Cindy also noted that Line Sharing may not yet be posted. Bonnie J-Eschelon thanked Cindy B-Qwest for the information. (Comment from Eschelon: Bonnie J-Eschelon thanked Cindy B-Qwest for that information.) There were no additional questions or comments. This CR is in CLEC Test status.

1-18-06 Prod Proc CMP Mtg: Jill M-Qwest stated that this is the CR for the TRO work & because there has been no change in the status, for several months, she would like to put the CR in a Deferred Status. Jill stated that when it is time for the PCAT updates, this CR would move out of Deferred. There was no dissent to moving this CR to Deferred. Kim I-Eschelon stated that there was a notice out today for TRRO and asked if that was separate from this effort. Jill M-Qwest stated that it was separate & that it was a non-CMP Notice. (1/27/06 - Comment from Eschelon: Jill Martain-Qwest stated that the TRRO notices sent today was for CLECs that had signed the TRRO Amendment.

12-14-05 Prod Proc CMP Mtg: Jill M-Qwest stated that this is still unchanged & that Qwest is still waiting for the SGATs, as previously discussed. This CR remains in Dev Status.

11-16-05 Prod Proc CMP Mtg: Jill M-Qwest stated that there is no change from the previous month.This CR remains in dev.

10-19-05 Prod Proc CMP Mtg: Jill M-Qwest stated that there is no new status for this CR. Liz B-Covad noted that the CLECs do now have access to the secret PCATs.

9-21-05 Prod Proc CMP Mtg: Jill M-Qwest stated that there was no change on this CR & that we are still in a hold mode Liz B-Covad stated that she had a question on a Process Notification on the TRRO Product and Service Log On Jill M-Qwest said that she believed that notice was a Non CMP Notice. Liz B-Covad said that they feel the General Notice should have been a CMP Notice because it was the result of a CR. She said that it did not come out in a notice fashion with & effective date of 10/3. Liz said that she can’t comprehend how Qwest can determine that you can only look at a PCAT when an amendment is signed. Liz said that she was confused because she thought it was a process change that Qwest was trying to implement. Liz said that the TRRO does not allow Qwest to restrict the ability to send in orders. Liz said that she would like to formally object to the process Qwest is trying to implement. Jill M-Qwest stated that she would like to take this discussion offline with Covad. Jill said that this stemmed from a Product/Process CR where we agreed in an adhoc meeting, held on 6-30-2005 (see PC102704-1ES for meeting minutes) that the TRRO PCATs would be provided separately. She also said that Qwest & the CLECs agreed Qwest would not update the CMP controlled PCAT documents until the SGATs were approved. Liz B-Covad said that restricting access gives the appearance of preferential treatment. Jill M-Qwest stated that she would like to get the appropriate people together & discuss offline. Bonnie J-Eschelon said that they would like to be included in the discussions. Liz B-Covad stated that it is inappropriate to restrict access to PCATs and that they have a concern with the effective date. Sue W-XO Communications stated that they have a concern as well. She said that they are concerned that Qwest would be implementing differences in process based on the CLEC. Nancy S-Comcast said that they are concerned too. Julie P-TDS Metrocom is concerned. Liz B-Covad stated that the PCATs are not binding and that an adhoc meeting is needed to discuss these concerns. Jill M-Qwest stated that we have noted these concerns & will get back with the CLECs. Liz B-Covad asked if she should escalate via the CMP Process. Jill M-Qwest said no and that we have their concerns noted.

8-17-05 Prod Proc CMP Mtg: Jill M-Qwest stated that there is no change to the status and remains in Development.

7-20-05 Prod Proc CMP Mtg: Jill M-Qwest stated that an adhoc meeting was held to communicate the proposal on how we will move forward and that we will continue down that path. Jill said that this CR will remain in Development.

6-30-05 Ad Hoc Mtg: Rosalin Davis-MCI, Chad Warner-MCI, Chris Terrell-AT&T, Greg Diamond-Covad, Tom Hyde-Cbeyond, Jeff Sonnier-Sprint, Bonnie Johnson-Eschelon, Doug Henney-Eschelon, Liz Balvin-Covad, Kim Isaacs-Eschelon. DISCUSSION: Cindy B-Qwest said that Qwest suggested this Ad-Hoc mtg to help communicate our implementation plans for the TRO TRRO. She said that many of the CLECs are interested in the implementation of the rules laid out in the orders and may have questions. Cindy said the CLECs likely agree that these orders cover numerous products & processes, not to mention availability & even eligibility. Cindy said that Qwest is developing template language that encompasses our obligations under the TRO/TRRO & that we will be filing that template language with the states in the months to come. She said that the normal filing process will be followed likely allowing a comment period from interested parties. Cindy said that in the meantime, our negotiations team will negotiate the amendment or full template with interested CLECs. Cindy said that negotiation combined with State approval of our template language that is necessary to finalize applicable language &/or processes. Cindy said that in order to most effectively & efficiently work through that process, we believe that it is best to further delay announcements of process or product changes related to these orders via CMP until such time as the language is finalized & will impact all CLECs. She said that no TRO TRRO changes to products or processes will be made across the board until such language is final. Cindy said, as mentioned earlier, we will implement product & process changes only as you sign the amendment or template language, through the change of law provisions that are outlined in your individual contracts. She said that the CLECs, at that time, will be provided with individual PCATs & Business Procedures that are in alignment with their current language so that they can determine any changes to the way you do business with Qwest. Tom H-Cbeyond stated that this plan sounds logical and asked when Qwest could share a draft or final version of the language to review before negotiating. Cindy B-Qwest said that Candice M-Qwest is closer to the filings & this Qwest effort. Candice M-Qwest stated that with the SGAT, there are no filings scheduled yet & with the number of changes, getting language is quite a task. Candice said that there is a negotiations template & a TRO Remand Compliance template onthe Qwest Wholesale Web at www.Qwest.com/wholesale/clecs/amendments.html. Candice said that when the CLECs want to begin negotiations, they can contact the Qwest negotiations team. Tom H-Cbeyond said that they would like to review & schedule negotiations. Candice Mowers-Qwest said that this was a good idea & to wait until the last minute will be a push. Tom H-Cbeyond stated that he would download & review the information. The following question was raised in the meeting: What does this have to do with QPP? Cindy B-Qwest said that this has nothing to do with QPP. She said that the QPP Commercial Agreements are on the same website & will remain there. Liz B-Covad summarized that the purpose of this meeting was to relay information on the TRO negotiations, the templates are out there for review & that the PCATs won’t be updated until the final language is approved. Cindy B-Qwest stated that we did not want to make process changes that will impact a lot of you & that we will honor your contracts. She said we will share documents as process changes are made. The following question was asked in the meeting: Does this have anything to do with PC102704-1ES. Cindy B-Qwest said that this CR was opened as a way to communicate changes in the TRO/TRRO. She said that there are more changes coming & the CR is the means to share those changes. Cindy said that the CR was initially issued when the TRO came out and had changes. She said that we had to pull back some of the PCATs but will keep the CR open until we can finish CR. Tom H-Cbeyond said that he understood the format and information can be used on the website. Cindy B-Qwest stated that the next steps depend on where each Company is. She said that they can go to the web, study and start negotiations. Cindy said that if you don’t want involvement, they could do nothing. She said that as SGAT language changes, we will have a comment period & that the States will engage you when decisions are made. Cindy also said that PCAT changes will be brought through CMP. There were no additional questions or comments.

6-15-05 Prod Proc CMP Mtg: Jill M-Qwest stated that an ad hoc meeting had been scheduled for 6-22 for discussion of Qwest’s direction as a result of the order & to discuss how Qwest would like to move forward. Bonnie J-Eschelon stated that she needs to know who to invite to this meeting & asked for further explanation of the discussion intent. Bonnie then noted that this meeting conflicts with Eschelon’s schedule. Bonnie then asked who the Qwest participants would be & asked if there was an agenda. Jill M-Qwest stated that the Qwest participants would be Product Managers & stated that the meeting is to discuss how Qwest CMP would like to move forward with the CMP CRs. Bonnie J-Eschelon asked whom the CLECs should invite to participate & asked if they should include systems people or regulatory people. Jill M-Qwest stated that the discussion should not need systems type people & stated that in regard to regulatory participants; she did not know. Qwest wants to discuss how Qwest would like to move forward from a CMP perspective. Bonnie J-Eschelon stated that it might be a good idea that those involved in TRO or with the change of law participate. Jill M-Qwest stated that the meeting was not regarding the interpretation of the rules; rather how Qwest would like to move forward with the implementation of the process as it related to CMP Liz B-Covad stated that she is also on vacation on 6-22 and could have a back-up at the meeting. Jill M-Qwest stated that the meeting could be rescheduled. Bonnie J-Eschelon stated that 6-27 would work for Eschelon & noted that Tuesday’s & Wednesday’s were not good for Eschelon. Jill M-Qwest asked if 6-30 would work. Bonnie J-Eschelon stated yes. Liz B-Covad also said yes.Jill M-Qwest stated that Qwest would see if the meeting could be rescheduled for 6-30 and stated that if it could not, Qwest would look at other meeting options. There were no additional comments or questions.

5-18-05 Prod Proc CMP Mtg: Peggy ER-Qwest stated that this was effective on March 18th for some products & was moved back to development for the implementation of the remaining products. Peggy stated that she was not aware of a date yet. Peggy then noted that the CR would remain in Development status. Liz B-Covad stated that the actual amendment notice is now available and so is the appendix A sheet. Jill M-Qwest stated that we would check with Cindy B-Qwest offline.

4-20-05 ProdProc CMP Mtg: Peggy ER-Qwest stated that this CR is in CLEC Test due to the effective date of 3-18 for the first set of products & stated that Qwest would like to move the CR back to Development status for the implementation of the remaining products. Liz B-Covad asked if there was a timeline for the changes in law provisions. Jill M-Qwest stated that there are no dates yet. There was no dissent to the CR moving back to Development status.

3-16-05 Prod Proc CMP Mtg: Cindy B-Qwest stated that this CR will be effective on March 18th and that she would like to move the CR to CLEC Test on the 18th. Jill M-Qwest stated that she was okay moving this CR to CLEC Test on the 18th, but then would like it moved back to Development status for the rest of the piece. Bonnie J-Eschelon stated that she was okay with this moving to CLEC Test on the 18th, for those that are effective on the 18th. [Comment from Eschelon: but does not think it is appropriate to do so before 3/18.] Cindy B-Qwest agreed. Jill M-Qwest stated that this CR would move to CLEC Test on 3-18, then when the other notices go out for the rest of the CR, the status would change to Development.

2-16-05 Prod Proc CMP Mtg: Jill M-Qwest stated that when the final rulings came out, we received feedback. Jill stated that Qwest would withdraw the PCATs that were affected by the final rules and that Qwest would proceed with UNE-P. Jill stated that Qwest would reissue the PCATs that are being removed from the CR, once it is determined what those changes are & would notify via this same CR.Liz B-Covad asked if Qwest would confirm that Qwest will follow the change of law provisions in their ICA. Comment received from Eschelon 2/24/05 and said she expected a response to her comments. Jill M-Qwest stated that Qwest had received Covads comment & that Qwest would be responding to the comment & all comments that were received. Jill M-Qwest stated that this CR remains in Development status.

1-25-05 Ad Hoc Mtg: Liz Balvin-Covad, Sue Lamb-One Eighty, Elaine Birkquest-Norstar, Sharon Van Meter-AT&T, Becky Quintana-CO PUC, Marty-Rantel, Noreen Carol-Birch Telcom, Chris Terrell-AT&T, Doug Denney-Eschelon, Bonnie Johnson-Eschelon, Tom Hyde-Cbeyond, Rosalin Davis-MCI, Chad Warner-MCI, Cindy Buckmaster-Qwest, Jill Martain-Qwest, Bob Mohr-Qwest, Robyn Libadia-Qwest, Pat Finley-Qwest, Vicki Dryden-Qwest, John Hansen-Qwest, Susan Lorence-Qwest, Jennifer Fischer-Qwest, Pete Budner-Qwest, Chris Quinn Struck-Qwest, Peggy Esquibel Reed-Qwest. DISCUSSION: Peggy ER-Qwest stated that the purpose of the call was for Qwest to review the updates that will be made to PCAT documentation, for this CR. Cindy B-Qwest stated that in the last CMP Meeting, the CR revisions were communicated & that the CR was re-introduced. Cindy stated that Qwest received a lot of opposition in regard to the Regulatory designation. Cindy noted that Qwest agreed to remove the regulatory designation & moved this CR to a non-regulatory category. Cindy also stated that references to the law & regulatory were removed. Cindy noted that law was the reason for the change, but Qwest would now show this CR as non-regulatory. Cindy stated that the changes are based on Qwest not being obligated to provide products added to the CR. Cindy noted that future changes will affect product offerings & that they would be noticed. Cindy stated that the PCATs are identified & the products are included in the CR. Cindy then stated that there would be a simple change at the beginning of the PCATs that will state that this PCAT change details changes to availability of certain Unbundled Network Elements (UNE) products pursuant to the U.S. Court of Appeals for the DC Circuit decision 00-1012 ('USTA II') which vacated some of the FCC's unbundling rules, & the FCC’s Interim Rules, which preserved some of the unbundling rules vacated in USTA II. In accordance with these orders & findings, the ‘product specified’ is/are no longer available to CLECs unless the most current, effective version of CLEC’s Interconnection Agreement (ICA) or Amendment includes terms, conditions, & pricing for the products before 6/15/04. Bonnie J-Eschelon asked if they would be sent out for review. Cindy B said yes & stated that Qwest is not changing the availability to those who have via an ICA; & would make available for CLECs who do not have an ICA. Tom H-Cbeyond asked for the timing of giving DS1 wire center information. Cindy B-Qwest stated that there would be no wire center information & stated that Qwest is standing by for further instructions from the FCC. Cindy stated that the order is not yet posted & said that once it is posted, Qwest would then have it go into effect in 30-days. Cindy noted that the process would be followed & that notices would be sent to communicate the changes.Tom H-Cbeyond stated that he had a concern regarding timing, & noted that by 3-14, major changes would be involved & concerned as to how quickly Qwest would get the changes out. Tom stated that all need to make changes & need time to react. Cindy B-Qwest stated that Qwest would not make changes without the proper timeframes in place. Sharon VM-AT&T asked if this information was in the CR. Peggy ER-Qwest stated that this discussion would be in the meeting minutes of this call. Liz B-Covad stated that if Qwest did not want to receive comments, Qwest needs to state clearly in the notices. Jill M-Qwest stated that the revised & noted Description of Change would also help. Liz B-Covad stated that Qwest needs to provide the intent of the changes & who would be impacted. Jill M-Qwest stated that what Cindy B-Qwest is proposing will be clear in the notices. Liz B-Covad stated that what Cindy B-Qwest related would go a long way & asked to confirm that once the FCC rules are permanent, that Qwest would adhere to the timeframes and go thru the Regulatory process. Jill M-Qwest said that she agreed that if a particular change is a result of the TRO or is a regulatory change, Qwest would follow that process & would provide the appropriate information. Liz B-Covad asked what level of change the PCATs would be. Jill M-Qwest stated that they would be Level 4 Notices. Liz B-Covad stated that she recommends time be provided, due to Cbeyond’s concern. Bonnie J-Eschelon said that she had a global comment that she has noticed that the notices do now have additional information included. Bonnie then thanked Qwest for providing that additional information. There were no additional questions or comments. The call was concluded.

1-21-05 Email to Cbeyond: Mr. Hyde, I received your email & will make note of your comments in the CR. As a result of the Oversight meeting that was held with this CR, Qwest is moving forward with the ad hoc call, & if the final rules warrant a change, we will address it at that time. Thank you, Peggy ER Qwest CMP CRPM

1-21-05 Email from Cbeyond: Once again, it is premature to hold any discussion until the permanent FCC rules are issued in the next few weeks. Among other things, the permanent rules allow DS1 loops & EELs in many-if not most-Qwest locations. Any attempt to implement prior to reading the FCC’s final order is an exercise in futility & a waste of precious resources.

1-10-05 CMP Ovrsght Mtg. PURPOSE: This was the second meeting of the CMP Oversight Committee to review an issue submitted to the committee on 11/30/04 by Liz Balvin of Covad. The following is the write-up of the discussion. Attendees: Jen Arnold-TDS Metrocom/U S Link, Liz Balvin-Covad, Becky Quintana-Colorado PUC, Bonnie Johnson-Eschelon, Sharon Van Meter-AT&T, Amanda Silva-VCI, Susie Bliss-Qwest, Susan Lorence-Qwest, Bill Campbell-Qwest, Cindy Macy-Qwest, Peggy Esquibel Reed-Qwest, Linda Sanchez-Steinke-Qwest. DISCUSSION: Linda SS-Qwest stated that on Friday Qwest sent an e-mail to Oversight members explaining that we would prefer to revise the CR PC102704-1ES. By revising the CR the historical information is preserved & the references to law would be removed & the title would be changed. Attached to the e-mail was a redlined CR with the proposed changes. The proposed deletions would become the revised title & the revised description of change keeping the original title & the original description of change within the CR. The Oversight members stated they had received & reviewed. Liz B-Covad stated she did not think this process would preserve the CR history & recalled from the last meeting the only recommendation was to defer the CR until the final rules were issued. Susie B-Qwest stated Qwest reviewed three options for the CR; defer until final rules, amend the CR or withdraw the CR & issue a new CR. Liz B. asked if Qwest was going to consider deferring until the rules are permanent. Susie B. said that the approach was considered & voiced concern that the products are currently not available & current contracts are expiring. Bonnie J-Eschelon stated there are products in the PCAT that cannot be ordered because they are not in the CLEC’s contract. Bonnie said she was trying to understand why the CR is needed. Bill C-Qwest explained that the PCATs are based on the approved SGATs & the SGATs can be different from the ICA. We try to time the CMP update changes with the SGAT changes & Qwest did put together SGAT changes. However, the SGAT’s have been pulled back with concurrence of the states due to the unsettled regulatory situation post USTA II, post interim order & pre final FCC order. Qwest has changed the ICA language template (insert comment) but the current SGAT’s do not accurately reflect the prods Qwest offers & Qwest (end comment) feels it is important to notify CLECs on the changes to the prods. Liz B countered that if the legal implications were removed, the situation is in flux, the permanent rules will be issued later this month & the CLECs are restricted from ordering existing products that are not included in their ICA. Bill C. responded after 6/15/04 CLECs without the ICA including the products do not have the option of ordering the prods. Qwest is choosing to move forward with the CR because the final FCC rules although scheduled to be finalized in January and effective in March, it would most likely be June before changes tothe order are made. Liz B. felt that the process was backward because if a CLEC wants these products they would work with the negotiation team and would not go through CMP (insert comment) because CMP specifically call out ICA’s override (end comment). Bill C. discussed that Qwest has an obligation to notice the change in the PCAT when the SGAT has not changed. Bonnie J. said that product availability is based on the ICA and even though Qwest notices about product availability, CLEC’s can’t get the products without an agreement including the product. Bill C. explained that new CLECs may go to the Qwest website to find which products are available & then would be given a contract that does not list all the products that were available on the website. Normally the SGAT change would force the change in the PCAT. Liz Balvin stated that Qwest restricting products to CLECs who don’t have them in their ICA is different than limiting the product availability. The intent of the CR was drawn from legal rules & the permanent rules could change the offering. Bill C responded that the CR would have to be changed. Bonnie J asked if traditionally a new CLEC would go to the SGATor PCAT to see what is available & they are not in sync. Bill C. explained that the PCAT & SGAT are in sync but they are not in sync with Qwest policy.The states are not accepting SGAT changes at this time & the SGAT & PCAT are in sync but the ICA template is different. Becky Q-COPUC asked if Qwest was considering filing the SGAT prior to the final rules or waiting & Bill C.stated that Qwest is waiting, although we did file prior to the USTA decision, but withdrew the filings when it was clear that the states did not believe the timing was right to make the proposed changes knowing full well any state proceedings would have to be revisited. Becky Q voiced concerned that the SGAT on file & the Wholesale tariff are not the current Qwest offering. Liz B & Bill C agreed that the CR was issued as a result of law. Liz was concerned that Qwest would be restricting CLECs from gaining the product going forward but it is available for CLECs with an ICA. Liz B stated that she continues to see the only option is deferring to keep the history of the CR & that not all the history is maintained about the Escalation & Oversight review. Susie B said at the last meeting the committee was polled on the options.Liz B and Bill C discussed whether the CR is limiting products (as called for in the CMP document), restricting new CLECs from getting these products & if a CLECs contract expires then they would be restricted from the product availability. Liz B stated that the CR should identify the interim rules as the basis for notifying the CLECs of 6/15 product changes & that Qwest is not going to file the SGAT until the permanent rules are available. Bill C agreed that the CR is based on the USTA II rules & that Qwest has restricted the products & changes will have to be made to comply with the final rules. Liz B stated the basis is USTA II & Bill C said he agreed that the basis is USTA II, & under the FCC guidance, are no longer required to provide unbundled elements. Liz B said Qwest’s current position needs to be identified in the CR. Bill C said that AT&T & Eschelon have a different opinion. Bonnie J said AT&T & Eschelon agree this is not a Regulatory CR & restated Liz’s concern if it was appropriate to issue the CR at all if the guidelines are not followed. We agreed the CR is not regulatory because Qwest was not ordered, Qwest made the choice not to offer the products. Bill C asked Liz if we include the language & make it a regulatory CR. Liz B said that the genesis of the change was the USTA II decision & now Qwest wants to remove that. Bill C stated that during the last meeting it was clear this was not a Regulatory CR. USTA II was a court opinion about what needed to be offered. Bonnie J said that is what takes it out of Regulatory CR classification. Liz B argued that the rules are 'as is' until the permanent rules come out & since it is just an opinion & believes Qwest should follow the SGATs until the rules are permanent. Bill C stated that the DC court vacated the FCC rules & in a sense undermined them & took away the unbundled rules. The FCC said here is the interim rules & will freeze prior to 6/15 until we can put out the final rules. Qwest doesn’t want to put the CR in deferred status. Bonnie J said Eschelon does not have an objection to Qwest updating the existing CR (insert comment) because Eschelon has updated CRs without the clock starting over. Becky Q questioned whether the CLECs were arguing the merits of the CR rather than the process that Qwest used. Liz B said the CR could be updated & requested information relating to Oversight & Escalation be included. Linda SS stated that Qwest has not included Escalation response or Oversight minutes in other CRs as the Escalation & Oversight minutes are found in another location on the web site. There was agreement that the CR would provide the revised title, original title, revised description of change, original description of change & url links to the Escalation & Oversight web locations. CR PC120803-1 was provided as an example of a CR that has been revised. Bonnie stated that the history is captured & that this CR is an anomaly because it had the regulatory issue & was not just a systems to process crossover, but does not agree with the CR & does understand what Qwest is trying to accomplish & Qwest feels the need to move forward. Sharon VM stated that AT&T does not think this is a regulatory CR & would like the CR to include the history of what has been discussed. Deferring the CR would be better & revising is acceptable if the history is included. Liz B agreed deferring would be better & revising the CR sets a precedent that the CR is regulatory but not identifying in that way. There was recommendation from Covad, Eschelon, AT&T, TDS/MetroCom & MCI that the CR be deferred until permanent rules are issued. Becky Q stated that without making any statement on the merits of the CR, she believed that Qwest should go ahead with the CR because she agreed with Bill Cs estimated timeline for permanent rules. Qwest would like to move forward by revising the CR. The Oversight Recommendation will include the different recommendations from the Oversight members. Bonnie J & Becky Q discussed the merit of language changes to the CMP process. Liz B & Bonnie J stated that the CR should not have defaulted to CMP as it was not the appropriate approach & the importance of keeping the CMP guidelines in tact. The meeting was concluded.

1-4-05 CMP Ovrsght Mtg. PURPOSE: This was a meeting of the CMP Oversight Committee to review an issue submitted to the committee on 11/30/04 by Liz B-of Covad. The following is the write-up of the discussion. Attendees: Jen Arnold-TDS Metrocom/U S Link, Liz Balvin-Covad, Becky Quintana-Colorado PUC, Bonnie Johnson-Eschelon, Kim Isaacs-Eschelon, Sharon Van Meter-AT&T, Kathy Stichter-Eschelon, Doug Denny-Eschelon, Amanda Silva-VCI, Jeff Sonnier-Sprint, Susie Bliss-Qwest, Susan Lorence-Qwest, Cindy Buckmaster-Qwest, Bill Campbell-Qwest, Cindy Macy-Qwest, Jill Martain-Qwest, Linda Sanchez Steinke-Qwest DISCUSSION: The meeting began with Qwest making introductions. Linda S-S-Qwest reviewed the issue Covad submitted to Oversight on 11/30/04. Linda read from the Description of the Issue; Qwest inappropriate use of CMP to drive legal interpretation of the Law, & the desired resolution; the proposed changes (PC102704-1ES) be withdrawn until Qwest can properly follow the CMP governing document. Qwest responded on 12/10/04 requesting that Oversight meet to discuss how to move forward with the CR. Liz B reviewed the history of the issue & stated Covad’s position that the biggest issue is Qwest is out of scope of CMP. She stated that the first problem is that the Systems CR SCR102704-1RG was identified as Regulatory & did not follow the process of referencing the page & paragraph & called into question the law or mandate. The second problem is that six CLECs objected to the regulatory classification of the CR & the objections should have been addressed. The CR was then converted to Prod Proc, the regulatory classification removed, & Qwest did not follow the crossover guidelines. Qwest’s binding response to the Covad escalation continued to assert that Prod Proc is not the correct category & it is a regulatory CR. Qwest has been out of scope of CMP for this CR. [Comment received from Covad: Qwest’s binding response to the Covad escalation continued to base decision on USTA II & FCC interim rules but not call regulatory. Qwest has been out of scope of CMP for this CR.]Susie B-Qwest stated Qwest’s position was when objections to the regulatory classification were received, the regulatory definition in CMP did not fit. There was not unanimous agreement that the CR was regulatory. Section5.1.1 states that if there is not unanimous agreement then the CR will be treated as non-regulatory. PCAT changes need to be made & when PCAT changes are made, Qwest is obligated to notify the CLECs by following 5.4.5 limiting the product availability. Qwest proceeded as a Prod Proc Level 4 change. Liz B & Susie B discussed the concern that CLECs were not given a chance to discuss the CR & whether Qwest was limiting or restricting availability of products. [Comment received from Covad: Liz B stated that CLECs were not given the opportunity to iron out whether the CR should have been categorized as regulatory. Susie B indicated that Qwest has the right to limit the availability of products based on the CMP document. Liz Balvin stated that Qwest is not limiting, but restricting products that other carriers continue to be able to purchase.]Bonnie J-Eschelon stated that Qwest can not make a decision as a company & not allow the customer to order the product any longer. It is required to provide the basis under which the product is removed. Bill C-Qwest, Liz B, Bonnie J, & Susie B discussed resolving the issue by providing the USTA II document & identifying for each product the page & paragraph reference. Liz B & Bonnie J were concerned that CMP process has not been followed, & stated the CR is lacking the steps required. Susie B asked if citing the paragraph would resolve. Liz recalled that the CMP document was written to address regulatory CRs & that Qwest tried to remove the regulatory classification & page & paragraph of law should be provided to move forward with the change. Cindy B-Qwest restated Liz’s position; Covad does not want the Regulatory classification removed, but instead would like Qwest to add the page & paragraph. [Comment received from Covad: Cindy B-Qwest asked to restate Liz’s (Covad’s) position; does Covad want the Regulatory classification removed or Qwest to cite add the page & paragraph. Liz’s stated that Qwest continues to call into question the law but not want to cite page & paragraph, there is a difference.] Further discussion ensued between Liz B & Cindy B whether appropriate to revise the CR or leave the CR as is currently. Susan L-Qwest added that when grandparenting products, the CRs remove the product availability. Liz B felt that Qwest has called into question the law & has jerry rigged the CMP process to meet Qwest’s needs because there are system edits in place to restrict ordering the products. [Comment received from Covad: products & that the notifications, even level 4 notices carry the clause that IA supercede PCAT documents.]Becky Q-COPUC asked if Liz’s issue was there is not a way the CR can be categorized as a regulatory CR. Liz Balvin responded that Qwest has called into question the law & should follow the CMP guidelines & provide page & paragraph. Becky Q stated that if Qwest withdraws the CR & then re-submits the CR as regulatory it is not clear how the CLECs could object. Sharon VM-AT&T stated AT&T had objected to the regulatory classification & read the AT&T attorney position. Cindy B. interjected that this is the very objection that resulted in Qwest removing Regulatory classification from the CR. A number of CLECs objected on this basis & that is where Qwest took its action from. Liz indicated that may have been some CLEC prematurely showing part of their hand but she didn’t see these remarks nor a response from Qwest on these remarks & therefore didn’t know Qwest had this information. Bonnie J, Bill C. & Cindy B. discussed that a regulatory classification means Qwest cannot (by law) provide the product & a non-regulatory classification means that Qwest does not have an obligation to & chooses not to provide the product. It was agreed this CR is non-regulatory. Becky Q. added that it is now clear why this is not a regulatory CR. Liz B-Covad stated that had objected to the Systems CR & then escalated the Prod Proc CR. If Qwest had followed the process, the CLECs would have discussed the objections and Qwest’s responses to the objections. Qwest is aware of all the other CLEC’s positions. [Comment received from Covad: Liz Balvin stated it is easy for Qwest, now that it has all the information in hand, to take this new position. If Qwest had followed the process, the CLECs would have discussed the objections & Qwest’s responses to the objections. Qwest is aware of all the other CLEC’s positions & by not following the CMP guidelines has eliminated CLECs insight to all that Qwest has.] Cindy B. requested input on how the CR could be moved forward. Liz B. requested that Qwest respond to the objections. There was discussion between Linda S-S, Liz B.& Susie B. concerning Section 5.1.1 related to any requirement that Qwest respond to objections. There was further discussion between Liz B, Susie B, Cindy M & Susan L regarding the CMP voting process, classification of the CR, following CMP guidelines for the CR & the precedent that has been set with change to disposition requests. Liz felt these were different situations. [Comment received from Covad: Liz stated these situations were different because no one has requested a change in disposition.]Becky Q. asked if the concern was that Qwest did not follow the process outlined in 5.1.1 or if the concern would be the same if 5.1.1 were followed. Liz B said she couldn’t say for sure because Qwest has all the ammunition & we have none. Bonnie J & Becky Q discussed Qwest exercising their rights to limit product availability, basis for product limitation as it relates to PCAT comments, limiting of products prematurely, & appropriateness of legal discussion on Prod Proc changes.[Comment received from Eschelon: Bonnie J & Becky Q discussed Qwest exercising their rights to limit product availability, basis for product limitation as it relates to PCAT comments, Bonnie said Qwest is limiting products prematurely & Becky agreed. Becky & Bonnie discussed the appropriateness of legal discussion on Prod Proc changes.]Susan L. & Liz B. discussed processing grandparenting change requests, the tariff reference being out of CMP scope & whether the products are currently ordered by CLECs. Liz felt this CR is different because Qwest is citing the law. [Comment received from Eschelon: and on grandparenting CRs no CLECs order the products.][Comment received from Covad: Liz stated that whenever Qwest grandfather’s a product, the first question from CLECs is whether anyone is ordering the products.]Cindy B. responded that Qwest has the right to not have to offer products based on the law. Kim I-Eschelon said that the title of the CR, USTA II, implies that the change is based on the law. Cindy B. said that she was not involved when the CR was initiated or when it was decided it was a regulatory CR. The change is not a mandate & Qwest is obligated to notify CLECs of the change. There has been no effort to jerry rig CMP. Qwest is notifying CLECs the products will not be available on a going forward basis. Liz B & Becky Q discussed if notification should be through CMP & PCAT changes. Bill C said a note in the PCAT stating if the CLEC does not have these products in the current ICA then these products are not available. Bill C, Liz B & Cindy B continued discussing options to process the CR, ability to vote down a regulatory CR & then move it to prod proc. Re-issuing the CR & starting the clock over based on conversation & intent, changing the title & editing the CR, & posting of historical information to the CR. Bonnie J asked that the meeting minutes reflect all of the conversation that has taken place. [Comment received from Eschelon: Bonnie said Qwest often reflects their views but not CLECs.]Liz B, Sharon VM, Susie B & Becky Q presented options to process the CR; changing it to a regulatory CR because it is citing the law, submitting a new ProdProc non-regulatory CR stating intentions, changing the CR title, deferring, amending the current CR & maintaining the history. Susan L suggested Oversight members take a poll on which would like to modify the existing CR, which would like a new CR .Bill C, Becky Q, Cindy B, Bonnie J, & Liz B discussed options related to the CR. The CR is currently accurate & may change soon. When the final rules are issued DS1 & DS3 loops may not be accurate. [Comment received from Eschelon: When the final rules are issued this will change because DS1& DS3 loops may not be accurate.] Bill C asked if the CR is moved to deferred status if the CLEC community is willing to waive the notification requirement. Kim I & Bill C discussed SGAT changes, PCAT changes & the ICA negotiations. [Comment received from Eschelon: Bill said that the current negotiation template reflects the correct information but the SGATs have not been updated. Bonnie asked if there was a particular CLEC that was challenging Qwest on this issue & if that is why Qwest needed to update PCATs.]Cindy B, Bonnie J & Liz B continued discussion related to processing the CR, Bonnie J, Bill C & Liz B discussed how CLECs should be notified of the product change & the PCAT reflecting the SGAT, notification through change of law, how contracts override the PCATs, & product availability is negotiated through the ICA agreements. [Comment received from Eschelon: Bonnie said if Qwest will limit product availability in its existing ICA, Qwest would need to notify Eschelon through the change in law provision of its contract and not through a PCAT CMP notice. Bill agreed.]Becky Q suggested that Qwest discuss the CR options internally. The Oversight committee agreed to meet again on 1/10/04 at 3:00 p.m. MT. The meeting was concluded.

1-19-05 Prod Proc CMP Mtg: Jill M-Qwest stated that a meeting was held & that the CR Title was revised. Cindy B-Qwest provided history of the CR & noted that the CR was issued as Regulatory & it limited the availability on certain products. The CR designation changed, in 11-2004, to a Prod Proc CR & that several elements remained on the request. Cindy noted that there was discussion in December & on a 1-5 ad-hoc meeting. Cindy stated that the CR was again revised & noted that there is no law forcing Qwest to make this decision. Cindy stated that this is an opportunity that Qwest is taking advantage of. Cindy noted that the CRs Title & Description were changed to remove references to USTA II. Cindy then reviewed the new Title and Description. Cindy stated that the CR Description states "any future changes of law may impact this notification & will be supported by the applicable notification". Cindy stated that the CR is in Development status & will notify the CLECs, on a going forward basis, the dates that the products cannot be ordered. Cindy then noted that there is an ad-hoc meeting scheduled for 1-25 to review the changes. Linda SS-Qwest stated that Qwest sent a notice on 1-17 and as there was no recommendation from Oversight, the notice included the competing recommendations. Jill M-Qwest asked if there were any questions or comments. Bonnie J-Eschelon stated that she has not yet reviewed the revisions & will reserve comments for the ad-hoc meeting. [1/28/05 Comment from Eschelon: and/or comment cycle.]

12-2005 CMP Mtg: Cindy B-Qwest advised that we have suggested an Oversight Committee meeting be held. Qwest has scheduled the meeting for 12-20 at 1:00 p.m. MT. Liz B-Covad advised that Qwest continues to site law without issuing the CR as Regulatory. Covad believes system edits are in place to not allow CLECs to order products not available. If Qwest sites legal interpretation of law the page & paragraph must be included. Covad is not saying that CMP is or isn’t the right forum, but Qwest is trying to make a unilateral decision & we do not know what law Qwest is citing. Qwest doesn’t believe the CLECs need to know what page & paragraph are referenced, as the CMP document states. It was agreed more discussion would take place at the Oversight meeting. This CR will move to Development Status.

11/17/04 CMP Mtg: Cindy B-Qwest stated that this CR has drawn quite a bit of attention. Qwest would like to clarify the intent of the CR. Cindy advised that we are having an ad hoc meeting on Friday, 11-19 to review the documentation & take issues. Qwest apologizes for the confusion as we issued the CR two times. The CR was modified to clarify the scope to include USTA II & FCC Interim Rules. Cindy B.advised that CLECs who have language in their ICA can continue to order these products & CLEC who do not have language in their ICA can not order the products nor amend their ICA to include such language. Cindy listed the products affected. Josh T-TelWest asked what if a CLEC opts into an existing contract? Cindy B-Qwest advised that you are permitted with the exception of the elements cited. David M-TelWest questioned without signing a TRO USTA II agreement a CLEC can opt into a contract? David advised that Qwest Regulatory has said CLECs can not do this. Cindy B-Qwest said that the contract would be modified as it has to be TRO & USTA II compliant. Liz B-Covad advised that we continue to object that Qwest bring (insert comment from Covad/Eschelon) to CMP its legal interpretation. Liz advised that Qwest is using ad hoc meetings to gain insight into the CLECs view of the law and it is inappropriate (end comment). Cindy B-Qwest advised this has nothing to due with Qwest telling our interpretation of the law. This is in CMP to advise about a product that is being limited. Liz B-Covad stated that this is more than a product being discontinued.In addition, Qwest can not cite the law & then not call it a Regulatory CR. There are legal means to negotiate agreements. Cindy B. advised this CR was initially a Regulatory CR & it was opposed. That is why we changed it to a Prod Process CR. We are only telling you that you can’t have the product if you don’t have it in your contract. Liz B-Covad advised the reason they objected to the Regulatory classification is that Qwest didn’t cite the page & paragraph. Qwest is still citing the law, [comment from Covad/Eschelon) not calling it a regulated changed and that is still out of scope for CMP. Liz advised that Qwest should have followed CMP governing document & not simply converted the systems CR to prod proc, that the objections should have been addressed & if agreed to by the community, the CR would have ‘crossed over’ to prod proc. Qwest is trying to manipulate the CMP process to fit their needs. Liz advised that it is inappropriate for Qwest to host an ad hoc meeting. Without following the CMP governing documentation, Qwest is asserting its legal interpretation, & that is the problem (end comment) This should be handled through arbitration of contracts. Cindy B. restated that if you do not have the products in your contract you can not order them. Qwest does not have an obligation to offer this. David M-TelWest said it is not important to me what Qwest’s interpretation is. It should be arbitrated & not unilaterally implemented by Qwest. Cindy B. summarized & clarified the discussion-if Qwest sites the page & paragraph, and why it is the law, & if we come to agreement on the language in the CR, than we can move it forward in CMP. Bonnie J-Eschelon said whether or not we agree on the language, this should not be discussed in CMP. We do not discuss legal interpretation in CMP. This should be done in a different forum. Liz B-Covad stated that this is an ICA negotiation discussion. David M-TelWest stated that he still has a concern with how we are treating CLECs without an existing ICA & that they can not opt into existing ICAs. I think the interpretation is wrong & CLECs should be able to do this. Qwest agreed to cancel the 11-19 ad hoc meeting, review the CR, & provide additional information at a later date. This CR will move to Presented Status. (comment from Eschelon) Cindy B. said like in the words of Arnold Swartzager I’ll be back (end comment).


Open Product/Process CR PC091504-1 Detail

 
Title: Elimination of 2FR and 4FR USOC in North Dakota
CR Number Current Status
Date
Area Impacted Products Impacted

PC091504-1 Completed
1/19/2005
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

USOCs 2FR and 4FR are being eliminated in ND. Any end user who has either of these USOCs will be converted to 1FR. There is no rate difference. This will enable end users who have been on 2FR or 4FR the ability to add additional products.


Status History

9/15/04 - CR Received

9/15/04 - CR Acknowledged

9/21/04 - Clarification call

10/20/04 - October CMP Meeting minutes will be posted to the database

10//27/04 - PROD.10.27.04.A.001236.USOC_chgs

11/17/04 - November CMP Meeting minutes will be posted to the database

12/15/04 - December meeting minutes will be posted to the database

01/19/2005 - Discussed in the January Product Process Monthly CMP Meeting


Project Meetings

January 19, 2005 Product Process CMP Meeting Discussion Janean Van Dusen/Qwest stated that this CR is in CLEC Test, was in effect on December 15, 2004, and would like to close the CR. There were no objections raised for closure of this CR.

December CMP Meeting Minutes Janean Van Dusen – Qwest advised this CR is effective December 15. This CR will move to CLEC Test Status.

11/17/04 November meeting minutes Cindy Macy – Qwest advised that this CR will eliminate 2FR and 4FR in North Dakota. Existing customers will be converted to 1FR service. Wholesale does not have any current customers. This CR is effective December 15. This CR will move to Development Status.

October 20, 2004 CMP Meeting MInutes Janean Van Dusen – Qwest advised that this CR will eliminate 2FR and 4FR in North Dakota. Existing customer will be converted to 1FR service. Wholesale does not have any current customers. This CR is effective December 15. This CR will move to Presented Status.


Open Product/Process CR PC092104-1 Detail

 
Title: Grandparent Scan Alert in Oregon and Washington
CR Number Current Status
Date
Area Impacted Products Impacted

PC092104-1 Withdrawn
12/15/2004
Resale and UNE- P
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Harlan, Cindy

Description Of Change

The FCC has granted approval for Qwest to grandparent Scan Alert in WA and OR. These are the last 2 states. All others have been obsoleted.

Expected Delivarable: 12/15/04


Status History

9/21/04 Submitted

9/22/04 Acknowledged

9/29/04 - Qwest generated notice PROD.10.29.04.F.02168.ScanAlertV5

10/27/04 - PROD.10.27.04.B.000542.Scan_Alert_Svc

11/17/04 - November CMP Meeting minutes will be posted to the database


Project Meetings

December CMP Meeting Minutes Janean Van Dusen – Qwest advised this CR was cancelled by Retail as there were some issues in Washington. This CR will move to Withdrawn Status.

11/17/04 November meeting minutes Cindy Macy - Qwest advised that this CR is effective 12/15. The CR will move to Development Status.

10/20/04 CMP Meeting Minutes Janean Van Dusen, Qwest presented this CR saying that the grandparenting will be effective 12/1. Liz Balvin, Covad asked if there was an equal service available and there is not. Bonnie Johnson, Eschelon would like to assess the impact and then it will be decided if we need an ad-hoc call. The CR will move to presented status.


Open Product/Process CR PC092704-1 Detail

 
Title: Grandparent LADS in UT and IA
CR Number Current Status
Date
Area Impacted Products Impacted

PC092704-1 Completed
1/19/2005
Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Local Area Date Service (LADS) will be grandparented in Utah and Iowa. It is already grandparented in ID, MT, ND, NE, NM, SD and WY.

Expected deliverable:

12-15-04


Status History

9//27/04 - CR Received

9/29/04 - CR Acknowledged

9/30/04 - Contact originator

10/7/04 - CR Clarified

10/20/04 - October CMP Meeting minutes will be posted to the database

10/29/04 PROD.10.29.04.F.02166.PrivateLiineDS0_V8

11/17/04 - November CMP Meeting minutes will be posted to the database

12/15/04 - December meeting minutes will be posted to the database

01/19/2005 - Discussed in the January Product Process Monthly CMP Meeting


Project Meetings

January 19, 2005 Product Process CMP Meeting Discussion Janean Van Dusen/Qwest stated that this change was effective on December 15, 2004 and would like to close the CR. There was no objection to the closure.

-- December CMP Meeting Minutes Janean Van Dusen – Qwest advised this CR is effective December 15. This CR will move to CLEC Test Status.

11/17/04 November meeting minutes Cindy Macy – Qwest advised that this CR is effective December 15. This CR will move to Development Status.

10//20/04 CMP Meeting Minutes: Janean Van Dusen – Qwest advised that this has already been grand parented in all other states. This CR will grandparent LADS in Utah and Iowa. This CR is effective December 15. Bonnie Johnson – Eschelon advised she does not know what LADS is but she will check to determine if Eschelon has any impacts. This CR will move to Presented Status.


Open Product/Process CR PC100404-1 Detail

 
Title: Closing CLEC Non Designed Trouble Tickets
CR Number Current Status
Date
Area Impacted Products Impacted

PC100404-1 Completed
4/20/2005
Maintenance and Repair LNP, Resale, Switched Service,
Originator: Recker, Jim
Originator Company Name: Qwest Corporation
Owner: Recker, Jim
Director:
CR PM: Stecklein, Lynn

Description Of Change

When a CLEC non-design service is restored, Qwest assigns disposition and cause codes, closes the trouble ticket and notifies the CLEC that the trouble ticket is closed. Qwest would like to close the trouble tickets electronically via existing functionality in CEMR/Mediacc if the ticket was opened in CEMR/Mediacc. Qwest would close the trouble ticket via a phone call if the ticket was opened via a phone call to the Qwest Repair center.

Expected Deliverable:

This change will provide the CLECs and Qwest a consistent way to close non design trouble tickets. This should be implemented as soon as possible.


Status History

10/04/04 - CR Received

10/05/04 - CR Acknowledged

10/11/04 - CR Clarified

10/20/04 - October CMP Meeting minutes will be posted to the database

10/20/04 - CLEC Input meeting scheduled for 11/5

11/17/04 - November CMP Meeting minutes will be posted to the database

12/15/04 - December meeting minutes will be posted to the database

1/13/05 - Adhoc meeting scheduled on 1/20/05 to provide status

2/15/05 - Adhoc meeting scheduled to discuss status

2/16/05 - Discussed in the February CMP Meeting - See attachment E in the Distribution Package

3/16/05 - Discussed in the March CMP Meeting - See attachment E in the Distribution Package

3/21/05 - PROS.03.04.05.F.02630.Maintenance&RepairV46 - No Comments Received.

4/20/05 - Discussed in the April CMP Product/Process Meeting - See attachment E in the P/P Distribution Package

4/20/05 - Status changed to CLEC Test

5/18/05 - Discussed in the May CMP Product/Process Meeting - See attachment E in the P/P Distribution Package

6/15/05 - Discussed in the June CMP Product/Process Meeting - See attachment E in the P/P Distribution Package

7/20/05 - Discussed in the July CMP Product/Process Meeting - See attachment E in the P/P Distribution Package

8/17/05 - Discussed in the August CMP Product/Process Meeting - See attachment E in the P/P Distribution Package

8/17/05 - Status Changed to Completed


Project Meetings

8/17/05 Product/Process CMP Meeting

Jim Recker - Qwest stated that Qwest has been tracking repeat trouble tickets for the last 2 months. He said that data shows that repeat tickets have decreased from 13.5% to 12.6%. Jim said that the repeat rate did not increase as a result of this CR and proposed closing the CR. Jill Martain - Qwest said that this CR will be closed

7/20/05 Product/Process CMP Meeting Jim Recker - Qwest stated that we got approval to move forward on this CR with the understanding that we would continue to monitor repeat tickets. Jim said that we will have the May data for analysis by the end of July.

Bonnie Johnson - Eschelon asked if there was any indications of a spike in May.

Jim Recker - Qwest said that the data would not be available until the end of July (Comments to minutes from Eschelon 7/27/05) and Qwest will report in August.

Jill Martain - Qwest stated that this CR would remain in Evaluation status.

6/15/05 Product/Process CMP Meeting

Jim Recker - Qwest stated that this CR was completed and that we agreed to leave in CLEC Test to track and monitor the repeat rates during April and May. Jim said he did not have that data yet but that a readout would be provided by Qwest in the July Meeting.

5/18/05 CMP Product/Process Meeting

Jim Recker - Qwest stated that an adhoc call was held to discuss the action item associated with the process improvements on repeat tickets. Jim said that this CR will remain in CLEC Test to monitor reports to ensure that repeat tickets are not increasing from closing tickets electronically. Jill Martain - Qwest stated that this CR will remain in CLEC Test.

5/13/05 Adhoc Meeting

Attendees: Sharon Van Meter - AT&T, Jeff Ray - McleodUSA, Roslyn Davis - MCI, Bonnie Johnson - Eschelon, Kim Isaacs - Eschelon, Kathy Stichter - Eschelon, Lynnette Durn - McleodUSA, Renee - Wisor, Bill Hutch - McleodUSA, JJ Lebya - McLeodUSA, Liz Balvin - Covad, Cathy Garcia - Qwest, Jim Recker - Qwest, Laura Baird - Qwest, Lynn Stecklein - Qwest

Lynn Stecklein - Qwest stated that the purpose of the meeting was to communicate some of the efforts underway associated with the repeat ticket process improvements.

Jim Recker - Qwest stated that Qwest is addressing and working to reduce repeat tickets and improve the duration. He said that job aides have been updated and training provided to the screeners in the Repair Call Center. Jim stated that we have implemented internal measures for the repair representatives. Jim stated that we are staying in parity with Retail. He said that we analyzing data in order to decrease chronic tickets. Jim said that we have several efforts underway to reduce the number of times we have to roll a truck.

Bonnie Johnson - Eschelon said that it appears that Qwest has several positive initiatives underway and appreciates the effort. Bonnie asked if Qwest could define an unproductive dispatch.

Cathy Garcia - Qwest stated that the official definition is when we dispatch a technician when it wasn't necessary. Cathy said that we have efforts underway to reduce unproductive dispatches.

Jim Recker - Qwest stated that we have a process set up to report repeat tickets. He said that there is a screen selection in CEMR for repeats and chronics.

Bill Hutch - Mcleod asked if the ticket is channeled as a repeat/chronic.

Cathy Garcia - Qwest said no but it brings the ticket to the top. She said that ithe system augments the ticket by a couple of minutes.

Bonnie Johnson - Eschelon asked if the system could identify chronic number.

Cathy Garcia - Qwest stated that she would be presenting a change request in the May Systems CMP Meeting that is a CEMR enhancement to automate display abbreviated trouble history analysis. Cathy said that the system will determine if there were any other trouble reports within a 30 day time period. She said that the system will automatically place repeat if it is the 2nd trouble report within 30 days, or chronic if it is the 3rd trouble report in the trouble narrative.

Bonnie Johnson - Eschelon asked if this would be for the same ANI only.

Cathy Garcia - Qwest said it would be for the same trouble and same TN only.

Bonnie Johnson - Eschelon asked if they have a customer that originally calls in for a Call Forwarding issue and then calls in for another problem, how would this be handled.

Cathy Garcia - Qwest said that if the customer calls in because a feature is not working and then calls in for no dial tone, these tickets would not be related.

Bonnie Johnson - Eschelon asked if Qwest has discussed the possiblity of a lesser commitment on repeats.

Jim Recker - Qwest stated that we don't have a way to shorten the interval.

Bonnie Johnson - Eschelon said this would be a moot point if we eliminated the problem.

Jim Recker - Qwest said that we are going to continue to monitor the repeat rate to ensure that the quantity of repeats does not increase. Jim said that we will be providing updates in the Monthly CMP Meetings.

4/20/05 Product/Process CMP Meeting Jim Recker - Qwest stated that this CR was effective last weekend. Jim said that they are monitoring the repeat rate to ensure that it is not increasing or impacted. He said that they are still analyzing the repeat rates for root cause and looking at updating or changing processes to get the repeat rate down.

Liz Balvin - Covad said that she appreciates the initiative of the action item to monitor repeat rates. Liz asked if since Qwest has been monitoring the repeat rates have they received any issues from the CLECs.

Jim Recker - Qwest said no and that they were cognizant of the issue and that repeat rates also have a big impact to Qwest.

Bonnie Johnson - Eschelon asked if Jim (Recker) was involved in the Line Test Only project.

Jim Recker - Qwest said yes and that he will be transitioning the project to someone else and that they are analyzing how to move forward.

Bonnie Johnson - Eschelon said that requesting Line Test Only is a process used to mask an underlying process and that they are gathering data for Qwest.

Jim Recker - Qwest said that the data will be helpful.

Bonnie Johnson - Eschelon asked if Qwest’s documented process is when a Line Test Only is requested is MLT mandatory.

Jim Recker - Qwest stated that the PCAT needs to be clarified.(Change to minutes submitted by Eschelon 4/29/05) – Jim said his interpretation is yes but others are no.

Bonnie Johnson - Eschelon stated that she wants to work together with Qwest to clarify and resolve any issues. Bonnie said that she would object to any Qwest initiated changes such as charging for (Change to minutes submitted by Eschelon 4/29/05 line test only)

3/16/05 Product/Process CMP Meeting

Jill Martain - Qwest stated that this CR will move to CLEC Test Jim Recker - Qwest stated that this CR will go into effect on April 18th. Jim also stated that separate from this CR, we are currently reviewing and analyzing repeat tickets to determine if there is a way to handle more effectively. Jim said that an adhoc meeting will be scheduled to discuss with the CLEC Community.

2/16/05 Product/Process CMP Meeting

Jim Recker - Qwest stated that an adhoc meeting was held on February 15. An agreement was reached to move forward on this CR with the caveat that an action item would be created to address repeat trouble tickets. Comments to notes received from Eschelon 2/24/05, including continuing to research the feasibility of changing the commit time on repeat tickets to a shorter interval. Bonnie suggested we could start by looking at repeat out of service tickets. Jim agreed that would be a good place to start. Qwest said they would look at the data and determine next steps.

Jill Martain - Qwest stated that this CR will remain in Development Status and that we will be sending out a notification for the meetings associated with addressing repeat trouble tickets.

2/15/05

Attendees: Bonnie Johnson - Eschelon, Pete Peterson - Eschelon, Jeff Bellen - Eschelon, Doug Denney - Eschelon, Kathy Stichter - Eschelon, Kim Isaacs - Eschelon, Jen Arnold - TDS Metrocom, Cathy Garcia, Jill Martain - Qwest, Jim Recker - Qwest, Ro Erives - Qwest, Lynn Stecklein - Qwest

Lynn Stecklein - Qwest reviewed that the purpose of this meeting was to followup an action item from a previous adhoc meeting held on 1/20/05. Lynn stated that during that meeting, Eschelon requested that Qwest research whether or not Qwest would accept a CR requesting to reduce the repeat commitment. Lynn also said that we need to come to an agreement on how to move this CR forward.

Jim Recker - Qwest stated that we have already investigated enhancing various systems so that CLECs can deny the proposed closure of trouble tickets and that the cost was estimated to be approximately $14M. Jim stated that Repeat tickets have to be re-opened after they are closed and not fixed -- a new commit time is give and the cycle starts over. Jim also said that It is true that repeat tickets do have to be re-opened after they are closed. Jim said that Qwest does not believe with the implementation of this CR that it will increase the repeat ticket rate and that Qwest does not like to re-work a ticket and our goal is to fix the trouble right the first time. Jim said that we understand that there are additional costs and work for you, as well as to Qwest, when we have to roll another truck and dispatch another time. Jim said that from July-November, 2004 the repeat range was between 9.65 and 11.73%. Jim stated that we have teams in place already, which are addressing the repeat rates and we are looking into the possibility of enhancing our systems to identify repeat tickets in order to complete them faster. Jim said that Qwest is willing to take the repeat ticket issue as an action item and work collaboratively to see if we can isolate the big hitters or larger issues associated with repeat tickets, but we would like to still move forward with this CR in the mean time. Jim stated that CEMR event do not reflect the work that was done and our process dictates that the same level of detail should be provided whether the response is mechanical (electronic) or verbal. Jim said that CEMR was enhanced in October 2004 to give the CLECs the ability to monitor active non-designed trouble tickets and Technician coaching continues.

Bonnie Johnson - Eschelon asked what type of activity would be addressed with this action item. Bonnie said if it's just reporting, it won't work.

Jim Recker - Qwest stated that we can look at the heavy hitters cooperatively to determine if there are any heavy hitters percentage wise.

Jim Martain - Qwest stated that we can work together on what examples we want to look at in order to improve the process for repeats. Jim said that we can identify process issues on both sides and that we may find we need documentation as well.

Bonnie Johnson - Eschelon said that we could look at out of service tickets first.

Jim Recker - Qwest stated that we could have another call to determine what criteria we want to look at,

Pete Peterson - Qwest asked what is the fall back plan if the percentage of 12% gets worse.

Jill Martain - Qwest said that we will be working on this issue on an ongoing basis and the team needs to make sure that does not happen..

Bonnie Johnson - Eschelon asked that this CR remain in CLEC Test (when applicable) for a couple of months.

Lynn Stecklein - Qwest stated that an adhoc meeting will be scheduled in the next couple of weeks.

1/20/05 Adhoc Meeting

Attendees: Bonnie Johnson - Eschelon, Jeff Bellin - Eschlelon, Doug Denny - Eschelon, Kathy Stichter - Eschelon, Pete Peterson - Eschelon, Stephanie Haas - Cox Communications, Roslyn Davis - MCI, Cathy Garcia - Qwest, Jim Recker - Qwest, Laura Baird - Qwest, Cindy Harlan - Qwest, Lynn Stecklein - Qwest

Lynn Stecklein - Qwest stated that the purpose of this meeting was to review the four items that were brought up in the meeting held on January 6 with the CLEC Community.

Jim Recker - Qwest stated that the 1st issue was: The CLECs are unable to deny the closure if the ticket is closed automatically. Jim said that a system CR (SCR042204-01 CEMR Request to Close) requesting that Qwest build a function in CEMR that would send a request to close when the technician has completed work on a trouble ticket. Jim said that Qwest denied that request due to the system costs involved and would not be an option.

Bonnie Johnson/Eschelon said that this ability exists with design tickets in CEMR and asked if this function can't be provided because of a backend system.

Jim Recker - Qwest said yes and that a re-write would be required in LMOS.

Bonnie Johnson/Eschelon asked if there was interaction between LMOS and CEMR.

Jim Recker - Qwest said that once we close a ticket in LMOS the ticket is closed and it can't be reopened.

Bonnie Johnson - Eschelon asked if WFA acts differently.

Jim Recker - Qwest said that WFA is a newer system.

Jim Recker - Qwest said that the 2nd issue is: Repeat tickets have to be re-opened when they are closed and the service is not fixed. He stated that we looked at August - October non-design repeat tickets and that it revealed that the overall repeat rate is 12%. Jim said that we continue to review and research issues that comprise the 12% so that we can reduce that rate and work on process improvements.

Bonnie Johnson - Eschelon stated that she considers a 12% repeat high and said that is about 1 in every 10 customers. Bonnie asked what Qwest was initiatives were underway doing to improve and asked what Qwest's goal is to improve this rate.

Cathy Garcia - Qwest stated that Qwest is working within the organizations and workgroups to improve processes associated with repeat repair patterns, chronics, no access, etc. that will improve this process.

Bonnie Johnson - Eschelon said that Qwest always comes back with the same answer. Bonnie asked if there were any new initiatives underway and that the old ones don't appear to be working. Bonnie asked if representatives were on the call that could answer what the intiatives were for some of the other work groups

Cathy Garcia - Qwest said that Qwest is always looking at new processes and initiatives associated with reducing trouble tickets.

Laura Baird - Qwest said that in addition to what Cathy said, there team is also looking at processes associated with improving to reduce repeat tickets.

Jim Recker - Qwest said that the 2nd issue is: Electronic bonding is not available on CEMR tickets (no back and forth) communications. Jim stated that this goes back to issue number 1 and the system costs.

Jeff Bellin - Eschelon asked if there was a way to treat non-design DSL in CEMR like a design ticket.

Cathy Garcia - Qwest stated that non-design follows the WFA design practice.

Jeff Bellin - Eschlon asked if there was a way to flag repeat tickets.

Cathy Garcia - Qwest stated that we could possibly look at providing a better commitment on chronic repeat tickets. Cathy stated that multiple chronic tickets don't get a better commitment.

Bonnie Johnson - Eschelon asked if Qwest would consider putting a flag on repeat tickets to place the ticket at the top of the list so that the ticket can be completed before other tickets because it is a repeat. Bonnie asked if Qwest would consider reducing the commitment time.

Jim Recker - Qwest stated that Eschelon could submit a CR.

Bonnie Johnson - Eschelon stated that she would not submit a CR that Qwest was going to deny. Bonnie said that Qwest should look at this issue within this CR (PC100404-1). Bonnie said that with the issues we have discussed #1 and #2 are too expensive, #3 Qwest has internal initiatives in place. Bonnie said that she feels that we have not gained anything. Bonnie said that Eschelon submitted a CR requesting CEMR to allow full MLT Test when opening a trouble report in CEMR. Bonnie said that Qwest denied that CR for no demonstrable benefit. Bonnie said that Qwest stated that the expectation is that the CLEC has the ability to run and view a full MLT in its current location and format fullfilled the customers needs for MLT data.

Jeff Bellin - Eschelon stated that a large percent of TOKs turn out to be a Qwest problem and that they spend double the amount of time to open another ticket.

Bonnie Johnson - Eschelon stated that you have to test anyway to determine if the trouble is in the switch.

Cathy Garcia - Qwest stated that is part of the trouble isolation.

Bonnie Johnson - Eschelon said that she wanted to assure Qwest that they don't open a ticket for everything and that they do a lot of trouble isolation before submitting a ticket.

Jim Recker - Qwest asked if this was before the line test only.

Bonnie Johnson - Eschelon said yes and that 1 reason for the line test only is a result of Qwest dispatching and that they had to pay TIC charges on features.

Cathy Garcia - Qwest said that some of our features are facility based and do require TIC charges. She said that the only time is if it is not on our side.

Jeff Bellin - Eschelon asked about PIC codes to be verified.

Cathy Garcia - Qwest said that she would like to see an example and said that we should be doing those in the switch. Cathy stated that CEMR was enhanced in October of 2004.

Cindy Harlin - Qwest stated that we would like to move this CR forward and that we don't want to do anything to negatively impact the repeat report rate. Cindy said that we are always looking for ways to improve.

Jim Recker - Qwest said that he agreed and that we do not want to do anything to jeopardize the repeat rate.

Bonnie Johnson - Eschelon said that she is disappointed in Qwest's response and feels that we are not making any headway. Bonnie asked what Qwest's goal for improving the 12% repeat rate. Bonnie said that they have tried to tackle this problem via CRs and their Service Managers and can't seem to find a solution.

Cathy Garcia - Qwest said that we are looking at the repeat rate for improvement and that we don't want to roll a truck twice.

Bonnie Johnson - Eschelon stated that Qwest is doing things twice. Bonnie said that the call to us before we close the ticket did add some relief. Bonnie said that if Qwest changes the process a non compliance issue comes into play and will go into the comments. Bonnie said that they will issue a CR to request to reduce/shorten the commitment rate or this CR could be revised to include their request. Bonnie asked if Qwest posts the repeat rate and asked what the repeat rate was 12 months ago.

Cathy Garcia - Qwest stated that the results are posted.

Cindy Harlan - Qwest stated that Qwest will research to determine if a separate request is necessary.

Bonnie Johnson - Eschelon stated that they are agreeable to any solution for resolving the repeat rate.

Cindy Harlan - Qwest stated that Qwest will regroup internally and determine whether another CR is necessary.

1/19/05 Product/Process CMP Meeting

Jim Recker/Qwest stated that an adhoc meeting is scheduled for January 20, 2005 to discuss Qwest’s response. Jim stated that Qwest will make recommendations in the February meeting. [1-28-05 Comment Received from Eschelon: Bonnie Johnson said she was anxious to hear the results of the examples Qwest reviewed] Jill Martain/Qwest stated that this CR will remain in Development.

December CMP Meeting Minutes Jim Recker – Qwest advised that Qwest is looking at this internally and it is still in the development stage. Qwest is trying to determine how we can address the CLECs comments and issues. Qwest will provide additional details at the January CMP meeting. Kim Isaacs – Eschelon confirmed that the focus of this is to decrease the amount of repeat repair tickets. Jim agreed that is an area that we are looking at. This CR will remain in Development Status.

11/17/04 November meeting minutes Jim Recker – Qwest provided status on the CR. Jim advised what this CR entails is closing the trouble ticket in the same manner as Qwest receives them. Currently when we close trouble tickets we are calling the CLEC. This CR requests if we get a trouble ticket via CEMR/Mediacc we would use the system to close the ticket. If we get the trouble ticket via a phone call, we will use the phone to close the ticket. Jim advised there was an input meeting held on November 5. Four main issues were identified and Qwest is currently reviewing these issues (insert comment from Eschelon) and the associated action items from the call (end comment). Qwest will provide updated status at the December meeting. This CR will move to Development Status.

PC100404-1 Closing Non Design Trouble Tickets CLEC Input Meeting November 5, 2004

In attendance: Cindy Macy – Qwest Chris Quinn-struck – Qwest Jim Recker – Qwest Jeff Bellin – Eschelon Jennifer Fisher – Qwest Mark Mattson – SBC Jean Novak – Qwest Josh Nielson – Qwest Pete Budner – Qwest Kim Isaacs – Eschelon Jen Arnold – TDS Laura Baird – Qwest Roslynn Davis – MCI Cathy Garcia – Qwest

Cindy Macy – Qwest reviewed the agenda and advised the purpose of this call to is gather input from the CLECs to understand their issues with closing repair tickets using the method that the ticket was initiated (via the system).

Kim Isaacs – Eschelon advised that in a perfect world the CLECs would like to be able to close tickets electronically, but there are four issues regarding this method.

1. The CLECs are unable to deny the closure if the ticket is closed automatically. 2. Repeat tickets have to be opened when the original ticket is closed, but not really fixed. A new commit time is given – the clock starts over. 3. Electronic bonding on non design tickets is not available via CEMR (no back and forth communication) 4. CEMR ticket events do not accurately reflect the work that was done. The same level of detail is not provided in the system as compared to when you talk with someone in person.

Kim advised the CLECS would like Qwest to lessen the duration of the outage and fix the problem the first time. Jenn - TDS advised they agree with Eschelon's examples. They have the same issues.

Kim advised they would like the ability to deny closure of the tickets. This would allow them to verify with their end user that the ticket is fixed. It is not productive for either the CLEC or Qwest to hold on the line while this takes place. If we could place the ticket in ‘hold or verify status’ for a certain period of time and then close it electronically that would be okay.

Jim Recker – Qwest asked about the CLECs current process. Jim verified that the CLEC tries to close the ticket with their end user while Qwest is on line. If the CLEC is unable to do that they accept closure of the ticket and then have to reopen a ticket if the problem is still occurring.

Shirley Stratton – SBC shared their process. Shirley advised SBC utilize electronic bonding on non-design tickets. They are able to communicate back and forth with Qwest and close tickets electronically. Qwest advised that Mediacc is available for non-design tickets. Currently Eschelon is not using Mediacc for non-design. Kim Isaacs asked about the difference in service levels between CEMR and Mediacc. Cathy Garcia -–Qwest advised that service levels are not a comparison between systems, there is different functionality provided by each system and the CLEC has the choice of either system to use.

Cindy Macy – Qwest asked about examples of repeat repair tickets. Kim Isaacs- Eschelon advised that she would send examples to Qwest to review.

Cindy Macy – Qwest asked if there was a previous CR requesting a system change. Kim Isaacs- Eschelon advised SCR042204-01 was denied for economically not feasible. This was requesting to Deny Closure of Non Design tickets.

Jenn Arnold – TDS advised that in some cases they do not receive a call from Qwest to close the ticket. Jim Recker – Qwest advised that some CLECs do not want Qwest to contact them so we are trying to maintain multiple processes.

Cindy advised the next steps will be to provide status at the November 17 CMP meeting. Qwest will review the information provided today by the CLECs and determine if there are changes that can be made to address the 4 issues identified.

10/20/04 Oct CMP Meeting Minutes Jim Recker – Qwest presented the CR. Jim advised what this CR entails is closing the trouble ticket in the same manner as Qwest receives them. Currently when we close trouble tickets we are calling the CLEC. This CR requests if we get a trouble ticket via CEMR/Mediacc we would use the system to close the ticket. If we get the trouble ticket via a phone call, we will use the phone to close the ticket. Bonnie Johnson – Eschelon confirmed that this CR is to address the issue discussed last month. Qwest confirmed that is true. Bonnie advised there are reasons we need the call. The issue is that Qwest is closing tickets without fixing the problem. The CLECs do not have time to take the calls either. Other CRs in the past have been issued to try to get to the root of this problem. The issue is to get rid of the repeat repair tickets. On the design side we don’t close the ticket before we verify it is fixed. On the design side we do not create the order to charge for ‘no trouble found’ until 2 weeks after. This allows time to make sure there is not another repeat problem. Bonnie said Design customers are no more important than non design customers. Qwest treats non design differently. Jim Recker – Qwest advised we use different systems for design and non design and that drives some of the process. Jim advised that we are planning on having an ad hoc meeting to review the CLECs issues and try to address the root problem. Cindy Macy – Qwest advised that an ad hoc meeting is planned for November 5. We would like to understand the root issue and discuss repeat repair tickets in more detail. This CR will move to Presented Status.


Open Product/Process CR PC100504-1 Detail

 
Title: Request to clear a working left in
CR Number Current Status
Date
Area Impacted Products Impacted

PC100504-1 Completed
6/15/2005
pre-order, order centrex, Unbundled loop, UNE
Originator: Thacker, Michelle
Originator Company Name: Qwest Corporation
Owner: Thacker, Michelle
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Qwest would like to notify a CLEC to clear a working left in using the attached form rather than placing a telephone call or sending a generic email. Email addresses used today to clear service is where the form would be sent. For those CLECs who request a telephone call be placed an email address would need to be provided for receipt of the working left in notification form.

Expected Deliverables: PCAT documentation, validation of email addresses used today, copy of form for CLEC review. Proposed implementation date mid to late January 2005 (after notification).


Status History

10-05-04 - CR Recieved

10/06/04 - CR Acknowledged

10/21/04- -Qwest generated notice CMPR.10.21.04.F.02196.CLEC_Input_Meeting

11/17/04 - November CMP Meeting minutes will be posted to the database

01/19/2005 - Discussed in the January Product Process Monthly CMP Meeting

02/16/2005 - PROS.02.16.05.F.02570.WorkingLeftIn_V1

02/16/2005 - Discussed in the February Product Process Monthly CMP Meeting

03/02/2005 - PROS.03.02.05.F.02638.DelayedRespWorkingLeftIn

03/16/2005 - Discussed in the Monthly Product/Process CMP Meeting

03/25/2005 - PROS.03.25.05.F.02731.FNL_WorkingLeftInV1.0 (Level 2)

04/20/2005 - Discussed in the Monthly Product/Process CMP Meeting

05/18/2005 - Discussed in the Monthly Product Process CMP Meeting

06/15/2005 - Discussed in the Monthly Product Process CMP Meeting


Project Meetings

June 15, 2005 Monthly Product Process CMP Meeting discussion: Michelle Thacker-Qwest stated that CR has been in CLEC Test for 2-month’s and asked to close this CR. This CR was moved to Completed status.

May 18, 2005 Monthly Product Process CMP Meeting discussion: Jill Martain-Qwest stated that this was effective on April 1st and proposed closure of the CR. Bonnie Johnson-Eschelon asked if anyone had used this process and asked if it were working. Sharon Van Meter-AT&T stated that she would like to check and see if AT&T has used the process and asked that the CR remain open for another month. Jill Martain-Qwest agreed to keep the CR open another month. Bonnie Johnson-Eschelon stated that this process applied more to residential than to business. Jill Martain-Qwest stated that this CR remains in CLEC Test

-- April 20, 2005 Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that this was effective on April 1st and would like to move to CLEC Test. Amanda Silva-VCI stated that she would like to go over the process, including the workinleftin@qwest.com mailbox. Amanda stated that she has a working line, marked it for manual handling, and now has a missed due date of the 14th and was not notified. Jill Martain-Qwest stated that Michelle Thacker is currently on vacation and she would have Michelle clarify with her off-line. Liz Balvin-Covad stated that (Change to meeting minutes from Covad 4/28/05) the meeting minutes from last month reflected CLECs need to provide email addresses ASAP and asked what the process was. She wanted to confirm that Covad may still opt into the process if desired. Bonnie Johnson-Eschelon stated that she had asked for a notice and asked if one was sent. Susan Lorence-Qwest stated that Michelle had mentioned this in the March monthly Product/Process meeting and stated that workingleftin@qwest.com was identified in the PCAT final notice response to comments. Liz Balvin-Covad asked if Covad still had the option to do this. Susan Lorence-Qwest stated yes. Jill Martain-Qwest stated that this CR is now in CLEC Test.

-- March 16, 2005 Product Process CMP Meeting Discussion: Michelle Thacker-Qwest stated that formal comments had been received and addressed. Michelle stated that the CLECs need to provide Qwest with email addresses ASAP. Michelle asked that the email addresses be sent to Qwest at the workingleftin@qwest.com mailbox. Michelle then noted that the targeted effective date was April 1st. Bonnie Johnson-Eschelon stated that a notice should be sent stating that information is needed. Michelle Thacker-Qwest stated that a notice was being sent and would include instructions. Jill Martain-Qwest stated that this CR remains in Development status.

February 16, 2005 Product Process CMP Meeting Discussion: Michelle Thacker-Qwest stated that the comment cycle begins on February 16th. Michelle stated that there has been a process change from the October 28th meeting discussion. Michelle stated that upon further investigation it has been determined that the follow-up to resend the second notification to clear a working left in is not feasible at this time. Michelle stated that the 24 hour reminder would not be done and that an email would be sent after 48 hours. Michelle again stated that the 24 hour interval is removed. Bonnie Johnson-Eschelon stated that she had reviewed the notice and stated that she needed additional clarification. Bonnie asked if this process would apply for residential locations only. Michelle Thacker-Qwest stated that it could also apply to small businesses that choose to move and abandon the service. Michelle stated that this would be for 1FR and 1FB. Michelle stated that there would not be a working left in situation on a Centrex 21. Bonnie Johnson-Eschelon asked if this traditionally would apply to residential. Michelle Thacker-Qwest stated yes but noted that it could also apply to small businesses. Bonnie Johnson-Eschelon asked how the CLEC is to communicate that a working left in is not to be disconnected. Michelle Thacker-Qwest stated that the CLEC would need to reply on the form that Qwest would send to the CLEC. Bonnie Johnson-Eschelon asked if it would be a good idea that the notice identifies what is required and when; such as which fields that Qwest is responsible for and which fields the CLEC is responsible for populating. Bonnie stated that she needs to better understand the fields on the form. Bonnie asked that if the CLEC does not want a working left in to be disconnected, which fields are to be populated. Comments to notes received from Eschelon 2/24/05 - Bonnie recommended that Qwest develop a form dictionary so Qwest and the CLEC know what fields they are responsible for and when. Michelle Thacker-Qwest thanked Bonnie for the input and stated that she would take the information back and look into it. Bonnie Johnson-Eschelon asked if Retails process was the same in the event that Qwest determines that there is a working left in, the LSR needs to be supped and it needs to indicate that it is an additional line situation and then the due date is pushed out. Bonnie asked if a Retail order also gets rejected. Michelle Thacker-Qwest stated that if it is not identified as a working left in, Retail has to go back and have the proper information on the service order so that it reflects additional lines. Michelle stated that Comments to notes received from Eschelon-if Retail has to make that change, Retail has to apply the standard interval. Bonnie Johnson-Eschelon thanked Michelle for the clarification. Jill Martain-Qwest stated that the CR remains in Development status.

January 20, 2005 Email Sent to VCI: Malia and Amanda, Thank you for sending the examples of what you currently receive for a working left in. What you are receiving is the process that is currently in place, a generic email. Once PC100504-1 is implemented, there will be a new form that Qwest will use to notify a CLEC to clear a working left, rather than placing a telephone call or sending a generic email. Peggy Esquibel-Reed Qwest CMP CRPM

- January 19, 2005 Product Process CMP Meeting Discussion Michelle Thacker/Qwest stated that she is working to get the information to the documentation team next week and will then negotiate the Level 4 notice and effective dates. Michelle stated that the status remains in Development and that she would provide a status at the February CMP Meeting. Sharon Van Meter/AT&T asked if this process was generally working for Qwest. Michelle Thacker/Qwest stated that this process is not yet in effect and will go in effect after it has been noticed. Sharon Van Meter/AT&T said that explained her issue. Lydell Peterson/Qwest stated that he would work offline, with AT&T. Michelle Thacker/Qwest asked Lydell to call her of he had questions. Susan Lorence/Qwest asked if there should be a lower level notice sent for a shorter timeframe. Amanda Silva/VCI asked if this would pertain if has a working residential account line. Michelle Thacker/Qwest stated that it is identified that there is a working left in once the LSR is in IMA and then is worked to clear. Michelle noted that the CLEC may receive a jeopardy. Michelle stated that the form would be used across the board; for Qwest blocking a CLEC, CLEC blocking a CLEC or when a CLEC is blocking Qwest. Michelle stated that the Interconnection Call Center can be contacted to check status of a working left in. Amanda Silva/VCI asked if they could mark the LSR that there is a working left in, if they already knew that. Michelle Thacker/Qwest asked that they do, so Qwest can work it and try to prevent a jeopardy. Amanda Silva/VCI stated that VCI is currently receiving the form via email. Michelle Thacker/Qwest stated that the form has not yet been implemented and asked who VCI was receiving the form from. Amanda Silva/VCI stated that Malia (Tasi/VCI) receives the form and will send the form to Peggy (Esquibel Reed) at Qwest. Bonnie Johnson/Eschelon stated that she is concerned because Qwest Retail sends notices to tell CLECs to clear a working left in and the CLECs receive jeopardizes. Bonnie stated that the end user then needs to contact the owner, so the sooner this is implemented, the better. Jill Martain/Qwest asked if there was any objection to a Level 2 Notice being sent, as this is needed quickly. There was no objection. Jill stated that the Level 2 Notice would be sent. Michelle Thacker/Qwest stated that she would work on the notice and noted that the CR remains in Development status.

- 11/17/04 November meeting minutes Cindy Macy - Qwest advised that this process is under development and the PCAT should be available some time in December. The CR will move to Development Status.

10/20/04 CMP Meeting Minutes Michelle Thacker, Qwest presented the CR saying that there are now several different ways left ins are being worked and Qwest would like to standardize the process and present PCAT documentation. Doug Andreen, Qwest added the CLEC Input Call will be on 10/28. The CR will move to presented.

- CLEC Input Call Meeting Minutes PC100504-1 Request to clear a working left in October 28, 2004 1-877-521-8688, Conference ID 1456160# 9:00 a.m.-10:00 a.m. Mountain Time

PURPOSE To gather input from the CLECs regarding this CR List of Attendees: Emily Baird – POP Communication Stephanie Prull – Eschelon Sharon Van Meter – AT&T Caren Schaffner - MCI Nicki Notberg – MIDCO Communications Mark Matson – SBC Telecom Rosalin Davis - MCI Jeff Sonnier - Sprint Lydell Peterson – Qwest Doug Andreen – Qwest Michelle Thacker – Qwest Jennifer Fischer - Qwest

MEETING MINUTES

The meeting began with Qwest making introductions and welcoming all attendees.

Doug Andreen explained that the purpose of the meeting and reviewed the description of the CR.

Sharon Van Meter asked for a definition of Working Left In (WLI). Michelle responded that it is when service is live and we have another company trying to install new service at the address. She said there is no documentation in the PCAT, no criteria around how long to clear a WLI or how to notify. The form and CR are designed to document and standardize the process.

Michelle asked if email was an acceptable way of communicating WLIs. There were no objections.

Jeff Sonnier asked if the situation was when the CLEC sends an LSR to Qwest and Qwest finds working service at the address. Michelle said yes or the reverse situation when Qwest is trying to put in service and the CLEC has WLI. She added the ownership is determined by the CSR.

Lydell Peterson stated AT&T had a concern about the current 24 hour time period to clear. They feel this is too tight and their suggestion was two to three days. Stephanie Prull agreed saying especially around weekends.

Michelle added that WLIs could be in association with moves but not porting. She added that since the standard interval for new service is three days and will affect both CLECs and Qwest.

It was agreed that a two working day timeframe was reasonable and that Qwest could still meet its three day commitment interval.

Nicki Notberg said she had a WLI where her customer could not get service and that the previous Qwest subscriber had passed away. She said it took her Account Manager to get it cleared. Her question was if the information is provided can WLI be cleared sooner. Michelle said the D order should be issued immediately. Stephanie reiterated that we are not saying you have to wait the two business days. Michelle said yes, the sooner the information is received the sooner the disconnect. Michelle said she would check into why Nicki is not getting jeopardy notices.

Stephanie asked when emails would go out. Michelle answered as soon as notified of the WLI throughout the day. Nicki asked how long it takes Qwest to find a WLI after an LSR is issued. Michelle said should be pretty immediate but within 24 hours.

Michelle asked what the expectation would be if there is no response to the email within the two business days. Will it be escalated, a D order issued, etc. It was agreed that escalation is appropriate following the PCAT escalation process. Some LSRs have been issued when actually it is a request for an additional line etc. so a D order is too risky.

Rosalin asked if a dispatch was ever necessary. Michelle said yes on things like abandon service.

Eric of NOS asked who the email would go to. Michelle said her expectation is whoever is designated within the CLEC with a primary and secondary contact being ok. Some discussion ensued and it was agreed that specific CLEC email contacts would be used.

Caren said that MCI follows almost the same process today and would that remain the same. Michelle read through the WLI form and asked if there was anything to add. Caren asked if there was a dispute, like with an additional line do the CLECs email the form back. Michelle said yes and she will add an Other/Reply heading to the form. Caren added that a disconnect in error process needs to be mentioned. Michelle said she would put a link in to the appropriate process. Stephanie added that it needs to also be specified which escalation process is used for WLI escalations. Michelle noted this and said she would provide links.

Stephanie asked what the plan would be if she received a jeopardy notice but no email. Michelle said the expectation is that after the jeopardy is issued that it will be cleared as soon as possible and the an FOC sent with a due date.

The last question was asked by Stephanie about if Qwest has the customer and the CLEC needs to clear the WLI. Michelle responded that if it isn’t cleared within the two day timeframe the escalation process would be invoked. It was further agreed that if no response to an email is received within 24 hours a reminder will be sent.

The next steps were outlined: • Michelle will negotiate with Retail so Wholesale and Retail are on the same page. • Michelle will formulate a rough version of the PCAT which will be distributed to the CLECs before calling an ad-hoc meeting • An ad-hoc meeting will be called to review the rough PCAT in advance of any formal comment cycle. This will probably occur in the December timeframe.


Open Product/Process CR PC101804-1CM Detail

 
Title: Modifications to Billing and Repair Change Management Prioritization Process
CR Number Current Status
Date
Area Impacted Products Impacted

PC101804-1CM Completed
4/20/2005
Change Management Document Modification
Originator: Martain, Jill
Originator Company Name: Qwest Corporation
Owner: Martain, Jill
Director:
CR PM: Stecklein, Lynn

Description Of Change

Currently, the Qwest Wholesale Change Management Process Document is not absolutely clear on how prioritization will occur if it becomes necessary for a Billing or Repair system change request. Qwest is proposing a language change to the CMP Document to provide clarification of the prioritization process for Billing and Repair system functionality. The proposed redlined language is attached.

Expected Deliverable: Updated sections of CMP document to allow for clarification of Change Management process for Billing and Repair prioritization.


Status History

10/18/04 CR received

10/19/04 Acknowledgement sent

11/11/04 Adhoc meeting held with the CLEC Community to discuss proposed red-line changes.

11/16/04 Additional Adhoc meeting scheduled on 11/18/04.

11/17/04 Discussed at the November CMP Meeting

11/18/04 Status changed to presented

12/15/04 Discussed at the December CMP Product and Process Meeting (See Project Meetings)

12/27/04 Final Redline document dated November 29, 2004 posted as supplemental information.

1/19/05 Discussed at the January Product/Process CMP Meeting.

2/4/05 - Communicator sent 2/4/05 - PROS.0204.05.F02542.FNL_CMP_Doc_Changes

2/16/05 Discussed at the February Product/Process CMP Meeting - See attachment G in the Distribution Package

3/16/05 Discussed at the March Product/Process CMP Meeting - See attachment G in the Distribution Package

3/16/05 - Status changed to CLEC Test

4/20/05 - Discussed at the April Product/Process CMP Meeting - See attachement G in the Distribution Package

4/20/05 - Status changed to completed


Project Meetings

4/20/05 Product/Process CMP Meeting

Jill Martain - Qwest stated that this CR was effective on 2/21/05 and stated that this CR can be closed.

Liz Balvin - Covad asked if there was a schedule for the billing and repair prioritization CRs.

Jill Martain - Qwest stated that there are no new billing or repair CRs to prioritize and that we will be discussing targeted implementation dates on existing CRs later in the meeting.

Bonnie Johnson - Eschelon said that Eschelon did submit a CEMR CR

3/16/05 Product/Process CMP Meeting

Jill Martain - Qwest stated that this request was effective on February 21st and will move to CLEC Test

2/16/05 Product/Process CMP Meeting

Jill Martain-Qwest stated that this CR is still on target for February 21st and will remain in Development until the March Meeting.

1/19/05 CMP Product/Process CMP Meeting

Jill Martain/Qwest stated that a notification was sent on January 6, 2005 and that the targeted implementation date is February 21, 2005. Jill said that this CR will remain in Development status.

12/15/04 CMP Product/Process Meetings

Lynn Stecklein/Qwest stated that Qwest is proposing a language change to the CMP Document to provide clarification of the prioritization process for Billing and Repair system functionality. Lynn said that the proposed changes were reviewed and approved by the CLEC Community during two ad hoc meetings held November 11th and November 18th. Lynn stated that the December 6 notification did include the most current version of the redline document with the proposed changes. Lynn said that she also posted the current version of the document to the Wholesale Website. Lynn stated that Quorum required for this vote was 5 and has been achieved. Lynn reviewed what ‘Yes’ and ‘No’ votes will mean for PC1101804-1CM.

A vote of ‘Yes’ will indicate a desire to incorporate the proposed modifications as stated in PC101804-1CM.

A vote of ‘No’ will indicate a preference to not incorporate the proposed modification in PC101804-1CM

Lynn Stecklein/Qwest asked if there were any questions regarding the vote. There were no questions brought forward.

Lynn Stecklein/Qwest conducted the vote and the results are as follows:

Qwest – Yes SBC – Abstain Covad – Yes AT&T – Yes Eschelon – Yes Integra – Yes TDS Metrocom – Yes VCI Company – Yes MCI – Yes Time Warner – Yes Vartec – Yes ELI – Yes

Lynn Stecklein/Qwest stated that the vote was unanimous and that this CR was granted by a vote of 11 ‘Yes’ votes, 0 ‘No’ votes and 1 ‘Abstain’ vote.

Lynn Stecklein/Qwest stated that the vote disposition notice would be sent no later than close of business on December 22nd.

November 17, 2004

Jill Martain/Qwest advised that this is the CR that we issued to go over the wording in the CMP document regarding Billing and Repair prioritization. Jill advised that we held an ad hoc and will have other meetings. Lynn Stecklein/Qwest said that the new redline version of the document went out today for the meeting tomorrow. (Insert comment from Eschelon) Susan said Liz and Bonnie committed to providing new language before Qwest did the next red line. Bonnie Johnson/Eschelon advised that Liz and Bonnie would not be sending language and believes that section should be omitted as Liz suggested on the call (end comment). This CR will move to Presented Status.

November 18, 2004

Adhoc Meeting PC101804-1CM Modifcations to Billing and Repair Prioritization

Attendees: Bonnie Johnson/Eschelon, Steph Prull/Eschelon, Kathy Stichter/Eschelon, Roslyn Davis/MCI, Liz Balvin/Covad, Susan Lorence/Qwest, Jill Martain/Qwest, Lynn Stecklein/Qwest

Lynn Stecklein/Qwest stated that the purpose of this call is continue reviewing the proposed redline changes to the CMP Document.

Susan Lorence/Qwest said that the minutes from the last adhoc call held on 11/11/04 were posted to the project meeting minute section of PC101804-1CM.

Susan Lorence/Qwest said that she added clarity to section 5.1.4 around implementation dates.

Liz Balvin/Covad stated that she liked the clarity in section 5.1.4. Liz said that the sentence that states: “If prioritization is necessary needs to be removed or defined.

Susan Lorence/Qwest stated that this sentence was added for situations if all CRs could be accommodated in 1 release. Susan asked if the CLECs would want to go through the effort of prioritization if all CRs could be done in the specified timeframes or if, for example, there was only 1 CR.

Bonnie Johnson/Eschelon said that we need to discuss when prioritization is necessary or remove the language.

Liz Balvin/Covad stated that she felt we still needed to go through the prioritization process and that prioritization be the standard. She said that provisions are in place and can be changed if necessary.

Susan Lorence/Qwest stated that she was okay with removing the language.

Bonnie Johnson/Eschelon said that this issue was brought to the Oversight Committee to begin with because we had a misunderstanding about when prioritization was to take place. Bonnie said that prioritization needs to be implemented so that there are no misunderstandings.

Susan Lorence/Qwest reviewed the change in Section 5.1.4 associated with how the term of Release is used. Susan and wanted to clarify billing implementation and packaging. Bonnie Johnson/Eschelon if the term ‘implementation’ mentioned in other areas in the document relate to IMA and CEMR.

Susan Lorence/Qwest said yes.

Susan Lorence/Qwest stated that there is no change to Section 5.2.2, 5.2.4, and 5.2.5. Susan said that in Section 8.0, we retracted the initially proposed change. Susan recapped what it now states: that Qwest standard operating practice is to implement three major releases and three point releases (for IMA only) within a calendar year. Susan said that the proposed language reads: Qwest standard operating practice will be to implement at least two Major Releases and two Point releases (for IMA only) within a calendar year.

Bonnie Johnson/Eschelon said that Liz Balvin (Covad) made it clear earlier that we want to propose a compromise. Bonnie asked if Qwest would consider the following: ‘Qwest will implement at least 2 major releases and 2 point releases within a calendar year and nor more than 4’.

Jill Martain/Qwest said that we would need to get concurrence on that proposal.

Bonnie Johnson/Eschelon said that if Qwest cannot get concurrence then leave the sentence as is with 3.

Susan Lorence/Qwest said that in Section 8, paragragh 2 that states: ‘At a Monthly CMP Systems Meeting in the fourth quarter of each year Qwest will communicate to the CLECs the Major Release schedule and hourly capacity of each release for the next calendar year’, ‘IMA’ was removed.

Bonnie Johnson/Eschelon asked if by removing ‘IMA’ does that mean you will be incorporating billing and CEMR.

Susan Lorence/Qwest said yes.

Steph Prull/Eschelon asked if it should say Release or Schedules.

Liz Balvin/Covad said that a Major Release is defined as coding impacts to CLECs.

Bonnie Johnson/Eschelon said that we need to clean up the language and said that some CEMR changes releases don’t require coding changes.

Susan Lorence/Qwest said that we may not want to tamper with that language.

Liz Balvin/Covad stated that Qwest may not know if something impacts the CLECs from a billing perspective. Liz said that Qwest defines Major Release schedules and documentation gets published within the normal timelines. Liz stated that the CLECs can determine if there are coding impacts.

Susan Lorence/Qwest stated Qwest will communicate schedules and capacity at the end of the year. Susan said that Major and Point releases are defined and clear in the documentation.

Liz Balvin/Covad stated that she is okay with removing IMA.

Susan Lorence/Qwest stated that in Section 8.1.1, 8.1.2 through 8.1.5 the release production date was deleted and replaced with implementation. Susan said that the previously proposed language in Section 10.0 was removed. Susan stated that we need to make clear the requirements of Qwest to be in parity with retail and what needs to be implemented 2 times per year. Susan said that we removed the language based on the CLECs comments and feedback and that those aspects of changes will not be prioritized just as today.

Liz Balvin/Covad said that is how she understood it.

Susan Lorence/Qwest said that we also removed the changes based on the CLECs feedback.

Steph Prull/Eschelon agreed and said that it is spelled our in other areas.

Bonnie Johnson/Eschelon said that is what they asked for.

Susan Lorence/Qwest stated that she will be sending out the updated redline and that it will be ready to present for acceptance and approval.

Lynn Stecklein/Qwest said that the next step is the vote to accept or reject the changes in the December Meeting.

Liz Balvin/Covad said that the only question is how many releases per year.

Susan Lorence/Qwest stated that we took an action item and will update the language accordingly.

Jill Martain/Qwest said that there will be no more adhoc meetings scheduled unless the CLECs have questions after reviewing the updated redline.

There were no other questions or comments.

PC101804-1CM Modifications to Billing and Repair Change Management Prioritization Process November 11, 2004

Attendees: Liz Balvin Covad, Lynn Chellis ELI, Roslyn Davis MCI, Sharon Van Meter AT&T, Bonnie Johnson Eschelon, Kathy Stichter Eschelon, Steph Prull – Eschelon, Kim Isaacs Eschelon, Susie Bliss Qwest, Susan Lorence Qwest, Linda Sanchez-Steinke, Qwest, Peggy Esquibel-Reed Qwest, Lynn Stecklein –Qwest

Lynn Stecklein /Qwest stated that the purpose of this meeting was to discuss PC101804-1CM (Modifications to Billing and Repair Change Management Prioritization Process) originated by Qwest.

Susan Lorence/Qwest stated that the CMP Document was reviewed to identify what needed to change and that from that review several assumptions were identified. Susan said that a key change and the 1st assumption for prioritization for Billing CRs for 2005 is that a release may have multiple implementation dates.

Bonnie Johnson/Eschelon said that it appears now that there will only be 2 prioritizations per year and that there will be scattered implementation dates rather than one release date. Bonnie said that all implementation dates need to occur prior to the next release.

Liz Balvin/Covad stated that she understood that prioritization would occur twice a year for any CR that impacts the 7 billing output files.

Susan Lorence / Qwest agreed.

Liz Balvin/Covad said that each output file will have it’s own release schedule.

Bonnie Johnson/Eschelon stated that the CMP Document needs to be clear. Bonnie said that it should clearly state that not all CRs will be implemented in prioritized order and that all CRs would be implemented prior to the next release.

Susan Lorence/Qwest said that we would address anything that was not clear when we walk through the redline changes. Susan said that Qwest would provide a package for Release 1 with the CRs identified for that release. Susan said that the CRs for Release 1 would be implemented as part of Release 1, with different implementation dates and prior to Release 2.

Liz Balvin/Covad stated that she felt we were all saying the same thing. Liz said that Qwest sees all output files as one Release and that each CLEC may not be impacted with each file. Liz said that documentation needs to be clear so that the CLECs know whether they are impacted or not.

Susan Lorence/Qwest stated that one Release per output file may not be true because a CR could impact multiple files. Susan said that when we package a Release, Qwest will identify which CRs impact which output files.

Susan Lorence/Qwest reviewed the following Assumptions:

Assumption #2 - Qwest will continue to provide the CLECs with an estimate of release capacity at the end of the year for the next calendar year.

Assumption #3 - Qwest will conduct prioritizations for the IMA, Billing Output and Repair CRs independently of each other; each having separate spreadsheets for prioritization and ranking.

Assumptions #4 The guidelines and cut off dates for CR submission will follow the same guidelines as currently established.

Assumptions #5 Current wording in the CMP Document allows Qwest to remain flexible as to when the prioritization of the releases will occur. The view for Billing and Repair releases is that prioritization will occur twice a year, April and December. However, specific wording will not be added to the CMP Document to allow continued flexibility.

Bonnie Johnson/Eschelon asked if Qwest was committing to prioritize two times a year.

Susan Lorence/Qwest that the current documentation for IMA does not state specific months.

Sharon Van Meter/AT&T said that what she heard is that Qwest will prioritize two times a year but does not want to specify the months in the Document.

Susan Lorence/Qwest agreed.

Liz Balvin/Covad said that language was removed from Section 8.0 and that Covad does not want it removed. (See Redline Document)

Bonnie Johnson/Eschelon stated that Eschelon was ok with changing the language from three to two major releases, but they do not want the language removed. Bonnie said that Eschelon would not vote yes if the language is removed.

Susan Lorence/Qwest said that Qwest will make a note of Covad’s and Eschelon’s concerns. Susan said that we may not want to include this as part of the CR and look at this globally.

Assumption #6 Once prioritization occurs, Qwest will use current CMP Guidelines to present packaging options for billing that address the prioritized candidates. Packaging for Billing CRs for a given release will likely spread the top ranked CRs across several designated months – based on Qwest IT resource availability.

Assumptions #7 Qwest will follow the documented Release notice/technical specification timelines just as today. In the case of a specific Billing release, the release may include more than one occurrence of Release notifications that will adhere to the documented timelines and standards.

Assumptions #8 Qwest considers Billing CRs to change requests that are asking for changes to the output files that contain billing information: DUF, ASCII, Paper, EDI, BOS BDT, Diskette (IABS only), Internet downloadable files.

Assumptions #9 Repair CRs are those that are requesting changes to the CEMR GUI and MEDIAAC interface.

Assumption #10 Qwest will exclude from the prioritization, ranking and commitment process any enhancements to any systems that are being implemented for the following reasons: Non-discrimination obligations Industry Guideline CRs associated with OBF BOS Specific changes.

Steph Prull/Eschelon asked if Retail requests are those that Qwest needs to provide to the CLECs for parity but that request would not impact the hours.

Susan Lorence/Qwest agreed.

Liz Balvin/Covad said that the process already exists and should not be in the Document because of legal interpretation.

Susan Lorence/Qwest said that Industry Guidelines CRs would not come out of the hours.

Liz Balvin/Covad said that Covad wants the language removed. Liz said that this was never included before and is out of scope.

Susan Lorence/Qwest said that the intent was to do a little clean up of the language and to be clear as to what is or is not prioritized.

Bonnie Johnson/Eschelon said that the language in 10.0 and 10.2.2 has different language for Industry Guideline changes.

Susan Lorence/Qwest said that the intent of 10.2.2 is to support the 10.0 bulleted item.

Liz Balvin/Covad said that they want the language removed because OBF requests have their own release schedules and is outside of CMP.

Bonnie Johnson/Eschelon said that Eschelon also wants the language removed.

Susie Bliss/Qwest stated that Industry Guidelines are discussed in CMP.

Liz Balvin/Covad agreed and that timelines are published. Liz said that Industry Guidelines support more of the access products and are more of an Industry imposed release.

Susie Bliss/Qwest said that quite a few CLECs upgrade to these guidelines and is concerned that it won’t be documented. Susie said that some CLECs expect these enhancements twice a year. Susie asked if the CLECs were looking to have it posted to the OSS calendar and call it good.

Liz Balvin/Covad said that it is out of the scope of prioritization and said she did not understand the coordination in the output files because the product is local.

Susie Bliss/Qwest cited UNE-P and UBL products are impacted.

Liz Balvin/Covad said that the Industry Standards OBF BOS go through enhancements and that Qwest extracts data from the release and provides the billing the way the CLECs requested for UNE-P and UBL. Liz said that this would not be part of the hours.

Susie Bliss/Qwest said that she thought we were saying the same thing and that the CLECs expect upgrades at specified timeframes.

Liz Balvin/Covad said that an action item needs to be opened. Liz said that local product outputs should not be part of billing releases. Liz said that those releases are to accommodate access users and local products and that Qwest extracts data to provide output file data.

ACTION ITEM: Verify if OBF releases are separate than Releases provided for CLEC output of data coming from that system.

Assumptions #11Qwest will continue to submit and track these changes via system CRs so CLECs will have visibility to these changes.

Assumptions #12 There should be no changes to document wording to consider the billing releases as point releases.

Assumptions #13 There are several instances where the reference to Release must be changed to implementation to allow for multiple implementation dates for one prioritized release.

Steph Prull/Eschelon said that the concept of Release vs. Implementation needs to be clarified. Steph said that the notification timelines would not work with Implementation dates and may be confusing.

Bonnie Johnson/Eschelon said that we need to keep the term Release for IMA.

Susan Lorence/Qwest said that we did struggle with this idea and asked if the CLECs had other ideas to make it clearer.

Bonnie Johnson/Eschelon said that it needs to be spelled out in Section 5 of the CMP Document. Bonnie said that the language needs to define how billing and repair prioritization will take place and that we need to document that Release applies to IMA prioritization.

Liz Balvin/Covad said that IMA and CEMR have release schedules and that billing will have implementation dates.

Bonnie Johnson/Eschelon said that they prefer the term release for CEMR and MEDIAAC.

Steph Prull/Eschelon stated that CEMR has always had releases.

Liz Balvin/Covad said that CEMR and MEDIAAC only impact CLECs and that billing is impacting to others.

ACTION ITEM: Qwest will check with IT and will look at changing the language in Section 5.0 accordingly.

Susan Lorence/Qwest summarized the discussion as follows: • Review the language in Section 5.0 • Determine the approach on Release vs. Implementation • Section 8.0 change the language from four to two. Note: Covad and Eschelon do not agree that the language should not be changed but will consider changing the language from three to two. • 10.0 – Covad does not want and Qwest needs to clarify what is excluded – Action Item created to determine if release calendar impacts output files provided to CLECs. The answer will determine if the language stays. The output files for CLECs need to be cared for if IG’s impact local products.

Bonnie Johnson/Eschelon said that the the bullet in Section 10.0 needs to be re-worded. Bonnie said that Qwest is legally obligated to implement for parity reasons. Bonnie said that Eschelon will not vote for anything that has the term ‘251’ in it.

Susan Lorence/Qwest stated that the intent is to make the language more clear.

Bonnie Johnson/Eschelon asked if the current process is via a CR.

Susan Lorence/Qwest said yes.

Bonnie Johnson/Eschelon and Liz Balvin/Covad will review and come up with ideas as to what the language should look like.

Susan Lorence/Qwest said that Qwest would welcome any suggestions associated with the language changes. Susan said that the next meeting is scheduled on 11/18/04 at 10:30 am and asked if any proposed changes could be sent to Qwest no later than 11/16/04.


Open Product/Process CR PC072705-1CM Detail

 
Title: Change Criteria When CR goes into CLEC Test
CR Number Current Status
Date
Area Impacted Products Impacted

PC072705-1CM Completed
9/21/2005
Originator: Martain, Jill
Originator Company Name: Qwest Corporation
Owner: Martain, Jill
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest would like to create a consistent process between the Product/Product CRs and the System CRs as to when we place CRs into CLEC Test. Qwest would like to make the following changes to the CMP document:

Existing Language: A CR is updated to CLEC Test status upon agreement by the participants in the Monthly CMP Meeting.

Proposed Language: A CR is updated to CLEC Test status upon the effective date of the change.

The new language allows the CRs to be placed into CLEC Test upon the effective date of the Product/Process Notice or the date that the system functionality becomes available to the CLEC Community. Qwest will continue to gain approval to close the CRs at the monthly CMP meetings.

Implement in the September Timeframe


Status History

7/27/05 CR submitted

7/28/05 CR acknowledged

8/17/05 Status changed to Presented

8/17/05 Discussed in the August CMP Product/Process Meeting

9/9/05 Communicator Issued CMPR.09.09.05.F.03260.CMP_Vote_Required

9/21/05 Discusssed in the September Product/Process CMP Meeting

9/27/05 - Communicator Issued CMPR.09.27.05.F.03317.CMP_Vote_Disposition


Project Meetings

9/17/05 Product/Process CMP Meeting

Lynn Stecklein/Qwest stated that this CR was presented in the August CMP Meeting and it was agreed that the vote on the proposed change would take place in today’s meeting. She said that this CR is requesting that a CR will be updated to CLEC Test status upon the effective date of the change. She said that Quorum for this vote was 8 and had been achieved. Lynn stated that a vote of ‘Yes’ will indicate a preference that a CR will be updated to CLEC Test status upon the effective date of the change. She said that a vote a ‘No’ will indicate a preference that a CR will not be updated to CLEC Test status upon the effective date of the change and will be updated upon agreement by the participants in the Monthly CMP Meeting. Lynn said that the vote needs to be unanimous. She said that 2 e-mail votes were sent by Sprint and Qwest.

Sharon Van Meter/AT&T asked if Qwest would send a notification stating that the status was changed to CLEC Test.

Jill Martain/Qwest said that we were not planning to send a notification. She said that our intent was to get the Product/Process and System Processes in synch. Jill said that we are not changing the process just the timeframe we change the status of a CR to CLEC Test on Product/Process CRs.

Sharon Van Meter/AT&T asked if they still had the option to leave a CR in CLEC Test.

Jill Martain/Qwest said yes.

The vote was conducted and the results were as follows:

Qwest - Yes Sprint - Yes AT&T - Yes Eschelon - Yes Covad - Yes TDS - Yes MCI - Yes SBC - Yes Cox - Yes Time Warner - Yes XO Communications - Yes Integra - Yes Comcast - Yes

Lynn Stecklein/Qwest stated that the request was granted with 13 ‘Yes’ votes, 0 ‘No’ votes, and 0 abstain votes. She said that Qwest would like to propose a Level 1 notice to be effective immediately.

Bonnie Johnson/Eschelon said that they were ok with the Level 1 notice.

Jill Martain/Qwest said that we will move forward with the change.

9/9/05 Communicator Issued - CMPR.09.09.05.F.03260.CMPVoteRequired

Announcement Date:September 9, 2005 Effective Date:September 9, 2005 Notification Number:CMPR.09.09.05.F.03260.CMPVoteRequired Notification Category:Change Management Notification Target Audience:CLECs, Resellers Subject: CMP Managing the CMP VOTE REQUIRED Associated CR # or System Name and Number:Qwest CR PC072705-1CM Change to CMP Document, Change Criteria when a CR goes into CLEC Test Pursuant to Sections 2.0 of the Qwest Wholesale Change Management Process Document, http://www.qwest.com/wholesale/cmp/whatiscmp.html, the purpose of this notification is to alert the CMP community that Qwest has received a proposed modification to the CMP framework CR PC072705-1CM. This CR was discussed at the August CMP Meeting. It was agreed that the CMP community would vote on the proposed changes in the September CMP Product/Process Meeting to be held on September 21, 2005. Exception Request Details: Description of request: This CR is requesting that a CR will be updated to CLEC Test status upon the effective date of the change. (See attached Redlined Document) Vote Meeting Logistics Date: September 21, 2005 Time: During the September CMP Product/Process Meeting that begins at 8:00 a.m. Conference Bridge 1-877-572-8687 Passcode 3393947# Supporting documentation: See related CR, PC072705-1CM, in the Product/Process Interactive Reports at http://www.qwest.com/wholesale/cmp/changerequest.html. See Attached Ballot and Redlined Document Deadline for e-mail votes: Pursuant to Section 17.0, all e-mail votes must be received by Qwest, cmpcr@qwest.com, prior to the official close of voting during the voting call/meeting. (Please refer to Section 17.4.3 of the Qwest Wholesale Change Management Document, http://www.qwest.com/wholesale/cmp/whatiscmp.html, for e-mail ballot format and procedures.) A clear statement delineating what 'Yes' and 'No' votes will mean: A vote of ‘Yes’ will indicate a preference that a CR will be updated to CLEC Test status upon the effective date of the change. A vote of ‘No’ will indicate a preference that a CR will not be updated to CLEC Test status upon the effective date of the change and will be updated upon agreement by the participants in the Monthly CMP Meeting

The appropriate voting standard: Section 2.1 states that incorporating a change into the Change Management Process requires unanimous agreement using the Voting Process, as described in Section 17.0. Primary contact information: Lynn Stecklein, Qwest CMP CRPM, Lynn.Stecklein@qwest.com, 303-382-5770.

Sincerely

Qwest

8/17/05 Product/Process CMP Meeting

Jill Martain - Qwest stated that Qwest would like to create a consistent process between Product/Process CRs and System CRs as to when we place CRs into CLEC Test. Jill said that the proposed language would state that a CR is updated to CLEC Test status upon the effective date of the change. She said that the new language allows the CRs to be placed into CLEC Test upon the effective date of the Product/Process Notice or the date that the system functionality becomes available to the CLEC Community. She said that we will conduct the vote in the September Meeting.


Open Product/Process CR PC070105-1 Detail

 
Title: Remote Terminal/Feeder Distribution Interface with CLEC Presence Moves
CR Number Current Status
Date
Area Impacted Products Impacted

PC070105-1 Completed
11/16/2005
Originator: James, Nicole
Originator Company Name: Qwest Corporation
Owner: James, Nicole
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

RT/FDI with CLEC Presence moves or relocation when requirements such as but not limited to road widening projects dictate that facility moves are necessary.


Status History

07/01/2005 - CR Submittred

07/01/2005 - CR Acknowledged

07/20/2005 - Discussed in the Monthly Product Process CMP Meeting

07/29/2005 - CMPR.07.29.05.F.03146.CLEC_Input_Meeting

08/08/2005 - CLEC Input Meeting held.

08/17/2005 - Discussed in the Monthly Product Process CMP Meeting

09/20/2005 - PROD.09.20.05.F.03279.FCP_Cross_Remote_Collo (Level 4)

09/21/2005 - Discussed in the Monthly Product Process CMP Meeting

10/14/2005 - PROD.10.14.05.F.03375.Final_Collo_FCP-Remote (Final Level 3)

10/19/2005 - Discussed in the Monthly Product Process CMP Meeting

11/16/2005 - Discussed in the Monthly Product Process CMP Meeting


Project Meetings

November 16, 2005 Monthly Product Process CMP Meeting Discussion: Jill Martain/Qwest stated that this change was effective on October 31st and asked if there were any objections to closing the CR. There were no objections. This CR is Closed.

October 19, 2005 Monthly Product Process CMP Meeting Discussion: Jill Martain/Qwest stated that the notice had been sent for this CR and that the CR would move to CLEC Test on October 31, 2005.

September 21, 2005 Monthly Product Process CMP Meeting Discussion: Jill Martain/Qwest stated that a notice was sent on September 19th with an effective date of October 31st and will remain in Development.

August 17, 2005 Monthly Product Process CMP Meeting discussion: Jill Martain-Qwest stated that this CR was walked-on last month and noted that the CLEC Input Meeting was held on August 8th. Jill stated that Qwest is moving forward with the development of this CR and stated that status would be changed to Development.

-- August 8, 2005 - CLEC Input Meeting Minutes Attendees: Jeff Yeager-Accenture, Rosalin Davis-MCI, Kim Isaacs-Eschelon, Nancy Thompson-Wisor, Paul Hanser-Eschelon, Lynn Haskins-Covad, Peggy Esquibel Reed-Qwest, Anthony Washington-Qwest, Jamal Boudhaouia-Qwest, Peggy Englert-Qwest, Heidi Moreland-Qwest

Discussion: Peggy Esquibel Reed-Qwest reviewed the CRs Description and asked if Qwest had additional to add. Anthony Washington-Qwest stated that if it becomes necessary that facilities need to move, Qwest will work with the CLECs having a presence to make the the move in a timely & efficient manner, and will be done on an ICB (Individual Case Basis). This is a new process, in the event that a move becomes necessary. Kim Isaacs-Eschelon asked for the description of a CLEC presence and for Remote Terminal, Feeder Distribution Interface. Heidi Moreland-Qwest stated that CLECs collocate today, with a terminal or SCP. A CLEC is located with their own equipment but connects with Qwest. If a Remote Terminal needs to be moved and a CLEC is collocated, Qwest will coordinate the move due to the CLEC equipment also needing to be moved. Kim Isaacs-Eschelon asked if this process woul be done via the notification process. Heidi Moreland-Qwest stated that impacted CLECs would be notified via a letter. Kim Isaacs-Eschelon asked for the timeframe as to how much notice would be given Heidi Moreland-Qwest stated that advanced notice would be given because there is a lot of coordination that needs to occur with I.e. the highway department, etc., then stated that the impacted CLECs should get a minimum of 60-days notice. If it is an emergency, it could be a shorter timeframe. Heidi stated that these are ICB and that each situation could be different. Heidi stated that Qwest would inform the impacted CLECs as soon as Qwest knows. Kim Isaacs-Eschelon asked if there were any current plans for any Remote Terminal moves. Heidi Moreland-Qwest stated that there are none pending and that this new process is needed for when it does happen. Heidi stated that Qwest was being proactive. There were no other questions or comments. Peggy Esquibel Reed-Qwest stated that this CR was walked-on in July and that formal presentation would be made in the August Meeting. Peggy then noted that the normal process would be followed for this Product process CR.

-- July 20, 2005 Monthly Product Process CMP Meeting discussion: Anthony Washington-Qwest reviewed the description of this CR. (Comments to minutes from Eschelon 7/27/05) Qwest will hold an adhoc call. Liz recapped asking if this process is being developed so Qwest can coordinate with CLECs to minimize down time. Anthony said yes. The CR will be moved to Presented Status.


Open Product/Process CR PC082205-1 Detail

 
Title: Remove UNE STAR Availability
CR Number Current Status
Date
Area Impacted Products Impacted

PC082205-1 Completed
11/16/2005
Ordering UNE-STAR
Originator: Mohr, Bob
Originator Company Name: Qwest Corporation
Owner: Mohr, Bob
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Qwest is discontinuing UNE-STAR as a Product offering, as there are no customers who are currently ordering this product and there are no UNE-STAR lines in service.

Expected Deliverable:

Qwest requests to discontinue UNE-STAR as a product offering effective October 1, 2005, via a Level 1 Notice.


Status History

08/22/05 - CR Submitted

08/24/05 - CR Acknowledged

09/21/05 - Discussed in the Monthly Product Process CMP Meeting

09/28/05 - PROS.09.28.05.F.03302.UNE-STAR_documentation (Level 2)

09/28/05 - PROD.09.28.05.F.03303.UNE-STAR_Documentation (Level 2)

10/06/05 - No Comments Received

10/19/2005 - Discussed in the Monthly Product Process CMP Meeting

11/16/2005 - Discussed in the Monthly Product Process CMP Meeting


Project Meetings

November 16, 2005 Monthly Product Process CMP Meeting Discussion: Jill Martain/Qwest stated that this change was effective on October 19th and asked if there were any objections to closing the CR. There were no objections. This CR is Closed.

- October 19, 2005 Monthly Product Process CMP Meeting Discussion: Jill Martain/Qwest stated that the notice had been sent for this CR and that the CR would move to CLEC Test today, October 19, 2005. Stephanie Prull/Eschelon stated that all UNE STAR documentation is still documented (Comments to minutes received from Eschelon 10/27/05) in the EDI documentation. Jill Martain/Qwest stated that the system effort would be in the future. Stephanie Prull/Eschelon said okay.

September 21, 2005 Monthly Product Process CMP Meeting Discussion: Bob Mohr/Qwest stated that this is a new CR to discontinue UNE-STAR as a Product Offering because there are no customers who are currently ordering this product and there are no UNE-STAR lines in service. Bob said Qwest would like issue a Level 1 notice effective October 1, 2005. Bonnie Johnson/Eschelon said that she would like a Level 2 notice so that she would have the opportunity to comment. Bob Mohr/Qwest stated he would issue a Level 2 notice. Jill Martain/Qwest said that a Level 2 would push the date out a little bit. Jill said that this CR will move to Development


Open Product/Process CR PC110205-1 Detail

 
Title: Report Containing USOC / Class of Service / Rates
CR Number Current Status
Date
Area Impacted Products Impacted

PC110205-1 Completed
1/18/2006
N/A
Originator: Cornwell, Barbara
Originator Company Name: Qwest Corporation
Owner: Cornwell, Barbara
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

After a Cost Docket the CLEC can request their USOC, Class of Service, and rates associated with changes from the Cost Docket. The report for Resale will provide only the USOC and the discount percentage. The CLEC must send in a written request through their Service Management Team. This information may be requested after the billing systems have been updated with the new rates. Any discrepancies found on this report should follow the normal dispute process.

SAMPLE REPORT (non-Resale):

Non Recurring billed at 82.0 percent of the Tariffed Rate

ContractType:

Date: 11/2/2005

State: Arizona

Reseller: XXX

CTC for:For AZ Permanent Order

NR9RZ / / TRANSFER CHARGE PER LINE / $5.00

SLAMX / / SLAMMING CHARGE ASSESSED ON RESELLER / PROVIDER PER OCC / $100.00

NR9RO / / ADVANCED COMMUNICATIONS SERVICES - PER CIRCUIT / $51.57

NR9RJ / / Private Line transport first circuit. / $41.05

NR9RK / / PRIVATE LINE TRANSPORT - ADDITIONAL LINE PER CIRCUIT - SAME CSR / $41.05

ST USOC disc Type Product Description Special Recur% Nrc%

122 82 XX XX 8200 8200

12Y 82 XX XX 8200 8200

SAMPLE RESALE REPORT

Non Recurring billed at 79.0 percent of the Tariffed Rate

ContractType:

Date: 11/2/2005

State: Arizona

Reseller: xxx

CTC for:For AZ Permanent Order

NR9RZ

SLAMX

NR9RO

NR9RJ

NR9RK

ST USOC disc Recur% Nrc%

122 79 7900 7900

12Y 79 7900 7900

Expected Deliverable:

An EXCEL spreadsheet that contains the USOC, Class of Service and rate changes by product from a Cost Docket change. The report for Resale will contain USOC and discount percentage only. To begin with the next Cost Docket.


Status History

11/02/2005 - CR Submitted

11/02/2005 - CR Acknowledged

11/16/2005 - Discussed in the Monthly Product Process CMP Meeting

11/22/2005 - PROS.11.22.05.F.03455.Billing_Info_CRISV34 (Level 4)

12/14/2005 - Discussed in the Monthly Product Process CMP Meeting

01/18/2006 - Discussed in the Monthly Product Process CMP Meeting


Project Meetings

January 18, 2006 Monthly Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that this CR was in CLEC Test due to the implementation on January 6th and would like to close the CR. Jill stated that there are no Cost Dockets in the next 30-days and noted that the new process would be used for the next one. There was no objection to closing the CR.

- December 14, 2005 Monthly Product Process CMP Meeting Discussion: Jill Martain/Qwest stated that this effort is on target for a January 6, 2006 deployment. This CR remains in Development Status.

-- November 22, 2005 COMMUNICATOR EXCERPT Announcement Date: November 22, 2005 Proposed Effective Date: January 06, 2006 Document Number: PROS.11.22.05.F.03455.BillingInfoCRISV34 Notification Category: Process Notification target Audience: CLECs, Resellers Subject: CMP - Billing Information-Customer Records and Information System (CRIS)-V34.0 Level of Change: Level 4 Associated CR Number or System Release Number: Qwest CR # PC110205-1 Summary of Change: On November 22 , 2005, Qwest will post planned updates to its Wholesale Product Catalog that include new/revised documentation for Billing Information-Customer Records and Information System (CRIS)-V34.0. These will be posted to the Qwest Wholesale Document Review Site located at http://www.qwest.com/wholesale/cmp/review.html

Qwest has created a new process as result of CMP CR PC110205-1 to provide CLECs the ability to request: USOC, Class of Service and Rates for the CRIS billed products affected by a Cost Docket. The CLEC would issue a written request to their Service Manager and the information would be provided after the billing systems have been updated with the new rates. This information was added to the PCAT in the Pricing Section, Rates Subsection.

Current operational documentation for this product or business procedure is found on the Qwest Wholesale Web Site at this URL: http://www.qwest.com/wholesale/clecs/cris.html

These documentation updates are associated with CR # PC 110205-1. Further information about this Change Request is available on the Wholesale Web site at URL http://www.qwest.com/wholesale/cmp/changerequest.html.

November 16, 2005 Monthly Product Process CMP Meeting Discussion: Barb Cornwell/Qwest stated that Qwest revisited this and will be providing the requested information. Barb stated that good feedback was received and noted that the spreadsheets would be helpful. Barb stated that the information would be provided after a Cost Docket, upon written request, via their Service Management Teams. Barb stated that the report would contain USOC, class of service, and rates. Barb then noted that the Resale report would only contain USOC and discounted percentage information. Barb said that this will begin with the next Cost Docket. Barb then stated that she would provide TDS with the information that they requested. Bonnie Johnson/Eschelon asked if the process would be documented. Jill Martain/Qwest stated that this effort was being implemented via a Level 4. Bonnie Johnson/Eschelon asked if there was availability for the CLECs to get the information 1 time and then on a going forward basis. Barb Cornwell/Qwest stated that it probably could be made available via a written request through their Service Manager. Barb stated that an estimated time to provide the reports can then be determined based on the volume of the requests. Barb stated that going forward; the reports would be provided after Cost Dockets. Jennifer Arnold/TDS Metrocom said Thank You very much and stated that she appreciated the effort. Barb Cornwell/Qwest said that she appreciated the CLECs working with Qwest through this issue.

- INFORMATION FROM AI092205-1: October 19, 2005 Monthly Product Process CMP Meeting Discussion: Barb Cornwell/Qwest stated that she reviewed the May 2002 Meeting Minutes where this issue was first discussed. Barb stated that the documentation did contain discussion regarding cost dockets and stated that Qwest continues to provide the information that was agreed to in 2002 and noted that the meeting minutes do not indicate that Qwest agreed to provide contracted loaded sheets with USOCs. Barb stated that there is no existing process in place for Qwest to provide the information. Barb stated that she spoke with a Service Manager and was advised that a Service Manager did provide information to a CLEC that had requested it and it was a one time only spreadsheet. Barb stated that this is not an undocumented process because there is no process in place. Barb again noted that Qwest continues to provide items discussed in 2002. Jennifer Arnold/TDS Metrocom stated that she does not disagree that this item was from a 2002 discussion but stated that she would not have brought this issue up if she was not told that she could obtain the information from her Service Manager. (Comment to minutes received from Eschelon 10/27/05 Jennifer Arnold/TDS Metrocom stated that she does not disagree that this item was from a 2002 discussion but stated that she would have brought this issue up if she was not told that she could obtain the information from her Service Manager). Jennifer stated that she disagrees that there is no existing process because there was one in place. Barb Cornwell/Qwest stated that she believed that it was provided one time only. Jennifer Arnold/TDS Metrocom stated that there was a process put into place and noted that all the CLECs have received the information. Jennifer stated that she (Comments to minutes received from Eschelon 10/27/05) received the data more than once and is now hearing that Qwest no longer wants to provide the information. Barb Cornwell/Qwest stated that it was only provided one time. Liz Balvin/Covad stated that other CLECs have received the information and stated that the process was for the CLECs to request the information from their Service Manager’s and the Service Manager’s then would provide it. Jennifer Arnold/TDS Metrocom stated that her request is to have that process documented. Jill Martain/Qwest stated that the difference is that there was no consistency in the Service Managers providing the information or as to how it was provided. Jill stated that it was not a common process across the board and not a process with a common utility to provide the information. Jill stated that this a gray area and that she believes there is no consistent process to document. Liz Balvin/Covad asked if Qwest is opposed to provide information that was previously provided. Jill Martain/Qwest stated that changes would be needed to be made to ensure that the data provided was accurate and not just a report off-the-fly. Barb Cornwell/Qwest stated that it would need to be created for each CLEC. Jennifer Arnold/TDS Metrocom stated that she disagrees that there is no process and stated that the information was available to all CLECs and was discussed at CMP. Jen stated that she needs to know how to get the information and noted that the amount of work should be the same as it was in the past. (Comments to minutes received from Eschelon 10/27/05) Jen said that she used to get the data in a 2 to 3 day turnaround so the data must be available. Barb Cornwell/Qwest stated that it would be very time consuming and that there have been dramatic system changes. Jennifer Arnold/TDS Metrocom stated that she could provide the reports that she received and stated that the information is not in the PCATs or in Exhibit A. Jennifer stated that she needs Qwest to provide the data. Jennifer stated that she received the information and could send the data to Qwest. Liz Balvin/Covad asked why Qwest does not want to document the process and support it. Liz stated that it would eliminate 50% of the disputes, which would benefit Qwest and all the CLECs. Liz stated that CLECs have previously received the information. Liz then asked what it would take for Qwest to fill in the gray areas and get it documented. Sharon Van Meter/AT&T asked for the frequency of the report. Jennifer Arnold/TDS Metrocom stated that it is provided (Comments to minutes received from Eschelon 10/27/05) overall one time and TDS needs it only after cost dockets changes, so could validate that the rates were loaded correctly. Jennifer stated that in there was a cost docket for North Dakota in 2005 and that she needs the information. Jill Martain/Qwest asked if information is not provided on cost dockets. Barb Cornwell/Qwest stated that information is in Exhibit A and is generic. Bonnie Johnson/Eschelon stated that Qwest does not understand and asked to please stop relating Jennifer’s request with an AT&T CR because they are not related. Barb Cornwell/Qwest stated that she agreed that there is no relationship between the two. Bonnie Johnson/Eschelon stated that Qwest keeps referring the CLECs to Exhibit A and Exhibit A has no relation to how Qwest applied rated to a CLEC. Bonnie stated that verifying Qwest’s billing has challenges and Qwest is obligated to provide an accurate and timely bill. Bonnie stated that CLECs spend a lot of effort verifying the bills and Qwest should provide the information that Jennifer used to get in 1-2 days. Bonnie stated that her position is the same as Liz’s. Bonnie stated that she did not understand the pushback and why Qwest does not want to work with the CLECs. Bonnie stated that the process may not have been an internally documented process but that the people who provided the information were (Comments to minutes received from Eschelon 10/27/05) representing Qwest people. Bonnie stated that there seemed to be common understanding when some CLECs asked for the report because they did get it. Sharon Van Meter/AT&T asked how much work it would take if it is only after cost docket changes. Jill Martain/Qwest stated that Qwest would go back and see if any changes can be made. Barb Cornwell/Qwest stated that she did not find any information that supported that there was a process. Liz Balvin/Covad stated that Covad had also received the report. Bonnie Johnson/Eschelon also stated that they had received it. Liz Balvin/Covad stated that a concern is that it has been 3 months already and wants to see progress before next month. Liz stated that if it is appropriate, a CR should be submitted. Liz stated that their business need is for bill validation and that the report is a useful tool. Jennifer Arnold/TDS Metrocom stated that she received the report in 2002 for 2 states, in 2003 for Minnesota, 2004 for North Dakota, and in 2005 for Iowa and North Dakota. Liz Balvin/Covad stated that this would benefit all and that it should not be a huge undertaking. Jill Martain/Qwest stated that Qwest would look at the costs and the risks of providing the report. Liz Balvin/Covad asked that if Qwest sees that changes do need to be made, if Qwest would open the CR. Jill Martain/Qwest said yes. Bonnie Johnson/Eschelon stated that Qwest should be providing complete and accurate bills and should not put the owness (Comments to minutes received from Eschelon 10/27/05) on verifying the rates Qwest loads for a CLEC on the CLECs. Bonnie stated that Qwest must have the information as to what was loaded. Barb Cornwell/Qwest stated that Qwest did have the data that was loaded but that queries would need to be written, data pulled, etc. and stated that to do in all 14-states would be time consuming. Liz Balvin/Covad agreed that it would be initially but that the long term benefit is a lot less disputes for Qwest. Liz stated that looking at this from a business perspective; it is the right thing to do. Jennifer Arnold/TDS Metrocom stated that then she could work with her billing SDC’s to understand the discrepancies and maybe avoid a dispute. Sharon Van Meter/AT&T suggested an ad hoc meeting so another month doesn’t go by. Jill Martain/Qwest stated that if Qwest has information to share before November CMP, an ad hoc meeting could be scheduled. There were no additional questions or comments. This Action Item remains open.

- September 21, 2005 Monthly Product Process CMP Meeting Discussion: Jennifer Arnold/TDS stated that she received an email stating that an Action Item was not opened for an issue raised at the August CMP Meeting, and that the issue would be handled off-line. Jennifer stated that she did send in an external documentation request. Jill Martain/Qwest stated that Qwest is still working on the issue internally and will work with TDS off-line. Bonnie Johnson/Eschelon stated that other CLECs are interested and that Eschelon (Comment to Minutes received from Eschelon 9/30/05) has received this report in the past and may have a need in the future. Liz Balvin/Covad stated that she had requested and received the report and noted that it does contain vital information. Liz stated that she would like the process documented. Jill Martain/Qwest stated that an Action Item would be opened and would be discussed at the next CMP Meeting. Jill stated that we are working to see what the differences of the reports are and will have a status at the October CMP Meeting. Jill stated that if this is resolved prior to the October CMP Meeting, an ad hoc call could be scheduled. Bonnie Johnson/Eschelon stated that all the CLECs believe that this is an existing process, even though it is not documented. Bonnie stated that if Qwest is no longer providing the report, Qwest has changed the existing process. Jill Martain/Qwest stated that Qwest is still looking into this. Jennifer Arnold/TDS stated that the report was based on discussion at a 2002 CMP Meeting and that it did not relate to an AT&T CMP CR. Jennifer stated that she had received the report before and after AT&T submitted their CR. Jill Martain/Qwest stated that there would be more discussion for this item. Sharon Van Meter/AT&T asked that in the mean-time, if a CLEC requests the report would the request be refused. Jill Martain/Qwest stated that the request needs to go through their Service Manager and it would be determined what, if anything was available. Sharon Van Meter/AT&T asked that if the Service Manager could not provide the report, if they would just have to wait. Jill Martain/Qwest stated that Qwest is working towards a quick resolution. There were no additional questions or comments.

September 14, 2005 Email Received From Jen: Thanks for the clarification Jean. Based on Qwest's response and further discussion I will consider opening a CR to request a manual process to request and receive these excel spreadsheets during the next meeting. But, considering the process already existed just as I'm requesting the spreadsheets now, and because it was Qwest that decided to stop accepting requests for the spreadsheets, I hope Qwest will be willing to share why they felt they should no longer provide the spreadsheets. It seems to me if we can address that, we will have our process back in place! Thanks! Jen

September 14, 2005 Email Sent to TDS: Jen Please let me clarify. I suggested that if wanted these type of reports then TDS should open/issue a CR to request these type of reports. I, at no time, state that the ATT CR was related to your request. Thanks Jean Novak

-- September 14, 2005 Email Received from TDS: Hi Peggy, Our Sr. Service Manager suggested the CR was related to that specific request. I stated during the meeting that we received the reports prior to the CR being brought and implemented based on Qwest stating that if we wanted our rates loaded information we should ask our service manager for it. I disagree with your conclusion that we received the spreadsheets on a ICB and that there was no process; several other CLECs reported receiving the same information from their service managers during the same timeframes. They received the information by requesting it from the service managers... the process Qwest rolled out verbally during a CMP meeting in 2002. Changing the process and claiming it wasn't a process is inappropriate and why I brought the issue to CMP. TDS needs this information to validate our bills. Just knowing what the rates should be by referencing exhibit A does not tell us whether Qwest is making a one-time error here and there based on an individual rep entering the billing information, or a chronic error because the incorrect rate is loaded in the system. This is especially true of infrequently used one-time charges. I don't understand the resistance to provide this validation information; a new set of eyes will likely help Qwest catch where they have errors and all parties will benefit. Unless service management is able to fulfill the request I don't see why Qwest would refer this back to that team? I look forward to Qwest's official answer from the AI during CMP and will proceed from that point. Thanks. Jen

September 14, 2005 Email Sent to TDS: Hi Jen, This email is in regard to the issue that you brought to the August CMP Meeting surrounding Contracted Loaded Rate Sheets. At that meeting, you stated that you received the spreadsheets as a result of an implemented CMP CR, PC110702-1, submitted by AT&T. We met internally to discuss this item and the loaded rate sheets that you were provided in the past is not the same information that was developed and implemented as a result of AT&Ts submitted CMP CR, PC110702-1. The spreadsheet that you are inquiring about was a report that a Qwest Service Manager had provided to you. The Service Manager was providing the report on an Individual Case Basis and it was not a standard process. The decision was then made to stop providing the report and that is why you no longer received them. The AT&T CR, PC110702-1, resulted in Qwest providing rates, but not USOCs, with Cost Dockets. Qwest continues to provide this information, with the Cost Dockets. I have attached a copy of PC110702-1 which contains the Qwest Response to the Change Request. Questions regarding rates should be directed to your Service Manager. Thank you, Peggy Esquibel-Reed Qwest Change Management

- August 17, 2005 Monthly Product Process CMP Meeting Discussion: Contracted Loaded Rate Sheets Jennifer Arnold-TDS Metrocomm stated that she requested, from her Service Manager, their company specific contracted loaded rate sheets, to validate bills and help with disputes. Jen stated that her Service Manager said that Qwest no longer provides the sheets and that Qwest provides Attachment A via the web. Jen stated that she does not understand why the process was changed. Jill Martain-Qwest asked if this was for all products. Jennifer Arnold-TDS Metrocomm stated that all rates are loaded, including new products. Jen stated that this was developed out of an AT&T CR PC110702-1 and stated that she did receive the rate sheets before and after the CR. Jen stated that their new Service Manager said that Qwest does not send them. Bonnie Johnson-Eschelon stated that they had also received them. Exhibit A is not loaded rates that create the bills and that is the information needed to validate that Qwest has loaded correct rates for each CLEC. Jennifer Arnold-TDS Metrocomm stated that the web does not have the same information as the report and that the report has the class of service, USOC, and the discount information. Jen stated that she has found some incorrect information for specific states. Jen stated that she does not know what changed or if there is just a misunderstanding with their Service Manager. Jen stated that she sent the information to the cmpcr mailbox. [Comment received from Eschelon: Jen said they had a situation where they found out Qwest had loaded a MN rate for ND.] Liz Balvin-Covad stated that the information is very helpful and that Covad did receive it some time ago. Liz stated that she has not recently requested it. Bonnie Johnson-Eschelon stated that Qwest provided this and then did not provide it and the CLECs were not notified. Bonnie stated that this is a concern and stated that maybe it is just a misunderstanding. Sharon Van Meter-AT&T stated that AT&T would not have asked for something limiting. Jill Martain-Qwest stated that we would look into it and see if we can resolve this.


Open Product/Process CR PC110205-2 Detail

 
Title: Grandparent Qwest DSL
CR Number Current Status
Date
Area Impacted Products Impacted

PC110205-2 Completed
2/15/2006
Resale DSL, UNE-P DSL
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Qwest is grandparenting all Qwest DSL services and will be eliminating the associated FCC 1 Tariff language. Grandparented Qwest DSL service will sunset 1 year after the effective date of the FCC Order.

On January 28, 2006, Qwest will be offering Qwest DSL (transport only - no ISP) as a non-common carrier service which will be available through commercial agreements.

Expected Deliverable:

January 28, 2006


Status History

11/02/2005 - CR Submitted

11/02/2005 - CR Acknowledged

11/16/2005 - Discussed in the Monthly Product Process CMP Meeting

11/21/2005 - CMPR.11.21.05.F.03489.CLEC_Input_Meeting

12/14/2005 - PROD.12.14.05.F.03532.ResaleV67_UNE-PV59_QDSL (Level 4)

12/14/2005 - Discussed in the Monthly Product Process CMP Meeting

01/13/2006 - PROD.01.13.06.F.03597.FNL_ReslV67_UNE-PV59_QDSL (Level 4)

01/18/2006 - Discussed in the Monthly Product Process CMP Meeting

01/27/2006 - PROD.01.27.06.F.03566.Grandparent_DSL (Level 1)

01/27/2006 - PROS.01.27.06.F.03630.LoopQualRLDJobAid (Level 1)

01/27/2006 - PROS.01.27.06.F.03628.InterconnSIGV61_DSLIntrvl (Level 1)

01/30/2006 - Status Changed to CLEC Test Due to January 28, 2006 Implementation

02/15/2006 - Discussed in the Monthly Product Process CMP Meeting

02/15/2006 - Status Changed to Completed. Concurrence Received at Monthly CMP Meeting.


Project Meetings

February 15, 2006 Monthly Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that this CR was implemented on January 28th and asked for closure. There was no objection brought forward. This CR moves to Completed status.

January 18, 2006 Monthly Product Process CMP Meeting Discussion: Janean Van Dusen-Qwest stated that this effort was on track for implementation on January 28th. Janean stated that the Level 4 was sent on December 14, 2005 and that the Final Level 4 was sent on January 13, 2006. Jill Martain-Qwest stated that this CR would move to CLEC Test on January 28th.

-- December 14, 2005 Monthly Product Process CMP Meeting Discussion: Jill Martain/Qwest stated that this CR is on track for the grandparenting and noted that the notice was out this morning. Jill stated that there was a change in that those with existing contracted Hosts, it is business as usual. Jill stated that this change was included in the notice that was sent this morning. Jill then noted that Qwest is working on getting the response to a question that Bonnie (Johnson/Eschelon) had sent in. Bonnie Johnson/Eschelon thanked Qwest for adding the Host information and asked for clarification to the ‘business as usual’ statement. Bonnie asked if that meant that there was no change to what was discussed on the ad hoc call and asked if Qwest was still grandparenting. Jill Martain/Qwest stated that she would get with Janean (Van Dusen/Qwest) and have a call with Bonnie (Johnson/Eschelon) for discussion. Bonnie Johnson/Eschelon stated that on the ad hoc, she had asked questions for QPP and that Jill had indicated that she would get responses to those questions. Bonnie asked if that effort was underway. Jill Martain/Qwest stated that their Service Management Team would be in contact with them. This CR is in Development Status.

- December 2, 2005 CLEC Input Meeting ATTENDEES: Matt Brinkman-Iowa Telecom, Chad Warner-MCI, Sue Lamb-180, Bonnie Johnson-Eschelon, Ann Barlock-Eschelon, Bill Markert-Eschelon, Kim Isaacs-Eschelon, Jerry-180, Nancy Thompson-Wisor, TJ Coller-Priority One, Colette Davis-Covad, Peggy Esquibel Reed-Qwest, Janean Van Dusen-Qwest, Michael Whitt-Qwest, Bob Mohr-Qwest, John Lee-Qwest, Jill Martain-Qwest, Jim Recker-Qwest, Linda Harmon-Qwest, Paul Schlacter-Qwest, Terri Beager-Qwest, Molly Clemen-Qwest, Jerry Slater-Qwest, Susan Lorence-Qwest Peggy Esquibel Reed-Qwest stated that this CLEC Input Meeting was scheduled for PC110205-2, which will grandparent Qwest DSL. Peggy stated that the call is for discussion regarding the grandparenting of the DSL product. Peggy then noted that Qwest is currently working on a new product offering and that those details would be provided in the appropriate manner. Peggy then stated that she would open the call for the discussion specifically for the grandfathering of Qwest DSL. Janean Van Dusen-Qwest stated that we will talk about the highlights and stated that Qwest will be grandparenting DSL, including Stand Alone DSL Service and Qwest DSL Host Service. Janean stated that this means that effective January 28, 2006, the DSL Transport piece would be grandparented. Janean stated that the embedded customers would not be able to order, except for ISP changes and disconnects, unless a Commercial Agreement is signed. Janean stated that ISP changes and disconnects would follow the FAX Process and cannot be accepted via IMA. Janean stated that existing customers, if no Commercial Agreement has been signed, will be eliminated on the 1-year anniversary of the order, which is November 16, 2006. If a Commercial Agreement has been signed, the existing embedded base customers will go under their Commercial Agreement. There will be no new DSL Host locations on January 28, 2006 and after. Expiration dates to November 16, 2006 will be honored. CLECs can add additional services or bandwidth through November 16, 2006. Any contract expiring on January 28, 2006 and November 16, 2006 will continue as month-to-month, unless disconnected or another offer is made by Qwest. There will be a Termination Liability waiver if a CLEC chooses to go to the new service offering, or if a CLEC chooses to remove their DSL service. Janean then opened the call for questions. Bonnie Johnson-Eschelon asked regarding Host Service, would will happen on November 16, 2006, since between January 28th and November 16th will be on a month to month basis. Janean Van Dusen-Qwest stated that it would no longer be offered. Bonnie Johnson-Eschelon asked if the circuits would then be disconnected. Janean Van Dusen-Qwest stated yes, and noted that the CLECs would first be contacted. Janean stated that other arrangements would need to be made. Ann Barlock-Eschelon asked if Mega Central was a Host Service. Molly Clemen-Qwest said yes. Bonnie Johnson-Eschelon asked what Qwest will be offering to Retail customers and asked if the CLECs will have the opportunity to order it. Janean Van Dusen-Qwest stated that details have not yet been announced and reminded call participants that discussion on the new product offering was not the purpose of this call. Bill Markert-Eschelon asked when Qwest would be providing the information. Janean Van Dusen-Qwest stated that details would be provided as soon as Qwest could provide them. Bill Markert-Eschelon asked when that would be. Janean Van Dusen-Qwest stated that they would be provided as soon as Qwest could and noted that the date has not yet been determined. Chad Warner-MCI asked to confirm that there is no impact to Line Sharing or Line Splitting, under the existing arrangements. Jill Martain-Qwest stated that she would get with the appropriate people and have the Service Manager respond to the question. Colette Davis- Covad stated that she would like the question answered. It was then stated that all the CLECs had the same question. Jill Martain-Qwest stated that discussions regarding Commercial Agreements need to be conducted in a different forum, as is non-CMP, and stated that she would get with Service Managers in order for the CLECs to get their question answered. Jill again noted that Commercial Agreements are outside of the CMP Process and that the question would be answered outside of CMP. Bonnie Johnson-Eschelon stated that the notice to retire Qwest DSL did not include Qwest Host. Bonnie stated that Qwest agreed to a different notice that Qwest DSL would be honored with a QPP Agreement. Bonnie stated that QDSL is no good without the Host. Janean Van Dusen-Qwest stated that the Host would be going away in November 2006. Bonnie Johnson-Eschelon stated that the term of the QPP Agreement is longer then November 2006. Janean Van Dusen-Qwest stated that there will be an opportunity for Termination Liability Waivers on DSL Host if a CLEC has a contract. Bonnie Johnson-Eschelon stated that she wants to make sure that there will be an option for Host. Janean Van Dusen-Qwest stated that she can only address the grandparenting of the product. Bonnie Johnson-Eschelon asked if anyone on the call could answer the question. Molly Clemen-Qwest stated that Qwest would communicate new offers and details would be provided later. A CLEC asked when they should look for the communication to occur. Jill Martain-Qwest stated that no date has been determined but that it is in process. Janean Van Dusen-Qwest stated that Commercial Agreements to allow DSL Transport would be available prior to January 28, 2006. Chad Warner-MCI asked if information regarding the Host would be in January. Janean Van Dusen-Qwest stated that the grandparenting would take place in January and that no date has been determined for new offerings. Chad Warner-MCI stated that it is hard to run a business without knowing what is going to happen. Jill Martain-Qwest stated that it would be safe to assume that details would be provided prior to November 2006, Molly Clemen-Qwest stated that it is Qwest’s intent to get it out as soon as possible and noted that details are not currently available. Jill Martain-Qwest stated that it would be prior to November 2006. Chad Warner-MCI asked for rate change information. Jill Martain-Qwest stated that rates cannot be discussed on this CMP call. Chad Warner-MCI asked where he could find the Retail offerings since de-tariffed. Janean Van Dusen-Qwest stated that offerings would be made via Commercial Agreements for Retail as well. Bill Markert-Eschelon asked if IMA would not be used to disconnect if QPP after January 28, 2006. Janean Van Dusen-Qwest said not for Resale and UNE-P; to disconnect or make ISP changes are to be done via the FAX Process. QPP is already Commercial Agreements. There were no additional questions or comments. The call was concluded.

- November 16, 2005 Monthly Product Process CMP Meeting Discussion: Janean Van Dusen/Qwest stated that Qwest will be grandfathering all Qwest DSL and will be removed from the FCC1 Tariff. Janean stated that will change will be effective on January 28, 2006. Janean then stated that the sunset date of the tariffed service would be eliminated on November 16, 2006, which is the 1-year anniversary of the FCC order. Janean then stated that after January 28th, DSL will be available to CLECs via Commercial Agreements. Janean noted that a CLEC Input Meeting will be held on December 2, 2005 to answer questions. Bonnie Johnson/Eschelon asked to confirm that a notice will be sent for the call. Jill Martain/Qwest stated that a Notice would be sent. Bonnie Johnson/Eschelon asked Qwest to point her where in the tariff, that the FCC language would be eliminated. Jill Martain/Qwest said she would check into it on break. Jill subsequently advised Bonnie to look at Section 8. This CR is in Presented Status.


Open Product/Process CR PC110205-3CM Detail

 
Title: Escalation Process Section 14.2 CMP Document Language Change
CR Number Current Status
Date
Area Impacted Products Impacted

PC110205-3CM Completed
1/16/2006
Originator: Harlan, Cindy
Originator Company Name: Qwest Corporation
Owner: Harlan, Cindy
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Update Section 14.2 with the below language:

- If Qwest determines a CLEC meeting is needed to further discuss the escalation, and upon agreement by the originating CLEC, Qwest will also invite the CLECs that chose to participate in the escalation. The meeting will not require 5 day advance notification due to the escalation time constraints.

- Qwest will respond to the originating CLEC and copy the participating CLECs, with a binding position e-mail including supporting rationale as soon as practicable, but no later than:

- For escalated CRs, seven (7) calendar days after sending the acknowledgment e-mail,.

- For all other escalations, fourteen (14) calendar days after sending the acknowledgment e-mail.

Expected Deliverable:

December 2005. Present CR at the November CMP meeting. Vote at the December CMP meeting


Status History

11/02/2005 - CR Submitted

11/02/2005 - CR Acknowledged

11/16/2005 - Discussed in the Monthly Product Process CMP Meeting

11/21/2005 - CMPR.11.21.05.F.03491.AdHocMeeting_PC110205-3CM

12/05/2005 - CMPR.12.05.05.F.03531.CMP_Vote_Required

12/14/2005 - Discussed in the Monthly Product Process CMP Meeting

12/19/2005 - CMPR.12.19.05.F.03576.CM_Vote_Disposition

01/18/2006 - Discussed in the Monthly Product Process CMP Meeting

01/27/2005 - PROS.01.27.06.F.03659.CMP_Doc_Change_Escalation (Level 1)


Project Meetings

January 18, 2006 Monthly Product Process CMP Meeting Discussion: Jill Martain-Qwest stated that the vote for this CR was held in December and that the request was granted. Jill stated that Qwest would like to implement with a Level 1 Notice. Jill stated that a Level 1 timeframe would still be shorter than a Level 4 Notice in December would have been. There was no objection to a Level 1 Notice. Jill stated that Qwest would get the Level 1 out. This CR is Closed.

-- December 14, 2005 Monthly Product Process CMP Meeting Discussion: Jill Martain/Qwest stated that there is a vote scheduled for today. Peggy Esquibel Reed/Qwest stated that the CR was presented in the November CMP Meeting and stated that this CR is asking for changes to the current escalation process, which is in section 14.2 of the CMP document. The changes are for Qwest to invite the CLECs who have joined an escalation to calls to clarify the escalation, and also for Qwest to copy the participating CLECs with the response to the escalation. Peggy noted that the Quorum is 9 and noted that it was achieved. Peggy then stated that A vote of ‘Yes’ would indicate a preference that if Qwest determines that a CLEC meeting is needed to further discuss the escalation, and upon agreement by the originating CLEC, Qwest will also invite the CLECs that chose to participate in the escalation, and that Qwest will respond to the originating CLEC and copy the participating CLECs, with the binding position via e-mail. A vote of ‘No’ would indicate a preference that the proposed language changes not be made and that the Escalation process and language will remain as it currently exists in Section 14.2 of the Qwest Wholesale Change Management process Document. Peggy noted that the vote requires unanimous agreement in order for the change to occur. Peggy then asked if there were any questions regarding the vote. There were none. The vote was then conducted: Sharon Van Meter/AT&T voted Yes Dianne Friend/Time Warner voted Yes Bonnie Johnson/Eschelon voted Yes Sue Wright/XO voted Yes Lynn Hankins/Covad voted Yes Laurie Fredricksen/Integra voted Yes Tom Hyde/Cbeyond voted Yes Nancy Sanders/Comcast voted Yes (Peggy Esquibel Reed asked to confirm that Comcast’s vote is yes. Nancy confirmed Comcast’s vote is Yes. Qwest emailed a vote of Yes Sprint emailed a vote of Yes Velocity emailed an Abstain Peggy Esquibel Reed/Qwest stated that the result of the vote is that the requested change was granted by a vote of 10 Yes votes, 1 Abstain, and 0 No votes. Peggy then noted that the vote disposition would be sent.

-- November 30, 2005 Ad Hoc Meeting Minutes: ATTENDEES: Rosalin Davis-MCI, Stephanie Prull-Eschelon, Nancy Thompson-Wisor, Jeff Sonnier-Sprint, Joyce Bilow-McLeod, Colette Davis-Covad, Jen Arnold-TDS, Nancy Sanders-Comcast, Kim Isaacs-Eschelon, Cynthia Guy-SBC, Peggy Esquibel Reed-Qwest, Jill Martain-Qwest, Cindy Harlan-Qwest DISCUSSION: Peggy Esquibel Reed-Qwest stated that PC110205-3CM for the proposed language changes to Section 14.2 of the CMP Document was presented in the November CMP Meeting. Peggy stated that a CLEC requested that additional language be added that would state that the CLEC could request a meeting for clarification on an escalation. Peggy said that at the November CMP Meeting Qwest agreed to look into the suggestion and that is the purpose of the ad hoc meeting. Jill Martain-Qwest stated that the CR was looked at along with the intent of what she wanted to originally accomplish and looked at the suggested addition to the language. Jill stated that she was not comfortable with the suggested change because by the time that the escalation comes into Qwest, Qwest has 7-days to respond to the escalation. Jill stated that she has done some research and found only one instance where a meeting for clarification of the escalation was held. Jill stated that her hope is that if a CLEC wanted discussion, that the other available avenues be used for that discussion. Jill said that an ad hoc could be requested and oversight is also an option. Jill stated that adding the suggested additional language change would really shorten the timeframe for Qwest to provide the binding response to the escalation, back to the customer. Jill then asked if there was any objection to leaving the Qwest proposed language changes as is, in the CR and then asked if there were any other ideas. Kim Isaacs-Eschelon stated that she was not comfortable leaving as is in the original proposal but noted that she did understand Qwest’s concern. Kim then stated that Qwest needs to be comfortable that Qwest has enough time to provide the response to the escalation. Jill Martain-Qwest asked that in order to understand, why the CLECs would want a meeting after the escalation has been submitted instead of before the escalation was initiated. Kim Isaacs-Eschelon said that when a CLEC joins an escalation and if there is confusion or if they felt that clarity was needed in regard to the escalation. Kim stated that then they might want discussion in a meeting. Kim also stated that the CLECs may want to communicate their feelings about the escalation. Kim stated that the discussion could assist with the Qwest’s response to the escalation. Kim then noted that some issues are complex enough that a discussion could be warranted prior to the response being determined. Jill Martain-Qwest stated that the response is based on the escalation and is not based on feedback. Kim Isaacs-Eschelon stated that was not her interpretation. Jen Arnold-TDS stated that she thought that the process currently called for other CLECs to join in on an escalation. Jill Martain-Qwest stated that CLECs can join an escalation but are joining the same concern that was escalated. Jill stated that if the concern is different, then a different escalation would need to be initiated. Stephanie Prull-Eschelon stated that other CLECs join based on the given escalation and other CLECs comments may show different views. Jill Martain-Qwest stated that comments are not received from joining CLECs; they just join in on the escalation. Cindy Harlan-Qwest stated that Jill’s intent was that she wants the CLECs to have discussion, as a Community, prior to submitting an escalation. Cindy stated that the other avenues should be exhausted prior to the submission of an escalation. Stephanie Prull-Eschelon noted that there is discussion at CMP and asked that if the CLECs feel that more discussion is needed if they should take it to oversight before they submit an escalation. Cindy Harlan-Qwest stated that an ad hoc meeting could be requested and Qwest would schedule the meeting in order to have some discussion. Jill Martain-Qwest stated that there are many options and opportunities to have meetings before something is escalated. Jill stated that she agrees that there is currently a gap that when a CLEC joins an escalation they are not currently included in the response and that is what she wanted to care for with the CR. Cindy Harlan-Qwest stated that she believes that having the CLECs request a meeting confuses the escalation process because those situations are cared for in other areas of the CMP document. Jeff Sonnier-Sprint stated that if there is an escalation and he wants to join, he will and noted that if his issues are different he will submit a separate escalation. Jill Martain-Qwest stated that makes sense and then the different issue could be addressed as well. Cindy Harlan-Qwest stated that another option for discussion is the forum that the CLECs conduct on the Monday before the monthly CMP meeting. Cindy stated that the concerns could be discussed there before an escalation is submitted. Kim Isaacs-Eschelon thanked Qwest for the explanation in understanding that there are other options available to the CLECs. Kim then stated that she was in agreement to leave the language changes as originally proposed. Jill Martain-Qwest asked if all were okay with that as well. Jeff Sonnier-Sprint responded yes. Colette Davis-Covad said yes. Joyce Bilow-McLeod said yes. Jill Martain-Qwest asked if there were any objections. There were no objections brought forward. Jill Martain-Qwest stated that the original proposed language changes would remain as is in the CR. Jill then stated that the vote for the proposed language changes would be conducted in the December 14th CMP Meeting. Peggy Esquibel Reed-Qwest stated that the Vote Notification would be sent no later than December 7th, for the vote on December 14th. Jill Martain-Qwest thanked all for their participation and the call was concluded.

-- November 16, 2005 Monthly Product Process CMP Meeting Discussion: Cindy Harlan/Qwest advised that based on the discussion in last months CMP meeting Qwest issued this CR to update the CMP document Escalation section 14.2. Cindy reviewed the changes to the document and the language update. Bonnie Johnson/Eschelon asked if we could add ‘the CLEC’ to the following sentence: ‘If Qwest (or the CLEC) determines a meeting is needed to further discuss the escalation...’ Cindy Harlan/Qwest asked if Bonnie meant the ‘originating CLEC’ as there are other processes to follow if the CLECs want to discuss an item, and due to the short time frames for Qwest to send out a binding response, having additional meetings puts that date in jeopardy. Bonnie Johnson/Eschelon said she would like to include ‘Qwest or the originating CLEC within the necessary time frame’. Jill Martain/Qwest said she thought that we could include that change. Jill asked if the vote would take place at the December meeting, and Cindy confirmed yes.

INFORMATION FROM THE OCTOBER 2005 MONTHLY SYSTEMS CMP MEETING (walk-on item): Escalation Process - Eschelon Susan Lorence/Qwest stated that Eschelon requested that we discuss the escalation process. Bonnie Johnson/Eschelon stated that the CLECs felt that Qwest is not following the same process for escalations. Bonnie said that in the past they felt that they were a part of the escalation and that they were notified of the response. She said that we may need to look at the overall process and that there appears to be no value in joining the escalation. Bonnie said that VCI submitted 2 CRs with a need for information and that there were other CLECs in support of the 2 CRs. She said that the end result was that Qwest denied the CRs that resulted in the escalation from VCI. Bonnie said that they were not notified and that Qwest arranged for an adhoc call with VCI to discuss an alternative solution. She said that it would have been nice for the participating CLECs that were part of the escalation to participate in that call. Bonnie said that VCI requested that other CLECs participate in the call and Qwest said no. She said that Qwest should know that the CLECs want to be involved in the process when something is escalated and that they do not feel they are part of the process as they were in the past. Bonnie said that in the past the CLECs participating in the escalation knew what was going on. Bonnie said that the concern with this escalation was the adhoc call with VCI when the solution was only provided to them and not the other CLECs. Susan Lorence/Qwest stated that she looked at the escalations back to January 2004, to determine how the responses were handled. Susan stated that the process outlined in Section 14.0 was followed on the VCI escalation and noted that nothing has changed. Susan stated that the mentioned ad hoc meeting was not an ad hoc meeting and that it was not a CMP Meeting. The VCI Service Management Team scheduled the meeting in order to talk to their customer and explain what was currently available to them as an alternative data source. Susan stated that it was definitely not a CMP ad hoc; it was a CLEC meeting with their Service Management Team. Susan noted that in the escalations that she went back and looked at there were no ad hoc meetings that took place for any of the escalations. The process specified in the CMP document was followed and stated that the responses to the escalations did only get sent to the originator of the escalations and were posted to the web site so that the CLEC Community could see what the responses were. Susan stated that the CMP document does not indicate that all CLECs needed to be included in the escalation responses. Susan then stated that she was not aware of any responses that were sent to all CLECs. Bonnie Johnson/Eschelon stated that Qwest may now be following the process and that she was referring to escalations that took place in the Jim Maher era. Bonnie stated that she thought that all would agree that just clicking a button and not having participation doesn’t make sense. Bonnie stated that she is concerned with that a Service Manager worked directly with VCI because it could cause the same situation that Jennifer now has (Comments to minutes received from Eschelon 10/27/05) with the rate loaded data. Liz Balvin/Covad stated that the CLECs think that they did the right thing and that Qwest is taking this out of CMP. Loretta Huff/Qwest stated that the data viewed with VCI is data that is available to all and noted that it is PID data and PIDs are outside of CMP. Loretta stated that the response did state that and that the response referred CLECs to their Service Management Team. Loretta stated that this is not at all the same situation as Jennifer’s. Loretta stated that the same process was followed consistently, in the past 22 or so months, on how the escalations were handled and that all CLECs had access to the information via the web whether they joined the escalation or not. Loretta noted that VCIs Service Management Team handled this because they walked thru VCI specific data. Jennifer Arnold/TDS Metrocom stated that she is interested in the information and stated that she does get PID data and that it is raw data. Jennifer stated that they were not included and stated that escalations are usually initiated by Covad or Eschelon. Jennifer stated that if you go back to Bonnie’s point, it is nice that the response is communicated after the fact, but they join the escalation because they want to participate. Liz Balvin/Covad stated that PID data is not real-time and is used as reference. Liz stated that VCI requested the report as a means to drive solutions. Liz stated that the CLECs did not want to be left out of the process and that the joiner’s need to be part of the discussion. Liz stated that maybe the language needs to be added to the CMP document. Bonnie Johnson/Eschelon stated that she is not insinuating that Qwest (Comments to minutes received from Eschelon 10/27/05) may not be following the CMP process, as it is a working process; all just realize that the way that the document was written, it is exclusionary. Bonnie stated that she is feeling like the escalation process is not doing what it should do. Bonnie stated that all participants used to get copied on the response and that now they don’t even get notified that a response has been sent to the originator. Bonnie then stated that VCI asked for other CLECs participation and Qwest was not receptive to that so only VCI was included. Susan Lorence/Qwest stated that the report was a CLEC specific report and that the Service Manager wanted to work with their customer. Susan stated that when an escalation is received, it is reviewed, discussed and then is replied to. Susan stated that similar report data that is currently available is what the Service Management Team went over with their customer, VCI. Liz Balvin/Covad stated that part of the escalation process is that when a response is provided it is a binding response by Qwest and any CLEC could take the response to dispute resolution. Liz stated that all CLECs need to understand the response and that it could be via a phone call, to notify of an ad hoc meeting. Liz stated that language could be drafted. Jill Martain/Qwest stated that Qwest would look at the current language. Bonnie Johnson/Eschelon noted that we had in the past talked about escalations in CMP and now does not. Jennifer Arnold/TDS Metrocom stated that she would be interested in the detail of what other data is available and asked if she should get with her Service Manager. Loretta Huff/Qwest said yes and stated that the Service Managers would bring in the experts to help with the request. Jennifer Arnold/TDS Metrocom asked if the process could just be documented. Loretta Huff/Qwest asked that they please meet with their Service Managers and noted that the Service Managers are aware of what is currently available. Jennifer Arnold/TDS Metrocom stated that all the CLECs are interested in the report and that the request was denied due to no business benefit. Jennifer asked where the CLECs go from there. Bonnie Johnson/Eschelon stated that reducing the error reject rate is important to Qwest too and that (Comments to minutes received from Eschelon 10/27/05) the raw data contains multiple columns that the column title is not always self-explanatory. Bonnie said she has asked her Service Manager what columns mean in the past and it took weeks for Service Managers to get back with the CLECs with the raw data. Bonnie stated that when you want to deal with a real time training situation, the data is 45-75 days old and it is difficult to train with old data. Bonnie noted that PID Data does exist but that it is old data and that the information is needed in a real time basis. Jennifer Arnold/TDS Metrocom stated that she agreed and stated that TDS is willing to try if Qwest can tell TDS where to get the data. Jennifer stated that she would like Qwest to document so she has one place to go. Loretta Huff/Qwest stated that she cannot speak to documenting but asked that she please get with her Service Manager. Loretta noted that the Service Manager’s would not be caught off-guard and that they can speak to the CLECs specific data. Bonnie Johnson/Eschelon stated that the Service Managers would talk to it at a hi-level. Jennifer Arnold/TDS Metrocom said that she needs to know what fields to look at. Amanda Silva/VCI stated that Qwest stated that the data would be on a going forward basis and that was not acceptable to VCI. Amanda stated that Qwest advised that they could not obtain historic data. Liz Balvin/Covad stated that the CLEC would also need to really understand the PID data. Jennifer Arnold/TDS Metrocom asked if there could be another escalation meeting for further discussion. Susan Lorence/Qwest stated that it was not a CMP ad hoc meeting, that it was scheduled by the Service management Team with VCI. Susan stated that from a CMP perspective, there was no meeting scheduled, attended, or awareness of the content of that Service Management meeting. Susan stated that as Loretta has advised, for those CLECs interested in the data, to contact their Service Management Team. Susan then stated that the meeting that was held was not an ad hoc meeting associated to a CR. Jennifer Arnold/TDS Metrocom stated that she would contact her Service Manager; it would just take more time. Loretta Huff/Qwest stated that there are PID results every month. Liz Balvin/Covad stated that if they wanted the data, they would only get data going forward and not historical data. Susan Lorence/Qwest stated that the CR only requested real-time data; it did not request historical data. Liz Balvin/Covad stated that VCI wanted real-time access to the stored data. Loretta Huff/Qwest stated that she still encourages the CLECs to meet with their Service Manager’s and noted that they should not be caught off guard. Loretta said that if they are to have them call the VCI Service Manager or herself. Jill Martain/Qwest stated that Qwest would look at the escalation language and see if can draft some language changes There were no additional questions or comments.


Open Product/Process CR PC063006-1 Detail

 
Title: TAP availability to ETC
CR Number Current Status
Date
Area Impacted Products Impacted

PC063006-1 Completed
9/20/2006
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest will no longer provide telephone assistance plan (TAP) credits to CLECs that have Eligible Telecommunications Carrier (ETC) status in a state within Qwest service territory. As part of this change process, .Qwest will remove existing TAP, both federal and state, credit USOCs. Qwest will provide a list of affected accounts to existing ETCs. For state and federal monthly reimbursements, TAP credits passed through by Qwest will end August 31st. Any LSR received from an ETC with a Due Date of September 1 forward should not include TAP related USOCs. This is to better enable ETCs to request reimbursement for the entire month of September, 2006. Qwest will continue to pass thru these credits to Qwest Resellers that are not ETCs within Qwest service territory.

Expected Deliverables

September 1, 2006


Status History

6/30/06 - CR Submitted

6/30/06 - CR Acknowledged

7/19/06 - Discussed in the July Product/Process CMP Meeting - See Attachment E in the Distribution Package

7/19/06 - Status changed to Presented

7/21/06 - Status changed to Development

7/21/06 - Communictor Issues - PROD.07.21.06.F.04089.Resale_GeneralV64 - Effective Date 9/1/06 - Level 4

8/16/06 - Discussed in the August Product/Process CMP Meeting - See Attachment D in the Distribution Package

9/1/06 - Status changed to CLEC Test

9/20/06 - Discussed in the September Product/Process CMP Meeting - See Attachment D in the Distribution Package

9/20/06 - Status changed to Completed


Project Meetings

9/20/06 September Product/Process CMP Meeting

Mark Coyne-Qwest stated that this request was implemented on 9/1/06 and will be closed.

There was no objection to close this CR.

8/16/06 August Product/Process CMP Meeting

Janean Van Dusen-Qwest stated that the initial notice was sent out on July 21st with an implementation date of September 1st. She also stated that based on Eschelon’s suggestion, we individually notified those CLECs impacted by ETC.

7/19/06 July Product/Process CMP Meeting

Janean Van Dusen-Qwest reviewed this change request. She said that Qwest will no longer provide telephone assistance plan (TAP) Lifeline, Linkup and TLS credits to CLECs that have Eligible Telecommunications Carrier (ETC) status in a state within Qwest service territory. Janean said that as part of this change process, Qwest will remove existing TAP, both federal and state, credit USOCs. She said that Qwest will provide individual notice to the ETCs affected and that TAP credits passed through by Qwest will end August 31st. She stated that any LSR received from an ETC with a Due Date of September 1 forward should not include TAP related USOCs. Janean said that this is to better enable ETCs to request reimbursement for the entire month of September, 2006. She said that Qwest will continue to pass thru these credits to Qwest Resellers that are not ETCs within Qwest service territory.

Janean Van Dusen-Qwest asked if a clarification call was necessary for this CR.

Kim Isaacs-Eschelon asked how the CLEC is designated as an ETC.

Janean Van Dusen-Qwest stated this is done individually within each state. She said that Qwest would like to process this as a level 2 notice with a September 1st effective date.

Kim Isaacs-Eschelon said that VCI Company does TAP and that since they were not on the call she thought that we should issue a level 4 notice.

Mark Coyne-Qwest stated that all CLECs will have the opportunity to comment.

Jan Van Dusen-Qwest stated that those CLECs with TAP will be contacted by their Service Managers.

Kim Isaacs-Eschelon asked what the CMP Document language said about changing levels.

Mark Coyne-Qwest stated that if all parties in this meeting agreed to the level change, that we could move forward.

Susan Lorence-Qwest stated that the language associated with changing levels can be located in Section 5.4.5.1 in the CMP Document. She said that it states: ‘At the Monthly CMP Product/Process Meeting, the parties will discuss whether to treat the Change Request as a Level 4 change. If the parties agree, the Change Request will be reclassified as a Level 0, 1, 2 or 3 change, and the change will follow the process set forth above for Level 0, 1, 2, or 3 changes, as applicable.’

Kim Isaacs-Eschelon asked if anyone objects would the level be changed back to a level 4.

Susan Lorence-Qwest stated said it would not change during the comment cycle.

Kim Isaacs- Eschelon stated that the comment cycle is only one week.

Janean Van Dusen-Qwest stated that we can leave the notice as a level 4 and still implement on 9/1/06.

Kim Isaacs-Eschelon stated that she would feel more comfortable leaving this as a level 4, so impacted CLECs have more time to comment.

Janean Van Dusen-Qwest stated that they can still go to the state for reimbursement but that Qwest will not give it.

Mark Coyne-Qwest stated that the notice would remain a level 4 and the Qwest response will be shortened.

Kim Isaacs-Eschelon said she was fine with the decision.


Open Product/Process CR PC073106-1 Detail

 
Title: New Collocation Power Monitoring Application
CR Number Current Status
Date
Area Impacted Products Impacted

PC073106-1 Completed
10/18/2006
Ordering Collocation
Originator: Mohr, Bob
Originator Company Name: Qwest Corporation
Owner: Mohr, Bob
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Qwest is proposing a standard application form and proposes to use it as the written notification for requesting initial (where required) and/or additional Power Monitoring requests at Collocation sites.

Expected Deliverable:

New Collocation Power Monitoring Application to be used as written notification of power monitoring requests. Desired implementation date October 1, 2006.


Status History

07/31/2006 CR Submitted

07/31/2006 CR Acknowledged

08/16/2006 - Discussed in the Monthly Product Process CMP Meeting

08/21/2006 - PROS.08.21.06.F.04129.DC_Power_New_Application (Level 4)

09/20/2006 - PROS.09.20.06.F.04181.FNL_DC_Power_New_Applicat (Level 4)

09/20/2006 - Discussed in the Monthly Product Process CMP Meeting

10/05/2006 - Status Changed to CLEC Test Due to October 5, 2006 Implementation

10/18/2006 - Discussed in the Monthly Product Process CMP Meeting


Project Meetings

October 18, 2006 Product Process Monthly CMP Meeting Minutes: Susan Lorence-Qwest stated that this request was implemented on October 5th and noted that Qwest was ready to close. Susan asked if there was any objection to closing the CR. There was no objection. This CR is Completed

September 20, 2006 Product Process Monthly CMP Meeting Minutes: Mark Coyne-Qwest stated that this CR was presented in the August CMP Meeting, the Level 4 Notice was sent on August 21st, the Qwest response to comments is due today, and the effective date is October 5th. Mark then noted that this CR moves to Development status. There were no questions or comments.

August 16, 2006 Product Process Monthly CMP Meeting Minutes: Bob Mohr-Qwest presented the CR. Mark Coyne-Qwest asked if there were any questions regarding the Change Request. There were no comments or questions. This CR is in Presented Status.


Open Product/Process CR PC073106-2 Detail

 
Title: Facility Connected (FC) Collocation Application modifications
CR Number Current Status
Date
Area Impacted Products Impacted

PC073106-2 Completed
10/18/2006
Ordering Facility Connected Collocation
Originator: Mohr, Bob
Originator Company Name: Qwest Corporation
Owner: Mohr, Bob
Director:
CR PM: Stecklein, Lynn

Description Of Change

From analysis performed on several trouble tickets involving DS1 Facility Connected Collocation, the team is proposing modifications to the FC Collocation Application to include additional information from the CLEC with regards to the specific characteristics of the entrance cable. These additional details and also requiring a 48 hour call on DS1 FC Collocation should eliminate some of the outages that have been experienced with this Product

Expected Deliverables/Proposed Implementation Date (if applicable):

(Revision 8/18/06 to CR to include additions to APOT form)- Additions to FC Collocation Application and APOT form, PCAT, Tech Pub 77368 and the LSOG. Desired implementation date is October 30, 2006 with the release of the 1st Addendum.


Status History

7/31/06 - CR Submitted

7/31/06 - CR Acknowledged

8/16/06 - Discussed in the August Product/Process CMP Meeting - See Attachment D in the Distribution Package

8/18/06 - Revision to CR to include additions to APOT form

8/21/06 - PROD.08.21.06.F.04069.FC_Collocation - Level 4 - Proposed effective date 10/5/06

8/21/06 - Status changed to Development

9/20/06 - Discussed in the September Product/Process CMP Meeting - See Attachment D in the Distribution Package

9/20/06 - Status changed to CLEC Test

10/18/06 - Status changed to Completed

10/20/06 - Discussed in the October Product/Process CMP Meeting - See Attachment D in the Distribution Package


Project Meetings

10/18/06 Product/Process CMP Meeting

Susan Lorence-Qwest stated that this request was implemented on October 5th and noted that Qwest was ready to close. Susan asked if there was any objection to closing the CR. There was no objection.

This CR is Completed.

9/20/06 Product/Process CMP Meeting

Mark Coyne-Qwest stated that a Level 4 notice was sent on 8/21/06. He stated that the comment cycle has closed and the Qwest response is due today and the effective date is October 5th. Mark then noted that this CR moves to Development.

There were no questions or comments

8/16/06 Product/Process CMP Meeting

Bob Mohr-Qwest said that from analysis performed on several trouble tickets involving DS1 Facility Connected Collocation, the team is proposing modifications to the FC Collocation Application to include additional information from the CLEC with regards to the specific characteristics of the entrance cable. He said that these additional details, and also requiring a 48 hour call on DS1 FC Collocation, should eliminate some of the outages that have been experienced with this Product. Kim Isaacs-Eschelon asked which application or form was being changed. Bob Mohr-Qwest stated that the Collocation Application Form (Facility Connected Collocation – Version 7) is being updated. He said that the fields that have stars have been changed or added. Kim Isaacs-Eschelon asked if the current process was changing. Bob Mohr-Qwest stated that the process itself was not changing. Steph Prull-Eschelon asked what kind of information was discussed on the 48 hour call. Bob Mohr-Qwest said that the purpose of the call was to get additional information and detail. He said that the call was optional before and is now required.


Open Product/Process CR PC080106-1CM Detail

 
Title: IMA XML related updates to the CMP Document and the CMP CR form
CR Number Current Status
Date
Area Impacted Products Impacted

PC080106-1CM Completed
10/18/2006
Originator: Coyne, Mark
Originator Company Name: Qwest Corporation
Owner: Coyne, Mark
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest is proposing changes to the CMP document to remove references to IMA EDI. Qwest is proposing that IMA EDI references be replaced with a more generic term that will work for the period of time when both IMA EDI and IMA XML are available in production. Most EDI references will be replaced with the verbiage "Application-to-Application interface". In some cases, the reference to EDI is simply removed and a general reference to IMA will remain. The CR form has also been updated. The Definition of Terms section of the document has been updated to include a definition for "Application-to-Application interface".

Expected Deliverables/Proposed Implementation Date (if applicable):

Proposed implementation date is October 16, 2006


Status History

8/1/06 - CR Submitted

8/1/06 - CR Acknowledged

8/16/06 - Discussed in the August Product/Process CMP Meeting - See Attachment E in the Distribution Package

8/17/06 - Status changed to Presented

9/12/06 - CMPR.09.12.06.F.04186.CMP_Vote_Required

9/20/06 - Discussed in the September Product/Process CMP Meeting - See Attachment E in the Distribution Package

9/20/06 - Discussed in the October Product/Process CMP Meeting - See Attachment D in the Distribution Package

10/20/06 - Status changed to Completed

10/27/06 - PROS.10.27.06.F.04206.CMPDocChange_XML


Project Meetings

10/18/06 Product/Process CMP Meeting

usan Lorence - Qwest stated that there was a vote conducted in the September CMP Meeting. She said that during that meeting Qwest agreed to take an action item to revise the redline language in Section 8 of the CMP Document to include the definition in the glossary. She said that Verizon Business also asked for further clarification if there are any production issues or problems with IMA 19 that are attributed to an EDI OSS transport type defect. They were concerned that the proposed CMP language change does not necessarily clarify any EDI code type issues that may very well need to be

addressed/resolved from now till it sunsets. Susan stated that Qwest responded to Verizon that any enhancements or new CMP CRs would only be targeted for IMA XML. She said that if there are Event Notifications against IMA EDI 19.0 that require a patch, Qwest will continue to follow the current process. Qwest will continue to support the existing functionality in IMA EDI 19.0 until it sunsets - just as we have in the past with other releases. Susan said that Verizon Business asked if they would continue to receive the Line Loss reporting. Qwest responded that the Line Loss notices will continue to be delivered via the PN transaction in IMA EDI 19.0 - for the duration of the time a CLEC is on that release. She said that once a CLEC migrates to IMA XML, the Line Loss notices will be delivered via the Provider Notification message in XML (20.0 Disclosure - Chapter 23). Susan said that Verizon Business asked if this information would be published anywhere. Susan said that this discussion would be published in these meeting minutes. Sherry Lichtenberg-Verizon Business stated that they had a concern that this would not be published in the CMP Document. Susan Lorence-Qwest found that this information is already documented in Section 8 of the CMP Document. She asked if this language would address the Verizon Business concern. Sherry Lichtenberg-Verizon Business stated that they could live with that. Susan Lorence-Qwest stated that Lynn Stecklein (Qwest) would conduct the vote. Lynn Stecklein-Qwest stated that this CR is proposing changes to the CMP document to remove references to IMA EDI. She said that Qwest is proposing that IMA EDI references be replaced with a more generic term that will work for the period of time when both IMA EDI and IMA XML are available in production. Lynn said that most EDI references will be replaced with the verbiage “Application-to-Application Interface”. Lynn Stecklein-Qwest said that a vote of ‘Yes’ will indicate a preference that references to IMA EDI in the CMP Document be removed and replaced with the more generic term of “Application-to-Application Interface” and a vote of ‘No’ will indicate a preference that references to IMA EDI in the CMP Document will not be replaced with the more generic term of “Application-to-Application Interface”. Lynn Stecklein-Qwest stated that Section 2.1 of the CMP Document states that incorporating a change into the Change Management Process requires unanimous agreement using the voting process. She said that the standard for quorum on this vote is 6 and has been achieved. She said that 4 votes were received via e-mail and all were yes. She asked if everyone who did not vote and would like to do so could cast their vote now. AT&T-Yes Qwest-Yes (vote received via e-mail) Eschelon-Yes (vote received via e-mail) Verizon Business-Yes Covad-Yes (vote received via e-mail) Integra-Yes McLeod USA-Y (vote received via e-mail) TDS-Yes Lynn Stecklein-Qwest reviewed the results of this vote: 8 yes votes and 0 no votes. She said that this request required a unanimous vote and, therefore, would be granted. Susan Lorence-Qwest stated that Qwest would like to issue a Level 1 notice for this update and there were no objections. This CR will be closed.

9/20/06 Product/Process CMP Meeting

Lynn Stecklein-Qwest stated that this CR is proposing changes to the CMP document to remove references to IMA EDI. She said that Qwest is proposing that IMA EDI references be replaced with a more generic term that will work for the period of time when both IMA EDI and IMA XML are available in production. Lynn said that most EDI references will be replaced with the verbiage Application-to-Application Interface.

Lynn Stecklein-Qwest said that a vote of ‘Yes’ will indicate a preference that references to IMA EDI in the CMP Document be removed and replaced with the more generic term of Application-to-Application Interface” and a vote of ‘No’ will indicate a preference that references to IMA EDI in the CMP Document will not be replaced with the more generic term of Application-to-Application Interface.

Lynn Stecklein-Qwest stated that Section 2.1 of the CMP Document states that incorporating a change into the Change Management Process requires unanimous agreement using the voting process. She said that the standard for quorum on this vote is 7 and has been achieved and said that 2 votes were received via e-mail and both were yes. She asked if everyone who did not vote and would like to do so could cast their vote now.

AT&T - Yes (vote received via e-mail) Qwest - Yes (vote received via e-mail) Eschelon - Y Verizon Business - N Covad - Y Integra - Y McLeod USA - Y Sprint - Y Time Warner Telecom - Y

Lynn Stecklein-Qwest reviewed the results of this vote: 8 yes votes and 1 no vote. She said that this request required a unanimous vote and, therefore, would not be granted. She said that Qwest would internally discuss to determine next steps.

Susan Lorence-Qwest asked if Verizon Business could share their reasons for voting no.

Leilani Hines-Verizon Business said that Verizon Business would like to file comments. She said that they agree that the application-to-application language is more appropriate and said that their concern was more of a timing issue. She said that they would like to wait until the retirement of EDI before changing the language.

Mark Coyne-Qwest stated that we were trying to avoid changing the document twice.

Cim Chambers-Qwest stated that IMA XML deploys next month and we wanted to make sure XML is referenced in the CMP Document. She said that we wanted the documents to have more generic language.

Bonnie Johnson-Eschelon stated that she would like to make a recommendation that the CMP Document reference both EDI and XML while there are 2 applications going.

Leilani Hines-Verizon Business asked if this recommendation would meet Qwest’s needs.

Susan Lorence-Qwest stated that we felt that using the application-to-application interface language was broader and covered both EDI and XML and would also prevent problems in the future. She stated that the LSOG and PCAT documents have been updated with the replacement of EDI to XML and will be effective with the release.

Mark Coyne-Qwest asked if Eschelon could share their recommendation again.

Bonnie Johnson-Eschelon stated that MCI voted no. She said that she recommends that the CMP Document reference both EDI and XML until XML is fully implemented and make the change to application-to-application at that time.

Kim Isaacs-Eschelon stated that EDI and XML were included in the definition of terms and asked if that would be sufficient.

Bonnie Johnson-Eschelon asked if the definition was in the CMP documentation.

Leilani Hines-Verizon Business stated that unless you read the definition it’s more confusing.

Bonnie Johnson-Eschelon stated that maybe we could drop a footnote the 1st time you use it and then it’s in 2 separate locations.

Mark Coyne-Qwest stated that we could provide the definition and asked if Verizon Business would be willing to change their vote if this change was made.

Leilani Hines-Verizon Business stated that they would change their vote if the document was made clearer.

Susan Lorence-Qwest stated that we will provide the revised language and conduct the vote in the October Meeting.

Mark Coyne-Qwest said that is how we will proceed.

NOTE: The revised language to the CMP Document is attached to this e-mail for your review. This language will be voted on in the October Product/Process CMP Meeting.

9/27/06 - Comments to minutes from Verizon Business Here is some feedback I have received from our folks with the concern about the language changes in the documentation. Leilani I would agree with the note Qwest is proposing to put in section 8.0 as a conditional alternative. Have them correct the EDI description from Electronic Data “Interface” to Electronic Data Interchange. One clarification we might seek at the CMP meeting – are all in-pipe planned or approved changes requests from now to the retirement of EDI only to be implemented for XML? Thanks! 8/16/06 Product/Process CMP Meeting

Mark Coyne-Qwest said that Qwest is proposing changes to the CMP document to remove references to IMA EDI. Mark stated that Qwest is proposing that IMA EDI references be replaced with a more generic term that will work for the period of time when both IMA EDI and IMA XML are available in production. Mark said that most EDI references will be replaced with the verbiage "Application-to-Application interface". He said that in some cases, the reference to EDI is simply removed and a general reference to IMA will remain. Mark said that the CR form has also been updated. He said that the Definition of Terms section of the document has been updated to include a definition for "Application-to-Application interface". Mark Coyne-Qwest reviewed the redline document that can be found in the August Product/Process CMP Distribution Package in Attachment E. Steph Prull-Eschelon asked what Qwest did on the existing CRs that were labeled with EDI. Lynn Stecklein-Qwest stated that there were 3 CRs labeled with EDI only. She said that the originating CLEC was contacted and all 3 CRs were withdrawn. Mark Coyne-Qwest stated that the vote for this CR will be conducted in the September meeting.


Open Product/Process CR PC101606-1 Detail

 
Title: Grandparent WATS USOCs
CR Number Current Status
Date
Area Impacted Products Impacted

PC101606-1 Completed
12/14/2006
Resale, UNE-P
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Stecklein, Lynn

Description Of Change

USOC USOC USOC USOC

Arizona

OutWard WATS WAX++ WOB++ WO2 WOA++

800 Service 8L9++ 8Q9++ 8J9++

800 ServiceLine WFA++ WFS1X

Ancillary WATS Service NX3 EWW

Colorado

OutWard WATS WAX++ WOB++ WO2 WOA++

800 Service 8L9++ 8Q9++ 8J9++

800 ServiceLine WFA++

Ancillary WATS Service NX3 EWW

Iowa

OutWard WATS WAX++ WOB++ WO2 WOA++

800 Service 8L9++ 8Q9++ 8J9++

Two-Way WATS TWAS+ TWX++ TW4++

800 ServiceLine WFA++

Four Wire Term Arrangement 4WA

South Idaho

800 Service 8L9++ 8Q9++ 8J9++

800 ServiceLine WFA++

Ancillary WATS NX3 EWW

North Idaho

800 Service 8L9++ 8Q9++ 8J9++

800 ServiceLine WFA++ WFS1X

Ancillary WATS NX3 EWW

Minnesota

Full Time

Outward WATS (full time) WF7

800 Service (full time) WAT 8T2 8CZ

Outward WATS (measured time) WAXS++ WOB++WO2++ WOA++

800 Service 8L9S+ 8Q9+ 8J9++

Two-Way WATS TWAS+TWX++TW4++

800 ServiceLine WFA++WFS1X

Four Wire Term Arrangement 4WA

Access Line Extension WKK EWW EWU WDT

Montana

800 Service 8L9++ 8Q9++ 8J9++

800 ServiceLine WFA++

Ancillary WATS NX3 EWW

North Dakota

800 Service 8L9S+ 8Q9++ 8J9++

Two-Way WATS TWAS+ TWX++ TW4++

800 ServiceLine WFA++

Four Wire Term Arrangement 4WA

Nebraska

800 Service 8L9S+ 8Q9++ 8J9++

800 ServiceLine WFA++

Two-Way WATS TWAS+ WX++ TW4++

Four Wire Term Arrangement 4WA

New Mexico

OutWard WATS WAX++ WOB++ WO2 WOA++

800 Service 8L9++ 8Q9++ 8J9++

800 ServiceLine WFA

Ancillary WATS NX3 EWW

Oregon

OutWard WATS (already grandfathered)

800 Service (already grandfathered)

800 ServiceLine WFA++

South Dakota

800 Service 8L9S+ 8Q9++ 8J9++

800 ServiceLine WFA++

Two-Way WATS TWAS+TWX++TW4++

Four Wire Term Arrangement 4WA

Utah

800 Service 8L9++ 8Q9++ 8J9++

800 ServiceLine WFA++

Ancillary WATS NX3 EWW

Washington

OutWard WATS WAX WOB WO2 WOA

800 Service 8L9 8Q9++ 8J9++

800 ServiceLine WFA++

Ancillary WATS WSP

Wyoming

OutWard WATS WAX++ WOB++WO2 WOA++

800 Service 8L9++ 8Q9++ 8J9++

800 ServiceLine WFA++

Ancillary WATS NX3 EWW


Status History

10/16/06 - CR Submitted

10/16/06 - CR Acknowledged

10/20/06 - Discussed in the October Product/Process CMP Meeting - See Attachment D in the Distribution Package

10/18/06 - Status changed to Presented

11/15/06 - Discussed in the November Product/Process CMP Meeting - See Attachment D in the Distribution Package

11/17/06 - Status changed to Development

11/18/06 - Communicator Issued - PROD.11.18.06.F.04336.Grandparent_WATS_USOCs

12/09/06 - Status changed to CLEC Test

12/14/06 - Discussed in the December Product/Process CMP Meeting - See Attachment D in the Distribution Package

12/14/06 - Status changed to Completed


Project Meetings

12/14/06 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this CR became effective last month and that we would like to close it. There was no objection in closing this CR.

11/15/06 Product/Process CMP Meeting

Mark Coyne-Qwest stated that a Level 2 notice will be sent on November 17th and that this CR will move to Development.

(Comments to minutes received from Eschelon - Mark Coyne-Qwest stated that Qwest lowered this to a Level 2 notice and it will be sent on November 17th and that this CR will move to Development.)

10/19/06 Product/Process CMP Meeting

Janean Van Dusen-Qwest stated that this CR was a simple CR to Grandparent WATS USOCs in several states. She said that only 2 USOCs – WFA and 8L9++ have resellers and that all of the other USOCs listed in the CR have no end users. She said that she would like to implement with a level 2 instead of a level 4 notice with a December 9th effective date. Kim Isaacs-Eschelon asked if any of these WATS USOCs were available on QPP. Janean Van Dusen-Qwest said no. Kim Isaacs-Eschelon asked if the grandparented USOCs stay on the account with no new activity. Janean Van Dusen-Qwest said yes. Kim Isaacs-Eschelon asked what the benefit of a level 2 vs. level 4 was. Janean Van Dusen-Qwest stated that there are less notices involved with a level 2. Susan Lorence-Qwest stated that with a level 2 notice that there is a 7 day comment cycle, 7 day Qwest response to CLEC comments if applicable and a final notice if there are CLEC comments. Susan asked if there was any objection to the level 2 notice and there was no dissent.


Open Product/Process CR PC110806-1CM Detail

 
Title: CMP Document Update Provide Meeting minutes associated with Special Ad Hoc meetings in conjunction with Section 5. 062107 UPDATE see Description below.
CR Number Current Status
Date
Area Impacted Products Impacted

PC110806-1CM Completed
7/18/2007
Originator: Coyne, Mark
Originator Company Name: Qwest Corporation
Owner: Coyne, Mark
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest is proposing updates to the CMP document around providing meeting minutes when a call is associated with a special ad hoc meeting held under Section 5 to address a CLEC request to change the disposition level of a noticed change. Qwest proposes the CR to avoid disagreements as to the meaning of the current language in the CMP Document.

062107 UPDATE This CR was referred to the CMP Oversight Committee by both Qwest and Eschelon. Details of the issues, Oversight discussions and final recommendation can be found at URL: http://www.qwest.com/wholesale/cmp/escdisp.html.


Status History

11/8/06 - CR submitted

11/9/06 - CR acknowledged

11/15/06 - Discussed in the November Product/Process CMP Meeting - See Walk On Attachment in the Distribution Package

11/15/06 - Status changed to Presented

12/14/06 - Discussed in the December Product/Process CMP Meeting - See Attachment E in the Distribution Package


Project Meetings

7/18/07 Product/Process CMP Meeting' Mark Coyne-Qwest stated that this CM CR is proposing updates to the CMP Document around providing meeting minutes. The attached redline was developed in conjunction with multiple meetings of the CMP Oversight Committee. Mark said that Lynn Stecklein (Qwest) will conduct the vote. Lynn Stecklein-Qwest stated, as Mark said, this CM CR is proposing updates to the CMP Document around providing meeting minutes. She reviewed what the ‘Yes’ and ‘No’ vote would indicate.

A vote of ‘Yes’ will indicate a preference that updates be made to the CMP Document as identified in the attached document. A vote of ‘No’ will indicate a preference that updates not be made to the CMP Document as identified in the attached document. Lynn said that quorum for this vote to be conducted is 5 and has been achieved. Comcast - Yes Covad - Yes Eschelon - Yes Integra - Yes McLeod-Yes XO Communications - Yes Verizon Business - Yes

Lynn Stecklein-Qwest stated that ‘Yes’ e-mail votes were received from Sprint, Velocity, and Qwest. Lynn Stecklein-Qwest stated that this request was granted with 10 ‘Yes’ votes, 0 ‘No’ votes and 0 Abstain votes. She asked if anyone had any objections to process this request as a level 1 to be effective immediately. There were no objections.

NOTE: This CR was referred to the CMP Oversight Committee by both Qwest and Eschelon. Details of the issues, Oversight discussions and final recommendation can be found at URL: http://www.qwest.com/wholesale/cmp/escdisp.html.

06/20/07 Product/Process CMP Meeting Mark Coyne-Qwest stated that the oversight committee has met several times to discuss special adhoc meeting minutes in conjunction with section 5. Mark said that agreement has been reached on the language and will be discussed in the July CMP Meeting. Mark stated that a vote will be taken and we hope to close at that point.

5/16/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that another Oversight Meeting had been held on May 13th and noted that the meeting minutes for that call would be available on the Oversight location of the web, within 5 days. Mark then stated that Qwest will be re-proposing red-line updates and that the Oversight Committee would then review them in the next few weeks. Mark then stated that once the Oversight Committee approves the language, the red-lined updates would be reviewed by the CLEC Community. Mark stated that we will look for the vote and closure at the June CMP Meeting.

4/18/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this request is being discussed by the Oversight committee. He said that two meetings have already been held and that a 3rd meeting is scheduled for next week. Mark said that the meeting minutes for the April 11th meeting are posted on the Oversight location on the web and noted that the minutes from the April 13th meeting would be posted to that site this Friday for all to look at. The Oversight location is at http://www.qwest.com/wholesale/cmp/escdisp.html.

3/21/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that we are moving this request to the Oversight Committee and that the schedule will go out in the next week or so. There were no questions.

2/21/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that we are currently reviewing on last iteration of the language and will send out for review. He said that we would try and conduct the vote in the March CMP Meeting.

1/17/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this change was presented in November. He said that we went back and forth with different redlines and that we did receive Eschelon’s revised redline. Mark said that we did not have too many concerns with the changes in Section 3.0 except with the removal of ‘Special’ because that is the purpose of this CR. Bonnie Johnson-Eschelon asked if Qwest would be ok with their changes except for the removal of the word ‘Special’. Mark Coyne-Qwest stated that the intent of this CR was to address ‘Special Adhoc Meetings and asked what would having ‘All’ CMP Meetings in the redline buy us. Bonnie Johnson-Eschelon said that there are other CMP Meetings noted in the CMP Document where minutes are addressed. She said that we agree conceptually and know what calls Qwest is trying to cover. Bonnie stated that she wants to come to an agreement and wants to make sure that nothing is left out. She said that things can happen 3 to 4 years later that could be an interpretation factor. (Comment to minutes received from Eschelon 1/26/07 - For example what if Qwest changed the name of a meeting from ad hoc to something else) and that is what they are attempting to avoid. She said that in reviewing the CMP Document she could not get to the core of Qwest’s concerns about informational calls and couldn’t find any language around ‘informal calls’ and that we need to agree conceptually. Mark Coyne-Qwest stated there is language in Section 3.0 associated to informal meetings. Bonnie Johnson-Eschelon stated that they don’t want to exclude meetings described in CMP Document. Mark Coyne-Qwest stated that all meetings in CMP Document are addressed. He said that we are talking about informal conversations and asked what meetings we are not providing minutes for. Bonnie Johnson-Eschelon stated that we need to make sure we are clear so that we don’t end up 3 years from now with an interpretation issue and in the same position that we are in today. She said that Eschelon’s intent is that all meetings described in document need to be covered. Mark Coyne-Qwest said that we will review the redline internally. He said that in Section 3.0, we would like to add the ‘Special Adhoc’ back into the redline and in Section 3.2 leave the language to what we had before. Bonnie Johnson-Eschelon stated that she will review and let us know by Friday. Mark Coyne-Qwest stated that when we received the feedback we will send the redline out for review and vote in February. Lynn Oliver-Covad asked if the CLECs can send in comments to minutes associated with clarification meetings. Mark Coyne-Qwest stated that clarification meeting minutes are not sent out for review but the CLEC can send in their comments and those comments will be added to the CR.

12/14/06 Product/Process CMP Meeting

Mark Coyne-Qwest stated that there have been some changes made by Qwest on the redline document for this request and that we have also received some changes from the CLECs. Mark said that we would not be voting on this CR in this meeting. Mark said that the revised redline document is posted to the Wholesale Calendar entry for today’s meeting. Mark reviewed the revised redline. Section 3.0 - Unless otherwise noted in this CMP, Qwest will record and Unless otherwise noted in this CMP, Qwest will record and distribute meeting minutes for regularly scheduled monthly Change Management Process meetings, additional monthly Change Management Process meetings requested by Qwest or any CLEC under this Section 3.0, and any special ad hoc meeting (e.g. special ad hoc meetings held under Section 5 to address a CLEC request to change the disposition level of a noticed change). Qwest is not required to record and distribute meeting minutes for informal or clarification conversations held with CLECs.

Section 3.2 - Meeting Minutes

Qwest will take minutes under this Section 3.2 for all of the meetings identified in Section 3.0 for which it is required to take minutes. Qwest will summarize discussions in meeting minutes and include any revised documents such as issues, action items and statuses. Minutes will be distributed to meeting participants for comments or revisions no later than five (5) business days by noon (MT) after the meeting. CLEC comments will be provided by noon (MT) two (2) business days after receiving draft minutes to the Qwest CMP Manager, cmpcr@qwest.com. Revised minutes, if CLEC comments are received, will be posted to the CMP Web site within nine (9) business days by noon (MT) after the meeting. Mark Coyne-Qwest stated that we are proposing to follow the same process as today on the Monthly CMP Meeting Minutes. Bonnie Johnson-Eschelon asked if Qwest received their recommendations. Mark Coyne-Qwest stated that we did. Bonnie Johnson-Eschelon stated that they would review the revised redline and provide feedback. NOTE: Please refer to the December 14, 2006 Wholesale Calendar entry for the current proposed redline associated with PC110806-1CM.

11/15/06 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this issue was discussed in the October CMP Meeting and in a subsequent meeting on 11/2/06. He said that Qwest and Eschelon agreed to take a neutral position on providing minutes on a going forward basis. Mark reviewed the proposed changes to the CMP Document in Sections 3.0.

Section 3.0 - ‘Unless otherwise noted in this CMP, Qwest will record and distribute meeting minutes for regularly scheduled monthly Change Management Process meetings, additional monthly Change Management Process meetings requested by Qwest or any CLEC under this Section 3, and any special ad hoc meeting (e.g. special ad hoc meetings held under Section 5 to address a CLEC request to change the disposition level of a noticed change). Qwest is not required to record and distribute meeting minutes for informal or clarification conversations held with CLECs.’

Bonnie Johnson-Eschelon asked what the last sentence in Section 3.0 regarding informal meetings referred to.

(Comments to minutes received from Eschelon - Bonnie Johnson-Eschelon asked for examples of what the last sentence in Section 3.0 regarding informal meetings referred to.)

Susan Lorence-Qwest stated that this sentence was referring to when there is a need for a quick call or need for additional clarification on a notification.

Mark Coyne-Qwest stated that there would be e-mails sent to support any communication on a customer notification.

Susan Lorence-Qwest stated that if additional clarification is requested on a notice the informal process is to send the question to the CMP CR mailbox and Qwest will respond back to the CLEC. She said that if that additional clarification request turns into a formal comment, it will be documented in the formal response to comments.

Bonnie Johnson-Eschelon stated that they use this process regularly and that sometimes these discussions can turn into Ad Hoc Meetings. She asked if these Ad Hoc Meetings would be recorded and distributed.

Susan Lorence-Qwest said that minutes would be provided for these meetings.

Bonnie Johnson-Eschelon asked when the vote for this CR would take place.

Mark Coyne-Qwest stated that the vote would take place in December.

Bonnie Johnson-Eschelon stated that she would like to process the last sentence in Section 3.0 and may make a recommendation. She said that at 1st glance this sentence may cause concern but that they will work it out.

(Comments to minutes received from Eschelon - Bonnie Johnson-Eschelon stated that she would like to process the last sentence in Section 3.0 and may make a recommendation. She said that at 1st glance this sentence may cause concern but said we can work it out.)

(Comments to minutes received from Eschelon - Bonnie Johnson-Eschelon stated that she would like to process the last sentence in Section 3.0 and may make a recommendation. She said that at 1st glance this sentence may cause concern but said we can work it out.)

Susan Lorence-Qwest stated that Qwest provided a list of when meeting minutes are provided and how they are documented. This information is included in the meeting minutes from the call held on 11/2/06 that are posted to the Wholesale Calendar entry.

Bonnie Johnson-Eschelon stated that she would take a look at those minutes and said that we are probably on the same page.

Mark Coyne-Qwest reviewed the proposed changes to Section 3.2:

Section 3.2 - Meeting Minutes for Change Management Process Meetings and Special Ad Hoc Meetings ‘Qwest will take minutes. Qwest will summarize discussions in meeting minutes and include any revised documents such as issues, action items and statuses. Minutes for regularly scheduled monthly Change Management Process meetings and additional monthly Change Management Process meetings requested by Qwest or a CLEC under Section 3 will be distributed to meeting participants for comments or revisions no later than five (5) business days by noon (MT) after the meeting. CLEC comments will be provided by noon (MT) two (2) business days after receiving draft minutes to the Qwest CMP Manager, cmpcr@qwest.com. Revised minutes, if CLEC comments are received, will be posted to the CMP Web site within nine (9) business days by noon (MT) after the meeting.

Minutes for special ad hoc meetings will be posted to the CMP Web site within nine (9) business days by noon (MT) after the meeting. Those minutes will not be distributed to the meeting participants for comments or revisions before they are posted.’

Bonnie Johnson-Eschelon said that knowing that Qwest does not want input on these minutes, would Qwest be willing to distribute them prior to posting.

(Comments to minutes received from Eschelon - Bonnie Johnson-Eschelon said that knowing that Qwest does not want input on these minutes, would Qwest be willing to distribute them to the participants prior to posting.)

Mark Coyne-Qwest asked if they can’t comment, what would be the purpose of providing the minutes prior to posting.

Bonnie Johnson-Eschelon said that this would let the CLECs know that the minutes are posted there and they can be reviewed. Bonnie asked if the minutes would be posted in a word or a PDF document.

Mark Coyne-Qwest said that the minutes would be provided in a PDF document.

Bonnie Johnson-Eschelon asked if Qwest would consider providing the minutes in a word document and asked if Qwest was adamant about not allowing the CLECs to comment on the special Ad Hoc Meeting Minutes.

Mark Coyne-Qwest stated that Qwest would entertain the possibility of providing the minutes in a word document for CLEC review and comments.

Bonnie Johnson-Eschelon said that she would appreciate it if Qwest would consider allowing CLEC comments on minutes. She also said that maybe we could take a look at lengthening the timeframe for posting minutes.

(Comments to minutes received from Eschelon - Bonnie Johnson-Eschelon said that she would appreciate it if Qwest would consider allowing CLEC comments on minutes. She also said that maybe we could take a look at lengthening the timeframe for posting minutes if Qwest needs additional time so CLECs could comment.)

Laurie Fredricksen-Integra stated that she agreed with Eschelon that the CLECs should be allowed to comment on the minutes prior to posting. She said that sometimes there is a difference of interpretation on minutes.

(Comments to minutes received from Eschelon - Laurie Fredricksen-Integra stated that she agreed with Eschelon that the CLECs should be allowed to comment on the minutes prior to posting. She said the minutes could come out and not say what I said, and that could be a problem.)

Mark Coyne-Qwest said that he appreciated everyone’s comments. He said that the vote for this CR would take place in December.


Open Product/Process CR PC110906-1CM Detail

 
Title: CMP Document Update Remove WSD Tier 0 References
CR Number Current Status
Date
Area Impacted Products Impacted

PC110906-1CM Completed
2/21/2007
Originator: Thacker, Michelle
Originator Company Name: Qwest Corporation
Owner: Lorence, Susan
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Qwest is proposing updates to the CMP document to remove Wholesale Service Delivery (WSD) Tier 0 references to synch up with changes implemented via a process change in 2Q06. Changes are also proposed to improve readability of section 12.8. See attached redline for proposed CMP document updates.

Expected Deliverable:

Revised CMP document/ Proposed Implementation date December 2006


Status History

11/09/2006 - CR Received

11/09/2006 - CR Acknowledged

11/15/2006 - Status Changed to Presented

11/15/2006 - Discussed in the November Product/Process CMP Meeting

12/01/2006 - CMPR.12.01.06.F.04379.CMP_VOTE_REQUIRED

12/14/2006 - Discussed in the December Product/Process CMP Meeting

12/21/2006 - CMPR.12.21.06.F.04421.CM_Vote_Disposition


Project Meetings

February 21, 2007 Product Process CMP Meeting: Peggy Esquibel Reed-Qwest stated that this CR, requesting a CMP Document Update to Remove Tier 0 References, was presented in the November CMP Meeting and asked for changes to the CMP Document, to remove Wholesale Service Delivery (WSD) Tier 0 references, to synch-up with changes implemented via a process change early last year. Peggy stated that we also wanted to clarify some language surrounding call center DB tickets. A vote was conducted in December and a no vote was submitted due to concerns regarding proposed language for the call center database tickets. We then revised the language to remove the clarification to the “ticket” references and the revised proposed language is now to only remove Tier 0 from the CMP Document. Peggy asked if there were any questions. None were brought forward. Peggy then stated that the quorum for today’s vote is 5 and noted that that it had been achieved. Peggy then stated that a vote of ‘Yes’ would indicate a preference that updates be made to the CMP Document to remove Wholesale Service Delivery Tier 0 references to synch up with changes implemented via a process change in the 2nd quarter of 2006. A vote of ‘No’ would indicate a preference that updates not be made to the CMP Document to remove WSD Tier 0 references to synch up with changes implemented last year. Peggy then noted that unanimous agreement is required in order for the change to occur. Peggy asked if there were any questions regarding the vote. There were no questions. Peggy then stated that 5 emailed Yes votes had been received from Sprint Nextel, Covad, Qwest Corp., Eschelon, and Verizon Business. Peggy then asked if any other CLEC would like to submit a vote. Integra voted Yes XO voted Yes McLeod voted Yes Peggy Esquibel Reed-Qwest stated that this requested change has been granted by a vote of 8 Yes votes, 0 No votes, and 0 Abstain votes. Peggy then noted that the vote disposition would be sent and thanked the participants for their votes. Peggy Esquibel Reed-Qwest then asked the call participants if there were any objections to this change being implemented with a Level 1 Notice. There were no objections to the Level 1 Notice request.

-- February 15, 2007 Email Received From Eschelon: Hi Peggy, I know I never got back to you and I am so sorry. I wanted to let you know that Eschelon received the request for a vote and we are voting yes! Thanks for making the changes! Bonnie Johnson Director Carrier Relations Eschelon Telecom Inc.

-- February 5, 2007 Email Sent to Eschelon: Good Morning - Thanks for letting me know. Peggy Esquibel-Reed Qwest Wholesale CMP

- February 5, 2007 Email Received from Bonnie Johnson, Eschelon: Hi Peggy! Kim is out this week for a funeral so the three of us will review it early next week and get back to you. Bonnie Johnson Director Carrier Relations Eschelon Telecom Inc.

- February 2, 2007 Email Sent to CLEC Community: Hi All, This email is just a quick follow-up. Hopefully you all have had the opportunity to review the propsed language changes. I just wanted to check and see if anyone has questions or concerns prior to the vote in February regarding the attached red line that was sent to you on January 23rd. If you do have questions or concerns, please send them to me prior to the February CMP Meeting. I appreciate the advanced notice on issues/concerns. Thank you, Peggy Esquibel-Reed Qwest Wholesale CMP

-- January 23, 2007 Email Sent to CLEC Community: Hi All, RE: PC110906-1CM CMP Document Update - Remove WSD Tier 0 References During the January Product Process CMP Meeting Qwest stated that the redline for this effort would be revised and that this effort would only be to remove the Tier 0 references, from the CMP Document. The proposed language was revised and is attached to this email for your review and feedback. The vote for these changes will be conducted during the February 21, 2007 CMP Meeting. Please review the attached document and let me know if there are any questions or concerns in regard to the revisions prior to the February 21st CMP Meeting. Thank you, Peggy Esquibel-Reed Qwest Wholesale CMP

January 17, 2007 Monthly CMP Meeting Discussion: Mark Coyne-Qwest stated that this CR had been presented in November in order to remove Tier 0 from the CMP document and to synch it up with other documentation. Mark stated that there was some unclear language, changes were made to the language, and those changes were presented in December. Qwest then received comments and concerns. Mark stated that Qwest would like to move forward with removing the Call Center Data Base ticket updates out of this effort and leaving the Tier 0 piece. Mark stated that Qwest will be making those changes to the language and then could have the vote in February. Mark then noted that an ad hoc call could be scheduled if it was needed. Mark said that Qwest would take a look at breaking this out. Bonnie Johnson-Eschelon stated that if Qwest wanted to discuss with her or wanted to send the revised changes to her, to let her know. Mark Coyne-Qwest stated that an ad hoc meeting could be scheduled in a few weeks, if one is needed. Bonnie Johnson-Eschelon said okay.

- December 14, 2006 Product Process CMP Meeting: Mark Coyne-Qwest stated that there will be a vote conducted today for this CR. Peggy Esquibel Reed-Qwest stated that the CR was presented in the November CMP Meeting and stated that this CR is asking for changes to the CMP Document, to remove Wholesale Service Delivery (WSD) Tier 0 references, to synch-up with changes implemented via a process change earlier this year. Proposed changes are for Sections 12.8, 12.8.1, 12.8.2, 12.8.3, 12.8.4, and 12.9. Peggy noted that the Quorum is 6 and noted that it was achieved. Peggy then stated that A vote of ‘Yes’ will indicate a preference that updates be made to the CMP Document to remove Wholesale Service Delivery Tier 0 references to synch up with changes implemented via a process change in the 2nd quarter of 2006. A vote of ‘No’ will indicate a preference that updates not be made to the CMP Document to remove Wholesale Service Delivery Tier 0 references to synch up with changes implemented via a process change in the 2nd quarter of 2006. Peggy noted that the vote requires unanimous agreement in order for the change to occur. Peggy then asked if there were any questions regarding the vote. There were none. The vote was then conducted: Sprint Nextel voted Yes (via email) AT&T voted Yes (via email) Covad voted Yes (via email) Qwest Corp. voted Yes (via email) McLeod voted Yes (via email) Eschelon voted No. Bonnie Johnson stated that at a high level, her concern is in reference to the call center database ticket language change. She is concerned because that group also opens repair tickets. Bonnie stated that the language is limiting to a call center database ticket. Bonnie stated that we can have further discussion in an ad hoc call. Bonnie also stated that there has been a lot of testimony on this issue. [Comment from Eschelon: Bonnie also stated that there has been a lot of Qwest testimony on this issue that is in conflict with the change.] Bonnie stated that she cannot agree to the language change with that limitation. Bonnie then stated that if that were removed, she would agree to the rest of the changes. Susan Lorence-Qwest then reviewed the language changes that were made, as a result of the last discussion, and noted that changes were made as agreed to. Susan stated that the language was changed to call center database ticket for consistency, due to confusion. Susan then suggested an ad hoc meeting in order to discuss the changes so all are clear. Mark Coyne-Qwest stated that a call would be scheduled. Mark noted that the SMEs are not on this CMP call in order to address it now. Bonnie Johnson-Eschelon stated that even if working with repair, if this is limiting to call center database tickets, there will be exclusions. Mark Coyne-Qwest stated that we would get with the SMEs and may respond via email or will have an ad hoc call. [Comment from Eschelon: He said he was aware that the CSIE would work with repair but not open tickets.] Bonnie Johnson-Eschelon stated that she had no other concerns on the verbiage changes. Bonnie stated that she could vote yes now if the concerning language is removed, or however Qwest wants to handle this. Mark Coyne-Qwest stated that we would take the feedback and determine what the best approach is. Peggy Esquibel Reed-Qwest asked if any other call participants would like to submit a vote at this time. Verizon Business voted Yes. Peggy Esquibel Reed-Qwest stated that the result of the vote is that the requested change was not granted at this time by a vote of 6 Yes votes, 0 Abstain, and 1 vote of No. Peggy then thanked the call participants and the vote was concluded.

-- 11/15/06 November Product Process CMP meeting Susan Lorence-Qwest stated that Eschelon identified that there was a need for a change to the CMP Document and noted that Qwest appreciated that. Susan stated that PCAT and CMP documentation needed to be synched up and that the process change was actually implemented via a Level 3 Notice which was sent on March 27, 2006 and was effective on May 1, 2006. Susan stated that the change was that calls previously made to the Interconnection Service Center (ISC) were changed to go to the Customer Service Inquiry and Education (CSIE). Tier 0 was also removed in that process. Susan then reviewed the red-lined changes included in the distribution package. Susan then noted that changes were also made to improve the readability. Susan said that the changes were pretty straight forward. Bonnie Johnson-Eschelon questioned the change, in Section 12.8.2, of the internal trouble ticket to the primary call center data base ticket. Susan Lorence-Qwest stated that that was how it was referenced in the prior section of the CMP document and Qwest wanted to be clearer and more consistent. Susan stated that it is the same ticket and wanted to call it by the same name. Susan noted that as the red-line changes are reviewed, it would become clearer, it is just a clarification. Susan then continued to review the proposed changes and stated that if there are still questions regarding Qwest’s intent, that a call could be scheduled for a detailed review. Bonnie Johnson-Eschelon stated that she would review them in detail and if she had questions she would bring them forward. Bonnie then asked if the vote would be conducted in December. Susan Lorence-Qwest said yes and stated that if more discussion needed to take place, to let Qwest know via an email to the CMP CR mailbox and Qwest would schedule a call. Kim Isaacs-Eschelon stated that the Call Center Data Base Ticket was capitalized and that there was no definition of that. Kim wondered about the capitalization. Susan Lorence-Qwest stated that she had copied and pasted from Section 12.8.1 and noted that it was capitalized in that section. Susan stated that the capitalization could be removed with this change, if that is appropriate. Susan stated that it would be changed to lower case as it does not need to be called out. Mark Coyne-Qwest asked if in Section 12.8.3, if the call center data base ticket and center data base ticket should also have ‘call’ in front of it. Susan Lorence-Qwest stated that the team had looked at that change but felt it was too cumbersome to repeat. Susan stated that if all would be happier to spell it out, we can. Bonnie Johnson-Eschelon stated that all participants on this call would understand that but for others in a few years, that may not be clear. Bonnie suggested that the first time it is used it could be parenthesized and (AKA) could be used just to make it clearer. Susan Lorence-Qwest stated that she could do that and noted that the changes to the red-line would be made and posted with the meeting minutes. Bonnie Johnson-Eschelon stated that would be fine.


Open Product/Process CR PC113006-1CM Detail

 
Title: CMP Document Update Change to CR form to remove HEET and RPD
CR Number Current Status
Date
Area Impacted Products Impacted

PC113006-1CM Completed
1/17/2007
Originator: Lorence, Susan
Originator Company Name: Qwest Corporation
Owner: Lorence, Susan
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest is proposing updates to this Change Request (CR) form included in the CMP document associated with the HEET retirement. Under OSS Interfaces Impacted, the HEET box will be removed associated with SCR 102406-01 - HEET Retirement. In addition, the Product Database box will be removed as this interface was retired effective 4-29-06 via SCR062105-01.

Expected Deliverables/Proposed Implementation Date (if applicable):

Revised CMP document/ Proposed Implementation date January 2007


Status History

11/30/06 - CR Submitted

12/01/06 - CR Acknowledged

12/14/06 - Discussed in the December Product/Process CMP Meeting - See Attachment F in the Distribution Package

12/14/06 - Status changed to Presented


Project Meetings

1/17/07 Product/Process CMP Meeting

Lynn Stecklein-Qwest stated that this CR was presented in the December CMP Meeting and is proposing updates to the Change Request (CR) Form CMP Document associated with the HEET retirement. She said that under OSS Interfaces Impacted, the HEET box will be removed associated with SCR102406-01 – HEET Retirement effective 1-15-07. Lynn said that in addition, the Product Database box will be removed as this interface was retired effective 4-29-06 via SCR062105-01. (See attached Redlined Document) Lynn stated that Quorum for this vote is 6 and has been achieved and reviewed the yes and no votes:

A vote of ‘Yes’ will indicate a preference that updates be made to the Change Request form to remove the HEET and Product Database boxes. A vote of ‘No’ will indicate a preference that updates not be made to Change Request form to remove the HEET and Product Database boxes.

Lynn stated that this vote requires unanimous agreement in order for the change to occur and asked if there were any questions. She said that there were 2 e-mail yes votes received and conducted the vote.

Sprint voted Yes (e-mail)

Mcleod voted Yes (e-mail)

Eschelon voted yes

Integra voted yes

Verizon Business voted yes

Covad voted yes

Qwest voted yes

The results of this vote: 7 yes votes and 0 no votes. She said that this request required a unanimous vote and would be granted. She said that Qwest will issue a Level 1 notice for this update and this CR will be closed.

12/14/06 Product/Process CMP Meeting

Susan Lorence-Qwest stated that in looking at the CMP Document, we found that HEET and RPD need to be removed from the CR form and asked if there were any questions. Bonnie Johnson-Eschelon asked when HEET was retiring. Susan Lorence-Qwest stated that HEET was retiring January 15, 2007. Bonnie Johnson-Eschelon stated that this change would not be appropriate until HEET is retired and asked if there would be a vote conducted on this CR in the January CMP Meeting. Susan Lorence-Qwest stated that we would vote on this request to remove HEET and RPD from the CMP Form. Mark Coyne-Qwest stated that the January CMP Meeting is scheduled on January 17th. Bonnie Johnson-Eschelon asked if a redline for this change would be sent for their review. Lynn Stecklein-Qwest stated that the redline document would be sent with the ‘Vote Required Notice’. Bonnie Johnson-Eschelon stated that they would review the document and provide feedback.


Open Product/Process CR PC121106-1 Detail

 
Title: Grandfathering ADSL Compatible UBL
CR Number Current Status
Date
Area Impacted Products Impacted

PC121106-1 Completed
3/21/2007
Ordering Unbundled Loop
Originator: Buckmaster, Cindy
Originator Company Name: Qwest Corporation
Owner: Buckmaster, Cindy
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

REVISED 1/17/2007:

Removing ADSL Compatible UBL from the Negotiations Template for future contract negotiations. See attached minutes from previous CR (PC102704-1ES). The NC/NCI Combinations to be grandfathered include: 02QB9.00A/02DU9.00A, 02QB9.01A/02DU9.01A, 02QB9.00C/02DU9.00C, 02QB9.01C/02DU9.01C.

This change is being made consistent with Qwest’s implementation of FCC Report and Order and NPPR, FCC 05-150 Adopted: 8/5/05 Released: 9/23/05

105. In so concluding, we reject arguments that companies using their own facilities to provide wireline broadband Internet access service simultaneously provide a telecommunications service to their end user wireline broadband Internet access customers.326 The record demonstrates that end users of wireline broadband Internet access service receive and pay for a single, functionally integrated service, not two distinct services.327 This conclusion also is consistent with certain past Commission pronouncements that the categories of 'information service' and 'telecommunications service' are mutually exclusive.328 Moreover, the fact that the Commission has, up to now, required facilities-based providers of wireline broadband Internet access service to separate out a telecommunications transmission service and make that service available to competitors on a common carrier basis under the Computer Inquiry regime has no bearing on the nature of the service wireline broadband Internet access service providers offer their end user customers.329 We conclude now, based on the record before us, that wireline broadband Internet access service is, as discussed above, a functionally integrated, finished product, rather than both an information service and a telecommunications service.

106. Finally, some parties argue (without clearly distinguishing between the transmission component as a wholesale input and transmission used to provide the information service to the end user) that Commission precedent mandates that we classify the transmission underlying wireline broadband Internet access as a telecommunications service.330 We disagree. As an initial matter, as the Supreme Court held in relation to the transmission underlying cable modem service, 'the Commission is free within the limits of reasoned interpretation to change course if it adequately justifies the change.'331 The Court acknowledged the Commission’s ability to respond to changed circumstances and market conditions, factors which serve as the basis for the actions we take in this Order.332 The previous orders upon which commenters rely assumed, correctly in each instance, that the offering of DSL transmission on a common carrier basis was a telecommunications service.333 These decisions, however, did not address the important threshold public interest issue we address in this Order - whether this broadband transmission component must continue to be offered to competing providers of facilities-based wireline broadband Internet access service on a common carrier basis. And as we explain above, the current record does not support a finding or compulsion that the transmission component of wireline broadband Internet access service is a telecommunications service as to the end user.334

Qwest alternatively offers the 2-wire non-loaded Unbundled Loop already available in Qwest’s Wholesale Product family.

-------------------------------------------------

ORIGINAL 12/11/2006:

Limiting the Availability and Applicability or functionality of an existing product or existing feature.


Status History

12/11/2006 - CR Submitted

12/11/2006 - CR Acknowledged

12/14/2006 - Discussed in the December Monthly Product Process CMP Meeting.

12/19/2006 - PROD.12.19.06.F.04410.Grandparent_ADSL (Level 4)


Project Meetings

March 21, 2007 Product Process CMP Meeting: Peggy Esquibel Reed-Qwest stated that a Level 4 had gone out on December 19, 2006, the delayed response notice on January 18, 2007, the Level 4 re-notice on February 5th, and the Final Notice with the Qwest response to comments on March 2nd. Peggy then noted that this change was effective on March 19, 2007 and stated that Qwest would like to close the CR. There was no objection to the closure request.

- February 21, 2007 Product Process CMP Meeting: Peggy Esquibel Reed-Qwest stated that the Level 4 re-notice had been sent on February 5th and that 2 comments had been received. Peggy noted that the Qwest Response to Comments would be available on March 2nd and that the proposed effective date is March 19th. There were no questions or comments brought forward. This CR is in Development Status.

- January 17, 2007 Monthly CMP Meeting Discussion: Mark Coyne-Qwest stated that this CR was discussed in December. Cindy Buckmaster-Qwest stated that Qwest received a number of comments and wants to address them. Cindy stated that she thought that everyone understood this effort and then received the comments. Cindy stated that it appears to still be unclear and apologized. Cindy asked if there were any questions before she starts going over the comments. There were no questions brought forward. Cindy stated that there are 2 pieces – she offered to start with general comments then specifically address CLEC respondents. General Comments: Qwest currently offers Unbundled Loop products and the ADSL Compatible UBL product cited in this CR is a type of Unbundled Loop. Cindy stated that there is a similar product, 2-wire non-loaded Unbundled Loop. On the ADSL Compatible UBL, Cindy stated that Qwest ran the loop request through an algorithm and it was limiting to locations where Qwest provisioned DSL. In contrast, 2-wire non-loaded loops will allow DSL nearly anywhere you want. The ADSL Compatible UBL was originally created in order for CLECs to use the same stringent algorithm that Qwest uses. That algorithm limits availability of DSL to customers that are within certain distances from the Central Office, don’t have facilities with certain equipment on them, and don’t have significant other influences on the line. On the other hand, the 2-Wire Non-Loaded UBL was originally created in order for CLECs to avoid the stringent algorithm that Qwest uses. This less stringent process allows availability of DSL capability to CLECs all the way up to the ANSI standard limitations without additional limiters. This product provides more flexibility for the capability of more current or stronger CLEC equipment capability. Per the Broadband Order, Broadband was moved from a Title 1 product to a Title 2 product. DSL is no longer a telecom product. It is a data product which is outside the telecom scope. It is up to the provider to decide whether or not it wants to be in the DSL market. This is applicable only to Qwest DSL and Qwest decided to provide it under a separate agreement for both Retail and Wholesale including the Commercial agreement available for UNE-P/QPP/QLSP, there is no impact to 2-wire non-loaded. DSL is no longer under the Tariff and Commercial Agreements will be needed. Qwest will no longer provide its DSL service via the Tariff and will remove the capabilities for the more stringent algorithm from its systems. Therefore, it is proposing that CLECs, who have more current DSL equipment, would still have the same (even better) capability to get qualification for DSL via the 2-Wire Non-Loaded UBL. Qwest will not make any changes to CLECs who currently have a contract that includes provisions for the ADSL Compatible UBL. Qwest will not make any changes to contracts that are currently in negotiations in which this item is already available. Qwest will only remove the ADSL Compatible UBL from its family of UBL products that will be available at the expiration of your current contract. Qwest will not require you to disconnect any ADSL Compatible UBLs already in effect and will maintain those circuits until you disconnect or convert those services to a different product. Review of CLEC Respondents: Cindy then began the review of the submitted comments and noted that Cbeyond and ComspanUSA had submitted comments and are not in attendance. Cindy then stated that the Covad and Eschelon comments were pretty much the same. Comment submitted by Covad: Covad objects to this change request at this time. Qwest has not identified the specific circuit types affected and has not provided sufficient information from which those circuit types could be identified. Moreover, Qwest has not identified a sufficient legal or other basis to support the change request. Qwest is required to provide ADSL compatible loops to Covad pursuant to its effective interconnection agreements and other effective agreements as well pursuant to applicable law. Accordingly, Covad requests the following information from Qwest: 1. Identify the circuit type(s) affected by or identified in the change request (“Affected Circuits”) including, without limitation, the NC/NCI codes, and all other circuit identification Qwest maintains in its records for the Affected Circuits. RESPONSE: The NC/NCI Combinations include: 02QB9.00A/02DU9.00A, 02QB9.01A/02DU9.01A, 02QB9.00C/02DU9.00C, 02QB9.01C/02DU9.01C. Covad comment continued: 2. State whether Qwest will accept orders for the Affected Circuits under the current and effective interconnection agreements, commercial line sharing agreement or any other applicable agreements between Qwest and Covad, notwithstanding the proposed grandfathering identified in the change request. RESPONSE: Yes, if your contract is still in effect. When the contract expires, we will renegotiate for 2-wire non-loaded UBL and it will be the same facility. There is no impact to what we are doing today. Bonnie Johnson-Eschelon stated that on a previous call it was said that if an ICA was currently being renegotiated, this would be included. Bonnie asked for confirmation. Cindy Buckmaster-Qwest said yes. Covad comment continued: 3.Identify the date after which Qwest will no longer accept orders for the Affected Circuits. RESPONSE: After the effective date of the new contract. Covad comment continued: 4. If the answer to any part of question 2 is no then, (a) identify all agreement(s) between Covad and Qwest under which Qwest will not provision the Affected Circuits after a date certain if the change request becomes effective;and (b) identify all terms and conditions of those agreements, if any, under which Qwest claims it has a right to refuse to accept orders for the Affected Circuits after a date certain if the change request becomes effective. RESPONSE: After the effective date of the new contract, and will renegotiate for 2/4-wire non-loaded UBL. There is no impact to what is currently occurring. Greg Diamond-Covad asked in regard to the template language, if Qwest would make available on an ICA amendment to implement. Cindy Buckmaster-Qwest stated that the templates are available on www.qwest.com and noted that the negotiations templates are constantly going through changes. Greg Diamond-Covad asked if the posted template is the up-to-date template for up-to-date agreements. Cindy Buckmaster-Qwest said yes. Greg Diamond-Covad asked to confirm that for the identification of the circuit types, Covad looked and asked if the circuit types were those in Tech. Pub. 77384, page 321, table 3-14, and at the bottom. Posted there are four circuit types under ADSL compatible loops and asked if those were the effected circuits and asked if there were any others. Cindy Buckmaster-Qwest stated that was the exact spot (in Tech. Pub. 77384) and stated that there were no others. Greg Diamond-Covad asked for the difference between ADSL compatible UNE-L and 2/4 wire UNE-L and asked if they were substantially different. Cindy Buckmaster-Qwest stated that they were physically identical. Greg Diamond-Covad asked to confirm that the only thing that Qwest is doing is no longer making available the algorithm that tests circuits, to Qwest’s standards. Cindy Buckmaster-Qwest said yes. Greg Diamond-Covad the asked for the technical reason. Cindy Buckmaster-Qwest stated that the reasons are that Qwest moved the product off the platform, moved it to a new platform, the broadband order, and due to new technology. Greg Diamond-Covad asked if Qwest’s standard is more stringent then that of a 2/4 wire non-loaded loop. Cindy Buckmaster-Qwest said yes. Greg Diamond-Covad asked to confirm that Qwest is not delisting a UNE-L; Qwest is simply saying that Qwest will not test certain types under the more stringent algorithm. Cindy Buckmaster-Qwest stated that the NC-NCI codes drive it to the algorithm. Qwest IS delisting that set of NC/NCI codes that point to the old algorithm. Greg Diamond-Covad asked why and asked if it is historical that NC-NCI’s that are assigned drive it to the algorithm. Cindy Buckmaster-Qwest stated yes and noted that it is due to parity. Greg Diamond-Covad asked if the circuit was more then 13,000 feet, it does not mean that Covad couldn’t provide DSL. Cindy Buckmaster-Qwest confirmed that it does not mean that Covad couldn’t. Covad comment continued: 5.Identify with specificity all laws, rules, regulations, commission decisions, regulatory agency decisions, court decisions or the decisions of any other tribunal or authority upon which Qwest relies upon to support the change request including, without limitation, full citations to the specific sections, paragraphs, subsections,subparagraphs, footnotes, notes, comments, remarks, recitations, page numbers or other writings in such laws, rules, regulations and decisions that Qwest relies upon to support the change request. RESPONSE: FCC Report and Order and NPPR, FCC 05-150. Adopted 8/5/05 and Released 9/23/05. The following paragraphs: (Comments to minutes received from Eschelon 1/26/07) – The following paragraphs are provided in response to the comments, however, were not discussed on the call. 105. In so concluding, we reject arguments that companies using their own facilities to provide wireline broadband Internet access service simultaneously provide a telecommunications service to their end user wireline broadband Internet access customers. 326 The record demonstrates that end users of wireline broadband Internet access service receive and pay for a single, functionally integrated service, not two distinct services. 327 This conclusion also is consistent with certain past Commission pronouncements that the categories of “information service” and “telecommunications service” are mutually exclusive. 328 Moreover, the fact that the Commission has, up to now, required facilities-based providers of wireline broadband Internet access service to separate out a telecommunications transmission service and make that service available to competitors on a common carrier basis under the Computer Inquiry regime has no bearing on the nature of the service wireline broadband Internet access service providers offer their end user customers. 329 We conclude now, based on the record before us, that wireline broadband Internet access service is, as discussed above, a functionally integrated, finished product, rather than both an information service and a telecommunications service. Paragraph 106: Finally, some parties argue (without clearly distinguishing between the transmission component as a wholesale input and transmission used to provide the information service to the end user) that Commission precedent mandates that we classify the transmission underlying wireline broadband Internet access as a telecommunications service. 330 We disagree. As an initial matter, as the Supreme Court held in relation to the transmission underlying cable modem service, “the Commission is free within the limits of reasoned interpretation to change course if it adequately justifies the change.” 331 The Court acknowledged the Commission’s ability to respond to changed circumstances and market conditions, factors which serve as the basis for the actions we take in this Order. 332 The previous orders upon which commenters rely assumed, correctly in each instance, that the offering of DSL transmission on a common carrier basis was a telecommunications service. 333 These decisions, however, did not address the important threshold public interest issue we address in this Order – whether this broadband transmission component must continue to be offered to competing providers of facilities-based wireline broadband Internet access service on a common carrier basis. And as we explain above, the current record does not support a finding or compulsion that the transmission component of wireline broadband Internet access service is a telecommunications service as to the end user. 334. Covad comment continued: 6.Produce copies of any and all documents in Qwest’s possession or control not otherwise publically available on www.qwest.com relating to the change request and/or the subject matter of the change request. RESPONSE: Can attach to the meeting minutes or point to the website. Lynn Oliver-Covad stated that she would let Qwest know if it is still requested. Covad comment continued: 7. Identify the name(s) of all agents, contractors, representatives or employees of Qwest that have had or currently have any direct or indirect involvement with the change request and/or the subject matter of the change request. Lynn Oliver-Covad stated that Covad would get back to Qwest on this one as well. END COVAD COMMENTS. Comment Received from Eschelon: Eschelon objects to Qwest's change request. Qwest needs to provide ADSL compatible loops under the Commission's and FCC's rulings as well as the ICA. RESPONSE: Cindy Buckmaster-Qwest stated that Qwest is continueing to provide under an ICA and stated that she could not find where ADSL Compatible Loop is required. Cindy then asked if Eschelon could point her to where that requirement is. Bonnie Johnson-Eschelon stated that she would check into and get back with Qwest. Eschelon comment continued: If CLEC orders a clean copper pair, Qwest needs to deliver a clean copper pair. RESPONSE: Qwest provides and is aavailable via a 2/4-wire non-loaded loop and is physically the same, it is just not run through the algorithm. Greg Diamond-Covad asked if Qwest would run the algorithm if a CLEC requested Qwest to do so. Cindy Buckmaster-Qwest stated that she believed not, because of the old platform and would have to look at how that would work and how much the funding would be. Cindy stated that it would likely be out of the scope of this CR. Greg Diamond-Covad noted that in the Tech. Pub. For ADSL Compatible Loop, it states that the circuit would be run through an algorithm but that it was not a separate circuit at all. Cindy Buckmaster-Qwest said that was absolutely correct. Cindy then stated that it is compatible but that it is based on the equipment that the customer is using and that Qwest had no control over the customer’s equipment. Cindy stated that it runs the same and that the CLEC would control how it works based on their equipment. Eschelon comment continued: Qwest cited no authority saying it need not do so (and it provided insufficient information to know how this would be affected). Qwest is still providing a line to its own customers, just as it needs to provide a loop to us. If Qwest choosesnot to place DSL over that pipe for its own customers, that does not prevent CLECs from choosing to do so for their own on-net customers. RESPONSE: Correct. Qwest is still providing via 2/4 wire non-loaded loop. Bonnie Johnson-Eschelon asked if all of this information would be in the meeting minutes. Cindy Buckmaster-Qwest said yes. Eschelon comment continued: One of the purposes of the Act was to allow choices and diversity. Qwest needs to continue to provide that ADSL compatible loop to CLECs. RESPONSE: Cindy Buckmaster-Qwest asked Eschelon to point her to where this requirement is stated. Greg Diamond-Covad asked that if Covad were to order Qwest Resale DSL, under the Commercial High Speed Internet, if the circuits would get run through the algorithm. Cindy Buckmaster-Qwest stated that they would be run under some algorithm as Qwest HSI. Greg Diamond-Covad asked if it would be as stringent as the current algorithm. Cindy Buckmaster-Qwest stated that she would need to refer that question to the Retail arm. Greg Diamond-Covad stated that he would also ask Cliff Dinwiddie (Qwest). Eschelon comment continued: If Qwest is claiming that there is a change of law, then Qwest needs to use the change of law provisions of the ICAs and, for new ICAs, provide the basis for its position in negotiations. The notice contains very little informatio!n, and Qwest was unable to provide additional detail at the recent CMP meeting. Qwest said at the meeting that this change will not affected ICAs in arbitration and Qwest will not re-open closed language (so ADSL will be available under those negotiated/arbitrated ICAs), but Qwest's notice and proposed PCAT change do not include this statement. RESPONSE: Cindy Buckmaster-Qwest stated that she has been the only person speaking to this and that she thought that everyone had an understanding of this effort. Cindy asked if there were additional questions, to please bring them forward and ask them now. Cindy then stated that the intent is that the contracts under renegotiations are not subject to this change (Comments to minutes from Eschelon 1/26/07 - if the language is closed.) Bonnie Johnson-Eschelon said thank you. Cindy Buckmaster-Qwest stated that there is a footnote in the new template that says that the existing Resale Qwest DSL service was grandfathered effective January 28, 2006 and will not be available as a new service. Likewise, ADSL compatible UBL is not available in new contracts executed on the Negotiations Template after xx/xx/xx. CLECs who sign the new contract will be able to maintain their existing ADSL Compatible UBLs until they are disconnected. No new ADSL Compatible UBLs can be ordered under this new contract. For information on alternative UNE products, contact your Qwest Sales Executive. Cindy noted that the x’s for the dates are because the date is depends on when a CLEC signs the contract and that the date will be different for all. Cindy said that Qwest made available as 2-wire non-loaded loop and then stated that she was open to modifying the CR. Kim Isaacs-Eschelon asked if Cindy was referring to the template that is posted on the Qwest web site. Cindy Buckmaster-Qwest stated that the template currently has ADSL Compatible loops in it and will be updated at the next posting. Cindy isn’t personally responsible for posting so is unaware of when that will take place. None-the-less, until the new template posts, CLECs who have a need to negotiate from the current template will be allowed to continue to offer ADSL Compatible UBLs. Bonnie Johnson-Eschelon asked that if they use the template or not, when they started negotiations, if it was available, if it would stay. Cindy Buckmaster-Qwest said Negotiations generally begin with the template. If the product is in that template - yes. Greg Diamond-Covad asked if Qwest could document the clarity of what is happening, needs some record with clarity of what is happening today, with detail of the 4 NC-NCI codes. Cindy Buckmaster-Qwest stated that the information would be published within the meeting minutes. Greg Diamond stated that the meeting minutes would be a good place to do that. Bonnie Johnson-Eschelon noted (Comments to minutes received from Eschelon 1/26/07 in response to Cindy Buckmaster’s comment above to ask question today) that this is a forum for questions but this is dealing with issues that are more technically complex; legal and negotiations. Bonnie stated that all took the information back and that is what prompted these questions. Bonnie stated that she may have more questions after today. Cindy Buckmaster-Qwest said okay. Eschelon comment continued: When Integra requested additional information at the CMP meeting, Qwest said it would provide more information, but did not commit to doing so before or even within the comment period. Eschelon has also, since then, requested additional information, including the NC/NCI codes that would be affected. Qwest has provided insufficient information for full comment. RESPONSE: Cindy Buckmaster-Qwest stated that she was not aware of what Integra requested that was not provided and noted that the NC-NCI codes have been discussed. Cindy asked Eschelon to provide specific information as to what was not provided. Kim Isaacs-Eschelon stated that it would have been to get the NC-NCI codes in the CR, which is what Sheila Harris (Integra) asked for in last months meeting. Cindy Buckmaster-Qwest stated that she was not aware of the request and stated that she would modify the CR to include the NC-NCI codes. Sheila Harris-Integra stated that she would appreciate that. Kim Isaacs-Eschelon asked if it was possiblt to re-notice so they could submit comments. Cindy Buckmaster-Qwest stated that we could discuss that at the end of this discussion. Eschelon comment continued: In addition, Qwest has chosen to distribute this notice over the holidays, when it is known that many individuals, including many at Qwest, are unavailable. This creates the appearance that Qwest is attempting to avoid a full and fair comment opportunity. To the extent t!hat Qwest continues to pursue this through CMP, Qwest should w!ithdraw this notice and renotice this CR in the new year with more detailed information, including a statement about negotiated/arbitrated ICAs including ADSL compatible loops and providing the affected NC/NCI codes, and allow a comment period after that new notice,so CLECs have information upon which to provide informed comment. RESPONSE: Cindy Buckmaster-Qwest stated that there was no malicious intent to cram the timeframe. END ESCHELON’S COMMENTS. Recived Comment from Integra: Integra Telecom supports the comments filed earlier today by Eschelon and Cbeyond and therefore strongly objects to the proposed change. RESPONSE: Cindy Buckmaster-Qwest asked if Sheila Harris (Integra) got answers to her concerns. Sheila Harris-Integra said yes, with the NC-NCI codes. END INTEGRA COMMENT. Cindy Buckmaster-Qwest stated that a comment was submitted by McLeod and noted that they were not in attendance in this meeting. Sheila Harris-Integra stated that McLeod is the third company that is not on this call and asked if Cindy could still share the information with the todays call participants. Received Comment from McLeod: McLeodUSA objects to this change request. Qwest has not provided any justification for their removal of this unbundled loop as a service offering. Providing XDSL loops is required per the TRRO. RESPONSE: Cindy Buckmaster-Qwest stated that this is just another DSL type of loop and that Qwest is just eliminating this type of loop. END MCLEOD COMMENT. Received XO Comment: XO has reviewed the proposed change as well as the comments made by Eschelon and Cbeyond. XO opposes Qwest's proposed changes on the same grounds as stated by Eschelon and Cbeyond in their comments. RESPONSE: Cindy Buckmaster-Qwest stated that this has been addressed. END XO COMMENT. Cindy Buckmaster-Qwest then reviewed the comment received from Cbeyond: Cbeyond objects to this change. Qwest has not provided any justification for their removal of this unbundled loop as a service offering. xDSL capable loops are required by the TRRO and may not be arbitrarily removed at the whim of the ILEC. RESPONSE: Cindy Buckmaster-Qwest stated that this has been addressed with McLeods comment. END CBEYOND COMMENT. Cindy Buckmaster-Qwest then reviewed the comment received from ComspanUSA: As I read this it seems we will no longer be able to resell Qwest DSL to our customers to whom we resell Qwest dial tone. Is this correct? RESPONSE: Cindy Buckmaster-Qwest stated that this is an unrelated issue and would need the Resale product manager to address HSI. END COMSPANN COMMENT. Greg Diamond-Covad asked that in proposing this change, if it was Qwest’s position that loops under applicable law, if they are less capable of provisioning DSL, is less robust, then what Qwest would have for their own Retail customers. Cindy Buckmaster-Qwest stated that this is just the opposite. The CLEC will have more access to your end users then you currently do, which is that we would provide where the algorithm would allow and is limited. Cindy stated that there would be no degrading of the circuit. Cindy Buckmaster-Qwest then asked if we could reintroduce the CR and re-open the comment period. Susan Lorence-Qwest stated that since the comment cycle closed and the responses are due tomorrow (January 18), and Cindy has responded to the questions, we can issue a formal response to comments and extend the implementation date or we can reissue the Level 4 notice and start all over again with an attachemnt which would include the information shared today. Mark Coyne-Qwest asked if the preference would be for Qwest to renotice with a new comment cycle. Greg Diamond-Covad stated that he would like the comment period to start again and stated that they would need the detail that was provided today. Susan Lorence-Qwest stated that Qwest would not issue the Final Notice on the level 4, would renotice with the information on the comment responses. Greg Diamond-Covad asked if it would have the detail that Qwest provided today. Cindy Buckmaster-Qwest said yes and noted that the information would include the NC-NCI codes and the citations from applicable legal rulings. The CLECs agreed that Qwest should renotice. There were no additional questions or comments.

December 14, 2006 Monthly CMP Meeting Discussion: Cindy Buckmaster-Qwest presented the CR and stated that this would be in contracts on a going forward basis and that the product would no longer be available. [Comment from Eschelon: Cindy Buckmaster-Qwest presented the CR. Cindy stated Qwest did not want to surprise anyone and stated that this product would not be in contracts on a going forward basis and that the product would no longer be available. Cindy said that this will only impact CLECs as they renegotiate.] Cindy noted that this is to mirror Retail and will have no impact on the current contracts, until contracts expire and will then need to be renegotiated for a 2 wire non-loaded and would really be the same service. Mark Coyne-Qwest asked if there were any questions. Bonnie Johnson-Eschelon stated that she would review this request internally with Eschelon. Bonnie stated that she wanted to recapture what Cindy said and stated that all contracts would be honored, including new, and would not be available in new contracts. Bonnie asked to confirm that there would be a comparable product that would do the exact same thing. Cindy Buckmaster-Qwest stated that Eschelon’s contract is currently in negotiation. [Comment from Eschelon: and that will not change. This product will remain in that contract until it expires.] Bonnie Johnson-Eschelon asked if this request would change the current negotiations. [Comment from Eschelon: Bonnie Johnson-Eschelon confirmed this request would not change the current negotiations.] Cindy Buckmaster-Qwest said there would be no impact to the current negotiations. Sheila Harris-Integra asked if it was possible to get an overview, as the information in the CR is limited. Cindy Buckmaster-Qwest stated that she would put the information in the meeting minutes. Sheila Harris-Integra asked when they would be available. Mark Coyne-Qwest stated that they would be available in 5 business days. Mark Coyne-Qwest asked if there were any additional questions or comments. There were none. This CR moves to Presented Status.


Open Product/Process CR PC010307-1 Detail

 
Title: Elimination of Future Delivery and Extended Prompts functions on Qwest Voice Messaging Platform
CR Number Current Status
Date
Area Impacted Products Impacted

PC010307-1 Completed
9/19/2007
Resale, Voice Messaging
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest will be eliminating two functions on their Voice Messaging Platform. These two functions are future delivery and extended prompts.

Over a period of approximately 24 months, using a phased approach, Qwest will be replacing their voicemail platform and the elimination of these two functions are part of that process. This process will start in April 2007 with Pueblo, CO.

Future delivery is a function in a mailbox that provides a subscriber with the ability to record messages and set them up for delivery at a later date.

Extended prompts is a function that allows the subscriber to change the prompting that played to the subscriber while in the mailbox.


Status History

1/3/07 - CR submitted

1/4/07 - CR acknowledged


Project Meetings

9/19/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this CR was implemented on 8/14/07 and is currently in CLEC Test. Mark asked if there were any objections to closure of this CR. This CR is in Completed status.

8/15/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this CR was implemented on 8/14/07 and will move to CLEC Test.

-

From: New Cr, Cmp Sent: Tuesday, July 24, 2007 10:40 AM To: 'Isaacs, Kimberly D.' Subject: RE: Updated NGMP Migration Spreadsheet - PC010307-1 (las)

Hi Kim, Attached you will find the latest NGMP Migration schedule. If there are any updates to the spreadsheet, we will issue a Level 1 and overlay the new migration sheet. Let me know if you have any questions. Thanks! Lynn Stecklein Qwest Wholesale CMP

- From: Isaacs, Kimberly D. [mailto:kdisaacs@eschelon.com] Sent: Monday, July 23, 2007 12:36 PM To: New Cr, Cmp Subject: RE: Updated NGMP Migration Spreadsheet - PC010307-1 (las)

Thanks so much for your help. Have a great afternoon.

Kim Isaacs Eschelon Telecom, Inc. ILEC Relations Process Specialist Ph: 612-436-6038 Fax: 612-436-6138 Email: kdisaacs@eschelon.com

-

From: New Cr, Cmp [mailto:cmpcr2@qwest.com] Sent: Monday, July 23, 2007 1:34 PM To: Isaacs, Kimberly D. Subject: RE: Updated NGMP Migration Spreadsheet - PC010307-1 (las)

Hi Kim,

I wanted to let you know I am still checking on getting the migration spreadsheet in advance of the deployment date of July 31st. I should know by COB tomorrow.

Thanks,

Lynn Stecklein

Qwest Wholesale CMP

-

From: Isaacs, Kimberly D. [mailto:kdisaacs@eschelon.com] Sent: Tuesday, July 17, 2007 9:59 AM To: New Cr, Cmp Subject: RE: Updated NGMP Migration Spreadsheet - PC010307-1 (las)

Thank you so much Lynn. I appreciate the assistance.

Kim Isaacs Eschelon Telecom, Inc. ILEC Relations Process Specialist Ph: 612-436-6038 Fax: 612-436-6138 Email: kdisaacs@eschelon.com

-

From: New Cr, Cmp [mailto:cmpcr2@qwest.com] Sent: Tuesday, July 17, 2007 10:58 AM To: Isaacs, Kimberly D. Subject: RE: Updated NGMP Migration Spreadsheet - PC010307-1 (las)

Hi Kim,

I wanted to let you know that I am checking the possibility of getting the migration list prior to deployment. I am also confirming that the deployment date is still July 31st.

Thanks,

Lynn Stecklein

Qwest Wholesale CMP

-

From: Isaacs, Kimberly D. [mailto:kdisaacs@eschelon.com] Sent: Monday, July 16, 2007 9:43 AM To: New Cr, Cmp Subject: RE: Updated NGMP Migration Spreadsheet - PC010307-1 (las)

Hi Lynn,

Is there any way possible to get the list prior to deployment? Eschelon would like to contact our end user customers that are affected prior to the migration. It is our feeling that prior contact will minimize end user customer questions. Thank you.

Kim Isaacs Eschelon Telecom, Inc. ILEC Relations Process Specialist Ph: 612-436-6038 Fax: 612-436-6138 Email: kdisaacs@eschelon.com

-

From: New Cr, Cmp [mailto:cmpcr2@qwest.com] Sent: Monday, July 16, 2007 10:41 AM To: Isaacs, Kimberly D. Subject: RE: Updated NGMP Migration Spreadsheet - PC010307-1 (las)

Hi Kim,

The updated spreadsheet will be provided upon deployment, which at this point in time is 7-31-07. I will let you know if that date changes.

Thanks,

Lynn Stecklein

Qwest Wholesale CMP

-

From: Isaacs, Kimberly D. [mailto:kdisaacs@eschelon.com] Sent: Monday, July 16, 2007 8:39 AM To: cmpcr@qwest.com Subject: Updated NGMP Migration Spreadsheet - PC010307-1 (las)

Hello,

In past CMP meetings, Qwest stated that they would provide an updated spreadsheet with the voice mail migration dates. I was unable to find the updated spreadsheet. Can you tell me where I can find the updated migration spreadsheet? Thanks.

Link to old spreadsheet.

http://www.qwest.com/wholesale/downloads/2007/070222/Download07NGMPMigration2-9-07.xls

Kim Isaacs Eschelon Telecom, Inc. ILEC Relations Process Specialist Ph: 612-436-6038 Fax: 612-436-6138 Email: kdisaacs@eschelon.com

This communication is the property of Qwest and may contain confidential or privileged information. Unauthorized use of this communication is strictly prohibited and may be unlawful. If you have received this communication in error, please immediately notify the sender by reply e-mail and destroy all copies of the communication and any attachments

7/18/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the final notice had been sent on June 5th and noted that there have been a few changes to the effective date. Mark stated that the current effective date is July 31st. Mark then stated that this CR would move to CLEC Test on the 31st if there is no change to that date. Mark asked for questions. There were none. This CR is in Development Status.

6/20/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the effective date on this request has been changed from 6/6/07 to 7/31/07.

5/16/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the Final Notice was sent on March 26th and will be effective on June 6th. Mark then stated that we are waiting for the confirmation of the June 6th date. Mark asked for questions or comments. There were none brought forward.

4/18/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the final notice was sent on March 26th and will become effective on June 6th. Kim Isaacs-Eschelon stated that the migration spreadsheet has not been updated with the June 6th date. Lynn Stecklein-Qwest stated that she will take an action item to determine when the migration spreadsheet will be updated with the correct date.

3/21/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the targeted implementation on this CR has changed from 4/10/07 to 6/6/07. Kim Isaacs-Eschelon asked if the date on the migration spreadsheet that was sent out was changing to 6/6/07. Mark Coyne- Qwest said yes. Kim Isaacs-Eschelon confirmed that Pueblo Colorado would not migrate until 6/6/07. Mark Coyne-Qwest said that is correct. Kim Isaacs-Eschelon asked if when the actual migrations occur, will the users have to reset greetings or passwords or will they lose any messages. (See response below) Mark Coyne-Qwest stated that Qwest will take this question back as an action item. (Cindy Schwartze-Qwest) 3/22/07 Response to Action Item – We will be migrating the customer’s mailbox along with their greetings, passwords, and messages.

2/21/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the targeted implementation date for this request is 4/10/07. [Comment Received from Eschelon: Bonnie Johnson-Eschelon stated that she had no objection to the Level 2 requests on all of the grandparenting CRs but noted that Eschelon may submit comments.]

1/1/7/07 Product/Process CMP Meeting

Cindy Schwartze-Qwest stated that Qwest will be eliminating two functions on their Voice Messaging Platform. She said that these two functions are future delivery and extended prompts. Cindy said that over a period of approximately 24 months, using a phased approach, Qwest will be replacing their voicemail platform and the elimination of these two functions as part of that process. This process will start in April 2007 with Pueblo, CO. Cindy said that future delivery is a function in a mailbox that provides a subscriber with the ability to record messages and set them up for delivery at a later date and extended prompts is a function that allows the subscriber to change the prompting that played to the subscriber while in the mailbox. Bonnie Johnson-Eschelon asked for clarification on future prompts. Cindy Schwartze-Qwest stated that future prompts are a function that allows a subscriber to change the prompting that plays to the subscriber while in the mailbox. She said that this functionality is for someone that is new or not familiar to voice mail. Bonnie Johnson-Eschelon stated that she may have additional questions and asked if she should use the additional clarification process. Mark Coyne-Qwest stated that would be fine. Bonnie Johnson-Eschelon asked if this was being eliminated for retail. Cindy Schwartze-Qwest said that it was.


Open Product/Process CR PC012307-1EX Detail

 
Title: Tech Pub 77386 Shorten Level 3 Notification interval to coincide with Tariff implementation date of February 20, 2007
CR Number Current Status
Date
Area Impacted Products Impacted

PC012307-1EX Completed
2/7/2007
Collocation, Resale
Originator: Farra, Jeff
Originator Company Name: Qwest Corporation
Owner: Farra, Jeff
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest is requesting that the Level 3 changes to Technical Publication 77386 Issue L associated with notification NETW.01.22.07.F.04464.Tech_Pub_77386_IssL be implemented in a shorter interval than normal. The proposed documentation changes to Tech Pub 77386 include language associated with adding new features to the MOE product related to Collocation. The change is to add Ethernet connectivity options to the optical ITP.

The CR is being submitted as an exception request to implement a Level 3 notification in a shorter than normal timeframe. The minimum required interval is 31 days. Qwest is requesting the proposed change be implemented in a 29 day interval to match the tariff implementation date of February 20, 2007.


Status History


Project Meetings

Vote Required

PC012307-1EX Tech Pub 77386 Shorten Level 3 Notification interval to coincide with Tariff implementation date of February 20, 2007 February 5, 2007

Lynn Stecklein-Qwest stated that the purpose of this meeting is to conduct the vote on an exception request submitted by Qwest. A pre-meeting was held on January 26, 2007 to determine what the yes and no vote would indicate and to answer any questions about this request. She said that Qwest is seeking an exception request to implement a Level 3 notification in a shorter than normal timeframe. The minimum required interval is 31 days. Qwest is requesting the proposed change be implemented in a 29 day interval to match the tariff implementation date of February 20, 2007.

Jeff Farra-Qwest stated that the proposed documentation changes to Tech Pub 77386 include language associated with adding new features to the MOE product related to Collocation. The change is to add Ethernet connectivity options to the optical ITP.

Lynn Stecklein-Qwest reviewed the following:

A vote of ‘Yes’ will indicate a preference to allow PC012307-1EX to be implemented in a 29 day interval to match the tariff implementation date of February 20th.

A vote of ‘No’ will indicate a preference not to allow this request to be implemented in a 29 day interval to match the tariff implementation date of February 20th.

Lynn Stecklein-Qwest stated that a quorum of 5 will be required for the vote to occur on the 5th and requires a 2/3rd’s majority vote in order for this exception to be granted. She stated that 2 yes votes were submitted via e-mail from Sprint and Qwest.

Lynn Oliver-Covad voted yes.

- January 26, 2007

Exception Request Pre-Meeting

Bonnie Johnson-Eschelon voted yes.

Kelly Leverich-Integra voted yes.

Lynn Stecklein-Qwest stated that this request has been granted with 5 yes votes and this CR will be closed.

There were no other questions.


Open Product/Process CR PC102704-1ES2 Detail

 
Title: CR 2: New Revised title effective 1/11/05: Certain Unbundled Network Elements (UNE) Product Discontinuance (see Description of Change for previous title) CR 1 = PC102704 1ES
CR Number Current Status
Date
Area Impacted Products Impacted

PC102704-1ES2 Completed
3/23/2007
See Description of Change
Originator: Whitt, Michael
Originator Company Name: Qwest Corporation
Owner: Buckmaster, Cindy
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

THIS DOCUMENTATION IS CONTINUED FROM PC102704-1ES

Revised Description of Change effective 3/23/07:

The following products, from the original CR, are removed from this Change Request and were not completed with this CR. The effort for these products may occur via separate CRs.

Unbundled Local Loop-General Information

Unbundled Local Loop-Digital Signal Level 1 (DS1) Capable Loop

Unbundled Local Loop-Digital Signal Level 3 (DS3) Capable Loop

Enhanced Extended Loop (EEL)

Loop MUX Combination (LMC)

Unbundled Dark Fiber (UDF)

Unbundled Dedicated Interoffice Transport (UDIT)

Unbundled Customer Controlled Rearrangement Element (UCCRE)

--------------------------------------------

Revised Description of Change effective 3/1/05:

This CR will be implemented as a product/process CR as there are no CLEC facing system changes.

This CR details changes to availability of certain Unbundled Network Elements (UNE) products.

The following UNE products are no longer available to CLECs unless the most current effective version of the CLEC's Interconnection

Agreement (ICA) of Amendment includes terms, conditions, and pricing for the products before 6/14/04.

Unbundled Network Element (UNE)- Switching (UBS) http://www.qwest.com/wholesale/pcat/unswitch.html

Unbundled Network Elements- Platform (UNE-P)-General Information http://www.qwest.com/wholesale/pcat/unep.html

Unbundled Network Elements - Platform (UNE-P) - Integrated Services Digital Network (ISDN) Basic Rate Interface (BRI)

http://www.qwest.com/wholesale/pcat/unepisdnbri.html

Unbundled Network Elements-Platform (UNE-P)-Centrex http://www.qwest.com/wholesale/pcat/unepcentrex.html

Unbundled Network Elements-Platform (UNE-P)-Public Access Lines (PAL) http://www.qwest.com/wholesale/pcat/uneppal.html

Unbundled Network Elements- Platform (UNE-P)- Private Branch Exchange (PBX) Trunks http://www.qwest.com/wholesale/pcat/uneppbx.html

Unbundled Network Elements - Platform (UNE-P)-Plain Old Telephone Service (POTS) http://www.qwest.com/wholesale/pcat/uneppots.html

Unbundled Network Elements - Platform (UNE-P) - Digital Switched Service (DSS) http://www.qwest.com/wholesale/pcat/unepdss.html

Unbundled Network Elements -Platform (UNE-P) - Integrated Services Digital Network (ISDN) Primary Rate Interface (PRI)

http://www.qwest.com/wholesale/pcat/unepisdnpri.html

The remaining products on this CR are being revised due to changes based on the FCC Order received 2/4/05. The following products will be revised and will be noticed on a future date associated with this change request.

Unbundled Local Loop-General Information

Unbundled Local Loop-Digital Signal Level 1 (DS1) Capable Loop

Unbundled Local Loop-Digital Signal Level 3 (DS3) Capable Loop

Enhanced Extended Loop (EEL)

Loop MUX Combination (LMC)

Unbundled Dark Fiber (UDF)

Unbundled Dedicated Interoffice Transport (UDIT)

Unbundled Customer Controlled Rearrangement Element (UCCRE)

As always, any future changes of law may impact this notification and will be supported by the applicable notification.

Expected Deliverables/Proposed Implementation Date (if applicable):

Implement PCAT changes retroactive to 6-15-04 subject to CMP Guidelines

----------------------------------------------------------------------------------------------

Revised Description of Change effective 1/11/05:

This CR will be implemented as a product/process CR as there are no CLEC facing system changes.

This CR details changes to availability of certain Unbundled Network Elements (UNE) products.

The following UNE products are no longer available to CLECs unless the most current effective version of the CLEC's Interconnection Agreement (ICA) of Amendment includes terms, conditions, and pricing for the products before 6/14/04.

-All Enterprise and Mass Market Unbundled Network Elements Switching (UBS) products, detailed in the following Product Catalog

(PCAT): http://www.qwest.com/wholesale/pcat/unswitch.html

-All Enterprise and Mass Market Unbundled Network Elements-Platform (UNE-P) products, detailed in the following PCAT:

http://www.qwest.com/wholesale/pcat/unep.html

-DS1 Unbundled Loop detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/unloopds1caploop.html

-DS3 Unbundled Loop detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/unloopds3caploop.html

-Unbundled Dark Fiber (UDF), including E-UDF and Meet-Point UDF, detailed in the following PCAT:

http://www.qwest.com/wholesale/pcat/darkfiber.html

-DS1 and DS3 Unbundled Dedicated Interoffice Transport (UDIT), including E-UDIT and M-UDIT, detailed in the following PCAT:

http://www.qwest.com/wholesale/pcat/udit.html

-DS1 and DS3 Enhanced Extended Loop (EEL) detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/eel.html

-Unbundled Customer Controlled Rearrangement Element (UCCRE) detailed in the following PCAT:

http://www.qwest.com/wholesale/pcat/uccre.html

-DS1 and DS3 Loop Mux Combo detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/lmc.html

As always, any future changes of law may impact this notification and will be supported by the applicable notification.

Expected Deliverables/Proposed Implementation Date (if applicable):

Implement PCAT changes retroactive to 6-15-04 subject to CMP Guidelines

_______________________________________________________

Previous Title and CR Description of Change - see below for information prior to 1/10/05. This CR was Revised on 1/11/05

Previous Title:

U.S. Court of Appeals for the DC Circuit decision (USTA II) Decision No. 00-1012, and FCC Interim Rules Compliance: Certain Unbundled Network Elements (UNE) Product Discontinuance

Previous Description of Change:

This CR will be implemented as a product/process CR as there are no CLEC facing system changes.

This CR details changes to availability of certain Unbundled Network Elements (UNE) products pursuant to the U.S. Court of Appeals for the DC Circuit decision 00-1012 ('USTA II') which vacated some of the FCC's unbundling rules, and the subsequent FCC Interim Rules which preserved some of the unbundling rules vacated in USTA II.

In accordance with these orders and findings, the following UNE products are no longer available to CLECs unless the most current, effective version of the CLEC’s Interconnection Agreement (ICA) or Amendment includes terms, conditions, and pricing for the products before 6/15/04:

-All Enterprise and Mass Market Unbundled Network Elements Switching (UBS) products, detailed in the following Product Catalog (PCAT): http://www.qwest.com/wholesale/pcat/unswitch.html

-All Enterprise and Mass Market Unbundled Network Elements-Platform (UNE-P) products, detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/unep.html

-DS1 Unbundled Loop detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/unloopds1caploop.html

-DS3 Unbundled Loop detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/unloopds3caploop.html

-Unbundled Dark Fiber (UDF), including E-UDF and Meet-Point UDF, detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/darkfiber.html

-DS1 and DS3 Unbundled Dedicated Interoffice Transport (UDIT), including E-UDIT and M-UDIT, detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/udit.html

-DS1 and DS3 Enhanced Extended Loop (EEL) detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/eel.html

-Unbundled Customer Controlled Rearrangement Element (UCCRE) detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/uccre.html

-DS1 and DS3 Loop Mux Combo detailed in the following PCAT: http://www.qwest.com/wholesale/pcat/lmc.html

Expected Deliverables/Proposed Implementation Date (if applicable):

Retroactive to 6/15/04 pursuant to FCC Interim Rules, subject to CMP Guidelines.

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Status History


Project Meetings

DOCUMENTATION FOR THIS CR IS CONTINUED FROM PC102704-1ES. PLEASE SEE PC102704-1ES FOR PRIOR PROJECT MEETINGs INFORMATION FOR THIS CHANGE REQUEST.

March 29, 2007 Email Sent to Eschelon: Bonnie, Qwest is not treating all of the CR as completed. As stated in the email below, dated March 26th, The CR was revised in order to remove the products that were not completed. The Completed Status of the CR is valid due to the completion of the products that remain on that CR. Perhaps the confusion is because you have not seen the revised CR. I have attached a copy. Peggy Esquibel-Reed Qwest Wholesale CMP

March 28, 2007 Email Received from Eschelon: Eschelon continues to believe Qwest is not in compliance with CMP closing codes. Not all of the Change Request was completed, but Qwest appears to be treating it all as completed. More importantly, as Eschelon has said before, changes regarding TRRO are considered change in law and should be handled via negotiations and perhaps also in some type of forum, such as changes to the SGAT, where there is also Commission oversight. Bonnie Johnson Director Carrier Relations Eschelon Telecom Inc.

March 26, 2007 Email Sent to Eschelon: Bonnie, The CRs (PC102704-1ES and PC102704-1ES2 have been revised to indicate that some products were removed from the original CRs and that the effort for some of those products would occur via separate CRs. The products that were not removed from the CRs were the products that were completed, therefore the status of Completed would be appropriate. Withdrawal is not appropriate, as some of the products were completed and Defer would also not be appropriate as there is no more action for these specific Change Requests. The history continues to be retained on PC102704-1ES and PC102704-1ES2 and those CRs continue to be available via the Interactive Reports on the Qwest Wholesale web site. None of the documentation has been or will be lost. The email below has been added to PC102704-1ES2, as requested. Peggy Esquibel-Reed Qwest Wholesale CMP

March 23, 2007 Email Received from Eschelon: Eschelon’s position has not changed regarding PC102704-1ES and 1ES-2. Changes regarding TRRO are considered change in law and should be handled via negotiations or in some type of forum, such as changes to the SGAT, where there is Commission oversight. In addition, the CR is not completed so a status of complete is not appropriate. Will Qwest be withdrawing or deferring this CR? Please add this comment to the CR before changing the status. Thanks, Bonnie Johnson Director Carrier Relations Eschelon Telecom Inc.

March 21, 2007 Product Process CMP Meeting: Mark Coyne-Qwest stated that these are the two TRRO CRs that were opened a few years ago. Mark then stated that based on the discussion at the February CMP Meeting, where Qwest acknowledged that the effort was moving forward with individual CRs, Qwest is moving to close these two CRs. Mark stated that all the history and notes will be retained and are available via the interactive reports on the web site. Mark stated that none of the information would be lost and asked if there was any objection to the closure of PC102704-1ES and PC102704-1ES2. There were no objections to the closure of the two CRs. 3/27/07 - Comments to minutes received from Eschelon Mark Coyne-Qwest stated that these are the two TRRO CRs that were opened a few years ago. Mark then stated that based on a number of meetings and discussions, including a discussion at the February CMP Meeting, where Qwest acknowledged that the effort was moving forward with Qwest submitting individual CRs, Qwest is closing these two CRs. Mark stated that all the history and notes will be retained and are available via the interactive reports on the web site. Mark stated that none of the information would be lost

- February 21, 2007 Product Process CMP Meeting: Mark Coyne-Qwest stated that at the end of the last ad hoc call it was mentioned that Qwest would schedule additional calls in order to continue the discussions on this CR to categorize products on the TRRO Product matrix and try to move forward with a prioritization of products. The original Qwest plan to gain CLEC input on the priority of the various products has not been as successful as we planned or hoped. We heard all the comments on that call and considered all the feedback that another call would just be rehashing the same things again. We then took all that feedback and gave it some additional thought in order to determine what the most logical next step would be, to allow Qwest and the CLEC community to continue to move forward on this issue. What makes sense at this point, to Qwest, is that we issue individual CMP CRs for the products that need to be addressed in CMP and hold discussions for specific CRs or product groupings. That would allow those CLECs with impact on those specific products to have a CMP forum for input on the process related changes associated with these products. It should provide a more meaningful and valuable method for proceeding with this effort for Qwest and for those CLECs who are impacted by these changes. Some, if not all, of those CRs will be submitted for the March 21st CMP Meeting. Bonnie Johnson-Eschelon stated that on the last call, Cindy Buckmaster (Qwest) committed to taking one of her products, due to Integra’s concerns regarding the PCATs, and to re-do the PCAT and meet on those changes. Bonnie asked if Qwest is now not going to do that. [Comment Received from Eschelon: Bonnie Johnson-Eschelon stated that on the last call, Cindy Buckmaster (Qwest) committed to taking one of her products, due to Integra’s concerns regarding Qwest cut an pasting information from the ICA into the PCATs, and to re-do the PCAT and meet on those changes. Bonnie asked if Qwest is now not going follow through with that commitment.] Mark Coyne-Qwest stated that we internally evaluated what would work best and determined that the next step should be to issue the CRs. Bonnie Johnson-Eschelon stated that she had no comment at this time.

February 6, 2007 Qwest/CLEC Ad Hoc Meeting: ATTENDEES: Mary Roberts-Unicon, Sue Yoder-Iowa Telecom, Pam Trickel-TDS MetroCom, Julie Redmond Carter-McLeodUSA, Kathy Lee-AT&T, Peter Huley-TDS MetroCom, Lynn Oliver-Covad, Ken Black-McLeodUSA, Sheila Harris-Integra, Steve Fisher-Integra, Jay Newsbom-Integra, Nancy Thompson-Wisor, Joyce Bilow-McLeodUSA, Karen Clausen-Eschelon, Doug Denney-Eschelon, Bonnie Johnson-Eschelon, Colette Davis-Covad, Rod Cox-TDS MetroCom, Cindy Buckmaster-Qwest, Susan Lorence-Qwest, Candace Mowers-Qwest, Vicki Dryden-Qwest, Lynn Stecklein-Qwest, Peggy Esquibel Reed-Qwest, Karen Chandler Ferguson-Qwest, Mark Coyne-Qwest DISCUSSION: Peggy Esquibel Reed-Qwest stated that the purpose of this meeting was to continue with the open dialogue for the TRO/TRRO CMP CR. The documents for this meeting can be accessed from the Wholesale calendar out on the CMP web site, by clicking on the entry for this call. Those documents are the PCAT Impacts Matrix and 2 other documents which are the CRs for this effort. PC102704-1ES which is the original CR and contains the history thru January 10th. It references PC102704-1ES2 for the continuation of the history for this effort. The creation of PC102704-1ES2 was necessary due to the character limitation being reached for the original CR, in our data base that houses the CR information. This means that that the PC102704-1ES record/CR could not house any more data or content. PC102704-1ES2 was then created in order to continue with the documentation of this effort. The 2 CRs (-1ES and -1ES2) have a complete accounting of all that has transpired, all the history, regarding the calls and communications that have been held and documented. There was a concern, received in an email, that 2 CRs creates the impression that there is no earlier status history. That should not be the case because the 2 CRs are VERY clearly marked and cross referenced in 6 different places: 1) The numbering of the CRs carries the same number with the 2 added to the end of the continuation CR. 2) The CR Titles are the same and make reference to the other CR 3) The first statement in the CR descriptions note that 'Documentation for this CR is continued on/from the other CR number' 4) There is a Status History Line that indicates that there is a Related CR and notes the CR that is continued to/from 5) There is a second Status History Line of a Record Update stating that documentation is continued to/from the other CR 6) The Project Meetings portion of the CRs each contains a statement AT THE TOP that documentation is continued to/from the other CR. Again, there has been no loss of any history for this CR, the history is complete. Both CRs are active and are available via the Interactive Reports out on the web site. The call today as well as future communications will be documented on the continuation CR PC102704-1ES2. There were no comments or questions. Peggy Esquibel Reed-Qwest then noted that the last call was held on January 11th and its purpose was to start the discussions regarding the PCAT Impacts Matrix and getting items in the appropriate buckets in order to proceed and move forward. There were some CLECs on that call who were not comfortable discussing the Matrix without obtaining input from their regulatory folks so that discussion had to be rescheduled and that is why we are meeting today. Details of that January 11 call are in the meeting minutes of the CR, in case you have not yet had the opportunity to read them. Peggy then stated that this brings us all up to date and that today’s discussion would be started by Cindy Buckmaster (Qwest). Doug Denney-Eschelon asked for the meaning of the terms going forward and proceeding. Peggy Esquibel Reed-Qwest stated that we would like to move forward with the open dialogue and the discussion on the moving of the bucketed items in the appropriate place on the PCAT Impacts Matrix. Cindy Buckmaster-Qwest stated that our intent is to identify all product documentation associated with TRO TRRO that are impacted by law. Cindy stated that a list was compiled and that it is separated into sections, the first section identified items that were already introduced, in 2005. Cindy stated that the 2nd list is the products with changes that were postponed and removed from the initial effort of PC102704-1ES. Cindy noted that those products were moved to Category 2. Cindy stated that the 3rd set is yet to be introduced and that no discussions have yet taken place for them. Cindy then stated that the last set is those products that are currently in litigation. Cindy noted that the 4th set is a subset of the 2nd bucket. In the last meeting there was a concern regarding litigation and a desire to have identified where changes have been made in the catalogues. Qwest’s intent is not to usurp litigation and noted that these discussions are so all know what to expect if have signed TRRO agreement. Cindy then noted that at the last call, the CLECs said that they wanted to bring their regulatory/legal people on the call in order to help identify the items, in the buckets, that should be moved to bucket 4. Cindy stated that the intent is then to discuss items that are not in bucket 4, or are in bucket 4, with the CLECs that want to discuss them. Doug Denney-Eschelon stated that there are a lot of assumptions on how processes apply to each CLECs ICAs. Doug noted that the wire center litigation is one example. Cindy Buckmaster-Qwest stated that these discussions have been for the entire CLEC Community and Qwest is happy to let the CLECs structure the calls. Cindy stated that Qwest has no pre-conceived notion of what will or will not be discussed. Cindy stated that Qwest would discuss what the CLECs want to discuss. Cindy then stated that Qwest would take feedback as to what additional items need to be moved into Bucket 4, if the CLECs want to share that information. Karen Clausen-Eschelon stated that an assumption, in the Matrix, is that if you want to talk about it, the discussion starts with the non-TRRO PCATs. Karen stated that was her observation. Karen then noted that Eschelon had provided the list of items that are in litigation to Qwest and stated that Qwest needs to tell them what is in litigation. Cindy Buckmaster-Qwest stated that she is neither in legal nor in the regulatory group. Cindy then stated that she would not force discussions and would discuss what the CLECs want to discuss. Cindy stated that the starting place could be the PCATs Impact Matrix and the documents on the main web site, www.qwest.com. Cindy stated that we could also discuss the changes that were made for the TRRO web site. Steve Fisher-Integra stated that every PCAT that is related to TRRO is far reaching. Steve then asked that if a PCAT is related to TRRO and there are ICA negotiations occurring, why the PCATs had so much relationship to the ICAs. Cindy Buckmaster-Qwest stated that the PCATs contain a general description and the flow of a product. Cindy stated that this is how to do business to business. The contracts are not intended to carry the detail of business to business relationships. Steve Fisher-Integra stated that the new PCATs are far reaching into TRRO and are not product specific. Steve stated that we are blurring the distinction between the ICA and the PCAT and there needs to be discussion. Karen Clausen-Eschelon stated that she disagrees with what was just said and stated that it was asked that issues be brought into negotiations. Karen stated that Qwest is trying to draw a distinct line and that some issues do belong in contracts. Karen then stated that in the CMP Document, the scope will sometimes overlap with an ICA and states that the ICA will have control. Karen then stated that she agreed with Integra and that Qwest should negotiate that. Karen Clausen-Eschelon then noted that Cindy (Buckmaster-Qwest) was not regulatory and that Cindy had asked CLEC regulatory personnel to be present on this call. Karen then asked if there was Qwest legal representation on the call. Cindy Buckmaster-Qwest stated that she did not request that CLEC regulatory or legal personnel be on the call, the CLECs said that they wanted regulatory and/or legal folks on the call. Karen Clausen-Eschelon stated that they had already identified that all products are in litigation. Cindy Buckmaster-Qwest asked that for bucket 1, which includes UBS and UNE-P, if anybody believes that these products are in litigation. Cindy then stated that Qwest believes that these have been completed. Cindy asked if anyone disagreed that they have been completed. Doug Denney-Eschelon stated that Qwest has filed a tariff, in Colorado, to amend SGATs and noted that this is part of that filing and that investigation is suspended. Cindy Buckmaster-Qwest stated that if we were to take that approach then we could never have a CMP call due to changes to the tariff and/or SGAT. Cindy stated that could be pushing the envelope and that this call was for discussion of PC102704-1ES/-1ES2 ONLY. Karen Clausen-Eschelon stated that if Qwest had read what they submitted the day before, that PC102704-1ES/-1ES2 should be left in bucket A. Cindy Buckmaster-Qwest stated that the matrix is to identify all products that are impacted by TRRO. Cindy then noted that she saw, in the email, that Eschelon agrees that those items are closed. Cindy then stated that we have not heard from the other CLECs as to the completion on March 18, 2005, for the items in bucket A. Cindy asked if all on the call agree that all items in bucket a are closed. Steve Fisher-Integra stated that if you go into UBS PCAT, there are links that are in the PCATs that link to other documents that might not yet be closed. Steve stated that he would be hesitant to agree that bucket A is closed due to those links to the other documents. Cindy Buckmaster-Qwest stated that was a very good point and noted that the PCAT, as it specifically relates to UBS is closed. Cindy asked if all were in agreement that UBS is not offered by Qwest and asked if all agreed that UNE-P as identified on the matrix is not offered by Qwest. Karen Clausen-Eschelon asked Cindy (Buckmaster-Qwest) if she was asking the CLECs to agree and comment. Cindy Buckmaster-Qwest said that she was only saying that the CR was closed in March 2005 and at that time CLECs had no issue with those items. Karen Clausen-Eschelon stated that Cindy was then asking two questions. Karen Clausen-Eschelon stated that yes, the CR was closed in March 2005 and agreed that all are not subject to TRRO. Karen stated that no items are open and noted that there is a fuzzy line. Karen stated that the question is if Qwest intend to make similar filings (tariffs in lieu of SGATs) in other states. She stated that she has asked that question a number of times, specifically asked it in a pre-meeting e-mail and expected it to be answered on this call. Cindy Buckmaster-Qwest stated that did not fall into her area of responsibility and noted that the question is not for this call. Cindy stated that this call is for the discussion of TRRO PCATs ONLY. Karen Clausen-Eschelon asked if Cindy (Buckmaster-Qwest) was going to find out who would answer her question. Cindy Buckmaster-Qwest said no and advised Karen (Clausen-Eschelon) that she would trust that Karen would obtain that information from one of the other avenues, within Qwest, that she has probably already asked. Karen Clausen-Eschelon stated that if Qwest’s intent was to insult Eschelon that they had. Cindy Buckmaster-Qwest stated that it was not her intent to insult Eschelon and apologized. Cindy stated that she was not sure if there were filings in other states as that is not her decision or area of responsibility. Karen Clausen-Eschelon stated that she understood that Cindy (Buckmaster-Qwest) does not know the answer. Cindy Buckmaster-Qwest asked if there were any items in the third bucket, such as 800 data base query, that were involved in litigation. Karen Chandler Ferguson-Qwest stated that Qwest is not aware of any current arbitration or litigation that was occurring for items in that third bucket. Karen Clausen-Eschelon stated that Qwest had Eschelons written response and stated that she would not go thru the matrix again. Cindy Buckmaster-Qwest asked if there were any CLECs on the call that believed that items in that third bucket were in litigation or arbitration. Karen Clausen-Eschelon stated yes, for all items. Cindy Buckmaster-Qwest asked for input from other CLECs. McLeod agreed with Eschelon and stated that they were not in a position to discuss, due to negotiations. Integra stated that they echo McLeods comment. Karen Chandler Ferguson-Qwest stated that 800 data base is offered via the tariff and asked if it was in arbitration. McLeod said no and stated that they are moving from negotiations to arbitration. McLeod then stated that Qwest needs to give them the next steps. McLeod then stated that they have a confidentiality agreement. McLeod then stated that all products on the matrix fall under TRRO and that they need to protect McLeod. McLeod stated that they were not in a position to discuss this now. Cindy Buckmaster-Qwest stated that the discussion has made it clearer and thanked the CLECs for their input. Karen Clausen-Eschelon stated that Eschelon has taken time to respond and noted that they have been more clear than Qwest. Karen Chandler Ferguson-Qwest apologized and stated that Eschelon did not want to respond further on this call and stated that McLeod’s explanation did make it clearer. Karen Clausen-Eschelon stated that the law is taking something away and stated that all is subject to arbitration and litigation as to how and when this will be handled. Karen stated that all read an order that something has gone away and Qwest is now asking broad statements as to what is in arbitration and litigation. Cindy Buckmaster-Qwest asked if there was any CLEC on this call that is interested in discussing the changes for 800 database service. Karen Clausen-Eschelon asked what those changes were. Cindy Buckmaster-Qwest stated that she does not yet have the proposed changes and stated that what those changes will be is what needs to be discussed. Cindy stated that for bucket 2, the PCATs may be a starting place for the discussion and the same could be true for bucket 3. Karen Clausen-Eschelon stated that Eschelon will discuss in the ICA negotiations. Cindy Buckmaster-Qwest stated that she is hearing Eschelon saying that Eschelon does not want to discuss 800 data base. Karen Clause-Eschelon asked Cindy (Buckmaster-Qwest) to not recap what she said because she will disagree with Cindy’s recap. Cindy Buckmaster-Qwest asked if there was any CLEC on the call that is interested in discussing 800 data base. Integra said no. Karen Clausen-Eschelon stated that it might be better to ask if any one was interested in discussing by bucket instead of by product. Cindy Buckmaster-Qwest asked if there was any CLEC that is interested in discussing bucket B. Karen Clausen-Eschelon asked if the discussion would be in the context of CMP. Cindy Buckmaster-Qwest said yes. Steve Fisher-Integra said no because TRRO is far reaching and he needs to know what the PCAT changes are. Steve stated that the PCATs needed to be slimmed down. Cindy Buckmaster-Qwest stated that the matrix identifies by product and has a link to the PCAT in column C. Cindy asked the CLECs to help her understand how they want the PCATs slimmed down. Steve Fisher-Integra stated that the product descriptions are too far reaching and stated that the content copied from the Contract should not be in a PCAT, it should be in the ICAs. Karen Chandler Ferguson-Qwest stated that everyone’s PCAT could then be different and stated that the CLECs contracts do govern how Qwest does business with your business. Karen stated that the PCATs could be general and that each individual contract would govern. Steve Fischer-Integra stated that it would need to be negotiated between two parties and stated that the CLECs would not have to agree on them. Steve stated that the PCAT dictates how Qwest deals with a CLEC and stated that is what they are disagreeing with. Cindy Buckmaster-Qwest asked if that is different then how they deal with Verizon, BellSouth, or AT&T, for example. CLEC said yes and noted that if they do not agree, they file changes and/or disputes. McLeod stated that they did not like the idea of committing now and discussing generically. McLeod noted that they may not have any issues now but that they might have issues later and does not want to have to go through CMP later because of TRO/TRRO arbitration. Cindy Buckmaster-Qwest thanked McLeod for the input and then asked if there was any CLEC under a TRRO amendment, not in litigation, that is interested in discussing in CMP, these items. No response. Cindy Buckmaster-Qwest asked if the silence meant no. Colette Davis-Covad stated that Covad has signed TRRO agreements with Qwest and stated that any changes that Qwest is proposing, with Covad, needs to be in CMP. Colette noted that she also handles BellSouth and Sprint in the same manner. Colette stated that if an ILEC wants to make changes to a process, it is evaluated. Colette stated that if something is in arbitration, it is then between that CLEC and Qwest. Colette stated that proceeding forward is also important. Colette stated that, from one side, she can see what everyone on the call is saying and on the other side, we need to move forward and see what Qwest recommends and challenge via CMP if need to. Colette stated that if there is a disagreement related to changes in requirements, CLECs can then file a complaint or go into mediation or arbitration for an issue. Colette stated that we need to collaboratively move forward and stated that the CLECs need to arbitrate independently of CMP and that mixing the two together is a problem and why we come to a crossroad. Colette stated that not all CLECs are arbitrating the same thing and noted that Covad’s position is a collaborative position. TRRO or CMP will go through proper channels and if the CLECs need to challenge Qwest’s position, they can go to the FCC or the PUC. Colette stated that she is trying to get a better sense of what the CLECs want out of this call. Karen Clausen-Eschelon stated that Qwest asked Regulatory and Legal reps to come to the call. Karen stated that the CMP document says that there could be overlap with CMP and the contracts and that the ICAs would have control. The problem is when things are in an ICA when discussing TRRO and Qwest is trying to move forward in CMP and negotiations for ICAs could be an issue. Karen stated that if Qwests purpose is to remove products from the PCATs, it clearly belongs in an ICA and the ICA does control. Karen stated that they were asked what was in litigation and Qwest doesn’t have their people on the call. Karen stated that they are being asked to agree and commit and she is asking agree to what. Colette Davis-Covad stated that with CMP, it gets down to a granular change and that is where it needs to be evaluated. Colette stated that if there is a process that needs to be changed, generally an ICA does not rule, where there is a contract change, the ICA does rule. Steve Fisher-Integra stated that the issue is that a process is in a PCAT. Cindy Buckmaster-Qwest stated that the intent of the PCAT is to contain general information about the product and further define the how-to (for process purposes). Steve Fisher-Integra stated that if he needs to find out if he can have Inter Office Transport, he would go to his ICA to see if he can have it and that the PCAT would tell him how. Cindy Buckmaster-Qwest said Yes! That is the intent of the PCAT. The PCAT structure is such that it begins with a general description of the product and then identifies more of the ‘how to’ about a product request. Cindy stated that Qwest wants the PCATs to be of value to the CLECs. Cindy noted that the ICAs do govern but that the PCATs should tell the CLECs how to submit an LSR. Steve Fisher-Integra asked Cindy to show him a PCAT that is showing him that. Cindy Buckmaster-Qwest stated that she would but that is not the purpose of this particular call. Colette Davis-Covad stated that is the gap, CMP addresses processes and procedures. Product availability is generally conrolled via an ICA. Colette stated that the PCAT is redundant with the ICA and asked why ICA language is in a PCAT. Colette stated that CMP should be focused on giving the CLECs ordering instructions. The FCC & PUC issue orders on what Qwest can and cannot provide to the CLECs. CMP should be focused on giving CLECs information on how to order products and services. The issue is that Qwest is putting ICA language in the PCATs and Qwest needs to stick to publishing how to order products. Jay Newsbom-Integra stated that they would not write the PCATs for Qwest and stated that Qwest is putting the cart before the horse in trying to write processes before the ICAs are done. Cindy Buckmaster-Qwest stated that she does not want to discuss processes with those CLECs who do not want to discuss. Cindy asked that in the next meeting, if we can get those who have already signed or who are about to sign, interested in discussing. Colette Davis-Covad stated that this should not impede the process on how to order out of a non-impaired wire center. Cindy Buckmaster-Qwest stated that Utah has already reviewed the wire center list and decided what is and what is not impaired. Cindy noted that they need that avenue to tell the CLECs how to order that product. Colette Davis-Covad stated that she does not see a problem. Karen Clausen-Eschelon stated that the PCATs on the matrix may be different than those telling me how to order. Karen stated that she believes that these conversations should occur in negotiations and stated that she will not be told to talk about it in CMP. Karen stated that the discussions need to be in negotiations. Karen stated that they were asked about legal issues that Qwest wants to remove from PCATs and that those are in arbitration and/or negotiations. Cindy Buckmaster-Qwest stated that there is no underlying intent, then asked if there were any CLECs who have signed or are about to sign, that want to discuss any item on the matrix, in CMP. Steve Fisher-Integra said not the way that they are currently structured. Cindy Buckmaster-Qwest stated that we can discuss and change the template, if this one is not of value, but proposed we get through the discussion of topics before PCAT format is discussed. Karen Clausen-Eschelon asked if Cindy (Buckmaster-Qwest) was offering to update the template in CMP. Cindy Buckmaster-Qwest said No, she is offering to update the matrix in CMP. She further stated that if any ‘template’ is to change via CMP it would be the PCAT template and not the Negotiations Template. Steve Fisher-Integra stated that he was not sure that it needed to be updated. Cindy Buckmaster-Qwest asked the CLECs to look at item #3 Line Sharing. Cindy stated that this was removed as a result of TRRO, is available in a Commercial Agreement, and proposed changes have been made in the PCAT that have not yet been shared. Karen Clausen-Eschelon stated that was Qwests legal view and stated that Qwest could voluntarily offer it, under 251. Karen stated that Qwest needs to get their ducks in order before the PCATs can be updated. Cindy Buckmaster-Qwest stated that if we are talking to those who have signed, the horse is where it belongs, before the cart. Colette Davis-Covad stated that the operational details are not yet in the contract. Karen Clausen-Eschelon asked if it is Qwests position that the Commercial Agreement processes go through CMP. Cindy Buckmaster-Qwest stated that Line Sharing has not yet been addressed in any CMP CR and noted that changes that affect how to order it would be communicated via CMP (for example that you first have to have a Commercial Agreement). Steve Fisher-Integra stated that the Commercial Agreements are separate from this process. Karen Clausen-Eschelon asked if we had gone beyond the scope of this call. Cindy Buckmaster-Qwest said no, that the scope of this call is to determine if there is any CLEC interested in discussing items on a matrix. Cindy then noted that this call started with no structure in mind and stated that everything now seems to be in bucket 4. Cindy stated that process changes, the operational way we do work applies to all CLECs. The TRRO, and how it applies to CLECs, is what we want to discuss. Jay Newsbom-Integra asked why Qwest doesn’t just send out the changes. Cindy Buckmaster-Qwest stated that the changes that have been made are already in bucket 2, such as EEL and LMC. Steve Fisher-Integra asked that everything that is in the ICA be taken out of the PCAT and for Qwest send the changes out to the CLECs. Cindy Buckmaster-Qwest asked that we discuss product related items. Colette Davis-Covad stated that this could interfere or compromise where Covad is, in their negotiations. Colette stated that process can be discussed; and legal positions are not to be discussed. Cindy Buckmaster-Qwest stated that process is what Qwest wants to discuss. Karen Clausen-Eschelon stated that the term ‘process’ is also in litigation. Karen then stated that she does not agree that process belongs in the PCAT, as opposed to a Commercial Agreement. Karen stated that she opposes using TRRO PCATs as a starting place, for discussions. Karen stated that Qwest is claiming that existing processes are to be discussed and that they need to edit PCATs before Qwest can send them out for review. Cindy Buckmaster-Qwest stated that Qwest is not attempting to force anything down anyone’s throat. Cindy stated that she wants to talk to CLECs who want to discuss the items. Cindy asked if there would be value if we had another call. Steve Fisher-Integra stated that they want a call and don’t want it to be structured. Cindy Buckmaster-Qwest stated that she was fine with that and asked the CLECs what the next call length should be. Karen Clausen-Eschelon stated that she only wanted to discuss the ICA negotiations. Susan Lorence-Qwest recommended that the next call be 2 hours because there are CLECs who do want to discuss. Susan then suggested that a PCAT be reviewed on that next call. Karen Clausen-Eschelon stated that Eschelon will not discuss issues that are in litigation. Cindy Buckmaster-Qwest stated that if a CLEC does want to discuss an item that is on the matrix, that is fine…they don’t eed to come to the call. She stated she wants to have that discussion with CLECs who do want to discuss. Karen Clausen-Eschelon stated that she wanted a document that contains only the processes. Cindy Buckmaster-Qwest stated that she would not edit a PCAT without knowing what the CLECs want and what would be of value to them. Cindy noted that she did not want a separate copy, for Eschelon. Jay Newsbom-Integra stated that if Qwest does not provide a document, the next discussion will be the same as today’s discussion. Cindy Buckmaster-Qwest stated that she does not know what the CLECs want in the PCATs or want to discuss. Jay Newsbom-Integra stated that Qwest heard their concerns; the ICA language in the PCATs, and he wants the PCATs edited down to processes and procedures. Cindy Buckmaster-Qwest stated that she would research the difference between other ILEC PCATs and Qwest’s PCATs for one of her products if that would help the discussion move back to TRRO changes and doesn’t plan to allow the discussion to be derailed by discussion about format of the PCAT. If that proves to be do-able before the next call, she will complete a re-write of that one PCAT. Jay Newsbom-Integra stated that they need to see how to do things. Cindy Buckmaster-Qwest stated that is how we will proceed. Cindy stated that proposed PCAT language would be provided at least 3 days prior to the next call. Cindy then noted that the next call would be scheduled for 2 hours. There were no additional comments or questions. The call was concluded. -- February 5, 2007 Email Received From Eschelon: Peggy, Thank you for the response. We have asked specific questions and will look forward to Qwest’s responses on the call. Bonnie Johnson Director Carrier Relations Eschelon Telecom Inc. -- February 5, 2007 Email Sent to Cbeyond: Tom, Your email below was received. The Ad Hoc call scheduled for tomorrow will continue to take place in order for the open dialog to continue and for Qwest to address CLEC concerns. If Cbeyond cannot attend the call, the meeting minutes will be posted to the CMP CR, for your future reference. Peggy Esquibel-Reed Qwest Wholesale CMP -- February 5, 2007 Email Sent to Eschelon: Bonnie, Your email below was received. The Ad Hoc call scheduled for tomorrow will continue to take place in order for the open dialog to continue and for Qwest to address CLEC concerns. Peggy Esquibel-Reed Qwest Wholesale CMP -- Email Received From Tom Hyde, Cbeyond: Cbeyond objects to the Ad-Hoc Meeting scheduled for 2/6/2007 as premature. Qwest has not yet furnished sufficient information to make the call meaningful. If Qwest decides to continue requesting a call on this issue with CLEC legal and regulatory personnel, Qwest should provide the necessary information, as well as Qwest's proposal(s), sufficiently in advance of any call so that CLECs and their attorneys and regulatory personnel may review the information and proposal and be prepared to respond. A call, if it is to be held, should be rescheduled until Qwest provides this information. Cbeyond may not be able to participate on tomorrow's call. Cbeyond reserves all of its rights -- February 5, 2007 Email Received From Bonnie Johnson, Eschelon SUBJECT: Information for tentative call tomorrow - CMPR.01.30.07.F.04487.TRROAdHocMeeting Qwest asked CLEC regulatory/legal personnel to answer questions regarding the status of litigation for each item on Qwest's matrix of the "buckets" in which Qwest placed certain products. Enclosed is Eschelon's response to Qwest's questions. Also enclosed is a copy of Qwest's matrix, with letters and row numbers added in the margin for ease of reference. (This numbering had to be added manually, as Qwest provided the document only in PDF format.) Please explain Qwest's reason and agenda for a call given that: (1) except for items that are completed (Bucket A), the items are in litigation (a fact known to Qwest, as Qwest is a party to each litigation), and Qwest's position is that "Disputed items will not immediately be processed through CMP," (2) Qwest has provided no proposal (see 12/14/06 minutes); and (3) Qwest needs to provide additional information (see Eschelon's Response to Bucket C) on the items that Qwest identifies as "Not Yet Covered in any CR." If Qwest continues to request a call on this issue and/or with CLEC legal/regulatory personnel, Qwest should provide the requested information, as well as Qwest's proposal, sufficiently in advance of any call so that CLECs and their attorneys/regulatory personnel may review the information and proposal and be prepared to respond. A call, if it is to be held, should be rescheduled until Qwest provides this information. Also, please indicate whether Qwest will initiate any proceeding/make any filing similar to its filing in Colorado Commission Docket No. 07S-028T (with respect to a tariff, SGAT, Qwest's template, etc.) in any other state. (Please either provide this information before any call or, if a call is held tomorrow and Qwest has not responded, please respond on the call.) If a call is held, Karen Clauson, an attorney and Sr. Director of Interconnection, will represent Eschelon on the call, per Qwest's request that CLECs bring legal representation to the call. In addition, Doug Denney, a witness familiar with issues in litigation, will participate as well. Eschelon reserves all of its rights. ATTACHMENT included with this Email: ESCHELON RESPONSE TO QWEST’S QUESTION AS TO WHICH ITEMS ON QWEST’S CHART ARE SUBJECT TO LITIGATION/ARBITRATION February 5, 2007 If a call is held, please add these comments to the meeting minutes for the call. If not, please add these minutes to the status history for the CR. (Please note that Qwest has inappropriately separated out the CR into two numbers, with one being followed by '-2', which creates the impression that there is no earlier status history, when there is additional information that is part of the history of events. Qwest needs to put them back together, so the single status history is complete.) Qwest CMP Minutes of 1/11/07 Ad Hoc Call: "Cindy Buckmaster-Qwest confirmed that the CLECs will take this information back. She said that she would still like to go through the matrix line-by-line in the next adhoc meeting. Cindy states that we need to ask two questions: 1) Is this in litigation and why, and 2) Can we get consensus if something is in litigation where we can move it on the list." -- See Eschelon responses below to each of these questions for each Qwest Bucket on Qwest’s matrix. Qwest CMP Minutes of 11/15/06 Monthly Call: "Cindy said Qwest is asking to release the undisputed items, those not in arbitration or items being challenged under law. Disputed items will not immediately be processed through CMP." Qwest CMP Minutes of 12/14/06 Monthly Call: "Bonnie J-Eschelon stated that in regard to Qwest’s proposal, she is hearing that Qwest does not really have one. Cindy B-Qwest stated that was correct." Minnesota Arbitrators’ Report, Qwest-Eschelon ICA MN Arbitration, ¶¶21-22: "The CMP document itself provides that in cases of conflict between changes implemented through the CMP and any CLEC ICA, the rates, terms and conditions of the ICA shall prevail. In addition, if changes implemented through CMP do not necessarily present a direct conflict with an ICA but would abridge or expand the rights of a party, the rates, terms, and conditions of the ICA shall prevail. Clearly, the CMP process would permit the provisions of an ICA and the CMP to coexist, conflict, or potentially overlap. The Administrative Law Judges agree with the Department’s analysis that any negotiated issue that relates to a term and condition of interconnection may properly be included in an ICA, subject to a balancing of the parties’ interests and a determination of what is reasonable, non-discriminatory, and in the public interest. Eschelon has provided convincing evidence that the CMP process does not always provide CLECs with adequate protection from Qwest making important unilateral changes in the terms and conditions of interconnection." QWEST BUCKETS FROM QWEST’S CHART (enclosed) A = "Products/Processes Introduced on PC102704-1ES" B = "Products/Processes Postponed on PC102704-1ES" C = "Products/Processes Not Yet Covered on any CR" D = "Products Known to be in Arbitration/Litigation" NOTE: Eschelon disagrees with Qwest’s characterizations, as further described in Eschelon’s testimony in the Qwest-Eschelon ICA arbitrations. QWEST BUCKET A All nine of the items listed in Qwest Bucket A (A1-A9) deal with UNE-P. Qwest has indicated that items A1-A9 were completed in CMP. In addition, CLECs have signed amendments regarding elimination of UNE-P (at least some in conjunction with QPP), and the terms of those agreements control. Eschelon is not aware of pending litigation regarding UNE-P. As Qwest has said it intends to discuss which products or terms relating to its identified items are subject to litigation, if Qwest is a party to, or aware of, any pending litigation, Qwest should provide this information to CLECs (before a call, if any call is held). RESPONSE TO QWEST #1: Not in litigation to Eschelon’s knowledge. RESPONSE TO QWEST #2: Leave in Bucket A and note in final column ("Notes"): "Completed in CMP." There is no need to "release the undisputed items" because they are completed. QWEST BUCKET B All eleven of the items in Qwest Bucket B (B10 - B20) are subject to litigation. Qwest repeats B(10), B(15), B(17), and B(18) in Qwest’s Bucket D (which identifies these items as known to be in litigation). Qwest does not explain why it does not also include the other items, which are also in litigation (often in the same cases). See Colorado Commission Docket No. 07S-028T, The Investigation and Suspension of Tariff Sheets Filed by Qwest Corporation with Advice Letter No. 3058. See also Wire Center Dockets: AZ Docket Nos.T-03632A-06-0091; T-03267A-06-0091; T-04302A-06-0091; T-03406A-06-0091; T-03432A-06-0091; and T-01051B-06-0091; CO Docket No. 06M-080T; MN Docket Nos. P-5692, 5340, 5643, 5323, 465, 6422/M-06-211 and P-5692, 5340, 5643, 5323, 465, 6422/M-06-685; OR Docket No. UM 1251; UT Docket No. 06-049-40. See also Qwest-Eschelon ICA arbitrations: AZ T-03406A-06-0572, T-01051B-06-0572 CO 06B-497T MN P5340, 421/IC-06-768 OR ARB 775 UT petition not yet filed WA UT-063061 As Qwest has said it intends to discuss which products or terms relating to its identified items are subject to litigation, if Qwest is a party to, or aware of, any additional pending litigation, Qwest should provide this information to CLECs (before a call, if any call is held). RESPONSE TO QWEST #1: In litigation. RESPONSE TO QWEST #2: Move to Bucket D. QWEST BUCKET C All thirteen of the items in Qwest Bucket C (C21-C33) have related terms that is subject to approval before becoming effective in the Qwest-Eschelon ICA arbitrations and/or Colorado Docket No. 07S-028T. In addition, C31 (Reclassification of Terminations for UNE Conversions, APOTs) relates to open disputed language in the Qwest-Eschelon ICA arbitrations. For all thirteen of the items in Qwest Bucket C (C21-C32), Qwest identifies them as "not yet covered." Depending on what these items entail, additional issues could be subject to litigation. See Colorado Commission Docket No. 07S-028T, The Investigation and Suspension of Tariff Sheets Filed by Qwest Corporation with Advice Letter No. 3058. See also Qwest-Eschelon ICA arbitrations: AZ T-03406A-06-0572, T-01051B-06-0572 CO 06B-497T MN P5340, 421/IC-06-768 OR ARB 775 UT petition not yet filed WA UT-063061 As Qwest has said it intends to discuss which products or terms relating to its identified items are subject to litigation, if Qwest is a party to, or aware of, any additional pending litigation, Qwest should provide this information to CLECs (before a call, if any call is held). FOR C(21)-C(30) & C(32)-C(33): RESPONSE TO QWEST #1: In litigation. RESPONSE TO QWEST #2: As "not yet covered" by Qwest, Qwest to provide (before a call, if any call is held) a written proposal identifying the changes it wants to make to the existing PCAT and indicating, for each change, whether all ICAs have been amended accordingly. FOR C(31): RESPONSE TO QWEST #1: In litigation. RESPONSE TO QWEST #2: Move to Bucket D. QWEST BUCKET D All four of the items in Qwest Bucket D (D34 – D37) are subject to litigation, per Qwest’s own inclusion of them in the bucket for "Products Known to be in Arbitration/Litigation." (Qwest provided no docket numbers. Eschelon has provided docket numbers below.) Qwest’s list is incomplete (see above). For example, Qwest omits Commingled EELs (B19), Reclassification of Terminations for UNE Conversions (APOTs) (B19), Loop Mux Combination (B11), UCCRE (B13), TRRO compliance and transition procedures (B20) from its Bucket D, even those issues are clearly subject to litigation in the Qwest-Eschelon ICA arbitrations and wire center proceedings and are subject to change of law provisions requiring ICA terms (see, e.g., TRRO ¶196). See Colorado Commission Docket No. 07S-028T, The Investigation and Suspension of Tariff Sheets Filed by Qwest Corporation with Advice Letter No. 3058. See also Wire Center Dockets: AZ Docket Nos.T-03632A-06-0091; T-03267A-06-0091; T-04302A-06-0091; T-03406A-06-0091; T-03432A-06-0091; and T-01051B-06-0091; CO Docket No. 06M-080T; MN Docket Nos. P-5692, 5340, 5643, 5323, 465, 6422/M-06-211 and P-5692, 5340, 5643, 5323, 465, 6422/M-06-685; OR Docket No. UM 1251; UT Docket No. 06-049-40. See also Qwest-Eschelon ICA arbitrations: AZ T-03406A-06-0572, T-01051B-06-0572 CO 06B-497T MN P5340, 421/IC-06-768 OR ARB 775 UT petition not yet filed WA UT-063061 As Qwest has said it intends to discuss which products or terms relating to its identified items are subject to litigation, if Qwest is a party to, or aware of, any additional pending litigation, Qwest should provide this information to CLECs (before a call, if any call is held). RESPONSE TO QWEST #1: In litigation. RESPONSE TO QWEST #2: Remain in Bucket D (Bucket D should also be expanded to include the items identified above as in litigation and belonging in Bucket D). Bonnie Johnson Director Carrier Relations Eschelon Telecom Inc. -- January 17, 2007 Monthly CMP Meeting Discussion: Mark Coyne-Qwest stated that this CR is currently in Development Status. Cindy Buckmaster-Qwest stated that the meetings for this effort are being held outside of the monthly CMP Meeting and are ongoing. Jeff Sonnier-Sprint asked if the next meeting has been scheduled. Cindy Buckmaster-Qwest stated that it had not yet been scheduled. This CR remains in Development Status. -- January 11, 2007 Ad Hoc Meeting: Jeff Sonnier-Sprint Nextel, Paulette Davis-Covad, Lynn Hankins-Covad, Tom Hyde-Cbeyond, Bonnie Johnson-Eschelon, Kim Isaacs-Eschelon, Nancy Thompson-Wisor Telecom, Sue Wright-XO Communications, Ken Black-McLeod, Pam Trickel-TDS, Cindy Buckmaster-Qwest, Susan Lorence-Qwest, Candice Mowers-Qwest, Vicki Dryden-Qwest, Lynn Stecklein-Qwest Lynn Stecklein-Qwest stated that the matrix to be discussed in this meeting could be located on the Wholesale Resource Website (http://www.qwest.com/wholesale/calendar/) and by clicking on the calendar entry for today’s meeting. Cindy Buckmaster-Qwest stated that this matrix was provided to the CLECs for their review from the last Ad Hoc meeting. She reviewed the 4 categories on the matrix – the 1st category introduced on CR PC102704-1ES 3/18/05, the 2nd category for Product/Processes postponed on PC102704-1ES, the 3rd category for Product/Processes not yet introduced, and the 4th category for Products known to be in arbitration or litigation. Bonnie Johnson-Eschelon stated that she mentioned in the last CMP Meeting that Eshelon does not agree that this is the case. She said that Eschelon believes that everything with the exception of Dark Fiber is in litigation or arbitration. Cindy Buckmaster-Qwest stated that Qwest would like to review the matrix line-by-line and come to an agreement where each Product/Process belongs. Bonnie Johnson-Eschelon stated that the CLECs on this call are operations people. She said that she is not in a position to discuss Products that may be a legal issue or in a legal arena and does not know what is being discussed in the Wire Center hearings. Cindy Buckmaster-Qwest said what she is hearing is that the CLECs on this call are not prepared to discuss legal issues. Tom Hyde-Cbeyond stated that they need their Regulatory people involved in these discussions. Jeff Sonnier-Sprint Nextel stated that he agreed with Eschelon and that their Regulatory people need to be involved. Cindy Buckmaster-Qwest said that we could arrange a call with their Regulatory people or the CLECs could take this information to their Regulatory Teams for review and bring back to discuss in an adhoc meeting. Bonnie Johnson-Eschelon stated that Eschelon’s position when Qwest introduced this CR and looking at the escalation from Covad that the introduction of TRO is considered a change of law and that some are done in Commission Oversight or in negotiations. She said that CMP is not the appropriate area to discuss because this is a change of law. Bonnie said that in June of 2005, Qwest said that they were updating SGATs and that the PCATs should be updated appropriately. Cindy Buckmaster-Qwest stated that we are in between two different circumstances. She said that the CR was introduced to make a process change to align with the law and that there is no other way to do this except in CMP. Bonnie Johnson-Eschelon said that the operations people don’t take part in the Wire Center hearings and the discussion in those hearings are done at a high level with little detail. She said that they have been clear that they are trying to negotiate in the Interconnect Agreement. Bonnie reiterated that she is on the operations side and not an attorney. Cindy Buckmaster-Qwest stated that the Interconnect Agreement does not cover process and process was never part of the Commission Oversight. Bonnie Johnson-Eschelon stated that if you read their proposal, that we are back to square one and that we are talking about an interpretation of orders. Bonnie said that she does not believe that CMP is appropriate arena to discuss Cindy Buckmaster-Qwest stated that she was very clear when we talked in the Monthly CMP Meeting that this was our intent. She said that she would like to take a vote from the CLECs on the call to determine if everyone agrees that these items can be discussed today. Bonnie Johnson-Eschelon stated that Qwest did not want to talk about items in litigation. Cindy Buckmaster-Qwest said that we are not here to override the FCC or State level. She said that we want to communicate processes associated with TRO. Cindy said that 8 items were implemented on March 18, 2004 Bonnie Johnson-Eschelon said that those associated with UNE-P were completed with the Commission Oversight. Tom Hyde-Cbeyond stated that the effective dates are confusing on the matrix. Cindy Buckmaster-Qwest stated that the algorithm was adding a 1 to the date and that we will get that corrected. Bonnie Johnson-Eschelon stated that she thought they made it clear in the CMP meeting and in the minutes and that Qwest agreed that these items were in litigation and would not be discussed. Cindy Buckmaster-Qwest stated that we are not here to override any topics outside of litigation. She said that there is no hidden agenda and that she thought we made our intent very clear. Cindy stated that there are more CLECs that have signed up to do business with Qwest under the TRRO. She said that the reason we delayed was because TRO was in an appeal status. She said we want to provide the process for those CLECs doing business with us or for those who will be. She also said that she would challenge that there are items on the list that nobody cares about. She stated that all we want to do is put a note in the column for example that this item is in litigation. Bonnie Johnson-Eschelon stated once again that the people on the phone don’t know that answer. Cindy Buckmaster-Qwest asked if there was consensus that we can’t discuss this topic. Sue Wright-XO Communications stated that they do not have the answers and can’t discuss. Tom Hyde-Cbeyond stated that if something is in litigation they can’t discuss the process on items not yet decided on. Bonnie Johnson-Eschelon stated that was her concern at CMP and should have made her concern clearer. Sue Wright-XO Communications stated that they might not be in litigation but someone else may be. Tom Hyde-Cbeyond stated that he is not tapped to testify. Lynn Hankins-Covad said that Covad is not prepared to discuss this either and that she reviewed the CR and is not completely sure of what Qwest is trying to do. Ken Black-McLeod stated that McLeod is not up to speed either. Cindy Buckmaster-Qwest stated that we have consensus and that the CLECs will take this item to their Regulatory Teams for discussion. She said that is may be easier to have their Regulatory people attend the meetings. Jeff Sonnier-Sprint Nextel stated that the Regulatory people should sort this out. Sue Wright-XO Communications agreed. Bonnie Johnson-Eschelon also agreed and that they need to get their Regulatory Teams engaged. She said that she is not in a position to make that decision. Sue Wright-XO Communications said that they might find that they don’t want to discuss in CMP. Cindy Buckmaster-Qwest confimed that the CLECs will take this information back. She said that she would still like to go through the matrix line-by-line in the next adhoc meeting. Cindy stated that we need to ask two questions – 1) Is this in litigation and why, and 2) Can we get consensus if something is in litigation where can we move it on the list. Bonnie Johnson-Eschelon said that she thought we were going to discuss processes and that the TRO PCATs exist and that without CLEC input and that Qwest just changed unilaterally. Cindy Buckmaster-Qwest asked what processes Eschelon was referring to and that we have been discussing this topic for over a month. Bonnie Johnson-Eschelon asked what was being done with the PCATs and that Qwest has not been clear on what they are trying to do. Cindy Buckmaster-Qwest stated that this is not any different than any other CLEC CMP change. She said that we need to look at the number of CLECs operating under the new process, look at recommendations. She said that we need to determine if there any questions and go through step by step to make sure everyone understands. Cindy said that we need to set up a hierarchy of what to go through 1st Sue Wright-XO Communications asked if there was a Regulatory review prior to implementation. Cindy Buckmaster-Qwest stated that Regulatory always looks at the process changes if necessary. She said that regardless of the operating environment we try to implement with as little risk as possible. Tom Hyde-Cbeyond stated that he was looking at the PCATs on the website and does not see the proposed changes. Cindy Buckmaster-Qwest stated that is what we want to discuss. She said that EEL, for example, if you click on the link, you will see the TRRO version of the EEL PCAT. Tom Hyde-Cbeyond said that he missed the TRO PCAT on the website but he will review. Cindy Buckmaster-Qwest stated that it could be a matter of interpretation but that we just want to get the process communicated. Cindy Buckmaster-Qwest stated that the CLECs will bring information from their Regulatory Teams to the next adhoc meeting and that we will prioritize the list and discuss with those CLECs who are interested. Lynn Stecklein-Qwest asked for input on when the next meeting should be scheduled. Sue Wright-XO Communications asked if 2 weeks was enough time for the CLECs to contact their Regulatory people. Ken Black-McLeod stated that his contacts are out of the office until February. Bonnie Johnson-Eschelon stated that the week of February 5th looked good with the exception of the afternoons of February 6th and 7th. Lynn Stecklein-Qwest stated that a meeting would be scheduled sometime during that week.


Open Product/Process CR PC013007-3 Detail

 
Title: Verbal Supp for CFA Change on Due Date
CR Number Current Status
Date
Area Impacted Products Impacted

PC013007-3 Completed
5/18/2007
Prov & Installation PCAT Unbundled Loop
Originator: Ocken, Kathy
Originator Company Name: Qwest Corporation
Owner: Buckmaster, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Process Change to the Provisioning and Installation Overview PCAT language for the existing PIA value of 10 to add the following: Prior to placing a service request, it is the CLEC responsibility to ensure the CFA is working. If it is determined on Due Date that CFA does not work, Qwest will perform additional testing with the CLEC one time. If the CLEC requests the CFA be changed, it is the responsibility of the CLEC to make sure the new CFA works. Qwest will accept only one verbal CFA change on the Due Date. If the new CFA fails to work, Qwest will place the order in jeopardy status (customer jeopardy). No further action will be taken on Qwest’s part until Qwest receives a valid supplemental request to change the Due Date and the CFA (if applicable). Additional charges may apply.


Status History


Project Meetings

5/16/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the notice for this CR was sent on March 22nd and was effective on May 1st. Mark then asked for closure of the CR and noted that it is currently in CLEC Test. There were no objections to the closure of the CR.

4/21/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that a notification was sent on 4/6/07 and the final notice on 4/16/07. He said that this CR will become effective on 5/1/07.

3/21/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this CR was presented in February and that a Level 4 notice will be sent on 3/22/07 and will be effective 5/1/07

2/21/07 Product/Process CMP Meeting

Lynn Stecklein-Qwest stated in October of 2006, Qwest proposed language to the Provisioning and Installation Overview which was intended to remind CLECs to check their CFAs before assigning them and to clarify that only one verbal supplement for CFA slot change was to be accepted on the Due Date. She said that in discussion with the CLEC community at the October Monthly CMP Meeting, this language was not adopted. She said that instead it was agreed that a MCC would be distributed internally and externally to reiterate the current process. Lynn stated that Eschelon requested that Qwest retract the MCC because this was a change in process and that a Level 4 should be submitted. Lynn reviewed the description of change: This CR is a process change to the Provisioning and Installation Overview PCAT language for the existing PIA value of 10 to add the following: Prior to placing a service request, it is the CLEC responsibility to ensure the CFA is working. If it is determined on the Due Date that the CFA does not work, Qwest will perform additional testing with the CLEC one time. If the CLEC requests the CFA be changed, it is the responsibility of the CLEC to make sure the new CFA works. Qwest will accept only one verbal CFA change on the Due Date. If the new CFA fails to work, Qwest will place the order in a customer jeopardy status. No further action will be taken on Qwest’s part until Qwest receives a valid supplemental request to change the Due Date and the CFA (If applicable). Bonnie Johnson-Eschelon asked for further definition around Qwest performing additional testing one time. She said that specifically her question is that the additional testing issue has been brought forward multiple times before. She said that in those instances it is not the CFA, but the problem is on the Qwest side. She asked if the additional testing means that it would not be a Qwest issue. Lynn Stecklein-Qwest stated that she will contact the SME and provide the response to Bonnie and also include in the minutes.

February 23, 2007 Response Emailed to Bonnie Johnson-Eschelon: This is in response to your question on PC013007-3 -Verbal Supp for CFA Change on the Due Date (DD). The purpose of this CR is to identify that Qwest will not accept more than one verbal CFA change on the DD. Additional testing is always available to a CLEC as long as it in their contract. Additional Testing will be available on an install if it is in their contract. That testing will occur each and every time it is requested. If it is determined during testing that the problem is on the Qwest side, additional testing would not apply.

February 23, 2007 Emailed Response Received from Bonnie Johnson-Eschelon: Eschelon disagrees. As I have said before, Eschelon should not have to pay additional installation costs so Qwest can find and fix their problems. Please also include my response.


Open Product/Process CR PC013007-1 Detail

 
Title: Grandparent CENTRAFLEX 2 in Oregon
CR Number Current Status
Date
Area Impacted Products Impacted

PC013007-1 Completed
5/16/2007
Resale Centraflex
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Grandparent CENTRAFLEX System 2 in Oregon.

Expected Deliverable:

Proposed effective date March 16, 2007 and sunset date December 31, 2007.


Status History


Project Meetings

May 16, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that the Level 2 Notice had been sent and stated that the effective date was March 30th. Mark stated that this CR is currently in CLEC Test and asked if there was any objection to the closure of the CR. There was no objection to the closure.

- April 18, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this change was noticed via a Level 2 notice on March 9th and that it became effective on March 30, 2007. Mark then noted that the CR is currently in CLEC Test. Mark asked if there were any questions. There were none.

-- March 21, 2007 Product Process CMP Meeting: Mark Coyne-Qwest stated that the Level 2 Notice was sent on March 9th with an effective date of March 30th. Mark stated that this CR is moved to Development status.

February 21, 2007 Product Process CMP Meeting: Peggy Esquibel Reed-Qwest stated that Qwest is grandparenting Centraflex System 2 in Oregon and noted that there are no customers utilizing this product. Peggy then noted that due to no customers, Qwest would like to implement this request with a Level 2 notice. Peggy then asked if there were any questions regarding this CR or if there were any objections to implementation via a Level 2 notice. There were no questions or objections brought forward. This CR moves to Presented Status. [Comment Received from Eschelon: Bonnie Johnson-Eschelon stated that she had no objection to the Level 2 requests on all of the grandparenting CRs but noted that Eschelon may submit comments.]


Open Product/Process CR PC013007-2 Detail

 
Title: Automatic Call Distribution Electronic Switching System Tariff Elimination
CR Number Current Status
Date
Area Impacted Products Impacted

PC013007-2 Completed
5/16/2007
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Qwest is withdrawing the Automatic Call Distribution - Electronic Switching System product.

This product is an old 1A ESS central office product that has not been functionally available in many years. There are no Qwest customers utilizing this product.

Expected Deliverable:

Proposed effective date March 16, 2007


Status History


Project Meetings

May 16, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that the status for this CR is the same as the previous CR and was effective on March 30th. Mark noted that this CR is in CLEC Test and asked for closure. There was no objection to the closure of this CR.

-- April 18, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that the Level 2 Notification was sent on March 9th and that this was also effective on March 30th. Mark stated that this CR is currently in CLEC Test.

-- March 21, 2007 Product Process CMP Meeting: Mark Coyne-Qwest stated that the Level 2 Notice was sent on March 9th with an effective date of March 30th. Mark stated that this CR is moved to Development status.

- February 21, 2007 Product Process CMP Meeting: Peggy Esquibel Reed-Qwest stated that Qwest is grandparenting Automatic Call Distribution-Electronic Switching System Tariff Elimination and noted that there are no customers utilizing this product. Peggy stated that Qwest would also like to implement this CR with a Level 2 notification and asked if there were any questions or objections to the Level 2. Bonnie Johnson-Eschelon stated that she had no objection to the Level 2 requests, on all of the grandparenting request but noted that Eschelon may submit comments. This CR moves to Presented Status.


Open Product/Process CR PC030507-1 Detail

 
Title: TRRO: Un UNE LIDB
CR Number Current Status
Date
Area Impacted Products Impacted

PC030507-1 Completed
7/18/2007
LIDB
Originator: Lewis, Don
Originator Company Name: Qwest Corporation
Owner: Lewis, Don
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Discontinue availability of LIDB as a UNE


Status History


Project Meetings

July18, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this CR was effective on July 5th and is currently in CLEC Test. Mark then asked if there was any objection to closure of the CR. There were no objections. This CR is in Completed Status.

June 20, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this CR was implemented on May 21st and is currently in the comment cycle with an effective date of July 5th. Mark then stated that this CR remains in Development status.

-- May 16, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this CR was presented last month and noted that the documentation is being updated. Mark then stated that the Level 4 Notice would be sent on May 21st and will have a July 5th effective date.

April 18, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this was presented in the April CMP Meeting and stated that the notification would be sent at the end of the month.

- March 23, 2007 Email Sent to Eschelon: Hi Bonnie, Your email was received. Will you please share with me your concern regarding the Level 2 Notification request for PC030507-1 and PC030507-2? Thank you, Peggy Esquibel-Reed Qwest Wholesale CMP

- March 23, 2007 Email Received from Eschelon: Eschelon will not agree to Qwest issuing the changes for PC0305207-1 and PC0305207-2 as level 2 changes. In addition, Changes regarding TRRO are considered change in law and should be handled via negotiations or in some type of forum, such as changes to the SGAT, where there is Commission oversight. Thanks, Bonnie Johnson Director Carrier Relations Eschelon Telecom Inc.

-- March 21, 2007 Product Process CMP Meeting: Don Lewis-Qwest presented the CR and stated that Qwest is discontinuing LIDB as a UNE. Don stated that the PCAT would be updated and noted that there would be no impact to CLEC operations. Don asked if there were any questions. Kim Isaacs-Eschelon stated that Eschelon could have a question later. Mark Coyne-Qwest stated that due to there being no customers, Qwest would like to send out a Level 2 Notice for this CR and asked if there were any objections to a Level 2 Notice. Kim Isaacs-Eschelon stated that she would check.


Open Product/Process CR PC030507-2 Detail

 
Title: TRRO: Removal of Availability of OCN UBL and UPS (Unbundled Packet Switching)
CR Number Current Status
Date
Area Impacted Products Impacted

PC030507-2 Completed
7/18/2007
All OCN UBL, UPS
Originator: Buckmaster, Cindy
Originator Company Name: Qwest Corporation
Owner: Buckmaster, Cindy
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Limiting the Availability and Applicability or functionality of an existing product or existing feature: OCN UBL and Unbundled Packet Switching (UPS).


Status History


Project Meetings

July18, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this is another TRRO CR and was for the removal of availability of OCN UBL and UPS. Mark stated that this was effective on July 9th and is currently in CLEC Test. Mark asked if there any objections to the closure of this CR. There were no objections. This CR is in Completed Status.

- June 20, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that the Final Notice would be sent on June 22nd and will become effective on July 9th. Mark then noted that this CR remains in Development status.

May 16, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that the Notification, for this CR, would probably be going out next week.

-- April 18, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this was also presented last month and that the notice would be sent at the end of the month for this CR as well.

-- March 23, 2007 Email Sent to Eschelon: Hi Bonnie, Your email was received. Will you please share with me your concern regarding the Level 2 Notification request for PC030507-1 and PC030507-2? Thank you, Peggy Esquibel-Reed Qwest Wholesale CMP

- March 23, 2007 Email Received from Eschelon: Eschelon will not agree to Qwest issuing the changes for PC0305207-1 and PC0305207-2 as level 2 changes. In addition, Changes regarding TRRO are considered change in law and should be handled via negotiations or in some type of forum, such as changes to the SGAT, where there is Commission oversight. Thanks, Bonnie Johnson Director Carrier Relations Eschelon Telecom Inc.

March 21, 2007 Product Process CMP Meeting: Cindy Buckmaster-Qwest stated that in line with Mark (Coyne-Qwest) and Don (Lewis-Qwest), this CR is to remove the availability of OCN UBL and Unbundled Packet Switching from the UNE products. Cindy stated that there are no customers and noted that these are not currently available to CLEC customers. Cindy asked if there were any questions. Mark Coyne-Qwest stated that this would also like to be a Level 2 Notice due to no customers utilizing this today. Kim Isaacs-Eschelon stated that she would check back for all of these requests as well. Kim stated that she should have an answer, for Qwest, tomorrow.


Open Product/Process CR PC020106-1 Detail

 
Title: Temporary remove availability of protected OC192 and protetected 10G WAN PHY
CR Number Current Status
Date
Area Impacted Products Impacted

PC020106-1 Completed
3/21/2006
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Stecklein, Lynn

Description Of Change

Temporarily remove the offering of protected OC192 and protected 10G WAN PHY from the FCC No. 1 tariff, due to technical problems discovered by Qwest's Integrated Test Facility. We would like to request that this be handled as a Level 1. There are no Resale customers and no PCAT updates. There will be a Tech Pub update to not this change in availability.

Will re-instate offering when software release 9.0 gets approved and lab tested - hopefully late Q4 2006. We would notify of the availability as a Level 1.


Status History

2/01/06 - CR Submitted

2/01/06- CR Acknowledged

2/15/06 - CR Presented

2/15/06 - Stat;us changed to CLEC Test

2/16/06 - Discussed in the February Prod/Proc CMP Meeting

3/15/06 - Discussed in the March Prod/Proc CMP Meeting - See Attachment E in the Distribution Package

3/21/06 - Communicator Issued - PROD.03.20.06.F.03736.Temp_FCC_tariff_rmv

3/21/06 - Status changed to Completed


Project Meetings

3/15/06 Product/Process CMP Meeting

Jill Martain - Qwest stated that in the March CMP Meeting everyone agreed to a Level 1 notice. She said that this CR will become effective on 3/21/06 and the CR will be closed at that time. She said that Qwest will issue another Level 1 notice when we are ready to re-offer.

2/15/06 Product/Process CMP Meeting

Lynn Stecklein-Qwest said that this request is to temporarily remove the offering of protected OC192 and protected 10G WAN PHY from the FCC No. 1 tariff, due to technical problems discovered by Qwest's Integrated Test Facility. She said that Qwest would like to handle this request as a Level 1. She said that there are no Resale Customers, no PCAT updates and there will be a Tech Pub update to note this change in availability. Lynn said that we will re-instate the offering when software release 9.0 gets approved and lab tested. Bonnie Johnson-Eschelon asked if Qwest did verify that there are no Resale Customer’s. Lynn Stecklein-Qwest stated that we did. Bonnie Johnson-Eschelon said that she was ok with the request. Janean Van Dusen - Qwest also asked if we could reinstate the offering when the problems were resolved with a Level 1 notice as well. There was not dissent to reinstating with a Level 1 notice.


Open Product/Process CR PC030606-1 Detail

 
Title: Qwest contacting CLECs customers to confirm access
CR Number Current Status
Date
Area Impacted Products Impacted

PC030606-1 Withdrawn
4/19/2006
Maintenance/Repair/Provisioning POTS, Non-Design
Originator: Baird, Laura
Originator Company Name: Qwest Corporation
Owner: Baird, Laura
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest would like permission to contact the end user to confirm access arrangements when required for repair and service orders prior to the field technician going out to the premises


Status History

3/6/06 - CR Submitted

3/8/06 - CR Acknowledged

3/15/06 - CR Presented in the March Prod/Proc CMP Meeting

3/15/06 - Status changed to Evaluation

4/19/06 - Discussed in the March ProdProc CMP Meeting

4/19/06 - Status changed to Withdrawn


Project Meetings

4/19/06 Product/Process CMP Meeting

Jill Martain-Qwest stated that this CR was discussed at the March CMP Meeting and stated that Qwest would like to withdraw the request. Georganne Weidenbach-Qwest stated that based on CLEC comments and further Qwest analysis, Qwest made a decision that the CLEC volume, of no access misses was very small and that Qwest would like to withdraw the CR. Georganne noted that Qwest may pursue this later if the volumes rose. There were no objections to the withdrawal request. This CR moves to Withdrawn Status.

3/15/06 Product/Process CMP Meeting

Laura Baird-Qwest stated that Qwest would like permission to contact the end user to confirm access arrangements when required for repair and service orders prior to the field technician going out to the premises. Laura provided an example of a situation of when we would contact the end user.

Kim Isaacs -Eshelon stated that they cannot grant (Comment to minutes from Eschelon 3/24/06 Qwest permission to contact our end users. She said that the SGAT clearly states that the CLECs are the single point of contact to gain access. She said that the Interconnect Agreement (ICA) and the Arizona SGAT language is clear that any change to the CLEC as the single point of contact would have to be negotiated. She said that this request is in violation of the ICA and object to the CR. Kim said that if Qwest would amend the CR to stated that it would contact the CLEC, they would work with Qwest on that change.

Laura Baird-Qwest stated that often times the can be reached number provided is not always a successful contact.

Kim Isaacs-Eschelon said that the implementation contact should be aware of what is happening. She said that they have seen examples of the Qwest technicians making disparaging remarks to their customers.

Laura Baird-Qwest said that the script would be very specific.

(Comments to Minutes received from Eschelon 3/24/06 - Kim Isaacs – Eschelon stated that they have too many examples of Qwest making disparaging remarks to grant Qwest this permission.

Jill Martain-Qwest asked if any other CLECs had any input on this request.

There were no comments.

Jill Martain-Qwest said that we would have internal discussions on how we want to proceed with this CR


Open Product/Process CR PC032806-1 Detail

 
Title: Remove TAP when rejected by state
CR Number Current Status
Date
Area Impacted Products Impacted

PC032806-1 Completed
5/17/2006
Resale
Originator: Van Dusen, Janean
Originator Company Name: Qwest Corporation
Owner: Van Dusen, Janean
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest will begin removing TAP/ Lifeline/ Linkup USOCS on Resale accounts when we receive notification from a state or FCC that the end user is not eligible. Qwest will also rebill the CLEC for any ineligible credits received. Qwest will provide notification to the CLEC through their Service Manager.


Status History

3/28/06 - CR submitted

3/28/06 - CR acknowledged

4/19/06 - Discussed in the April CMP ProdProc Meeting

4/19/06 - Status changed to Presented

4/21/06 - Communicator Issued - PROD.04.21.06.F.03857.Resale_General_V60

5/11/06 - Status changed to CLEC Test

5/17/06 - Discussed in the May CMP ProdProcMeeting

5/17/06 - Status changed to Completed


Project Meetings

5/17/06 Product/Process CMP Meeting

Jill Martain - Qwest stated that this CR was implemented on 5/15/06 and the Level 2 Notice was sent on 4/21/06. Jill said that Qwest would like to close this CR. There were no questions or comments. This CR will be closed.

4/19/06 Product/Process CMP Meeting

Janean Van Dusen-Qwest presented the Change Request and noted that the request is to start removing TAP USOCs from Resale accounts when notification is received from the State or from the FCC. Janean noted that the notification is not an eligibility list; it is an authorized list, received from the State, and that Qwest needs to immediately start removing the USOCs. Janean stated that Qwest would work through the Service Managers. Janean then stated that if any re-imbursement was given and a CLEC received a credit, that Qwest would re-bill the CLEC. Jill Martain-Qwest asked if there were any questions or comments. There were none. Jill Martain-Qwest then stated that Qwest would like to implement this CR via a Level 2 Notice and asked if that was okay. There were no objections to implementation via a Level 2 Notice. Jill Martain-Qwest stated that since there are no objections, to the Level 2, that Qwest will move forward with the notice.


Open Product/Process CR PC041306-1CM Detail

 
Title: Eliminate duplicate work associated to Event Notification
CR Number Current Status
Date
Area Impacted Products Impacted

PC041306-1CM Completed
8/16/2006
Originator: McArthur, Ellen
Originator Company Name: Qwest Corporation
Owner: McArthur, Ellen
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest would like to eliminate the duplicate work that is being performed when Event Notifications are submitted by eliminating the need for an escalation ticket to be created. An external website is now available to review all Event Notifications.

In the external CMP document titled Qwest Wholesale Change Management Process Document the following changes are being requested under 12.9 Communications.

CURRENT 12.9 LANGUAGE

When Call Center Database and IT Trouble Tickets are open regarding the same trouble, the IT and WSD organizations will communicate as follows. The WSD Tier 2 Process Specialists will be informed of the status of IT Trouble Tickets through ITWSHD system Event Notifications. Additionally, WSD Tier 2 has direct contact with the ITWSHD as a participant on the Resolution Team, as necessary. As the circumstances warrant, the WSD Tier 2 process specialist will advise the call handling centers (Tier 0, Tier 1 and Tier 2 at each center) and the Service Manager (Tier 3) of the information pertinent to ongoing resolution of the trouble.the system trouble via the external Event notification website found at URL:

http://www.qwest.com/wholesale/systems/eventnotifications

PROPOSED 12.9 LANGUAGE

When Call Center Database and IT Trouble Tickets are open regarding the same trouble, the IT and WSD organizations will communicate the system trouble via the external Event notification website found at URL:

http://www.qwest.com/wholesale/systems/eventnotifications?pageSize=10&sortField=TICKET_NUMBER&sortOrder=ASC&pageNum=1

7/19/06 - REVISION TO 12.9 LANGUAGE

12.9 Communications

When IT Trouble Tickets are open regarding system trouble, the IT and WSD organizations will communicate as follows. The WSD Tier 2 Process Specialists will be informed of the status of IT Trouble Tickets through ITWSHD system Event Notifications. Additionally, WSD Tier 2 has direct contact with the ITWSHD as a participant on the Resolution Team, as necessary. As the circumstances warrant, the WSD Tier 2 process specialist will advise the call handling centers (Tier 0, Tier 1 and Tier 2 at each center) and the Service Manager (Tier 3) of the System trouble and information pertinent to ongoing resolution of the trouble will be made available via the external Event notification website found at URL:

http://www.qwest.com/wholesale/systems/eventnotifications/


Status History

4/13/06 - CR submitted

4/17/06 - CR acknowledged

5/17/06 - Discussed in the May CMP Product Process Meeting

5/17/06 - Status changed to Presented

5/18/06 - Communicator Issued - CMPR.05.18.06.F.03958.CMP_Event_NotificationTrial

6/21/06 - Discussed in the June CMP Product Process Meeting

7/19/06 - Discussed in the July CMP Meeting Product Process Meeting

8/4/06 - CMPR.08.04.06.F.04105.CMP_Vote_Required

8/16/06 - Discussed in the August CMP Meeting Product Process Meeting - See Attachment G in the Distribution Package

8/16/06 - Status changed to completed

8/28/06 - CMPR.08.22.06.F.04147.ExceptionVoteDisposition

9/18/06 - PROS.09.18.06.F.04202.CMPDocChange_EventNotice


Project Meetings

8/16/06 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this CR was discussed in the July CMP Meeting and that the vote was to be conducted in this meeting. Lynn Stecklein-Qwest stated that Qwest would like to eliminate the duplicate work that is being performed when Event Notifications are submitted by eliminating the need for an escalation ticket to be created. She said that a vote of ‘Yes’ will indicate a preference that when Call Center Database and IT Trouble Tickets are open regarding the same trouble, the IT and WSD organizations will communicate the system trouble via the external Event Notification Website. She said that a vote of ‘No’ will indicate a preference that the existing process will not change. She asked if there were any questions. Lynn stated that Section 2.1 of the CMP Document states that incorporating a change into the Change Management Process requires unanimous agreement using the voting process. She said that the standard for quorum on this vote is 7 and has been achieved. She stated that 5 votes were received via e-mail and all 5 were yes. She asked if everyone who hasn’t voted and would like to do so, to cast their vote. Comcast-Y (e-mail vote) Eschelon-Y (e-mail vote) Network PTS-Y (e-mail vote) Sprint Nextel-Y (e-mail vote) Qwest Corporation-Y (e-mail vote) Verizon Business-Y AT&T-Y Covad-Y Integra-Y Mcleod-Y XO Communications-Y Time Warner-Y

Lynn Stecklein-Qwest stated that this request passed with unanimous vote and said that, if there were no objections, would be implemented with a Level 1 notice. There were no objections.

7/19/06 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this CR was presented by Ellen McArthur (Qwest) in the May CMP Meeting. He said that this request was issued to eliminate the duplicate work that is being performed when Event Notifications are submitted. Mark said that in the May CMP Meeting a proposal was made that Qwest conduct a 30 day trial on this change. In the June CMP Meeting Qwest agreed to meet internally to discuss Eschelons comments/suggestion to the redline document and to gather more information from the trial. Ellen McArthur-Qwest stated that we did review the comments sent by Eschelon and did include their suggestion to Section 12.9 CMP Document as follows:

12.9 Communications When IT Trouble Tickets are open regarding system trouble, the IT and WSD organizations will communicate as follows. The WSD Tier 2 Process Specialists will be informed of the status of IT Trouble Tickets through ITWSHD system Event Notifications. Additionally, WSD Tier 2 has direct contact with the ITWSHD as a participant on the Resolution Team, as necessary. As the circumstances warrant, the WSD Tier 2 process specialist will advise the call handling centers (Tier 0, Tier 1 and Tier 2 at each center) and the Service Manager (Tier 3) of the System trouble and information pertinent to ongoing resolution of the trouble will be made available via the external Event notification website found at URL: http://www.qwest.com/wholesale/systems/eventnotifications?pageSize=10&sortField=TICKETNUMBER&sortOrder=ASC&pageNum=1

Mark Coyne-Qwest asked if there were any questions or objections to this change in the language. There were no objections. Mark said that we will move forward with the vote in the August CMP Meeting. Laurie Fredricksen-Integra stated that when you click on the link mentioned in the red-line document, the link is not valid. Mark Coyne-Qwest stated that we will check on the URL.

NOTE: The correct URL is: http://www.qwest.com/wholesale/systems/eventnotifications

6/21/06 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this CR was presented by Ellen McArthur (Qwest) in the May CMP Meeting. He said that this request was issued to eliminate the duplicate work that is being performed when Event Notifications are submitted. Mark said that in the May CMP Meeting a proposal was made that Qwest conduct a 30 day trial on this change and that the vote would be taken in this meeting. Mark said that we pulled data on the trial and found no cases where an Event Notification was opened where an escalation ticket would have been created. Mark said that based on the inconclusive information and data from the trial and the comments received from Eschelon on the redlined language; we would like to defer the vote until the July meeting. Mark said that we would like to meet internally to discuss Eschelons comments and to gather more information from the trial. He asked if anyone had any objection on deferring until the July Meeting. Kim Isaacs-Eschelon stated that she had no problem in deferring the vote until July and asked if Qwest would be reviewing Eschelons comments on the redline language. Mark Coyne-Qwest said that we would review Eschelons comments on the redline language and that we will go back and revisit the results of the trial with the Process SMEs and provide a readout in July.

Announcement Date: May 18, 2006 Start Date: May 18, 2006 End Date: June 21, 2006 Document Number CMPR.05.18.06.F.03958.CMPEventNotificationTrial Notification Category: Change Management Notification Target Audience - CLECs, Resellers Subject: CMP - Change Management Trial Event Notification process Associated CR Number or System Release Number: Qwest CR #PC041306-1CM Associated with Change Request # PC041306-1CM, Qwest would like to eliminate the duplicate work that is being performed when Event Notifications are submitted. Qwest is proposing to eliminate the need for an escalation ticket to be created along with the issuance of an internal Multi Channel Communicator (MCC) when an Event Notification is required. An external website is available to review all Event Notifications. That website is at URL http://www.qwest.com/wholesale/systems/productionsupport.html. During the monthly CMP meeting on May 17, 2006, as part of the discussion on this CR, it was agreed that Qwest would conduct a trial of this process prior to the CMP vote to modify the Change Management Process document with this revised process. Effective today, May 18, 2006, Qwest will be conducting this trial to discontinue creating an escalation ticket along with the issuance of an internal Multi Channel Communicator (MCC) when an Event Notification is created. This trial and the subsequent long term change only impact internal Qwest processes; it does not impact service to Qwest customers. Qwest will be performing this trial through June 21, 2006. As identified in the May monthly meeting, the results of the trial will be relayed and vote on the implementation of this CR will occur during the June monthly CMP meeting. Additional information on this CR can be found at URL http://www.qwest.com/wholesale/cmp/changerequest.html. The Change Management Process document is located at URL http://www.qwest.com/wholesale/cmp/index.html. If you have any questions on this trial or the Change Request, please submit them through CMPCR@qwest.com

Sincerely

Qwest Corporation

5/17/06 Product/Process CMP Meeting

Ellen McArthur - Qwest reviewed the current process when an Event Notification is sent to the CLECs. She said that the notice includes the escalation number and the MCC is sent. Ellen said that approximately 1 1/2 years ago an external website was developed and became available to the CLECs to review Event Notifications and updates. Ellen said that an audit was completed over a 6 month period and that we have determined that we are no longer receiving escalation calls on Event Notifications and would like to discontinue creating the escalation ticket and issuing the MCC.

Jill Martain - Qwest asked if there were any questions and said that the vote for this request would be conducted in the June Product/Process CMP Meeting.

Bonnie Johnson - Eschelon said that when they call the Systems Help Desk and hit the system prompt there is an internal process to determine where the call needs to go. Bonnie said that the escalation people need to be aware of the workaround if there is one.

Ellen McArthur - Qwest said that those processes will not change.

Bonnie Johnson - Eschelon asked what happens if Qwest sends an Event Notification that requires a workaround and the workaround is used and Qwest rejects the order in error.

Ellen McArthur - Qwest stated that the process is to ensure the PMR ticket is also included on the LSR. She said that if the LSR is rejected in error, the LSR should be pulled to see the ticket number in the remarks and to verify that the workaround was used that was identified by Qwest.

Bonnie Johnson - Eschelon asked if the other CLECs were ok with this.

Kim Isaacs - Eschelon said that she was a little concerned and asked if they would continue to get e-mail notifiers.

Ellen McArthur - Qwest said yes.

Jill Martain - Qwest said that today Qwest sends the MCC that is a duplicate of the ticket and a duplication of efforts. She said that when the LSR is submitted the current process instructs Qwest to look at the Event Notification Website. She said that the MCC is sent to the order typists and when they see the ticket number is the remarks they will look at the External website to see what is going out. She said that this CR is to eliminate redundancies and the CLECs should not see anything different.

Kim Isaacs - Eschelon said that the e-mails cause an instant reaction by the CLECs (5/25/06 Comment to minutes received from Eschelon) and expressed a concern that the CLECs would be working with information that the CSIE and Qwest Centers did not have readily available to them.

Jill Martain - Qwest said if we conducted the vote in June, and the votes was yes, Qwest could issue a Level 1 notice, and the CR will go into CLEC Test to determine if the new process is working before the CR is closed. Jill said that she was hesitant to implement a trial based on the CMP language but that we could trial this process and tweak it if need be, or worst case, issue a Level 1 notice to revert back to the old process and then revisit.

Bonnie Johnson - Eschelon said that a trial was a good recommendation. She said that with a trial, if a negative impact to the CLECs is identified during the trial, Qwest would be willing to work with them on any training issues or revert back to the old process (5/25/06 Comment to minutes received from Eschelon) Eschelon would be ok with the change if Qwest is willing to retract the change if there is a negative impact to the CLECs.

Jill Martain - Qwest said that we need to vote before the CMP Document can be changed. She said that if the vote turns out unanimous, a Level 1 notice will be sent to change the process immediately.

Kim Isaacs - Eschelon asked if this discussion could be noted.

Jill Martain - Qwest said that this discussion will be noted in the meeting minutes.

Bonnie Johnson - Eschelon asked if this change requires a vote to change the CMP Document.

Jill Martain - Qwest said yes and that we could trial this process with the understanding that it would be outside of the CMP Document and still take the vote in June.

Bonnie Johnson - Eschelon said that she would be more comfortable with the trial since the vote is a binding decision in the CMP Document.

Jill Martain - Qwest asked if other participants are comfortable with this direction.

Eschelon, Integra and Time Warner were ok with this proposal. There were no objections.

Susan Lorence - Qwest stated that we would send out a CMP trial notice to communicate to those not in attendance at this meeting.


Open Product/Process CR PC030607-1 Detail

 
Title: Tagging Demarcation Points
CR Number Current Status
Date
Area Impacted Products Impacted

PC030607-1 Completed
6/20/2007
Ordering, Maintenance/Repair, Provisioning All Designed Services
Originator: Dyson, Mark
Originator Company Name: Qwest Corporation
Owner: Dyson, Mark
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest submits this change request regarding tagging at the demarcation point so that a process change may be noted. The process change is relevant to designed services only and therefore, includes unbundled loops. The process change is as follows: When a Qwest technician is dispatched on a repair and is at the premises of the end-user, the Qwest technician will tag your circuit if you request it be done. Qwest will revise three documents to make the change clear. These documents consist of the following:

1.The Dispatch Business Procedure

2.The M &R Overview

3.The Provisioning & Installation Overview

Finally, Qwest, in updating these documents, also revises language to ensure all documents sync-up with regard to all tagging processes and procedures; including POTS services.

Lastly, Qwest wants to note that it is happy to tag any circuit anytime you request it be done.


Status History


Project Meetings

6/20/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this request was implemented on 5/17/07 and asked if there were any objections to close this CR. Bonnie Johnson-Eschelon stated that they submitted comments regarding their concerns. 6/27/07 - Comments received from Eschelon (add comment from CR below) When commenting on a different CR, Bonnie said Qwest implemented the changes in this CR over Eschelon’s objection and Qwest will close this CR over Eschelon’s objection. Mark Coyne-Qwest asked if there were any other questions or comments and there were none. Mark Coyne-Qwest stated that this CR will be closed.

5/16/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the Level 4 Notice went out on April 2nd and will be effective on May 17th. Mark stated that we would move the CR to CLEC Test on the 17th

4/18/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that a notification was sent on 4/2/07 and that the response to comments is due 5/2/07. He said that this CR will become effective on 5/17/07.

3/21/07 Product/Process CMP Meeting

Georgie Weidenbach-Qwest stated that this change request is regarding tagging at the demarcation point so that a process change may be noted. She said that this process change is relevant to designed services only and therefore, includes unbundled loops. Georgie said that the process change is as follows: When a Qwest technician is dispatched on a repair and is at the premises of the end-user, the Qwest technician will tag your circuit if you request it be done. She said that Qwest will revise the following three documents to make this change clear: 1.The Dispatch Business Procedure 2.The M &R Overview 3.The Provisioning & Installation Overview Georgie said that Qwest, in updating these documents, also revises language to ensure all documents sync-up with regard to all tagging processes and procedures; including POTS services. She said that Qwest wants to note that it is happy to tag any circuit anytime you request it be done. 3/27/07 - Comments to minutes received from Eschelon Kim Isaacs-Eschelon asked if the process was for repair only. Kim asked what Qwest’s tagging process is for new installations of design services. Georgie Weidenbach-Qwest said that is correct and that we will tag any time if requested for repair scenarios. Qwest automatically tags when dispatch for the installation of designed services. Kim Isaacs-Eschelon asked if the changes to the Provisioning and Installation Overview would be removing references to the repair process. Georgie Weidenbach-Qwest stated that they were updating all of the PCATs to align the process and to document that as a courtesy Qwest will tag on repair dispatches for unbundled loops if the CLEC requests it. Mark Coyne-Qwest stated that this change will go out as a Level 4.

Ad Hoc Meeting - Tagging of Circuits February 19, 2007

Attendees: Kim Isaacs-Eschelon, Bonnie Johnson-Eschelon, Kathi Lee-AT&T, Cindy Buckmaster-Qwest, Susan Lorence-Qwest, Vicki Dryden-Qwest, Don Tolman-Qwest, Peggy Esquibel-Reed, Qwest, Lynn Stecklein-Qwest

Lynn Stecklein-Qwest stated that the purpose of this meeting is to have additional discussion on Qwest’s proposed changes in the Provisioning and Installation and M&R PCATs. Qwest issued a Level 3 notice that was prompted due to decisions made associated with the negotiations going on with Eschelon. She said that the Level 3 notice was issued for some PCAT updates and a change in process. Eschelon requested a change in disposition to a Level 4. Lynn said that this issue was also discussed in the January CMP Meeting and during that meeting an adhoc meeting was requested.

Cindy Buckmaster-Qwest stated that as a result of contract negotiations with 1 to 2 CLECs, there was a misunderstanding on how Qwest tags circuits. She said that with the old process we did not tag everytime we went out and that a sentence was minconstrued. Cindy said that we tried to clean up the PCATs and introduced the language at CMP. She said that our intent has not changed and that if you request a tag, Qwest will tag if the account is not yet tagged.

Don Tolman-Qwest stated that we will tag anytime we dispatch to premis.

Cindy Buckmaster-Qwest agreed and said that in the event we dispatch to the customer premis, we will tag at the CLECs request.

Bonnie Johnson-Eschelon stated that this language was left out of the dispatch PCAT and was taken out of context. She said that this language has been in the PCAT since 2003. She stated that Eschelon has developed an internal process based on what the PCAT says and that now Qwest is stating that the documentation is not clear. Bonnie said that this is a change in process for Eschelon and that this needs to be a Level 4. She stated that we need to work through the language together and have appropriate amount of time to react to the change. Bonnie stated that they did comment in the January CMP Meeting and that we need to talk about installation and repair separately. She said that there are 2 points with this change. The 1st point is the after 30 days of installation and the 2nd point - if within 30 days and already tagged. Bonnie reiterated that the Provisioning and Installation and Repair PCATs need to be kept separate and that we need to make this change clear in the documentation. She said that the documentation, for example, should say that if the change is after 30 days, you need to submit a LSR and that will point to the Provisioning and Installation or Ordering Overview PCAT. She said that if the situation is within 30 days, it should be in the Repair PCAT. Bonnie also said that her understanding from the November call was that Qwest always tagged on designed services and that she did not see this in the Provisioning and Installation PCAT.

Cindy Buckmaster-Qwest thanked Eschelon for their thoughts and asked if anyone else had any Questions. Cindy asked what the next steps were.

Lynn Stecklein-Qwest stated that she heard that Eschelon is requesting a Level 4 be submitted.

Bonnie Johnson-Eschelon agreed.

Lynn Stecklein-Qwest stated that Qwest will regroup internally and discuss the Level 4 change.

Susan Lorence-Qwest stated that we did discuss that if we could not reach agreement that Qwest will issue a Level 4 and work to get the PCATs consistent. Susan stated that we would not be addressing the rate piece in CMP.

Bonnie Johnson-Eschelon stated that the language talks about the application of rates all over in the documentation.

Susan Lorence-Qwest stated that Qwest will regroup on the consistency of the language but not the rate piece, only the process.

Lynn Stecklein-Qwest asked if there were any other questions and there were none.

-- 1/17/07 January Product/Process CMP Meeting Tagging of Circuits

Mark Coyne-Qwest stated that Qwest issued a Level 1 notice in October with the intent to provide consistent documentation in the Provisioning, Installation and M&R PCATs. He said that this notice resulted in some CLEC comments and concerns and that Qwest held an adhoc meeting to discuss. Mark stated that Qwest moved forward with some additional updates on a Level 2 notice. He said that due to decisions made associated with the negotiations going on with Eschelon, Qwest was prompted to issue a Level 3 notice for more PCAT updates and a change in process. Mark said that we did receive comments requesting a change in disposition to a Level 4. He said that Qwest issued a delayed response and that we did receive additional comments from Eschelon. Mark stated that Qwest would like to move forward with a separate adhoc meeting to understand Eschelon’s concerns and discuss what was discussed in negotiations. He stated that we would proceed with a Level 3 if we can reach agreement and if we can’t reach an agreement, Qwest would open up a Level 4 CR. Bonnie Johnson-Eschelon stated that at a high level there are inconsistencies in dispatch vs. provisioning and installation. She said that (Comments to minutes from Eschelon 1/26/07) - the Dispatch PCAT refers you to the M&R PCAT you refer to dispatch and the same should be done for in the Provisioning and Installation PCATs. Qwest also made a change under Service Wire Rearrangements and that has nothing to do with tagging. She also said that Additional Labor and Additional Labor - other dispatch are 2 different charges. Cindy Buckmaster-Qwest said (Comments to minutes from Eschelon 1/27/07 - yes she made that change as a clean up when she was going through the PCAT.) She disagreed because they are the same charges. Bonnie Johnson-(Comments to minutes from Eschelon 1/26/07 - Eschelon provided Mark Coyne with a copy of Exhibit A and showed him the two different charges. She said that some changes were not in the tagging section and some changes were made with no explanation as to why. Cindy Buckmaster-Qwest said that she just saw what Eschelon was referring to and that maybe we should not have made the changes together. Bonnie Johnson-Eschelon stated that discussions were held with Georganne Weidenbach (Qwest) and Cindy Buckmaster (Qwest) regarding (Comments to minutes from Eschelon 1/26/07 - Qwest’s changes the PCAT and these updates do not match what they said. She said that then they read Mark’s e-mail and realized that Qwest was trying to make updates that matched what Eschelon had negotiated for its contract. Bonnie said Eschelon made some concessions and also discussed their concerns regarding ICA controls and if other CLECs want to opt in the can but are not required to and that other CLECs need to provide input. Cindy Buckmaster-Qwest stated that other CLECs do need to weigh in and that is why we have CMP. She said that we get feedback and decide if we move forward with a change. Cindy said that she and Georganne Weidenbach (Qwest) never said the PCATs were wrong but that the PCATs appeared to be inconsistent. She said that we were trying to clarify and acknowledge that they could be misleading if taken out of context. Bonnie Johnson-Eschelon stated that Qwest said that the PCAT was wrong and Qwest has sworn testimony. Mark Coyne-Qwest stated that we will schedule an adhoc meeting to address the differences and Qwest will determine if we need a Level 3 or 4. Bonnie Johnson-Eschelon stated that she was ok with this path but (Comments to minutes from Eschelon 1/26/07 - Eschelon will continue to ask that this be a level 4 change request.) Mark Coyne-Qwest asked why Eschelon is requesting a Level 4. Bonnie Johnson-Eschelon stated that this looks like a major process change to Eschelon (Comments to minutes from Eschelon 1/26/07 - and the previous Provisioning and Installation and Repair PCATs state Qwest will tag when they dispatch. Cindy Buckmaster-Qwest said (Comments to minutes received from Eschelon 1/26/07 - UBLs are always tagged and the language Qwest proposed changes are different than the current process. She said that we tried to address that the dispatch PCAT was written from a UBL perspective and not from a POTS perspective. She said that we found that the documentation needed distinction between POTS and design for tagging. Mark Coyne-Qwest stated that an adhoc meeting will be scheduled.


Open Product/Process CR PC030907-1 Detail

 
Title: Elimination of services in Northern & Southern Idaho
CR Number Current Status
Date
Area Impacted Products Impacted

PC030907-1 Completed
6/20/2007
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Services being eliminated in Northern Idaho

Residential services - Farmer Line service (LSF), 2-Party (2FR) & 4-Party (4FR) service, Suburban service (8FR) (rate group 2 only), and Foreign Exchange 2-party service (FNN).

Business services - Foreign Exchange Flat Rate Hunting/Key service (FNH), Farmer Line service (LSE), 2-Party service (2FB), Suburban service (8FB) and Joint User service (JUF, JND, JNT, JUP).

Services being eliminated in Southern Idaho

Residential service - Service Station Line service (1SS, 4SS).

Business service - Joint User service (JUF, JND, JNT, JUP).

Proposed effective date of 6-1-07


Status History


Project Meetings

6/20/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this CR was effective on 6/1/07 and asked if there were any objections to close. There were no objections and this CR will be closed.

5/16/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that the Level 2 Notice was sent on May 11th and would become effective on June 1st.

4/18/07 Product/Process CMP Meeting

Mark Coyne-Qwest stated that a L2 notice will be sent and that this CR will become effective on 6/1/07.

3/21/07 Product/Process CMP Meeting

Cindy Schwartze-Qwest stated that the following Services are being eliminated in Northern Idaho Residential services - Farmer Line service (LSF), 2-Party (2FR) & 4-Party (4FR) service, Suburban service (8FR) (rate group 2 only), and Foreign Exchange 2-party service (FNN). Business services - Foreign Exchange Flat Rate Hunting/Key service (FNH), Farmer Line service (LSE), 2-Party service (2FB), Suburban service (8FB) and Joint User service (JUF, JND, JNT, JUP). Cindy said that the following services are being eliminated in Southern Idaho: Residential service - Service Station Line service (1SS, 4SS). Business service - Joint User service (JUF, JND, JNT, JUP). Cindy stated that there are currently no customers for these services and that Qwest would like to send a Level 2 notice for this change. Cindy also stated that we are proposing an effective date of 6-1-07. There was no objection to the Level 2 notice and this CR will move to a Development status.


Open Product/Process CR PC030907-2 Detail

 
Title: Grandparent Residential Service Station Service in Southern Idaho and Residential Suburban Service in Northern Idaho
CR Number Current Status
Date
Area Impacted Products Impacted

PC030907-2 Completed
6/20/2007
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Service being grandparented in Southern Idaho:

Residential service - Service Station service (rate group 2 only) (1SS)

Service being grandparented in Northern Idaho:

Residential service - Suburban service (rate group 1 only) (8FR)

Expexted Deliverable:

Proposed effective date of 6-1-07


Status History


Project Meetings

June 20, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this change was effective on June 1st and asked if there was any objection to closure of the CR. There were no objections brought forward. This CR is in Completed Status.

-- May 16, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that the Level 2 Notice, for this CR, was also sent on May 11th and would become effective on June 1st.

-- April 18, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that a Level 2 Notice would be sent and noted that it would have an effective date of June 1, 2007.

-- March 21, 2007 Product Process CMP Meeting: Cindy Schwartze-Qwest presented the CR and stated that there are no customers. Cindy then stated that Qwest would like to send a Level 2 for this change and noted that the proposed effective date would be June 1, 2007. Mark Coyne-Qwest asked if there were any questions or objections to a Level 2 Notice. There were none. This CR moves to Development status.


Open Product/Process CR PC021109-1 Detail

 
Title: End the Qwest Specialized Customer Premise Equipment Program.
CR Number Current Status
Date
Area Impacted Products Impacted

PC021109-1 Completed
6/17/2009
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest is ending its specialized customer premise equipment program in the state of Minnesota. Under this program customers were leasing an adaptive equipment device. Qwest will stop billing the monthly lease charges for the equipment, but will allow the customer to keep the equipment. With this change, Qwest will no longer repair or replace this equipment. The USOCs that will be eliminated with the end of this program are: SQS (Adjunct Volume Control), SPT (Superprint 400 TDD), 31M (Stetomike Headset), SPM (DirecTel Speakerphone), WMV

(Queue Plus Speakerphone), BCY (Toneringer), SRH (Signalman Lamp), PTMCU (Communication Printer), VLNSX (Volume Control), VEPNX (Non-Certified Porta Printer), VEPCX (Certified Porta Printer), 6XT (Visually Impaired Attendant Arrangement), VUXSX (Weak Speech Handset), REW (Auxiliary Receiver), AMS (Impaired Hearing Telephone), HC7 (Weak Speech Telephone). These monthly recurring charge USOCs will be removed from the customers service records. Currently, there are 18 Wholesale Customers with this leased equipment.


Status History


Project Meetings

6/17/09 Prod/ProcCMP Meeting

Mark Coyne-Qwest said this became effective 5/18/09 and asked if there was any objection to closure. There was no objection.

5/20/09 ProdProcCMP Meeting

Mark Coyne-Qwest said that this became effective 5/18/09 and asked if there was any objection to closure. Kim Isaacs-Integra said that she would like to leave in CLEC Test another month.

4/15/09 Prod/Proc CMP Meeting

Mark Coyne-Qwest said that this announced on 4/3/09 as a level 4 to become effective 5/18/09.

3/18/09 Prod/Proc CMP Meeting

Mark Coyne-Qwest said that this will announce on 4/3/09 to become effective in mid May.

2/18/09 Product/Process CMP Meeting

Cindy Schwartze-Qwest said that Qwest is ending its specialized customer premise equipment program in the state of Minnesota. Under this program customers were leasing an adaptive equipment device. Qwest will stop billing the monthly lease charges for the equipment, but will allow the customer to keep the equipment. With this change, Qwest will no longer repair or replace this equipment. The USOCs that will be eliminated with the end of this program are: SQS (Adjunct Volume Control), SPT (Superprint 400 TDD), 31M (Stetomike Headset), SPM (DirecTel Speakerphone), WMV (Queue Plus Speakerphone), BCY (Toneringer), SRH (Signalman Lamp), PTMCU (Communication Printer), VLNSX (Volume Control), VEPNX (Non-Certified Porta Printer), VEPCX (Certified Porta Printer), 6XT (Visually Impaired Attendant Arrangement), VUXSX (Weak Speech Handset), REW (Auxiliary Receiver), AMS (Impaired Hearing Telephone), HC7 (Weak Speech Telephone). These monthly recurring charge USOCs will be removed from the customers service records. Currently, there are 18 Wholesale Customers with this leased equipment Cindy said that we are working with the Service Manager to have record orders issued to remove the USOC.

Bonnie Johnson-Integra asked if this product is in the CLECs ICA or in the Minnesota SGAT.

Cindy Schwartze-Qwest said that we do have it in the PCAT for resale but we don’t resell CPE. She said that she will check in the ICA or SGAT and it will be removed from the tariffs.

2/18/09 Qwest Response: Cindy Schwartze-Qwest checked the MN SGAT and ICA for "Specialized Customer Premise Equipment" and there is no mention in either document. As stated in the call today, it is in the MN tariff: MN E&NS Non-Price Regulated Price List No.2, Sec 102.9 Special Needs Customer Premises Equipment.


Open Product/Process CR PC032409-1 Detail

 
Title: Expedites and Escalation Change to remove UDF Product
CR Number Current Status
Date
Area Impacted Products Impacted

PC032409-1 Completed
8/19/2009
Ordering UDF
Originator: Wells, Joan
Originator Company Name: Qwest Corporation
Owner: Wells, Joan
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest sent a level 1 notice PROS.03.02.09.F.06070.Expedites_EscalationsV55 to sync up documentation with the Core UDF PCAT for the purpose of removing UDF from the product list in the Escalation/Expedite business procedure. A CLEC change to disposition request was received on 3/13 and was discussed in the 3/18 CMP Monthly Meeting. In the discussion because of CLEC Comments, Qwest agreed to retract the original notice and issue a change request to remove UDF from the product list.


Status History


Project Meetings

8/19/09 Product/Process CMP Meeting

Susan Lorence-Qwest said this became effective on 7/23/09 and we would like to close. Bonnie Johnson-Integra said Qwest implemented this CR over their objection. Bonnie said that they think this violates an order and would close over their objection too.

7/15/09 Product/Process CMP Meeting

Mark Coyne-Qwest said the level 4 announced on 6/8/09 and will become effective on 7/23/09. We will revisit in the August CMP meeting.

6/17/09 Product/Process CMP Meeting

Mark Coyne-Qwest said that the level 4 announced on 6/8/09 and will become effective on 7/23/09.

5/20/09 Product/Process CMP Meeting

Mark Coyne-Qwest said that the level 4 notice will be sent out 6/1/09 with a tentative effective date of 7/16/09.

4/15/09 Product/Process CMP Meeting

Joan Wells-Qwest said that this was presented last month and a request was made to change the level. Joan said that we are correcting the expedite PCAT to remove UDF as an Expedite offer and to synch it up with the main PCAT that does not accommodate expedites. Joan said that there are no provisions or rates for expedites with the new Commercial Agreements. She said that Qwest wants to synch up the method and move forward with correcting the expedite PCAT. Bonnie Johnson-Integra said that Integra requested that the level 1 be retracted. Bonnie said that if Qwest wanted to make this change, it is a limitation to a product, not a correction and they don’t agree with this change on any level. Bonnie said that Qwest said that all products are included in the expedite list. Bonnie said they believe that for those CLECs that have an expedite agreement that refers to the PCAT, Qwest is making changes to the terms in their ICA. She said she hoped Qwest was reviewing the Arizona order to determine if Arizona specific language is needed for this. Bonnie said that when Qwest submits the redline change, they will be commenting. Joan Wells-Qwest said that she appreciated their comments and that the contract language does refer to the product/process that are pre-approved in the PCAT. She said that she didn’t have the history on the initial implementation of the expedite PCAT but did understand from the product managers that UDF is ordered through the Commercial Agreement and is not part of the ICA. She said that the Commercial Agreement does not accommodate expedites for UDF and this is why this is being done. She said that we have not had any expedites on UDF and that was not sure if you could order UDF on a standard ICA and that you have to have a Commercial Agreement. Bonnie Johnson-Integra said that Dark Fiber is still available in some cases under the ICA. Julia Redman-Carter-PAETEC said that (4/24/09 Comments to minutes received from PAETEC) she wanted clarification in general on when they have information in an ICA that cross references to a PCAT, i.e. expedite, amendments what is Qwest’s position. Is it Qwest’s position that when the PCAT or tech pub change, Qwest can do that without an amendment and just with a level 4 CMP process. Julia asked if it was Qwest’s position that they can unilaterally change (4/24/09 Comments to minutes received from PAETEC) material terms without their agreement in the process. Mark Coyne-Qwest asked if PAETEC was referring to the cross reference from an agreement. Julia Redman-Carter-PAETEC said that she was referring to an ICA, not Commercial, but a regulated agreement. Julia said that she is questioning in general and was using the UDF /expedite as the example. She said that (4/24/09 Comments to minutes received from PAETEC) in expedite amendment the language cross references the applicable items that are listed in the PCAT. Julia said that she believed the items in the PCAT at the time the amendment was signed are what they are. She said that those items are material terms that can’t be change unilaterally by Qwest without CLECs having an opportunity to challenge and agree. She asked if in a situation where there is something that Qwest wants to change in the PCAT, does Qwest feel that issuing a level 4 in CMP is sufficient to make the change and does does Qwest feel it is binding whether CLECs agree or disagree. Mark Coyne-Qwest said that we will follow up on this question and provide a response in the minutes. Mark said that the product/process SME would look at that before making the change and would get that agreement. Julia Redman-Carter-PAETEC said that she was trying to understand if this (4/24/09 Comments to minutes received from PAETEC) type of changes that impact material terms in the ICAs is something that goes through CMP or is it some other separate process. Mark Coyne-Qwest said that we understand PAETECs question and will provide a formal response in the minutes. Joan Wells-Qwest said the expedite PCAT does refer to their terms and conditions in the ICA. She said that if their ICA specifically states that you can expedite UDF, then we can’t change the PCAT. She said that we can change the PCAT overall but if you have that language you would not be affected. Joan said that contract language is not specific down to the product level. Mark Coyne-Qwest said that generally speaking anything that we change in the PCAT can’t override the ICA. Julia Redman-Carter-PAETEC said that their ICAs can’t be changed unless they have an agreement in writing and both parties have to sign it. Julia said that if there is an amendment (4/24/09 Comments to minutes received from PAETEC) such as the expedites Amendment, stating how this is treated etc. or identifying, the products this applies to are listed in the PCAT. Julia said that if Qwest changes that list in the PCAT, they have to amend their agreement to incorporate that change in the PCAT for that product. She said that in the past, Qwest has said they are going to change the PCAT via the CMP level 4 process and that the ICA is automatically amended and they are bound to it. She said that she wants to understand Qwest’s position going forward. She said that with the tech pub changes they have that cross referenced in their agreement and they also have language that says that material terms can not be unilaterally changed so it can’t be changed without agreement by both parties. Julia said that they want clarification on Qwest’s position about changes that are documented where Qwest has unilateral control over a document that reference material terms of the ICA in their agreement. She asked if it was Qwest’s position tthey make these changes this through CMP or that Qwest must amend the agreement to effectuate the changes. She said that she keeps going back and forth on different pieces and wants to understand the process. She said that she is negotiating ICAs and this is a big deal as to what they are going to allow to reference or cross reference in the ICA. Mark Coyne-Qwest said that we understand PAETEC’s clarification and will provide a response


Open Product/Process CR PC052609-1 Detail

 
Title: Grandfather Radio Carrier Listings
CR Number Current Status
Date
Area Impacted Products Impacted

PC052609-1 Completed
10/21/2009
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest will be grandfathering the Mobile Radio Service Listing (USOC – L96) and the Mobile Unit Number Listing (USOC – LMS) in Arizona, Montana and New Mexico.


Status History


Project Meetings

10/21/09 ProdProc CMP Meeting

Mark Coyne-Qwest said this CR was effective on 9/10/09 and asked if there was any objection to closure. There were no objections.

9/16/09 ProdProc CMP Meeting

Mark Coyne-Qwest said the level 2 announced on 7/10/09 with an effective date of 9/10/09 and we will be looking to close next month.

8/19/09 ProdProc CMP Meeting

Susan Lorence-Qwest said the level 4 announced on 7/27/09 with an effective date of 9/10/09.

7/15/09 ProdProc CMP Meeting

Mark Coyne-Qwest said this CR was presented in the June meeting and updates are pending.

6/17/09 ProdProc CMP Meeting

Cindy Schwartze-Qwest said that Qwest will be grandfathering the Mobile Radio Service Listing (USOC – L96) and the Mobile Unit Number Listing (USOC – LMS) in Arizona, Montana and New Mexico. Cindy said that there are 43 wholesale customers with the L96 USOC and no customers with LMS. She said that the implementation is scheduled for September 1, 2009 and no sunset date has been determined. Bonnie Johnson-Integra asked if any CLECs had this product. Cindy Schwartze-Qwest said there are no Wholesale customers. There are 43 Wholesale accounts with a handful of wireless customers. Bonnie Johnson-Integra asked if Qwest contacts them separately. Cindy Schwartze-Qwest said that the notification will go out but we won’t be contacting them because we are just grandfathering. She said that we won’t be moving the customers off because there is no sunset date.


Open Product/Process CR PC060209-1CM Detail

 
Title: Update Section 5.8 of the CMP Document to add a new CR status of “Crossover”
CR Number Current Status
Date
Area Impacted Products Impacted

PC060209-1CM Completed
7/27/2009
Originator: Stecklein, Lynn
Originator Company Name: Qwest Corporation
Owner: Stecklein, Lynn
Director:
CR PM: Stecklein, Lynn

Description Of Change

During the operation of this CMP, there may be situations when systems CRs have requirements for product/process discussions or solutions, or when product/process CRs require System solutions.

If a CR submitted to the product/process CMP is discovered to require a mechanized solution the

following will occur:

Qwest will open a new systems CR, on behalf of the original CR originator, with a reference to the

product/process CR number. Qwest will close the product/process CR with a reference to the new systems CR number

If a CR submitted to the Systems CMP is discovered to require a manual solution the following will occur:

Qwest will open a product/process CR, on behalf of the original CR originator, with a reference to the

systems CR number. Qwest will close the systems CR with a reference to the new product/process CR

number.

In these scenarios, the CR being closed will be updated with the “crossover” status.


Status History


Project Meetings

7/15/09 Product/Process CMP Meeting

Mark Coyne-Qwest This CR is proposing updates to Section 5.8 of the CMP Document to add a new CR status of “Crossover”. Lynn Stecklein-Qwest said the redline is included in the distribution package. Quorum is 7 and has been achieved. In Section 2.1 of the CMP document it states that incorporating a change into the Change Management Process requires unanimous agreement.

A vote of ‘Yes’ will indicate a preference that Section 5.8 of the CMP Document will include a CR status of “Crossover”.

A vote of ‘No’ will indicate a preference that Section 5.8 of the CMP Document will not include a CR status of “Crossover”.

Lynn said Qwest has received 4 ‘Yes’ votes from Qwest, Verizon Business, Velocity and Comcast via e-mail. The meeting participants voted as follows: Integra – Yes, PAETEC – Yes, Covad – Yes, TDS – Yes, Time Warner Telecom – Yes

The vote was granted with 9 ‘Yes’ votes, 0 ‘No’ votes and 0 ‘Abstain’ vote. A vote disposition notice will be sent and the change will be made to the CMP document.

Susan Lorence-Qwest asked if everyone was agreeable to a level 1 notice and that the votes conducted today be combined on the same notice.

Kim Isaacs-Integra said since there are 2 separate CRs, separate notices should be sent.

6/17/09 Product/Process CMP Meeting

Lynn Stecklein-Qwest said that during the operation of this CMP, there may be situations when systems CRs have requirements for product/process discussions or solutions, or when product/process CRs require System solutions. If a CR submitted to the product/process CMP is discovered to require a mechanized solution the following will occur: Qwest will open a new systems CR, on behalf of the original CR originator, with a reference to the product/process CR number. Qwest will close the product/process CR with a reference to the new systems CR number. If a CR submitted to the Systems CMP is discovered to require a manual solution the following will occur: Qwest will open a product/process CR, on behalf of the original CR originator, with a reference to the systems CR number. Qwest will close the systems CR with a reference to the new product/process CR number. In these scenarios, the CR being closed will be updated with the “crossover” status. Lynn said that Qwest will conduct the vote in the July meeting and will send out a vote notification.


Open Product/Process CR PC060509-1 Detail

 
Title: LIS PCAT Changes
CR Number Current Status
Date
Area Impacted Products Impacted

PC060509-1 Completed
11/18/2009
LIS/Interconnect
Originator: Stulen, Sandy
Originator Company Name: Qwest Corporation
Owner: Stulen, Sandy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Submitting Level 4 changes to LIS PCAT associated with changes that were originally submitted as a Level 2 and including additional updates.

Qwest description: LIS Mid Span Meet POI Subsection, the existing process was expanded upon and additional clarity and detail were added.

Qwest description: Trunking Subsection, the existing process not previously documented was added regarding the TCIC numbering range as well as providing additional clarity and detail to existing documentation

Qwest description: The existing process relating to the local Exchange Routing Guide (LERG) was added which was previously not documented.

Qwest description: LIS to AT Switch(es) Subsection, the existing Single Point of Presence (SPOP) process was added which was previously not documented.


Status History


Project Meetings

11/18/09 Product/Process CMP Meeting

Mark Coyne-Qwest said this change was effective on 10/30/09 and asked if there were any objections to closure. Bonnie Johnson-Integra said they objected to this change and that Qwest would be closing over their objection. Julia Redman-Carter-PAETEC agreed with Integra.

9/16/09 Product/Process CMP Meeting

Mark Coyne-Qwest said an adhoc meeting was held on 9/9/09. The Qwest team is looking at the comments submitted and will issue a final with the response to comments. Mark said a delayed response was submitted on 9/10/09.

9/9/09 Adhoc Meeting PROD.INTE.08.11.09.F.06720.LISV23

Attendees: Julia Redman-Carter-PAETEC, Mindy Chapman-Neustar, Kasha Fauscett-Comcast, Kim Isaacs-Integra, Bonnie Johnson-Integra, Doug Denney-Integra, Sandy Stulen-Qwest, Georganne Weidenbach-Qwest, Todd Rodgers-Qwest, Diana Rasmussen-Qwest, Susan Lorence-Qwest, Ellen Munz-Qwest, Lynn Stecklein-Qwest

Susan Lorence-Qwest stated that the purpose of this meeting is to discuss a level 4 notice and the objections and comments submitted by Integra on 8/24/09 on PROD.INTE.08.11.09.F.06720.LISV23. The comments are posted on the Qwest Wholesale Website and the PCAT can be found on the Document Review Archive Site. Susan said that discussions started back in the spring and Qwest agreed to submit a CR and go through the level 4 process. Susan said there were a couple of other changes but are basically the same questions previously reviewed in the March and April time frame.

1. What is the impact of Qwest changing “Reciprocal Compensation” to “Intercarrier Compensation”? Why is Qwest making this change? How does this change apply, if at all, to CLECs when their ICAs with Qwest refer to Reciprocal Compensation?

Qwest Response – Sandy Stulen Qwest has changed reciprocal compensation to intercarrier compensation due to the fact that not all compensation is reciprocal. Intercarrier compensation (9/16/09 Comments to minutes received from Integra in CAPS) IS MORE INCLUSIVE better explains how Qwest and the carrier deal with compensation between the two parties.

Kim Isaacs-Integra said reciprocal compensation is a subcategory of intercarrier compensation. She asked why Qwest feels it necessary to change the terms.

Sandy Stulen-Qwest said there is no impact. She said we changed it to intercarrier compensation because the compensation we exchange between the CLEC is compensation between that carrier and Qwest.. She said it doesn’t change what is in your contract but is meant to be more intercarrier compensation. She said that with reciprocal compensation, there were some customers who had many ISPs behind them and we were paying a lot more than what we were getting in from a usage basis. She said this is to make it more clear between the two carriers and doesn’t change rates.

Georgeanne Weidenbach-Qwest said the traffic is more unbalanced.

Kim Isaacs-Integra asked if there was any change to the CLECs ICA with references to reciprocal compensation.

Sandy Stulen-Qwest said the new negotiation template talks about intercarrier compensation in the heading where it used to say reciprocal compensation.

Kim Isaacs-Integra asked about the other contracts that are referred to as reciprocal and said the negotiation template is just that, for negotiations.

Sandy Stulen-Qwest said it is still reciprocal compensation with the same items underneath it as before. She said we still have DTT, entrance facility, LIS etc. and still fit under 7.3.

Georgeanne Weidenbach-Qwest said historically reciprocal compensation means matching or duplicate and is exactly the same. She said most traffic is unbalanced.

Kim Isaacs-Integra said she will take this back.

2. LIS Mid Span Meet OPI Subsection - Qwest is limiting and changing the product by changing the description. For example, Qwest removed the following sentence: “Determination of a midway point will be negotiated on the basis of each party sharing equally in the cost.” Is Qwest’s intent to shift the costs to the CLEC, so that Qwest no longer shares equally in the cost? If not, why is this change needed? If Qwest is claiming a change in law, please provide citations for Qwest’s changes and resubmit the changes as regulatory changes based on the decisions that Qwest says allow Qwest to make such a change. To date, Qwest has cited no authority to limit the product in this manner. Although Qwest claims it is providing “additional clarity,” the revised version is much less clear. Qwest’s changes are in conflict with, for example, the Minnesota SGAT (as well as Eschelon’s and Integra's ICAs in Minnesota). Consistent with Qwest’s trend of making SGAT terms unavailable without prior Commission approval, Qwest with this change is removing SGAT language and replacing it with the PCAT description of the product to match Qwest’s Negotiations Template verbatim. The Negotiations Template is not Commission approved and is no substitute for the SGAT. It reflects only Qwest's negotiations position and is not enforceable or proper basis for changes in CMP.

Qwest Response – Sandy Stulen Qwest believes that the change in the language provides more clarity to the mid-span meet product - there is no change in the product offering. This is still a negotiated mid-span meet POI with the CLEC and Qwest each sharing in its portion of the build of the mid-span meet POI. This does not change ICA language in each individual CLEC’s interconnection agreement regarding mid-span meet POI. This was originally a level 2 change and we agreed to make it a level 4.

Kim Isaacs-Integra said Qwest is saying there is no change but Qwest has removed the sentence ‘the determination of the midway point will be negotiated on the basis of each party sharing equally in cost’. Kim said this seems like a change and if it is negotiated and asked why the sentence can’t remain.

Georganne Weidenbach-Qwest said that we are comporting with the FCC order and can’t always be 50/50 because there may not be a manhole in the street that is 50/50.We are going to have to negotiate a little more and were trying to provide clarity on language because it is so old and nothing has changed.

Kim Isaacs-Integra said Qwest is pulling out the negotiated part.

Sandy Stulen-Qwest said the negotiation part is still there and the actual point of interface that the fiber facilities use will be subject to negotiation between the parties.

Kim Isaacs-Integra said it doesn’t say we will share equally in the cost.

Julia Redman-Carter-PAETEC said this has a significant impact on what they have today and was what she addressed in the original comment. She said negotiating something where the parties are going for 50/50, drives the parties to look for something that is 50/50 or something close to that. She said this is different language and they have serious concerns and are not amenable to remove the language that says the parties will pay 50/50.

Sandy Stulen-Qwest said the parties will equally share in the cost and it doesn’t say anything in this language about 50/50 and it all will be negotiated.

Georganne Weidenbach-Qwest said that federal law says in a meet point arrangement each party pays its portion of the cost to build the facilities to the meet point.

Julia Redman-Carter-PAETEC said the negotiation was more or less to make it an equal.

Georganne Weidenbach-Qwest said it is not technically in existence.

Julia Redman-Carter-PAETEC said equally in cost implies 50 % for both parties and doesn’t drive anything towards an equal share. She said based on her experience with Qwest, she is not convinced this is what Qwest intends. If Qwest intends 50/50, she wants that language in there and by removing it takes a huge parameter away.

Georganne Weidenbach-Qwest asked why we don’t stick with what the federal law says. She said that their ICA language is not changing and this is a general product catalog.

Julia Redman-Carter-PAETEC said that this is negotiated agreement language that has been approved. She said Qwest is not planning to use this as a general offering. She said Qwest relies on it and she ends up arguing it and spending time on what the language says. The language that Qwest is eliminating is in their ICA today and the language being proposed takes away a major negotiation tool that saves them time and energy. She said driving to the 50/50 helps the party gets them to where they need to be with less hassle and eliminating is backwards. She said this is not in their favor and doesn’t think it appropriate.

Susan Lorence-Qwest said with the level 2 that implied we weren’t changing anything. And with the level 4 process, the SMEs have said there is no change in process. She said the level 4 allows Qwest to update documentation to meet the current FCC guidelines and requirements. We don’t want to debate any legal issues on this CMP call. The intent of this call is to get additional comments and allow Qwest to give additional clarification instead of getting into a debate about what is in the contract because that is outside of the scope of CMP.

Georganne Weidenbach-Qwest said this change is getting the language to be consistent with the FCC requirements. She said the argument is silly and when you look at the definition of negotiation it means compromise. In the network environment 50/50 is what we shoot for because no one wants to pay more than anyone else. She said there probably isn’t a manhole that is truly 50/50 between the two of us.

Julia Redman-Carter-PAETEC said it may be silly, but as a negotiator trying to get to 50/50 gives a point everyone works toward.

Georganne Weidenbach-Qwest said we have never had a problem negotiating a location since 1999 and didn’t think PAETEC had mid spans.

Julia Redman-Carter-PAETEC said she thought they do have mid span meets, but will check.

3. Trunking Subsection – Integra objects to the statement “Unless specifically stated otherwise in the interconnection agreement you must have a separate trunk group for each type of traffic”. Integra is requesting that Qwest retract this statement. Whether Qwest retracts it or not, it does not govern Qwest's relationship with Integra, and Qwest should put no process in place to enforce this concept as to Integra.

Qwest Response- Sandy Stulen Qwest requires different trunk groups for Exchange Services (EAS/local) if there is a local tandem. IntraLATA LEC toll and JPSA go to the access tandem. This is the way Qwest requires traffic routing; however, there maybe circumstances where Exchange Services (EAS/local), intraLATA LEC toll and JPSA maybe combined by using SPOP if your ICA allows it. Each CLEC’s interconnection agreement dictates the terms of how their traffic can be routed.

Kim Isaacs-Integra said the statement assumes that if the ICA is silent, then Qwest sets the terms. It needs to be reworded so that if the ICA is silent and additional terms are needed negotiation takes place with the CLEC and not unilaterally decided (9/16/09 Comments to minutes received from Integra in CAPS) BY QWEST.

Sandy Stulen-Qwest said in the first paragraph it says that the terms and conditions for LIS can vary by individual ICA. This PCAT is for general information and is not changing anyone’s contract.

Kim Isaacs-Integra said they are hyper sensitive to what Qwest puts in PCATs and that Qwest has attempted to change their ICA using PCAT updates. She said PAETEC and Integra have examples where they have opened (9/16/09 Comments to minutes received from Integra in CAPS) DISPUTES because Qwest has changed the PCAT and assumed that changes the ICA terms.

Julia Redman-Carter-PAETEC said when they have older ICAs and things have been silent, they have operated in a certain direction. She said Qwest has now put it in a PCAT and they have disputes that have never been there before. She said Qwest says it’s not in your ICA it is under the PCAT. Julia said they would be more willing to look at this with a caveat. She said that this is in direct conflict with what she deals with daily.

Sandy Stulen-Qwest asked for examples because she was not familiar with this.

Julia Redman-Carter-PAETEC said she has been dealing with this for 8 months on VOIP and Collo. She said if Qwest is looking for specifics, she can provide the names of who she has been working with. She said this may be used by Qwest as a general reference but is not how it is used and includes litigation. She echoed Kim’s concern if this is not intended to change terms, they want a statement and if their agreements are silent, this doesn’t replace that and those points need to be negotiated.

Susan Lorence-Qwest said we have noted their concern and will consider their comments.

4. Trunking Subsection - Qwest made changes stating that “…a letter from you is required indicating you will not be ordering one-way trunking in the future,” but Qwest provides no basis in the law or contracts for this requirement. Integra is unable to find these provisions in its contracts. Qwest cannot impose a requirement like this if the ICAs so not require it. Integra is requesting that Qwest retract this statement. Whether Qwest retracts it or not, it does not govern Qwest's relationship with Integra, and Qwest should put no process in place to enforce this concept as to Integra.

Qwest Response – Sandy Stulen The request for a letter is required when a CLEC wants the ability to use the full range of TCICs available. This letter is to ensure Qwest that you will not be ordering one-way trunking, therefore Qwest will not run into duplication or busy TCICs. The TCIC assignments will not be duplicated between the same point codes has been documented in Qwest’s Common Channel Signaling Network Interface Specification technical publication since February 2006. Qwest’s process to require the letter in order to follow the specified requirements documented in the technical publication has been in place for several years. Normally the CLEC was informed of this process when they requested the use of the full range of TCICs. Qwest decided that it made sense to document it in the LIS PCAT for easier reference for all CLECs. This was originally a level 2 change and we agreed to make it a level 4. Kim Isaacs-Integra said Qwest is adding terms and it needs to go through the negotiation process.

Sandy Stulen-Qwest said this is more for process than a term and the PCAT is for our processes.

Julia Redman-Carter-PAETEC said Qwest is trying to bind them to those processes and forcing them to take steps that is a term and is constricting what they can do via a process. She said it does change the terms of their agreement.

Diana Rasmussen-Qwest said we want to avoid confusion and the potential rejection of ASRs.

Julia Redman-Carter-PAETEC said that Qwest is telling them how to do their jobs and putting limitations on systems that have been set up.

Susan Lorence-Qwest said we can make a process change with a PCAT update.

Julia Redman-Carter-PAETEC said a process change doesn’t mean you can dictate new terms.

Susan Lorence-Qwest said this is not intended to dictate new terms.

Bonnie Johnson-Integra echoed Kim’s and Julia’s concern and that changing information in a PCAT are terms of an agreement that are not process (9/16/09 Comments to minutes received from Integra in CAPS) AND that THESE TERMS should be negotiated.

5. Trunk Group Subsection - Qwest changed the language from “you may” to “you will.” Qwest has provided no basis or cited no law that allows Qwest to add this requirement. This also is in conflict with Eschelon’s ICA in MN, OR, UT, and WA, and Integra's ICA in MN, which states: “7.2.2.1.3 When either Party utilizes the other Party’s tandem Switch for the exchange of local traffic, where there is a DS1’s worth of traffic (512 CCS) between the originating Party’s End Office Switch delivered to the other Party’s tandem Switch for delivery to one of the other Party’s End Office Switches, the tandem provider is entitled to provide alternate Interconnection proposals for the other Party’s consideration. Such proposals may include the request to establish a direct end office trunk group to the Party’s End Office Switch.”

Qwest Response-Sandy Stulen Qwest made this change from “you may” to “you will” because Qwest believes this is the standard that Qwest is working towards and many of the CLECs have this language in their interconnection agreements already. Each CLEC’s interconnection agreement dictates the terms of how the trunking requirement for 512 CCS at a tandem is handled. This was originally a level 2 change and we agreed to make it a level 4. We are trying to avoid tandem switch exhaust by offloading the traffic to the Qwest end offices. This is only a benefit to all CLECs and carriers in the long run.

Julia Redman-Carter-PAETEC said this is a significant and critical term and needs to stay as “you may” and objects to “will” Julia said she is in negotiations and their ICAs currently have “you may”. Their negotiator said this is how it is in the template and this is 1 more document to show how you do business and not a reflection on how you want to do business. Qwest will drive us back to this even when they are negotiating with terms that say “you may”.

Georganne Weidenbach-Qwest said it would not be a positive thing if there was a situation where everyone’s ICA said “you may” and there was a switch that was exhausted and no one would agree to augment end offices and everyone’s traffic fails. She said this is a positive thing to avoid that kind of exhaust.

Julia Redman-Carter-PAETEC said it is a positive thing but will contradict and eliminate the points/language of the SPOP agreement. She said she wouldn’t mind putting something in here that says “you may” if there is an exhaust situation that the parties will negotiate because it is a problem for them too. She said the way this is written they would have huge amounts of network that would be cost prohibitive because they operate with SPOP. She said it would be different if it said they can negotiate or notice so we don’t exhaust. This is a very important term that is in their ICA. Bonnie Johnson-Integra agreed with PAETEC that this is an ICA term. Qwest continuous effort to change their product PCATs to match their negotiation template (9/16/09 Comments to minutes received from Integra in CAPS) WHICH IS QWEST’S VIEW OF THE WORLD is not appropriate. She hoped that it wasn’t Qwest interpretation that because Qwest changed from a level 2 to level 4 that they would agree. Bonnie said that it seemed that Qwest was miffed that we are OBJECTING TO THESE CHANGES because Qwest changed it from level 2 to level 4. BONNIE SAID THAT QWEST MAKING CHANGES WITH A LEVEL 2 CHANGE AND THE CHANGE ITSELF ARE TWO DIFFERENT ISSUES.

Sandy Stulen-Qwest said some CLECs have “you may”, some have “you will” and some have even different language. She said we were trying to get to the standard of “you will”. She said the terms and conditions of your ICA will dictate when trunking becomes an issue and when you work with your service manager you will use your contract

Georganne Weidenbach-Qwest said that we understood their position and will take under consideration.

Bonnie Johnson-Integra said part of the problem and when you run into an issue, is when you start putting contract terms in a PCAT vs. process.

Georgeanne Weidenbach-Qwest said we want to drive to some consistency.

Bonnie Johnson-Integra didn’t disagree but the place to do that is in contract negotiations.

Susan Lorence-Qwest said the next question about charges is outside of CMP.

6. Miscellaneous Charges section is not accurate. Some ICAs contain rates for the additional cooperative acceptance testing, automatic scheduled testing – the rates are not always dictated by the tariff.

Qwest Response-Sandy Stulen Miscellaneous charges in the LIS PCAT are only addressing the miscellaneous charges that are used in regard to LIS. They are all billed out of the Qwest State Switched Access tariffs. The exhibit A’s clarify that. The other miscellaneous charges where rates are listed in Exhibit A are associated with another section of the interconnection agreement, Unbundled Network Elements.

Doug Denney-Integra said Qwest referred to additional charges other than the 3 specific miscellaneous charges that are listed in the contract. He said there have been disputes whether all of the references should reference that tariff. He said since they are in Exhibit A that dictates how they are going to apply. He said there is no reason to put a statement that references the tariff when that isn’t always the case

Sandy Stulen-Qwest said that is referenced in 5.4.3 in the Qwest state access tariff and could possibly change the wording. It is outside of the scope of the PCAT. She said that Qwest would go to the Exhibit A first anyway where it would be referenced to go to the Qwest state access tariff.

Doug Denney-Integra said that would be accurate.

7. Application Subsection the Local Exchange Routing Guide (LERG) - Integra objects to the language Qwest added. The requirements regarding this subject are covered and governed in the ICAs. Integra is requesting that Qwest retract this statement. Whether Qwest retracts it or not, it does not govern Qwest's relationship with Integra, and Qwest should put no process in place to enforce this concept as to Integra.

Qwest Response-Sandy Stulen The Local Exchange Routing Guide (LERG) is the industry guideline for traffic routing. Qwest’s position is that it is entitled to route calls consistent with the LERG. So, Qwest believes it necessary to address it in the LIS PCAT. Each CLEC’s interconnection agreement includes terms of how that CLEC and Qwest will utilize the LERG. This was originally a level 2 change and we agreed to make it a level 4.

Bonnie Johnson-Integra said (9/176/09 Comments to minutes received from Integra in CAPS) AS LONG AS QWEST CONTINUES TO PUT ICA terms and conditions in a PCAT will be an issue. She said they identified this concern upfront.

Julia Redman-Carter-PAETEC said Qwest doesn’t list all offices that subtend a tandem in the LERG and based on this language they have to do that.

Todd Rodgers-Qwest asked if this was in reference to EOWLTF’s

Julia Redman-Carter-PAETEC said yes.

Todd Rodgers-Qwest said we don’t because we can’t and they could not do this if they wanted to.

Julia Redman-Carter-PAETEC said Rox had questions concerning this language. She said for whatever reason she stopped getting the Qwest mailouts on 9/17 and was reassigned a week ago and hasn’t been privy to any notices.

Susan Lorence-Qwest said the problem was resolved because Julia’s mailbox was maxed out. She did not want to leave the impression that Qwest randomly removed PAETEC from the mailout process. Susan said once we have so many e-mails and mailouts bounced back we have to assume the e-mail address is no longer valid.

Julia Redman-Carter-PAETEC said her mailbox was not full and said a number of other people were knocked off .She said the problem with the language is that the terms had changed and did limit what was there because they can’t get to those subtending end offices for routing options. Those options are only available to Qwest

Todd Rodgers-Qwest apologized that PAETEC would read into it that way. He reiterated the LERG doesn’t allow this for ourselves or PAETEC and is the same standard for everyone. It’s technically not feasible.

Julia Redman-Carter-PAETEC said she will get with Rox to determine how the language being proposed would create an opportunity for Qwest and not for them and will provide feedback.

8. Application Subsection LIS to AT Switch(es) Subsection. The change to add “SPOP” is vague and thus preclude an effective comment opportunity.

Qwest Response-Sandy Stulen Qwest originally had that “you may connect to Qwest’s access tandem for termination of Exchange Service (EAS/Local) and /or IntraLATA LEC Toll calls to all end offices subtending that access tandem in the LATA.” Qwest is clarifying that this is used when a CLEC orders SPOP. This has always been the case and the CLECs are required to have SPOP language in their interconnection agreement to do this, but thought it was best to explain this better in the LIS PCAT. This was originally a level 2 change and we agreed to make it a level 4.

Julia Redman-Carter-PAETEC asked if the following is a new sentence: In addition, intraLATA LEC Toll and JPSA calls to all EOs subtending an AT within a LATA may be delivered to that access tandem.

Sandy Stulen-Qwest said it was and Qwest is clarifying that this is used when a CLEC orders SPOP

Julia Redman-Carter-PAETEC said that she would need to research this because it has a big impact to them. She will get specifics on what the issues are on the terms vs. the detail and the problem with changing the terms and if the process dictates the terms.

Susan Lorence-Qwest said we have noted their concern and would be sending out a delayed response. She asked if PAETEC could provide feedback in 10 days.

Julia Redman-Carter-PAETEC said that she should be able to provide feedback by September 18th.

Susan Lorence-Qwest said Qwest will review the responses and proceed accordingly.

8/19/09 ProdProc CMP Meeting

Susan Lorence-Qwest said the level 4 announced on 8/11/09 with an effective date of 9/25/09.

7/15/09 ProdProc CMP Meeting

Mark Coyne-Qwest said the level 2s have been implemented and the level 4 changes have been discussed in adhoc meetings. He said the level 4 notifications will go out with the redline changes.

6/17/09 ProdProc CMP Meeting

Sandy Stulen-Qwest said that Qwest is submitting Level 4 LIS PCAT changes as a result of changes that were originally submitted as a Level 2. She said that we may be adding additional items in the process of reviewing the changes. She said that the original Level 2 changes that will now be a Level 4 are: LIS Mid Span Meet POI Subsection, Trunking Subsection, process relating to the (LERG) and the LIS to AT Switch Subsection, (SPOP). Sandy said that will be looking at some other changes to determine if they should be a level 3 or 4. Bonnie Johnson-Integra asked if Qwest was planning to let the level 2s expire before Qwest submits the Level 4 changes so there won’t be overlapping notices. Susan Lorence-Qwest said that we want to close out the level 2’s that we received approval to move forward on from the March meeting. Susan said that we will get those submitted and implemented. Susan said that a final notice will go out to communicate what is and isn’t going forward and then we will start addressing the level 4s. Bonnie Johnson-Integra said that would be great to let the level 2’s work their course and then submit the level 4’s.


Open Product/Process CR PC060909-1CM Detail

 
Title: Update Section 2.6 of the CMP Document to remove obsolete language
CR Number Current Status
Date
Area Impacted Products Impacted

PC060909-1CM Denied
8/19/2009
Originator: Williams, Mike
Originator Company Name: Qwest Corporation
Owner: Williams, Mike
Director:
CR PM: Stecklein, Lynn

Description Of Change

The CMP Oversight Committee recommended a change to Section 2.6 of the CMP document as part of the resolution to an Oversight issue submitted by Integra. Full details of the Oversight Committee discussion are available at http://www.qwest.com/wholesale/cmp/escdisp.html.

Qwest is seeking to modify Section 2.6 of the CMP document to remove obsolete language that refers to the PID Administration Group which is no longer in existence. Revised wording is attached.


Status History


Project Meetings

9/25/09 Additional detail can be found at: http://www.qwest.com/wholesale/cmp/escdisp.html

9/16/09 Product/Process CMP Meeting

Mark Coyne-Qwest said Qwest proposed changes to Section 2.6 of the CMP Document. He said a vote was conducted in August with several no votes. He said the status of CR PC60909-1CM will be changed to a denied status. Mark said we will be sending out a final notice to close the Oversight issue with no further action and that we will agree to disagree.

8/19/09 Vote ProdProc CMP Meeting

Vote Required - Meeting Minutes August 19, 2009 Lynn Stecklein-Qwest said this CR is proposing updates to Section 2.6 of the CMP Document to remove obsolete language that refers to the PID Administration Group which is no longer in existence. The Redlined Document of the proposed changes can be found in the August Prod/Proc Distribution Package A vote of 'Yes' will indicate a preference that Section 2.6 of the CMP Document be updated to remove obsolete language that refers to the PID Administration Group which is no longer in existence. A vote of 'No' will indicate a preference that Section 2.6 of the CMP Document not be updated to remove obsolete language that refers to the PID Administration Group which is no longer in existence. Quorum is 8 and has been achieved 4 e-mail votes were received - Integra voted no, Velocity voted yes, Action Communications abstained and Qwest voted yes.

Lynn asked for other participants on the call to cast their vote.

Comcast - No Covad - Yes PAETEC - No TDS - Abstain tw telecom - No AT&T-No Sprint-Yes XO- No

Lynn said that Section 2.1 of the CMP Document states that incorporating a change into the Change Management Process requires unanimous agreement using the Voting Process, therefore, this request will not be granted.

7/15/09 ProdProc CMP Meeting

Mark Coyne-Qwest said a vote on this change will be conducted in the August CMP Meeting.

7/13/09 Adhoc Meeting Minutes Section 2.6 of the CMP Document July 13, 2009

Attendees: Doug Allen-Integra, Kim Isaacs-Integra, Bonnie Johnson-Integra, Brenda Bloemke-Comcast, Shelly Pedersen- tw telecom, Mindy Chapman-Neustar, Mike Williams-Qwest, Mark Coyne-Qwest, Susan Lorence-Qwest, Lynn Stecklein-Qwest

Susan Lorence-Qwest said the purpose of this meeting is to consider updates to Section 2.6 of the CMP Document. In March 2009, Integra submitted a request to Qwest to distribute a new PID request under Section 2.6. In April 2009, Qwest denied that request with the response that Section 2.6 was obsolete with the removal of the PID Administration Group. In May 2009, Integra submitted the issue to the CMP Oversight Committee for review. On 6/3/09, the Oversight Committee met and the decision was made that Qwest would distribute the request for a new PID via CMP and submit the CR to revise Section 2.6 and to move forward. She said this CR is to update Section 2.6 to make it work and not be obsolete based on the PID Administration Group being gone. Susan said the Oversight minutes are posted to the Wholesale website along with revisions to the proposed notice that went out. The proposed redline is also available on the website at: http://wholesalecalendar.qwestapps.com.

Mike Williams-Qwest said Qwest recognizes that we have underlying disagreement among parties about the PID Administration Group. Mike said Qwest claims that group doesn’t exist anymore and hasn’t for years and others don’t agree. He said when we looked at what we are everyone seemed to be trying to accomplish with Section 2.6 updates, we determined there was a PID related issue resulting from CMP, the desire was to have a notice distributed of a request for a PID change along with other communications about that subject among the parties. Mike said that we redlined Section 2.6 to remove the PID Administration Group and left Section 2.6 to address key functions. He said it now says when there are changes to a PID; Qwest would accommodate distribution of the notice. He said in the 1st and 2nd paragraphs, we deleted the PID Administration Group parenthetical. He said if there is an issue from CMP that relates to the PIDs, any party can bring that to Qwest and Qwest will distribute an e-mail notification to the CMP body. Mike said this is accomplishing what Qwest believes is desired without getting into agreeing or disagreeing on the PID Administration Group. Mike said the last paragraph recognizes the reverse can happen, where a PID discussion outside of CMP might have dimensions that should come back to CMP. He said in those cases, the CMP body may expect such issues to be brought to Qwest and the CMP body for resolution or recommendation such as a CR. Mike said if there is a PID issue, a party can seek a change and through this revised language, Qwest would agree to notify through the CMP procedures of that request and to share copies of correspondence relating to that request.

Susan Lorence-Qwest asked if there were any questions or comments. Susan said that Integra had expressed concerns about the notice and asked if we were ok to move forward with the CR.

Bonnie Johnson-Integra said there was lot of correspondence going back and forth and Integra doesn’t agree. She said while they agreed that a particular group of people that was once referred to as PID Administration Group, that group of people may no longer exist. She said they felt that the language cared for such successor groups. She said they don’t believe the language needs to be revised and the PID Administration group is the group to review any PID request that is submitted. She said she didn’t know what else to say that hasn’t already been said.

Susan Lorence-Qwest asked if tw telecom or Comcast had any feedback.

Brenda Bloemke-Comcast said she would like to review the comments that were submitted.

Susan Lorence-Qwest said the comments pertain to the notice not the redline. Susan asked if there were any other questions or concerns about the proposed redline. There were no other comments. Qwest will proceed with the CR.

6/17/09 ProdProc CMP Meeting

Mark Coyne-Qwest said that the Oversight Committee met on 6/3/09 and the minutes can be found on the Qwest Wholesale website. Mark said that as a result of that meeting it was agreed that a notice referencing Integra’s PID request would be sent out and that Qwest would issue a CR to update the language in section 2.6 and that further discussion would take place on the language. Mark said that the notification went out yesterday and the CR was submitted by Qwest to address the language in Section 2.6.

Bonnie Johnson-Integra said that she wanted to say that meeting minutes from that call and her comments support (6/24/09 Comments to minutes received from Integra in CAPS) THAT QWEST IS FREE TO SUBMIT ANY CR QWEST WISHES TO SUBMIT and that there was concurrence with that BUT NOT A RECOMMENDATION TO DO THAT. THE MEETING MINUTES IMPLIED THAT THE CLEC AGREED WITH QWEST’S POSITION THAT 2.6 NEED TO BE UPDATED, WHICH WAS NOT THE CASE. However, Bonnie said that Integra’s position is that they feel no change was needed to the document.

Mike Williams-Qwest said that Qwest’s position is that the PID Administration Group does not exist and has not existed for years. He said Qwest has no obligation left under Section 2.6 because there is no PID Administration Group. Mike said the Qwest CR simply removes the PID Administration Group language and replaces it with generic language. (6/24/09Comments to minutes received from Integra in CAPS) MIKE SAID HE UNDERSTANDS INTEGRA DISAGREES WITH QWEST’S INTERPRETATION. He said it represents the intent of parties, in considering Section 2.6, to facilitate communication if a PID question arises. He said the CMP process was not designed to handle PID issues but Qwest recognizes there may be items that spill back and forth to and from CMP. When that happens, notification will get distributed. No matter what you call it, the parties in CMP have access to communication. Making this change allows us agree to disagree on why we’re revising the language or on what happens in any given interaction while still facilitating the distribution of PID-related notices and communications as intended, overall, by Section 2.6.

Bonnie Johnson-Integra said they (6/24/09 Comments to minutes received from Integra in CAPS) ARE NOT REFUSING TO REVIEW THE CHANGES AND will look at the change and consider the change. She said they believe the CMP document anticipated a successor and Integra doesn’t believe the PID Administration Group is a defined group. She said that it could be any group of people REVIEWING A PID not A that particular group. She SAID WHILE A PARTICULAR GROUP OF PEOPLE NO LONGER EXIST SHE disagrees that the PID group is no longer operating. Bonnie asked if they should send comments back to CMP or Mark.

Susan Lorence-Qwest said that with a CR there is an option for a call. We could schedule an ad hoc call to review the language (6/24/09 Comments to minutes received from PAETEC in CAPS) IF THE GROUP FELT THERE WAS A NEED FOR THE AD HOC CALL. BUT IF ANYONE HAS COMMENTS OR any proposed changes TO THEIR REDLINE IT should be sent to Qwest.

Julia Redman-Carter-PAETEC said they would like an ad hoc call because there are fundamental issues (6/24/09 Comments to minutes received from PAETEC in CAPS) UNDERLYING THE PROPOSED LANGUAGE CHANGES that they need clarified before they can comment on the redline.

Mark Coyne-Qwest said that we will schedule an ad hoc meeting prior to any changes to the redline being submitted.

Julia Redman-Carter-PAETEC said she needs to understand how the process works and what the PID group looks like etc. to determine if she would agree to the language Qwest is proposing and that we need an adhoc meeting before the redline.

Mark Coyne-Qwest asked if there were any other questions or comments.

E-mail received from Integra 6/16/09 Bonnie Johnson-Integra said that Qwest SAID IT merely lifted the PID Administration group language but there are other changes besides than just deleting that language.

Mike Williams-Qwest said it was to make it more readable and to make it fit with the remaining language. It was our sincere intent not to create anything new and to determine how section 2.6 could go forward. Julia Redman-Carter-PAETEC asked that the State Commissions be invited to the ad hoc meeting.

Liz Balvin-Covad said that she agreed with having an ad hoc meeting. Liz said they have a fundamental concern when someone is not proactively looking at the documentation and that the PID administration group no longer exists. She said she thought that Qwest undertook some time ago and was surprised this wasn’t triggered at that time.

Mark Coyne-Qwest said that with the infrequency of using this section for changing PID etc and it hasn’t been looked. We knew it would be difficult to change that language and it hasn’t occurred until now.

Qwest, as you know from our earlier email, we disagree with several of your points. We ask that Qwest ensure that all of the email correspondence, including proposals, are posted as part of the record of this oversight escalation.

Bonnie

Bonnie J. Johnson | Director Carrier Relations bjjohnson@integratelecom.com

- From: Cmp, Escalation [mailto:cmpesc2@qwest.com] Sent: Tuesday, June 16, 2009 1:45 PM To: Johnson, Bonnie J.; 'allendm@att.com'; 'ebalvin@Covad.COM'; 'BrendaBloemke@cable.comcast.com'; 'Cox, Rod'; Coyne, Mark; 'Carolee Hall'; 'shelley.e.jones@state.or.us'; 'Quintana,Becky'; 'Redman-Carter, Julia' Cc: 'cmpesc@qwest.com'; Williams, Mike; Isaacs, Kimberly D.; Urevig, Rita; Denney, Douglas K.; 'charitypelak@cable.comcast.com' Subject: RE: Change Management Notice: GN: CMP - Oversight Review Submission

Bonnie,

In regard to the points made in each of your paragraphs below: 1) Qwest will utilize Julia Redman-Carter's version of the draft PID notice with the addition of the specific date of the CMP Oversight meeting as it was the most supported version of the notice among the responders. The PID notice will be distributed today, June 16, 2009. The final version is attached. 2) Qwest removed the CR reference from the notice. It was simply a way to tie the CMP Oversight meeting and the CR together. There was no attempt by Qwest to shift the focus from the issue Integra brought to the CMP Oversight Committee. The proposed CR is a way to move forward. Qwest disagrees that there was no recommendation made by the CMP Oversight Committee. After the discussion of the issue on the June 3 call, each Oversight member was specifically asked whether they agreed with Qwest sending out a PID notice and issuing a CR to change the CMP document. No one disagreed. Integra requested the ability to review the notice in advance which Qwest provided. In regard to your concern about referring recipients of the PID notice to the CNLA (this same concern was also expressed in an email today), the PID attachments will be specifically associated with the June 16, 2009 PID notice on the CNLA. The reference was specifically made to "...associated with this notification.." and was not intended to refer to the CMP Oversight notice distributed on May 7. When there are very large attachments associated with a notification, Qwest has previously used this approach of sending the notice and referring the mailout recipient to the CNLA to pick up the very large attachments. With two attachments associated with the PID notice each at approximately 1MB, Qwest will continue to make these documents available via the link to the CNLA. 3) The June 3 meeting minutes refer the reader to the specific CMP Oversight notice distributed in May which includes the the attachments that are available on the CNLA. Qwest did not intend on sending the PID notice until the final meeting minutes were posted to the Oversight URL which occurred on June 15. 4) The issuance of the Qwest CR is consistent with the way the CMP Oversight Committee expected this Oversight Issue to move forward. Qwest understands that Integra disagrees with Qwest's interpretation of CMP Section 2.6 and even our proposed solution. Nonetheless, Qwest's CR is simply a very straightforward attempt to solve the problem by removing references to the PID Administration Group that no longer exists while retaining the distribution of a notice by Qwest if a PID request is made.

Thank you, Susan Lorence Qwest CMP Manager

- From: Johnson, Bonnie J. [mailto:bjjohnson@integratelecom.com] Sent: Wednesday, June 10, 2009 12:12 PM To: Cmp, Escalation; 'allendm@att.com'; 'ebalvin@Covad.COM'; 'BrendaBloemke@cable.comcast.com'; 'Cox, Rod'; Coyne, Mark; 'Carolee Hall'; 'shelley.e.jones@state.or.us'; 'Quintana,Becky'; 'Redman-Carter, Julia' Cc: 'cmpesc@qwest.com'; Williams, Mike; Isaacs, Kimberly D.; 'charitypelack@cable.comcast.com'; Urevig, Rita; Johnson, Bonnie J.; Denney, Douglas K. Subject: RE: Change Management Notice: GN: CMP - Oversight Review Submission

Qwest,

Enclosed are Integra’s redlines of the draft notice and Qwest’s Change Request (CR). Regarding the CR, Integra has not redlined Qwest’s substantive request, though Integra disagrees with it, as Integra will comment at the appropriate time. The redline addresses the oversight committee language.

In the draft notice of Integra’s PID request, Qwest erroneously indicates that the notice is associated with Qwest’s CR. Although Qwest attempted in the Oversight Committee call to shift the focus from the issue Integra properly brought to the Oversight Committee to Qwest’s new request, they are separate issues. (See Integra’s enclosed Oversight review submission.) When Qwest announced on the call its intention to submit a CR, Integra recognized Qwest’s right to submit a CR but also indicated Integra’s disagreement with Qwest’s position. There was no vote or recommendation by the full Oversight Committee in favor of Qwest’s position. Neither of Qwest’s documents (the notice or the CR) should indicate or imply such a recommendation when there was none. If this issue is to be addressed at all, it should be done neutrally, recognizing the disagreement of the parties, as proposed in Integra’s redline. Qwest’s draft notice indicates that Integra’s PID request is available in Qwest’s customer notification archive, but that archive contains Qwest’s oversight committee meeting notice with attachments. Qwest gives insufficient information (e.g., the date and notice number) to find the notice. Making it difficult to locate and review the PID request is contrary to the purpose the notice is supposed to serve. Section 2.6 states Integra’s documentation should be DISTRIBUTED (not referenced) and, in any event, attaching the information better serves the purposes of giving notice.

In both Qwest’s draft notice and its draft CR, Qwest incorrectly states that “full discussion” is available at the Qwest escdisp URL. The only item available there is the meeting minutes (i.e., not Integra’s oversight committee submission), and Qwest does not even give sufficient information (e.g., the date) to locate the minutes. (The minutes are not yet posted. Any reference to the minutes should not be distributed to CLECs until the final minutes, including CLEC comment, are available.) As indicated above, Qwest inaccurately describes its position, with which Integra disagreed, as a recommendation of the Oversight Committee. There is no need to debate Qwest’s characterization of the results of that call, when the characterization can simply be deleted from the documents, and the minutes referenced.

Regarding Qwest’s proposed redlines to the CMP Document, they offer nothing by way of compromise or recognition of Integra’s position. Obviously, Integra will not vote for such one-sided Qwest changes and, as a unanimous vote is required per Section 17, the changes will not be made. Integra will comment on Qwest’s CR at the appropriate time. In the meantime, Integra reminds Qwest that the CMP Document, including Section 2.6 as written today, is a part of several Integra and Eschelon (as well as other CLEC) interconnection agreements, and Integra expects Qwest to comply with its contractual obligations.

Bonnie

Bonnie J. Johnson | Director Carrier Relations bjjohnson@integratelecom.com

- From: Cmp, Escalation [mailto:cmpesc2@qwest.com] Sent: Tuesday, June 09, 2009 6:12 PM To: 'allendm@att.com'; 'ebalvin@Covad.COM'; 'BrendaBloemke@cable.comcast.com'; 'Cox, Rod'; Coyne, Mark; 'Carolee Hall'; Johnson, Bonnie J.; 'shelley.e.jones@state.or.us'; 'Quintana,Becky'; 'Redman-Carter, Julia' Cc: 'cmpesc@qwest.com'; Williams, Mike; Isaacs, Kimberly D.; 'charitypelack@cable.comcast.com'; Urevig, Rita Subject: RE: Change Management Notice: GN: CMP - Oversight Review Submission

As discussed in our June 3 CMP Oversight Committee meeting, attached is the draft notification to the CLEC community for your review. Also attached is the CMP CR along with the redline version of Section 2.6 that was submitted to the CMP mailbox today. If you have any concern with the wording of the notification, please let me know by end of day on Thursday, June 11.

Thank you, Susan Lorence Qwest CMP Manager 402 422-4999

- From: Johnson, Bonnie J. [mailto:bjjohnson@integratelecom.com] Sent: Tuesday, June 09, 2009 2:10 PM To: Lorence, Susan; Urevig, Rita; 'allendm@att.com'; 'BrendaBloemke@cable.comcast.com'; 'ebalvin@Covad.COM'; 'Cox, Rod'; Coyne, Mark; 'Carolee Hall'; 'Quintana,Becky'; 'shelley.e.jones@state.or.us'; 'Redman-Carter, Julia'; Isaacs, Kimberly D.; 'charitypelack@cable.comcast.com' Cc: 'cmpesc@qwest.com'; Johnson, Bonnie J. Subject: RE: Change Management Notice: GN: CMP - Oversight Review Submission

Susan,

When will Qwest be sending the draft notice for the CMP Oversight Committee to review? Integra would like ample opportunity to review the notice and respond. I am off Thursday and Friday. Can Qwest send the draft before noon tomorrow? Thanks, Bonnie

Bonnie J. Johnson | Director Carrier Relations bjjohnson@integratelecom.com

- From: Lorence, Susan [mailto:Susan.Lorence@qwest.com] Sent: Wednesday, June 03, 2009 2:04 PM To: Johnson, Bonnie J.; Urevig, Rita; 'allendm@att.com'; 'BrendaBloemke@cable.comcast.com'; 'ebalvin@Covad.COM'; 'Cox, Rod'; Coyne, Mark; 'Carolee Hall'; 'Quintana,Becky'; 'shelley.e.jones@state.or.us'; 'Redman-Carter, Julia'; Isaacs, Kimberly D.; 'charitypelack@cable.comcast.com' Cc: 'cmpesc@qwest.com' Subject: FW: Change Management Notice: GN: CMP - Oversight Review Submission

- From: mailouts2@qwest.com [mailto:mailouts2@qwest.com] Sent: Thursday, May 07, 2009 4:33 PM To: sxloren@qwest.com Subject: Change Management Notice: GN: CMP - Oversight Review Submission


Open Product/Process CR PC103108-01 Detail

 
Title: Grandfathering and eliminating certain USOCs in Norhtern & Southern Idaho and Iowa
CR Number Current Status
Date
Area Impacted Products Impacted

PC103108-01 Completed
2/18/2009
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest will be grandfathering JUF (Joint User Service) in Northern & Southern Idaho, JUP (Joint User Listing) in Southern Idaho and 7FB (Business Incoming Only Line) in Iowa.

Qwest will be eliminating FNH (Foreign Exchange Line) in Northern Idaho, JND (Joint User Listing) and S3L (Secretarial System) in Southern Idaho. There are no Wholesale Customers with these services.

Expected Deliverables/Proposed Implementation Date (if applicable):

The proposed implementation date is 2/9/09.


Status History


Project Meetings

2/18/09 Product/Process CMP Meeting

Mark Coyne-Qwest said that the Level 2 notice was sent on 1/29/09, became effective on 2/9/09 and Qwest would like to close. There was no objection to closure.

1/21/09 Product/Process CMP Meeting

Mark Coyne-Qwest said that the Level 2 notice was sent on 1/29/09 to become effective on 2/9/09.

12/17/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that we are working on preparing the notice and the effective date is pending.

11/19/08 Product/Process CMP Meeting

Cindy Schwartze-Qwest said that Qwest will be grandfathering JUF (Joint User Service) in Northern & Southern Idaho, JUP (Joint User Listing) in Southern Idaho and 7FB (Business Incoming Only Line) in Iowa. Qwest will be eliminating FNH (Foreign Exchange Line) in Northern Idaho, JND (Joint User Listing) and S3L (Secretarial System) in Southern Idaho. There are no Wholesale Customers with these services and that we are looking at a 2/9/09 implementation date. Cindy asked if there was any objection in reducing the notification to a Level 2. Bonnie Johnson-Integra said that (11/26/08 Comments to minutes received from Integra) if no CLECs have this service that they have no objection to the Level 2 notification. Julia Redman-Carter-McLeodUSA said that they have no objection as long as there are no Wholesale Customers.


Open Product/Process CR PC111708-01 Detail

 
Title: LIS PCAT
CR Number Current Status
Date
Area Impacted Products Impacted

PC111708-01 Completed
2/18/2009
LIS/Interconnect
Originator: Stulen, Sandy
Originator Company Name: Qwest Corporation
Owner: Stulen, Sandy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Revising PCAT to remove trunking arrangements that have not been used by CLECs


Status History


Project Meetings

2/18/09 Product/Process CMP Meeting

Mark Coyne-Qwest said that the notice was sent on 12/22/08, became effective on 2/5/09 and Qwest would like to close. There was no objection to closure.

1/21/09 Product/Process CMP Meeting

Mark Coyne-Qwest said that the notice was sent on 12/22/08 to become effective on 2/5/09.

12/17/08 Product/Process CMP Meeting

Mark Coyne-Qwest said that the SME team is working on the notice and the effective date is still pending.

11/19/08 Product/Process CMP Meeting

Sandy Stulen-Qwest stated that Qwest will be revising the PCAT to remove trunking arrangements that have not been used by the CLECs. Sandy said that we would like to submit as a Level 2.

Bonnie Johnson-Integra said that Integra and Eschelon oppose removing these from the current contracts and Qwest should follow agreements. Bonnie said that they will (11/26/08 Comments to minutes received from Integra) not agree to the Level 2.

Mark Coyne-Qwest said that we will issue a Level 4 notice.


Open Product/Process CR PC121208-01 Detail

 
Title: Eliminate the establishment of Remote Access Forwarding and Scheduled Forwarding on Custom Ringing Numbers.
CR Number Current Status
Date
Area Impacted Products Impacted

PC121208-01 Completed
6/17/2009
Ordering Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest will no longer allow the Remote Access Forwarding and Scheduled Forwarding features to be established on Custom Ringing Numbers. The proposed date for eliminating this functionality is 2/3/09

There are currently no Wholesale Customers with this feature arrangement.

Expected Deliverables/Proposed Implementation Date (if applicable):

The proposed implementation date is 2/3/09.


Status History


Project Meetings

6/17/09 ProdProc CMP Meeting

Mark Coyne-Qwest said this became effective on 5/15/09 and asked if there was any objection to closure. There was no objection.

5/20/09 ProdProc CMP Meeting

Mark Coyne-Qwest said that this became effective on 5/15/09 and will remain in CLEC Test another month.

4/15/09 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this will announce 4/24/09 as a level 2 notice to be effective 5/15/09.

3/18/09 Product/Process CMP Meeting

Mark Coyne-Qwest stated that on 3/4/09 a Level 1 notice was sent to delay implementation to the 2nd quarter. Mark said that we will re-notify with a Level 2 notice.

1/21/09 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this is still on hold pending a date.

12/17/08 Product/Process CMP Meeting

Cindy Schwartze- Qwest said that we will no longer allow the Remote Access Forwarding and Scheduled Forwarding features to be established on Custom Ringing Numbers. The proposed date for eliminating this functionality is 2/3/09 There are currently no Wholesale Customers with this feature arrangement and that we would like to reduce the Level 4 to a Level 2.

Bonnie Johnson-Integra said that if no CLEC has this feature they don’t object to the Level 2.

Kim Isaacs-Integra asked why this was being eliminated and was there a technical issue.

Cindy Schwartze-Qwest said that she was not sure but that retail was no longer going to have this functionality available. She said that it would not longer be available on the AIN technology.

Mark Coyne-Qwest said that we would issue a Level 2 notice.


Open Product/Process CR PC121608-01 Detail

 
Title: Improvements to CNLA and Mailout Sub categories
CR Number Current Status
Date
Area Impacted Products Impacted

PC121608-01 Completed
2/22/2010
Impacts notifications related to all products and processes
Originator: Lorence, Susan
Originator Company Name: Qwest Corporation
Owner: Lorence, Susan
Director:
CR PM: Stecklein, Lynn

Description Of Change

Qwest reviewed the CNLA history and proposed changes to the current categories/subcategories via Level 2 web notice : WEBS.12.24.08.F.05630.NoticeSubjectLine_CNLA. Qwest received a CLEC request to change the disposition of the notice to a Level 4 type change. Qwest conducted an ad hoc meeting on 12/15/08. See wholesale calendar for details http://www.qwest.com/wholesale/calendar/ There was agreement that Qwest would retract the Level 2 notice and issue the CR to work together on determining what sub categories need to exist. During the ad hoc meeting, a CLEC suggested that each participating CLEC may take a specific category to review and recommend appropriate sub categories/changes.

More useable CNLA; improved ability to locate notices


Status History


Project Meetings

2/17/10 Product/Process CMP Meeting Mark Coyne-Qwest said Qwest developed a macro to help with the move of notices and that we have just a few hundred notices that remain to move. Mark said we plan to move those no later than 2/18 and we would like to close the CR at that point. There were no objections.

1/20/10 Product/Process CMP Meeting Mark Coyne-Qwest said we are still not able to close this CR due to the remaining notices to be placed.

12/16/09 Product/Process CMP Meeting Mark Coyne-Qwest said we had hoped to have this work completed but that we are continuing to work on moving the notices to the correct categories in CNLA. We will revisit in the January CMP Meeting.

11/18/09 Product/Process CMP Meeting Mark Coyne-Qwest said we have reviewed all notices and are now moving them in CNLA. We will revisit in the December CMP Meeting.

10/21/09 Product/Process CMP Meeting Mark Coyne-Qwest said we are still moving the last of the process notices and will revisit in the November CMP Meeting.

9/16/09 Product/Process CMP Meeting Mark Coyne-Qwest said we will continue to leave this CR open. He said we are still cleaning up some of the history and hope to complete by mid October.

8/19/09 Product/Process CMP Meeting Susan Lorence-Qwest said we will continue to leave this CR open. She said we had hoped to have the history review completed by 8/1/09 but we still have product/process notices we are looking into.

7/15/09 ProductProcess CMP Meeting Mark Coyne-Qwest said this was effective 5/29/09 and asked if there was any objection to closure. Kim Isaacs-Integra asked if the historical notices had been moved to the correct category. Mark Coyne-Qwest said there were a few outstanding notices that we plan to have moved by 8/1/09. Kim Isaacs-Integra asked that we leave this CR open until the August meeting. Mark Coyne-Qwest – agreed to leave open and to re-address in August meeting.

6/17/09 ProductProcess CMP Meeting Mark Coyne-Qwest said this was effective 5/29/09 and there was still cleanup going on. We will leave open for 1 more month.

5/20/09 Product/Process CMP Meeting Mark Coyne-Qwest said that the level 2 notice was sent 5/1/09 to become effective 5/29/09. He reminded everyone the goal is to migrate all notices by 5/29/09 but due to the volume of notices we may go beyond that date. After that date, notices that have not been moved will be placed in the MISC category.

4/15/09 Product/Process CMP Meeting Mark Coyne-Qwest said that there have been a number of adhoc meetings and that the matrix is being updated and will be sent out to the CLECs later this week for review. He said that we will be reviewing this internally and will send a notice possibly this week or early next week. Bonnie Johnson-Integra said that she wanted to talk about the 2 outstanding action items from the last call. Susan Lorence-Qwest said that for those who were not familiar with the questions, they are posted to the Wholesale Calendar, March 26th adhoc meeting. She said that the 2 issues were associated with how we were using the Contract category in CNLA. She said that the other issue was associated with the Regulatory category. Bonnie Johnson-Integra said that they don’t agree that template is a contract and should fall under Contract. She said that Qwest (4/24/09 Comments to minutes received from Integra) said they are going to keep it under Process and that as long as Qwest has a separate category they would agree. She said that Qwest also said that they would be including a sub note for Template. She said that when Qwest made the 1st run of the Expedite PCAT and the Arizona order, they objected to Qwest making any other changes that were not related to the Regulatory order. Bonnie said they believe that any changes as a result of a Regulatory order should only be what is Regulatory in nature. She asked for an example of when you are going combining changes that are non-Regulatory with Regulatory changes as a result of an order. Susan Lorence-Qwest said that is the only example of that are with changes where clarifications were included. Susan said that we did get with our SMEs to separate those. Susan said that in every other instance we used the level 1 and level 3 change categories related to the Regulatory order under Product/Process. Susan said that the example of where they would be mixed would be for a CMP release notice with a system release where there may be something else incorporated in that release. She said that with the 22.1 point release, the LNP port requirements, that would have included Regulatory in the subject line because it was system notification update specific to that Regulatory order. Susan said that if there happened to be a Regulatory that could fit in an upcoming release, for example, the upcoming release in April, we could accommodate the current release date and add Regulatory requirements to meet that period of implementation. She said that was the example in the bottom as including Regulatory in the subject line that we wouldn’t commit to putting it there because there all other things in that system release beside just Regulatory changes. Bonnie Johnson-Integra said they agree and does understand the system issue. She said if there are PCAT updates associated with the system work, those PCATs updates should be kept separate. Susan Lorence-Qwest said that we could agree to that but that she did have a concern if there was an LSOG change and those updates are in the full blown LSOG release she would want to work with the documentation SMEs to see how difficult it would be to split those out. Bonnie Johnson-Integra said that the releases are smaller than they used to be and asked if Qwest could check on that. She said they would consider making an exception for those if there isn’t a tremendous amount of difficulty. Susan Lorence-Qwest said that we agree if those Product/Process updates are distinct. Susan said that we hope to get the matrix out by the end of the week to give everyone a chance to see what has been agreed to and then get the notice out early next week. She said that there are some benefits to this application and format that we want to introduce.

3/18/09 Product/Process CMP Meeting Mark Coyne-Qwest said that we had an adhoc meeting on 3/2/09 and the matrix is being updated with the changes. Bonnie Johnson-Integra said that they would like to see the final matrix. Susan Lorence-Qwest said that she will be sending out the final view of the categories to all meeting participants. Brenda Bloemke-Comcast asked that another call be scheduled. Susan Lorence-Qwest asked if everyone was ok with issuing a Level 2 notice. Bonnie Johnson-Integra said that would be fine if we have agreement on the final view. Susan Lorence-Qwest said that there should be no outstanding issues. Kim Isaacs-Integra said that they would like to look at it as a whole.

2/18/09 Product/Process CMP Meeting Mark Coyne-Qwest said that we have had several adhoc meetings and another is scheduled on 2/19. Mark said that we will leave this CR open.

2/19/09 Adhoc Meeting Attendees: Bonnie Johnson-Integra, Kim Isaacs-Integra, Brenda Bloemke-Comcast, Kasha Fauscett-Comcast, Susan Lorence-Qwest, Carrie Bell-Qwest, Sandie Tekavec-Qwest, Lynn Stecklein-Qwest Susan Lorence-Qwest said that the agenda and a screen print Web example were posted to the Wholesale calendar. Susan said we would like to start by talking about the Web example. She said that the one concern was that you had to scroll page by page in the subcategory and that all the notices did not display on 1 page. She said another concern was that you couldn’t search by the notice number or key word. Susan said that this new functionality should resolve these concerns. Carrie Bell-Qwest said that Qwest is very excited about this new functionality and knew that everyone was interested in not having to scroll thru page by page to find the notice that you were looking for. Carrie said that the example provided shows that you will have the capability to select a notice in a subcategory and see all the notices from that section on one page be able to scroll from top to bottom and see the notices in order by date. She said that you will have the opportunity to do a find within the page when you type in a word. Carrie said that this will be a handy feature and will be helpful when it comes to searching for notices. Carrie said that we have also added the search results with the total number of notices at the top of the page. Susan Lorence-Qwest said that currently that information is at the bottom of the page with the range and now you will have the capability to look at all of them. Susan said that it is really quick and smooth. Kim Isaacs-Integra said there is a search function at the top of the page and asked if you would you need to know the name of the category or subcategory. Susan Lorence-Qwest said that you would. She said that we wanted to make it clear so we don’t have overlap among the categories and subcategory categories. Susan said that it defeats the purpose if you have to go thru multiple categories to look for a notice. Kim Isaacs-Integra asked if there would be an opportunity to get the full list by category. Carrie Bell-Qwest said that it currently works by category and subcategory connected. She said that the other option is to search by year and month and wondered if that might cover it. Kim Isaacs-Integra said that searching by year would be better than searching by the year and month. Carrie Bell-Qwest asked if they would have any idea of the subject they are looking for in this example. Kim Isaacs-Integra said that they would have a slight idea of the subject and time. Carrie Bell-Qwest said that we can check into that. Kim Isaacs-Integra said that she did like the new functionality. Bonnie Johnson-Integra said that they really appreciate the change. She said that when you click on the link to get to the notices in CNLA it takes along time to load. She asked if this change will alleviate the time it takes to load CNLA. Carrie Bell-Qwest said that the database if very large with many attachments. Carrie said that we are moving to a new platform and would hope to see some improvement. She said that we could not guarantee that it would, for example, go from 5 seconds to 1 second. She said that we are looking at ways to improve this tool within our budget and time limitations and if we find an opportunity we can look at that. Bonnie Johnson-Integra said that it was not a request just a question. Carrie Bell-Qwest said that our major focus for this rework is to look at the categories and pair down some of the categories that will streamline the tool. Bonnie Johnson-Integra asked if the find function would only apply to what is on the page and not anything embedded in the announcement itself. Carrie Bell-Qwest said that was correct. Susan Lorence-Qwest said that it was similar to any search capability. Susan thanked Kim Isaacs (Integra) for her proposal on the categories. She said that Qwest proposed two CMP subcategory categories – CMP Process and Meetings and Integra suggested adding the categories of Escalation, Oversight, Voting and Prioritization. She said that the 4 letter abbreviation will change when they are sent thru mail outs and today they only have the category abbreviation. Susan said that going forward we will also be adding a subcategory in the notice number in addition to the date. Susan said the subcategory for Escalation would be ESCA and for Oversight it would be OVRS. Susan said that in the Escalation category there are no meeting notices and the Oversight category requests for membership, submitted issues and their outcome would be included. She said that the notices for an Oversight are e-mails. She said Integra’s proposal is that that these subcategories would include Meeting notices and said that Qwest would like to keep those in the MEETS category vs. under the subcategory of Escalation or Oversight. Bonnie Johnson-Integra said that she understands that e-mails to the Oversight members are sent to coordinate a date and time for Oversight meetings and is not notice. She said that that the Oversight Committee members have not been updated and asked when that will be done. Susan Lorence-Qwest said that she has it on her calendar and will get it updated. Bonnie Johnson-Integra said that in the Oversight section of the CMP document it states that anyone can attend these meetings. She said that we could talk about this at a later date but that she though notices should be sent for Oversight and Escalations. She said that she wants to get all information for Escalations and Oversight in one place and in the same category. She said that she received feedback from other CLECs and that they operate in the same mode. Susan Lorence-Qwest said that the Meeting category would have all adhoc meetings and if we determine that meetings should be in the Escalation and Oversight category, they would not be in both places. Bonnie Johnson-Integra said that if it’s not related to an Escalation or Oversight issue it would be in the meeting category. Susan Lorence-Integra said that we had an issue with the Voting and Prioritization category. She said that those are held at meetings and there will always be a notice. She said that the number of prioritization notices is low and that we would like to keep all adhoc meetings together with the exception of what we just talked about on Escalations and Oversight. She said that if you wanted to know about the most recent vote notice and you do a search it would take you to that vs. having a subset of Voting or Prioritization and trying to figure if it was associated with a CR, adhoc meeting, exception etc. She said that they are noticed on a meeting notice and would include vote disposition, late adder or any kind of vote and would be under Meeting vs. adding a subcategory. She said that we are trying to make sure they get to where they should be slotted and would like to make it as clean as possible. Bonnie Johnson-Integra said the last place she would look for Voting or Prioritization notices would be in Meetings and does not logically make sense to her. She said that the subcategory full name doesn’t identify Votes or Prioritization. She said that Agenda, Announcements and Materials for the full name is broad and general. Susan Lorence-Qwest asked if it would help to add Vote to that because the vote always occurs in a meeting. Bonnie Johnson-Integra said that she would not look there but if the subcategory included the full name, it might work. Kim Isaacs-Integra said it would work if the subcategory included the full name and if there was some way to know that Meets includes Voting and Prioritization. Susan Lorence-Qwest said that we could include Meeting agenda, Announcements, Materials and Votes. Kim Isaacs-Integra asked where the full name would appear in the tool. Susan Lorence-Qwest asked Carrie if we could put the full name in the description at the top of the page. Carrie Bell-Qwest said that you would have already selected this information on the page you are looking at. She said that we can put it on the initial page when you select the subcategory Kim Isaacs-Integra said that it would work if it is in the pull down. Susan Lorence-Qwest said that we could make the subcategory Meetings, Announcements, Material, Vote Disposition with the full subcategory name. Bonnie Johnson-Integra asked if there was a character limitation. Carrie Bell-Qwest said that she would have to check but said that the shorter it is would better for the drop down box. Susan Lorence-Qwest suggested we could take out Agenda and make Meeting - Announcements, Material, Votes and Disposition. Carrie Bell-Qwest said that we currently have Change Management Process/Meeting agenda/Announcement/Materials. She said that she we could add approximately 5 more characters to that. Bonnie Johnson-Integra said that she did not have a problem with removing Agenda. Susan Lorence-Qwest said that we could have Meeting Announcements, Materials, Vote and Disposition. Bonnie Johnson-Integra said that you could abbreviate those words and eliminate some of the characters. Carrie Bell-Qwest said that the character limitation is 70 maximum. Susan Lorence-Qwest said that to be clear, we could leave Meetings and Announcements and Vote Announcement and Disposition. Network Susan Lorence-Qwest said that Integra proposed adding Disclosure as a subcategory and wanted to understand because the Copper Retirements that Qwest proposed is a Disclosure. Susan asked if Integra was proposing that everything other than a Copper Retirement would go in there. Kim Isaacs-Integra said that if you are adding a subcategory of COPR it would work as its own subcategory. Sandie Tekavec-Qwest said Qwest’s original proposal did include COPR. Susan Lorence-Qwest said that if we include COPR that will include a lot of the notices. She said that we could look at having Tech Pubs, COPR. She said that Integra proposed including STP and said that STP has a fairly low volume. Sandie Tekavec-Qwest said that there were only 16. Susan Lorence-Qwest said that we were thinking that the rest would fit under Announcement. Bonnie Johnson-Integra asked if they could recommend the same thing for STP, Tandem and Homing and identify those in the subcategory full name. Susan Lorence-Qwest agreed. She said that we will not go forward with Disclosure, STP, Tandem and Homing. She said that we will eliminate Engineering, Meeting and keep COPR. Process Susan Lorence-Qwest said that Qwest originally proposed a MISC category until we settled on what the subcategories would be. Susan said that this would allow us time to review the hundreds of notices and assign them to the most appropriate category according to our guidelines. She said that the MISC category was not meant to be a permanent category but to allow us to review all notices. Susan said we may still have something that may be appropriate for this category and we don’t want to remove. She said that we have proposed Bill, COLLO (Kim agreed), MTC and ORD. Susan said that with Ordering we thought that Ordering, Preorder and Provisioning would all be in one general subcategory. She we believe that generally when you send an Ordering notice there is overlap with Preorder and Installation. Susan said we thought with the enhanced capability it could be one general subcategory with the sub set underneath. Bonnie Johnson-Integra said that would be a big folder. Sandie Tekavec-Qwest said she thought we were agreed to Ordering and Pre ordering and not to include Provisioning. Bonnie Johnson-Integra asked if the subcategory would be ORDR and that we could have the full name be Preorder and Ordering. Kim Isaacs-Integra said that would work. Susan Lorence-Qwest said that Migration and Conversion would follow under the Ordering subcategory. Kim Isaacs-Integra agreed as long as they could get the full name included. Brenda Bloemke-Comcast asked if there would be a subcategory name for Migrations and Conversions. Susan Lorence-Qwest said that the subcategory would be ORDR and the full name would show Pre Ordering, Ordering, Migrations and Conversions. Kim Isaacs-Integra said they proposed that Migrations would fit better in Provisioning and Installation but as long as it is identified in the pull down menu it would work. Susan Lorence-Qwest said there were only 4 Migration and Conversion notices in 2007. Sandie Tekavec-Qwest said that there were 15 Provisioning and Installations notices from 2007 forward. Susan Lorence-Qwest asked if Integra felt that Migrations would fit better in Provisioning and Installations. Kim Isaacs-Integra said yes. Susan Lorence-Qwest said that would work as long as we are specific. She said that we would have Pre Ordering, Ordering, as one and Provisioning, Installation and Migration as another. She said that for the SIG we could use SIGX or SING for the abbreviation. Bonnie Johnson-Integra said that they preferred a letter on the end and X is fine. Susan Lorence-Qwest said that we will add Contracts which will include Account Management and CSIE. Susan said that Qwest would like to propose, instead of having a separate category for Expedites and Escalations, that they would go under the Contract subcategory. Kim Isaacs-Integra agreed and would be noted in the full name. She said that is how they are coming across today. Susan Lorence-Qwest said that Listing would be a separate subcategory as LIST and Contracts would be CNTS. Susan said that the MCC volume is very low and asked if we could put them in the broad MISC category. She said that anything that is not a clean fit would go into MISC and that we struggled with having a small number of notices in a subcategory Bonnie Johnson-Integra said that as long as you identify it in the full name. She said that if we decide consciously to put something in a category and if we have enough categories, they don’t object to the MISC category. Kim Isaacs-Integra agreed as long as the subcategory name identifies it and would be the same for process trials. Susan Lorence-Qwest said that will care for MCC, Expedites under Contacts and Process Trials and Tax will be under MISC. Susan said that LSOG would be a good category to add and said that when we do a release notice for IMA the correlating Level 2 notice would be under LSOG. Bonnie Johnson-Integra said that would be great. Kim Isaacs-Integra said that there has been confusion with the new process for example on Collo Augment Form. She said that these changes are associated with the actual process and not a notification of the change to the product. Susan Lorence-Qwest said that was a good point. She said that if you go to the Wholesale page and look under CLEC local interconnection, there are 3 drop downs Products Services/Solutions and has all of the PCATs. She said that anything that notifies on any of those would be under a Product notice. Susan said that under business procedure (i.e. collo process) anything that falls under collo would then be given that subcategory. She said that Directory Listings would be the Directory Listings Providers business procedure. Kim Isaacs-Integra said that explanation helped because sometimes there are Product/Process Crossovers. Susan Lorence-Qwest said that sometimes they are not always put into CNLA where they should and is why we want to clean it up. Bonnie Johnson-Integra said that we skipped over Contract and said the she assumed Qwest did that because they have concerns on their proposed changes. Susan Lorence-Qwest said that when we send out a notice for a Negotiations Template or Amendment they are sent as a Process notice. Susan said that we are proposing to send them under a different overall category instead of Process. She said that some of them would come under Contract and under Contract we break out Commercial Agreement, Amendment, and Interrogatory. She said that we are proposing to separate process so that process is specific to business procedures and not to the notices associated Amendment updates, Negotiation Template, SGAT etc. Sandie Tekavec-Qwest said that they are non CMP notices that are guided by Regulatory. She said they do not apply to your individual ICA and we are wavering whether to put them. Brenda Bloemke-Comcast asked what is affected if they don’t affect the individual ICA. Susan Lorence-Qwest said that we were trying to keep those separate. Bonnie Johnson-Integra said the concern is that Regulatory is limited to Regulatory and is the result of some type of an order. She said that they were not amenable to having a subcategory of Regulatory with the changes that Qwest made to the Negotiations Template or Commercial Agreements under Regulatory. She said those are Qwest initiated changes and not the result of Regulatory proceedings that resulted in an order. Bonnie said that she did not object with these going in Contract as long they are not notices specific to the individual ICAs. Susan Lorence-Qwest agreed and that we were trying to get a clean way of identifying those and not keep them under Process. Susan said that we could look at some examples in the next call and tell you where they would fall going forward. Susan said thanked everyone and said that she will schedule another meeting.

1/21/09 Prod/Proc CMP Meeting Susan Lorence-Qwest stated that an adhoc meeting was held on 1/15/09. She said that Qwest took an action item to look at the search capabilities in CNLA for improvements. She said in that meeting, Integra agreed to review the categories and subcategories and send back a proposal. Susan said that we will be sending out a notification for an adhoc meeting in a week or so.

1/15/09 CMP Adhoc Meeting CNLA Categories and Sub Categories Attendees: Bonnie Johnson-Integra, Kim Isaacs-Integra, Joyce Bilow - McLeod, Brenda Bloemke-Comcast, Kasha Fauscett-Comcast, Lorianne Burke- XO, Doug Allen-AT&T, Susan Lorence-Qwest, Paulette Hauck-Qwest, Carrie Bell-Qwest, Judy DeRosier-Qwest, Lynn Stecklein-Qwest

Susan Lorence-Qwest said that this started with a Level 2 notice Web update that went out on 11/24/08. We received some objections from Integra and held an adhoc call on 12/15/08. Susan said that in that meeting we agreed to retract the level 2 notice and issue a Level 4 CR PC121608-01 that will be presented in the January CMP meeting. Susan said that in the 12/15 meeting we talked about the categories and subcategories and it was suggested in the December ad hoc call that rather than going through all the notices in CNLA together, each CLEC that wanted to participate would take a category of notices, i.e., Network. Susan said that in Qwest’s original proposal, in the Network Category, Qwest proposed elimination of 2 sub-categories: Engineering and Meeting. Qwest also had proposed that Tech Pubs and Announcements would be retained and a new sub category Copper Retirement added. She said that Qwest had reviewed all notices and placed assigned them to existing/new sub categories. Susan said that a lot of the notices in CNLA were not appropriately placed in the right sub category and we wanted to make it easier to find the notifications. She said that based on volume, there may be sub categories that do not need to be retained. Notices categories that are most critical would be reviewed and the group would get back together in another meeting to review the suggestions that CLECs or Qwest come back with. Susan said that Qwest considered the volume in CNLA and when you click on the category, you can see the volume of notifications for each subcategory. She said that if you see there are only 1 or 2 notifications, they may not have to be reviewed. She asked if everyone wanted to come up with the list of categories/subcategories that need to be reviewed and assign those. Bonnie Johnson-Integra said she was not sure if she agreed with the proposal not to review those sub categories that only have a couple of notices. She suggested that we review those together because they don’t contain the volume of some of the other categories. Susan Lorence-Qwest said that we did not want to go through notice by notice with this large of a group. We can look at the category and sub category and based on work that Qwest has completed, see if CLECs agree with our proposal. Bonnie Johnson-Integra said that she is not certain that there was a lot that they agreed with from the last call. She said that Integra would be willing to provide comments on those that we don’t go through notice by notice and how we feel about Qwest’s proposal. Susan Lorence-Qwest said that we could start with looking at CMP notices. There are currently 5 categories and we proposed that, due to their small volume of notices, three subcategories would be eliminated: Redesign, Distribution List and Change Requests. Susan said that in the 12/15 meeting, Integra indicated that they wanted more categories and asked if anyone else had any further suggestions. Bonnie Johnson-Integra said that she had not had an opportunity to review the categories any further. Kim Isaacs-Integra said that her recommendation for CMP notices for additional review would be on Escalation, Oversight and those requiring a vote and asked where they would fall now. Susan Lorence-Qwest said of the two subcategories being proposed – CMP Process and Meetings, they would fall under CMPP (CMP Process). She said that Process is for anything that does not fit under a Meeting. She said that if you look at escalations, we have had around 45 in CMP. Kim Isaacs-Integra said that the problem in CNLA specific to CMP Process, you have to scroll through every page to find the escalation because there is no way to search for a particular notice. She said that you are going to make the folder bigger, there is no way to search on a notice number or key word. Kim said that this would make the categories more inclusive to find things. Susan Lorence-Qwest said that she was not aware that some of these categories were used that frequently, such as looking for specific notifications on an Escalation, Vote Required, Oversight and Prioritization. Kim Isaacs-Integra said that maybe Prioritization and Voting could be in one folder. Bonnie Johnson-Integra said that if we created an Oversight subcategory, the related meeting notices would go into that category. She said that rather than separating them and having meetings in one subcategory, the related ad hoc meeting notices should be in that grouping, Oversight, Escalation, and that is what she meant by expanding them. She said that Integra is in the CNLA all the time and finds it difficult to find notices. She appreciates Qwest bringing this up because they agree it needs some work. Integra thinks the Qwest recommendation will make it harder rather than easier. Susan Lorence-Qwest said she has captured their concern and asked if other CLECs on the call agree that meetings should be put in a subcategory with Escalation or Oversight vs. having a separate Meeting folder. Joyce Bilow-Paetec said that she agreed with Integra and that it would be easier. She said that sometimes it takes longer to search than reading the documentation. Brenda Bloemke-Comcast agreed. Susan Lorence-Qwest said that Qwest agreed that it can be difficult to find things because of where they are today. She said that her question is that from a CMP category, we could expand the subcategories to Escalation, Oversight, Prioritization, and Vote notices. She asked if we wanted to assign these three additional subcategories or are there others needed. Bonnie Johnson-Integra said that Integra could take that CMP category to see if there should be additional ones. Kim Isaacs-Integra said that she did not think there were additional subcategories. Susan Lorence-Qwest said that we have Escalations, Oversight and Vote related notices. She said that there may be an issue on the notices requiring a vote. She said that there could be an escalation requiring a vote and what she is hearing would be an overlap. She said that a notice requiring a vote could be associated with an escalation. What Qwest is trying to do is make the categories clean so you can be clear on where to find something. Bonnie Johnson-Integra said that if she is looking for anything that has to do with an escalation, she would look in the escalation folder. She said that with Oversight, there aren’t any votes. She asked if changes to the CMP document would be an appropriate subcategory. Susan Lorence-Qwest said that the only thing that she could see would be go into Oversight is an Announcement that we have an Oversight issue, a request for names submitted for oversight membership, or a resolution for Oversight. Susan said that In the case of CMP Document changes, those go with a Change Request. Bonnie Johnson-Integra asked where adhoc meetings would go. Susan Lorence-Qwest said that an adhoc meeting would be all the meetings that have been established but if the group wants them to fit with the a specific topic, i.e., Vote related notices vs. escalation, that would have to be made very clear. She said that it should be clear where to look without putting a lot of documentation on the page. She said that if Integra is saying that a meeting vote would go with Escalations, we need to rethink the Vote subcategory. She said changes to the CMP Document could be a subcategory and you may only have 10 notices in there. She asked how someone would really find a CMP doc change notice. Would you look for those notices there or would they go to the CMP change request site and look for notices that have a CM designation. Kim Isaacs-Integra said that it would be ideal if in CNLA they had the ability to use a search key and get all the notices for a particular subject. She said that today they have to go through many pages to get what you are looking for. Bonnie Johnson-Integra said that you almost have to find what you are looking before you find what you are looking for. Kim Isaacs-Integra said that there is no way to search besides guessing where a notice could have been under and when. Bonnie Johnson-Integra said that she could get the notice number from the history log but it depends on what level is. She said that if you could get the process notification number and be able to put that in would be great. Susan Lorence-Qwest said that would require a significant change to the CNLA to change the search capability. She said that the Qwest proposal was to change the categories and subcategories to make them more usable and not make changes to the search capability. She said that we can take a look at their request to see if there is any possibility there. Bonnie Johnson-Integra said that we should go through the categories and assign them. She said she was not sure that anyone has any extra time and wanted to make sure that all CLECs on the call want to participate in this effort. Susan Lorence-Qwest agreed that it takes a lot of time and analysis. She said that we don’t want to go through the process again until we know what is desired. Susan asked if anyone else besides Integra wanted to take a category and determine if what Qwest has proposed is appropriate. Kim Isaacs-Integra volunteered to review the proposal and send something back to Qwest. Kim said she knows how they could be organized to make it easier and could send back a proposal. Brenda Bloemke-Comcast asked if Integra was going to look at all categories. Kim Isaacs-Integra said that she would review all categories. She said that she receives all the notices and knows how they come in and how she sends them out. She said that she has a method based on the current categories. Susan Lorence-Qwest asked that Integra use what Qwest has proposed as a starting point. Brenda Bloemke-Comcast said that she could take a category if Integra wanted to split them up. Kim Isaacs-Integra said that she would take the 1st shot and send back a proposal. Susan Lorence-Qwest asked if Integra had a timeframe so that we could schedule another call to review her proposal. Kim Isaacs-Integra said that she would be able to provide the information in a couple of weeks. Susan Lorence-Qwest that we will take the suggestion back to our web team regarding the search on the notice number. She said that capability is there once you have the date of the notice from the history log; you can go to that month and year. She said that you might have to scroll through 2 or 3 screens. Bonnie Johnson-Integra said that you don’t always find the notice in that month even with the notice number. She said that you could go through 4 screens and not find the notice in that month. Paulette Hauck-Qwest asked if when they are looking for notices, is it because they don’t have them? She said that she is looking into a large project that would give wholesale customers space in a Qwest server. She said that all notices would reside in a server and customers would be able to search for them when they wanted. Bonnie Johnson-Integra said that would be wonderful but they subscribe to notices for 7 different companies and not sure that is what they are looking for. Paulette Hauck-Qwest said that we will continue to share information on the project and thought that this historical file would be helpful. Bonnie Johnson-Integra said that she has at times had to request a cutoff to her notices so that her mailbox does not get full. She said that if she is looking for a notice, she will go to the Qwest web site. Joyce Bilow-Paetec said that she would like to be able to search by a letter, text, or word, and it would bring up all notices associated with it. Susan Lorence-Qwest said that there is a search function but does not necessarily come up with just the letters. Joyce Bilow-Paetec said that she can do that if she knows what year it is but spends too much time looking for it than she should. Susan Lorence-Qwest said that sounds like a huge change but we would take it back as a general question. Kim Isaacs-Integra asked if that change was as huge as this change by moving everything around. Susan Lorence-Qwest said that it sounds like a bigger change because it is taking all the history and putting it into a bank to be able to search for “collo”, for example. She said that every notice associated with “collo” would come up. She said it sounds like a huge Google search. She said she thought that taking the time to put them into correct subcategories would be easier than putting them into a huge database and expanding the search capability. Kim Isaacs-Integra said that other ILECs have search functions that makes it easier. Joyce Bilow-Paetec said that this search would have to be by year because it minimizes your search. Bonnie Johnson-Integra said that you already have the search functionality that gives you everything and that is part of the problem. She said that when they do a search in Wholesale, it comes up with things that aren’t even on the Qwest website like regulatory information. She said it sounds like you have already a search engine database and depending on how it is based, you could have it search only in the CNLA. She said that if you have big warehouse of data and if Qwest can provide them with the functionality, they wouldn’t need the rearrangement of subcategories. Susan Lorence-Qwest said that we can look at that internally. She asked if we were still proposing that Kim review the categories or did they want Qwest to look at the search capability first. Bonnie Johnson-Integra said that we can do it in parallel. She asked if Paulette knew if the search capability and functionality is out of the scope of what we normally do. Carrie Bell-Qwest said that we can take a look at something like that but with this project, we were not looking at changing the search functionality. She said that this project is more to address the categories and subcategories and to eliminate categories that were not being used. She said that she thought that the level of effort with something like adding expanded key word search would probably be out of scope. Carrie asked for more information on the example previously identified where the notice was in the wrong month. Carrie wanted to determine if it was an error so that she could correct it. Bonnie Johnson-Integra said that it was not an error. She said that it was a process notice dated 7/10/04 and it should have been in July, She said that she could not remember the details but the number date is not always in that month and it was her understanding that was by design. Carrie Bell-Qwest said that the notice should be in CNLA by month. Susan Lorence-Qwest said that between the Document review site, the history log, and CNLA, she has always found it in the correct month. Bonnie Johnson-Integra said that maybe it was Document review. Judy DeRosier-Qwest said that when Qwest issues a response to comments, we use a new notice number, but the responses are posted under the original notice number. Judy said that the notice that is issued will tell you where to find it. Carrie Bell-Qwest said that you should be able to find the notice in CNLA if you have the date. Kim Isaacs-Integra said that even when you have the date and go into the CNLA, i.e., for March 2008, there are 300 notices for that month and you still have to page through the entire month which is very frustrating. Carrie Bell-Qwest said that we can look at providing 1 full page with all of the notices so you don’t have to scroll. Susan Lorence-Qwest said that the volume of notices on CNLA is decreasing and we now generally have 60-70 per month and very rarely go over 100 anymore. Susan said that what Carrie is proposing would eliminate that frustration. Susan Lorence-Qwest said that we will schedule a meeting in a couple of weeks and take back some questions on search capability. She said that we will look at improvements to CNLA that would take you directly to a notification - or a broader search capability like a key word or a date. She said that Kim will look at proposing some modifications to the categories and subcategories that have been proposed.

12/15/08 CMP Adhoc Meeting CMP Adhoc Meeting CNLA Subject Line

Attendees: Bonnie Johnson-Integra, Julia Redman-Carter-McLeod, Brenda Bloemke-Comcast, Kasha Fauscett-Comcast, Wendy Chapman-Neustar, Susan Lorence-Qwest, Paulette Hauck-Qwest, Carrie Bell-Qwest, Judy DeRosier-Qwest, Lynn Stecklein-Qwest

Susan Lorence-Qwest said that documents for this meeting can be found on the Wholesale Calendar including current volumes as of last Friday that will help us go through the original matrix. She said that this call stems from a Level 2 notice change to eliminate or replace existing web functionality that Qwest sent out 11/24. She said that in that L2 notice we were proposing to correct and improve the notification categories in CNLA and also to improve how we send out notifications via our mail out system. She said that we wanted to provide a distinct category and subcategory so that you can locate them in the CNLA historical information. She said that we reviewed the volume of notices in CNLA and it is not very reflective of what categories they are placed in. She said that we want to go through and review every notice and re-post them to the correct sub category on a historical basis. She said that when the notice went out on 11/24, Integra had concerns about what we were changing and requested that we change this to a level 4. We requested this adhoc meeting to see if we can come to an agreement and hope that everyone will see that what we are doing is logical and that the true objective of this change is to improve your ability to locate notifications by category and would like the category to be more reflective of content. She said that as we go through the matrix we can touch on some of the questions that Integra has raised. Bonnie Johnson-Integra said that have they noted their objections. She said that Qwest said that they would like to move forward with a Level 2 and that the task at hand is bigger than that and will require some collaboration. She said that she thought the purpose of this meeting per the CMP process is to determine if the Level of this notice should be different than a Level 2. She said that they don’t disagree that the website needs some kind of help and just to pull up notices takes a lot of time. She said that they were thinking of links for the notices so that the load time is not as long as it is. Susan Lorence-Qwest said that is a different type of change than what we are proposing. She said that when we go through the list of volumes and compare to what we are proposing we hope you see that we are not making that significant of a change. She said that is why we want to go through the changes and if there is not a way to resolve we can retract and issue a Level 4 CR. Susan said that we are proposing they are 5 subcategories today’s and if you did a review of the notices 2 are assigned to re-design and 3 of them assigned to distribution list and what we are proposing that we only keep 2 of those subcategories – 1 is specific to adhoc meetings and 1 that is more process. She said we found to keep the category of change request is deceiving and that there could be process notices or adhoc meetings associated with a CR and it would be confusing on where to look. She said that we are proposing is that if the notice is specific to an adhoc meeting whether it is a CR or any kind of meeting it would go in the MEET subcategory and everything else would go under PROCESS if it was a change to disposition request, an escalation or anything in the CMP category that is not a meeting. Bonnie Johnson-Integra said that she does not agree and it makes it more difficult. She said that she does not disagree that you need a separate category for adhoc meetings. She said that she believed that the subcategories for the CNLA in most cases need to be expanded not reduced. She said if you are trying to add clarity and to find things it needs to be expanded. Paulette Hauck-Qwest asked if Integra was referring to all notices or just CMP notices. Bonnie Johnson-Integra said that she commented before that she disagreed with a miscellaneous category because it would be a catchall. She said that beside the Regulatory issue, her greatest concern is that by reducing the subcategories, Qwest is making it more difficult to identify notices. She would have a tendency to go the other way. Susan Lorence-Qwest said that if you look at the list there are 3 Distribution List notices and 2 redesign notices. She said that we are not going to be sending any more redesign notices and the distribution list is 3 and if you look at CRs She said that we could not come up with a more logical breakdown than Process and Meet categories and there was no sense in keeping those 3. She said that we will take note that you would like them expanded. Bonnie Johnson-Integra said that she has not taken the time to go through the notices which is why she wants to make this a collaborative effort and look at the notices to see what the CLECs think. She said that with the Level 2 notice there is no opportunity to do that. Susan Lorence-Qwest said that the next category is Contract and Qwest is proposing that we delete the Amendment and Interrogatory and leave Announcement. She said that the volume of notices did not warrant the subcategories that are there. Bonnie Johnson-Integra said that in her objection she said that there are specific notice provisions in the ICA that are required for Contract notices that have an impact to a CLEC. She said if Qwest chooses to use this process then you are free to do so as long as you are following the provisions of the ICA. Paulette Hauck-Qwest said that from a Contract notice perspective many of those are individual customer contracts and those kinds of contracts would never be in CNLA and from a search process you would never see those. Bonnie Johnson-Integra asked what would be sent out in this type of category. Paulette Hauck-Qwest said that these are very generic i.e. putting in new template on the website or and Out of Region change such as changing our name etc. anything specific to a Contract ICA is not a CNLA topic. Susan Lorence-Qwest said that in CNLA if you select Contract notices, the last notice we sent out was August of this year and was a CPAP filing Exhibit K and B and the one before that was a ROC notice. The volume is very small with 19 notices. Julia Redman-Carter-McLeod asked for clarification on Interrogatory. Susan Lorence-Qwest said that the last notice we sent out in this category was March of 2005. Paulette Hauck-Qwest said that most of the Interrogatory are of a very generic nature. She said that most of them are from the Commission asking us to respond to some data requests. She said that those letters are proprietary and would never be on CNLA. Julia Redman-Carter-McLeod said that she would like to see this remain as is. She said that when she sees Amendments come through she (12/22/08 Comments received from McLeod) knows she needs to go look at it. However, she said that when she sees something as Interrogatory she knows that Qwest is looking for timely response or answer. Paulette Hauck-Qwest said that through the notification process the letter will still say CONTRACT and will have Interrogatory on it. She said that it is not going to be filed on CNLA as Interrogatory. Julia Redman-Carter-McLeod said that she understands that the (12/22/08 Comments received from McLeod) notice you send via my ICA because of Interrogatory is based on privacy issues. She said she is trying to figure out the ones that are a part of this project that are provisioning issues and under CNLA. Paulette Hauck-Qwest said that the notice from 2005 notice shouldn’t be on CNLA. She said 3 years we did not completely understand how we should post things on CNLA and that we would not be posted to CNLA today. She said that when the notices come into her systems today she has could not recall putting Interrogatory on CNLA. Julia Redman-Carter-McLeod said that is what she wants to understand is that break out (12/22/08 Comments received from McLeod) of interrogatory and Amendments broken out is that Announcements tells her the notice is something that she should be aware of. Whereas, the Interrogatory is where you are asking me a question and I need to respond. She wants to make a distinction between the two. If Qwest is telling me that there will not be an Interrogatory sent under Announcements and that the likelihood of Interrogatory ever be sent out in CNLA is nil then she can understand Announcement category better. Paulette Hauck-Qwest said that a Contract generic Announcement would say CONT ANNC. She said if there was an Interrogatory it would say CONT and there would not be a subcategory and would not be on CNLA. Julia Redman-Carter-McLeod and that (12/22/08 Comments received from McLeod) she wants to be able to identify the notices to which she needs to respond such as an interrogatory. Paulette Hauck-Qwest said that if you don’t see a subcategory in the future you know that letter won’t be on CNLA and is unique to you or a CLEC and is not public domain. Julia Redman-Carter-McLeod asked that if the subcategory of Interrogatory were to be removed there would never be issued from Qwest any Interrogatory that would need a response within a short period of time in CNLA. Paulette Hauck-Qwest said there would never be an Interrogatory that said would say CONT ANNC and would never come to you that way. She said that there are notices that are sent out that don’t get posted to CNLA and most of them are for privacy reasons. She said that these will never have a subcategory and that will be an indication to you this is not a CNLA letter. Bonnie Johnson-Integra said that we have only gotten through the 1st 2 categories and that is why this needs to be a collaborative effort. She said that even if we agreed on 11 notices and determined on what they were and if they were CLEC specific they probably should not be there. She said that there needs to be a subcategory for Qwest’s template changes. She said that the Qwest Template is not a contract and appears to be with the current CNLA. She said that by putting everything into a General category will make the search more difficult because they will have to go through all the notices. She said that she doesn’t agree with the concept that reducing the number of subcategories makes it easier or more efficient to locate a type of notice. Susan Lorence-Qwest said that with 19 notices under the Contract category under Announcements is about as efficient as trying to look under Amendments and then look under Interrogatory. She said that we are trying to make the point that we want to make it easier and so you don’t have to look under multiple places. Susan said that we are not looking to make any changes under the Forecast General Category. She said that there are 43 from the last 5 to 7 years and General had Announcements and Meetings. Susan said that if you look under Meeting it’s really seem to fit under Announcements. She said that the last time we sent one out was for the mini forum for provisioning and there were other repair forums back to 2001-2002 She said that we thought we would put these under one category because we have not been using this category lately. She said that if everyone would prefer to keep it as is we can look at that. Bonnie Johnson-Integra said that she would like to look at those Announcements to see what the subject matter is and perhaps expand the category. Susan Lorence-Qwest said that we did not think there would be much interest or desire to have a lot of resources from Qwest and the CLECs reviewing and analyzing all notices back to 2002.to do that. Bonnie Johnson-Integra said that one of her concerns with deleting categories relates to systems. She said that she does not believe even if the system retires you should eliminate that subcategory for historical reasons. She said that she knows where to find the notice and deleting the category is a concern and that Integra would have to go back historically and review. Susan Lorence-Qwest said that for Systems we are keeping Billing, CEMR and proposing to delete EXACT. She said that there are only 10 notices and after your comment we can keep. She said there are only 2 notices and thought we could move to archived systems and not keep that category on a going forward basis. She said that with IMA EDI and GUI there are 3 categories today and you could not depend on where to find those notices today because many of them cross EDI and GUI. She said MEDIAAC was going to be kept and Other was going to be changed to Miscellaneous. She said that there were 330 of those but we were going to review to see if they would fit somewhere else. She said that we were going to keep Premise. There we no notices for Product database for Co-Provider and no Raw Loop Tool notices. We were going to keep Sate and Telis. We are deleting those with no notices and then make IMA more usable so that you don’t have to flip through 3 categories.. Bonnie Johnson-Integra said that the System Other category has more notices than any other category and that there should not be an Other Category and would be opposed to a Miscellaneous category. Susan Lorence-Qwest said that if you look at the Other category there are scheduled QORA, scheduled maintenance and those would be associated with a specific system. She said that we thought we would put those in the correct category. She said that we were going to put QORA new in the new subcategory. Bonnie Johnson-Integra asked if there was going to a new Scheduled Maintenance category or would they stay in their respective systems. Susan Lorence-Qwest said that if there was a QORA or IMA they would stay in that system. She said that alot of them are related to IMA and we do have some LFACs AN Community name update which we thought should go under Miscellaneous but if the desire is to create a subcategory we can. Bonnie Johnson-Integra said that would be their preference. She asked about the Product category and why is Qwest adding collo and condensing others. She said that products should be all of your products. Susan Lorence-Qwest said that the reason we called out collo is because several years ago we realized we had a few external documents that were under Product and business procedures document. She said that the documentation team went through an effort to break them out and make them more specific to the type of process/product under collo that was being addressed in that document. She said that we believe that there was such a volume of those it made sense to have a separate subcategory specific to Collo. She said that if you look at the product/process drop down menu there is a big grouping of them and we thought that we should call those out uniquely because of the volume. She said that we wanted to create a new category called CML solutions because a lot of notices go out for QPP and QLSP and get into the Miscellaneous category. She said that we wanted to breakout resale and review what is there to a make it more usable. She said that another proposal is to create another subcategory for ICB and Contract notices. She said that on the volume sheet there are 1496 notices and said that she was not sure if that was a good view. She said that at the history it seems kind of a catchall. She said that we think we can improve and be more specific to products/services that are resold and take out Contract notices and put in the ICB subcategory. She said for resale you will not have to look at 400 - 500 Contract notices. Bonnie Johnson-Integra said that she does not disagree and there are changes that Qwest is making that she does not agree with. She said that she does not know why Qwest is eliminating the UNE category. Susan Lorence-Qwest said that we understand your concern and that we could keep it but we have to review it because there a lot of things that have been placed there that are aren’t UNE. She said there is QLSP, QPP, TRO and Commercial Agreements we could keep and just review historical files. Bonnie Johnson-Integra said that UNE should stay. Susan Lorence-Qwest said that we are fine with retaining UNE. Paulette Hauck-Qwest said that we are not writing UNE notices and that you will not see these going forward. Susan Lorence-Qwest agreed and we were thinking we could move UNEs to a subcategory but if the preference is to keep UNE we can. She said we did not believe the changes we are proposing especially after you look at the volume in some of these areas that we were making substantial changes. She said that if there is still a desire to meet as a team and look at these collaboratively we can do that. We were taking a huge step to improve the CNLA without taking every one’s time. Julia Redman-Carter-McLeod said that she wanted a clarification on UNE as the example – Qwest said that they (12/22/08 Comments received from McLeod) would leave as a subcategory because they don’t anticipate any new activity. She asked when Qwest says they want to delete that subcategory will you take the existing information and move it to a UNE archived or was the plan to merge the UNE notices into something else or another existing category. Susan Lorence-Qwest said that we were going to merge under Interconnection. She said that once you go through those that are under LIS interconnection and put them into the correct subcategory that was identified we thought UNE would fall into that. She said if the preference is to keep UNE as a subcategory knowing that it is not going to grow but that it is good for historical purposes we can do that. We would still need to review and clean up what has been assigned there. Julia Redman-Carter-McLeod said that she liked the idea (12/22/08 Comments received from McLeod) of archiving UNE for example, if we know there will not be any UNEs notices for CNLA in the future. She said that though it would be a category that they would not expect to see CNLA notices but they would still be able to access the category on a historical basis. Susan Lorence-Qwest said that we were not going to remove the notices and that the notices will be there but we were improving where you would find them. Susan said that what she is hearing that we don’t move forward with this and that we issue a CR and schedule additional meetings. She said that we need to review this list and review by category and have everyone look at the historical files and come back with proposed categories. Bonnie Johnson-Integra said that she has voiced concerns on the changes and that this needs to be a level 4 CR. She said that the CMP document says we need to get concurrence, She said that the CR should be issued and that we can meet collaboratively and discuss. She said that if Qwest wants to send something new as a Level 3 we can see if we agree and that they could comment. Bonnie then said that we should probably start with the Level 4. Susan Lorence-Qwest asked how everyone else felt on the call. Julia Redman-Carter said she was leaning towards the level 4 and is concerned about the time involved in this effort.(12/22/08 Comments received from Integra) She said because of the time and discussions she better understands why the proposed changes regarding Amendments and Interrogatory. However, without a similar discussion for those categories that she wants to understand better – such as what categories are changing, what fits into which categories, and what will impact processes, she may not know where to find things. So that she knows where things are, she wants to be involved in archiving and understand the rationale as to why we are moving things around if those modifications are made. Bonnie Johnson-Integra said that she agrees that the level 4 makes the best sense. Susan Lorence-Qwest said that we will retract the level 2. Bonnie Johnson-Integra said that we can work with the CLECs that want to be involved and each take a category Susan Lorence –Qwest said that the notice will be retracted and the level 4 will be issued.


Open Product/Process CR PC121908-1 Detail

 
Title: Grandfather, Sunset or Eliminate certain USOCs in Nebraska
CR Number Current Status
Date
Area Impacted Products Impacted

PC121908-1 Completed
5/20/2009
Resale
Originator: Schwartze, Cindy
Originator Company Name: Qwest Corporation
Owner: Schwartze, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Revised 1/7/09 - In Nebraska, Qwest will be grandfathering the USOC 7FB (Measured & Flat rate) and JUL (Joint Use), and eliminating USOC’s SSV (Business Answering), 1V6 (Telechoice 12 Hour), 1SP (SemiPublic), 852 (SemiPublic), 1GS (SemiPublic) and 1GK(SemiPublic) with a proposed effective date of April 12, 2009.

USOC’s 1VT (Telechoice 9 Hour), ZZZCA (Telechoice Unlimited), ZZZCB (Telechoice Unlimited) 1V3 (Telechoice),and SFO (12-23 months, 24-35 months, 36-47 months, and 48-60 months) will be sunset with a proposed effective date of April 12, 2010. There are currently no Wholesale Customers with any of these USOC’s.


Status History


Project Meetings

5/20/09 ProdProc CMP Meeting

Mark Coyne-Qwest said that this became effective on 4/15/09 and that we would like to close this CR. There were no objections.

4/15/09 Prod/Proc CMP Meeting

Mark Coyne-Qwest said that a Level 2 was sent on 3/23/09 and became effective on 4/13/09 and will move to CLEC Test.

3/18/09 Prod/Proc CMP Meeting

Mark Coyne-Qwest said that this will announce on 3/23/09 to become effective on 4/13/09.

2/18/09 Prod/Proc CMP Meeting

Mark Coyne-Qwest stated that this will announce on 3/23/09 to become effective on 4/12/09.

1/21/09 Prod/Proc CMP Meeting

Cindy Schwartze-Qwest stated that in Nebraska, Qwest will be grandfathering the USOC 7FB (Measured & Flat rate) and JUL (Joint Use), and eliminating USOC’s SSV (Business Answering), 1V6 (Telechoice 12 Hour), 1SP (SemiPublic), 852 (SemiPublic), 1GS (SemiPublic) and 1GK(SemiPublic) with a proposed effective date of April 12, 2009. Cindy said that the USOC’s 1VT (Telechoice 9 Hour), ZZZCA (Telechoice Unlimited), ZZZCB (Telechoice Unlimited) 1V3 (Telechoice),and SFO (12-23 months, 24-35 months, 36-47 months, and 48-60 months) will sunset with a proposed effective date of April 12, 2010. There are currently no Wholesale Customers with any of these USOCs and that Qwest would like to issue as a Level 2. There was no objection to the Level 2.


Open Product/Process CR PC010909-1 Detail

 
Title: Collocation Change – Update to New/Change/Augment Application
CR Number Current Status
Date
Area Impacted Products Impacted

PC010909-1 Completed
5/20/2009
Pre-Ordering, Ordering Collocation
Originator: Bode, Brett
Originator Company Name: Qwest Corporation
Owner: Bode, Brett
Director:
CR PM: Stecklein, Lynn

Description Of Change

We are updating the Collocation Application in an effort to make the application more user friendly.

Expected Deliverables/Proposed Implementation Date (if applicable):

Estimated time of implementation is Feb 09


Status History


Project Meetings

5/20/09 ProdProcCMP Meeting

Mark Coyne-Qwest said that this was effective on 3/30/09 and asked if there was any objection to closing this CR. There were no objections

4/15/09 Prod/Proc CMP Meeting

Mark Coyne-Qwest said that the final notice was sent on 3/13/09 and was effective on 3/30/09. Mark asked if there was any objection to closing this CR. Bonnie Johnson-Integra said that they would like to keep open another month so that she could check with Kim Isaacs (Integra) for feedback.

3/18/09 Prod/Proc CMP Meeting

Mark Coyne-Qwest said that the final notice was sent on 3/13/09 to become effective on 3/30/09.

2/18/09 Prod/Proc CMP Meeting

Mark Coyne-Qwest said that the Level 4 notice was sent on 2/13/09 to become effective on 3/30/09.

PC010909-1 Collocation New/Change/Augment Application Changes CMP Adhoc Meeting February 2, 2009

Attendees: Kim Isaacs-Integra, Steve-Integra, Bruce Duncan-Knology, Susie Franke-Time Warner, Brett Bode-Qwest, Anne Robberson, Ellen Munz-Qwest, Lynn Stecklein-Qwest

Lynn Stecklein-Qwest stated that PC010909-1 Collocation New/Change/Augment Application Changes was submitted by Qwest and presented in the January CMP Monthly Product/Process CMP Meeting. In that meeting, the CLECs requested that an adhoc meeting be held to further discuss the changes. She said that Version 27, the proposed Version 28 and a summary of the changes has been posted to the Wholesale Calendar at: http://wholesalecalendar.qwestapps.com/

Brett Bode-Qwest said that Qwest wanted to take this opportunity to step through the documents that have been posted to the website. He said that he has provided a summary of changes and a highlighted version of the old application and a copy of the new application. He said that we want to improve the application and make it easier for the customer in ways to make smaller, easier to access and will be provided into a clearer

Brett General Formatting Adjustments – made to throughout the application to make the document clearer and consistent 1.A Key has been added at the top of application that explains color coding and notes areas. 2.Required Fields are now highlighted blue. VS not required. Kim Isaacs-Integra asked if any of the requirements have changed. Those fields required on V27 and are still required and you are just highlighting with blue.

Brett Bode-Qwest said that the no changes have been made to the information required and are we are just highlighting.

Kim Isaacs-Integra said that they have always been required.

Brett Bode-Qwest said that was correct and that the information required is the same.

4.Pull down menus for fields with a multiple choice answer have been added. In the new application these are identified as cells that say “select one”. 5.We have removed notes from the body of the Application and put them in pop up comment windows. The pop ups will show when the mouse/cursor is placed on cells that say NOTES. 6.The Collocation Website addresses section has been moved to the very bottom of the application. 7.In section I.A.5.a the word “CLEC” has been added in front of “Billing Name” and “Billing Address”.

Brett reviewed the Specific Changes in the Application. 1.Section IV.C.4 Direct CLEC to CLEC row 862-865 changed to reflect that Qwest is responsible for terminating work in Virtual Collocation 2.Added a note to section IV.C indicating that a LOA is required with the application on Direct CLEC to CLEC Connections was added for additional clarification 3.Section II.E.3.a Note on row 321 of Collocation ApplicationV27 will have the term “special site” added in front of “Cageless Space”. 4.Rows 438-498 of Collocation Application V27, the order of the options listed will be changed to the following order: a)Add Secondary Feeds section b)Deactivation section c)Increase AMPS on Existing Feeds section d)Power Reduction section e)Power Restoration section 5.Heat dissipation is currently on the application twice so we are removing the duplicate entry in section III.F.2.c.

Kim Isaacs-Integra asked if Qwest was changing options or requirements in the power section when things need to be increased or augmented.

Brett Bode-Qwest said that we are not changing the options and that we are just making changes to the formatting.

Kim Isaacs-Integra said that a note was added in the Direct CLEC to CLEC connections that the LOA is required. Kim asked if the LOA is e-mailed with the application or do you fax it in.

Anne Robberson-Qwest said that you would e-mail the LOA with the application.

Kim Isaacs-Integra said that is know that they need to do that

Brett Bode-Qwest said that it is not a new change and has always been required just hasn’t been noted. Brett said that it has been added as a reminder to save time in the scheme of things. Steve-Integra asked when this change will become effective.

Lynn Stecklein-Qwest said that it normally takes 45 days to implement.

Ellen Munz-Qwest said that it would probably be in mid or late March. Steve-Integra asked if there would be a subsequent notification.

Lynn Stecklein-Qwest said that a Level 4 notification will be sent that will include a comment cycle.

1/21/09 Product/Process CMP Meeting

Brett Bode-Qwest stated that this change is a Collocation Change to Update to New/Change/Augment Application. Brett said that we are updating the Collocation Application in an effort to make the application more user friendly. He said that Qwest continues to look at process improvements and focusing on the application. He said that the changes are mostly associated with formatting flows, readability, clarification to clear up confusion and that the form has been condensed. He said that Qwest will schedule an adhoc meeting if there is interest. Bonnie Johnson-Integra said that they would like to have the adhoc meeting to discuss these changes. A notification will be sent out for the adhoc meeting scheduled 2/2/09.


Open Product/Process CR PC012009-1 Detail

 
Title: Define LNP process for port cancellation by OLSP on behalf of or at the direction of the end user
CR Number Current Status
Date
Area Impacted Products Impacted

PC012009-1 Withdrawn
2/17/2010
Originator: Wells, Susie
Originator Company Name: Qwest Corporation
Owner: Wells, Susie
Director:
CR PM: Stecklein, Lynn

Description Of Change

This CR is associated with Level 1 notice PROD.11.14.08.F.05712.LNP_V56 which was escalated and subsequently submitted to the CMP Oversight Committee. In order to maintain its current productive working relationship with the parties participating in CMP, Qwest retracted the Level 1 process option that allowed resellers acting as the OLSP to ask Qwest to cancel a port on their behalf at the request of their end user. Qwest is issuing this Change Request to work with the CLEC community to define this optional port process. This will apply to pending LNP and Loop with NP port requests where the end user decides not to complete the port.

Expected Deliverables:

Alternate Port Process to meet industry guidelines flows


Status History


Project Meetings

2/17/10 Product/Process CMP Meeting Mark Coyne-Qwest said Qwest is withdrawing this CR.

4/15/09 Product/Process CMP Meeting

Mark Coyne-Qwest said that Qwest sent out Level 1 Product notice on 4/1/09 to retract the LNP Port Cancellation process. Mark said that on 4/14/09, Qwest sent an e-mail to the oversight committee requesting that this issue be closed. Mark said that we will be sending a formal notice out to the CLEC Community.

Bonnie Johnson-Integra said that she responded to the e-mail sent that was sent out and indicated that the (4/24/09 Comments to minutes received from Integra) Oversight issue can be closed but they don’t agree with Qwest’s characterization and will be commenting on that. Bonnie said that she noticed that Qwest placed the CR in a deferred status and wanted to know the reasoning behind this status.

Mark Coyne-Qwest said that we wanted to leave it in a deferred status if at some point we wanted re-visit and re-look at those processes.

Liz Balvin-Covad said that she understands Qwest is retracting but they submitted questions on several instances of differing opinions on Qwest’s position. Liz wanted to know if Qwest would be responding to those questions before they defer the CR so they have it on record.

Mark Coyne-Qwest said that we will take a look at those questions and will respond if appropriate.

Susan Lorence-Qwest said that when we retract a notice, we don’t normally provide a response to comments. Susan said that there were extensive comments. Susan said that we can create a document and post it to the oversight issue where we can capture all the comments.

Liz Balvin-Covad said that would work as long as there is a way to reference all comments whether or not they were responded to.

Susan Lorence-Qwest said that we will capture them in a document and post it to the oversight issue.

4/14/09 Response received from Integra

Qwest/Susan,

While Integra may agree the Oversight issue may be closed, Integra does not agree with Qwest’s characterization of events below and will be responding.

Bonnie

Bonnie J. Johnson | Director Carrier Relations bjjohnson@integratelecom.com

4/14/09 Response from Qwest This is in regard to the CMP Oversight Issue related to the proposed LNP port cancellation process and Qwest CR# PC012009-1, Define LNP process for port cancellation by OLSP on behalf of or at the direction of the end user.

On April 1, 2009, Qwest issued Product notice PROD.04.01.09.F.06223.RetractLNPV61 to retract the proposed port cancellation changes with the following explanation: Over the past months, Qwest has worked to implement a port-cancellation process for resellers of Qwest services that supports an end user's right to choose to change their mind and cancel a pending port by working only through the Old/Current Service Provider. As part of its planned process, Qwest incorporated this lawful option which is recognized in the existing NANC LNP Cancellation Flow 9, as posted on the LNPA-WG Web site. Qwest acted in good faith as it prepared to put the process in place, repeatedly answering questions and engaging in open communication to address CLEC concerns via the CMP Process. Rather than continue the industry debate amongst carriers on the issue, Qwest has decided that it will not implement the proposed Port Cancel process at this time and is retracting this proposed LNP PCAT update. It is also Qwest's understanding, through the repeated representations made by the CLEC's, that they currently do not use and do not intend to use a process similar to the one Qwest had proposed.

Qwest believes this CMP Oversight issue is closed.

Susan Lorence Qwest CMP Manager 402 422-4999

- From: Cmp, Escalation [mailto:cmpesc2@qwest.com] Sent: Tuesday, January 20, 2009 3:37 PM To: 'Johnson, Bonnie J.'; Coyne, Mark; 'Quintana,Becky'; 'allendm@att.com'; 'jredman-carter@mcleodusa.com'; 'BrendaBloemke@cable.comcast.com'; 'Carolee Hall'; 'ebalvin@Covad.COM' Cc: Isaacs, Kimberly D.; Wells, Susie; Van Dusen, Janean; Callan, Maureen; Martinez, Denise; 'cmpesc@qwest.com' Subject: Qwest Response to CMP Oversight issue -- ISSUE SUBMISSION Integra;Comcast; AT&T andMcLeod d/b/a PAETEC

While Qwest is not obligated to do so, in order to maintain its current productive working relationship with the parties participating in CMP, Qwest will retract the Level 1 process option that allowed resellers acting as the OLSP to ask Qwest to cancel a port on their behalf at the request of their end user. Qwest will issue a Change Request to work with the CLEC community to address this alternative port process.

As indicated multiple times in response to this issue, the ability of an OLSP to cancel a port at the request of its end user is a longstanding industry established process as documented by the Number Portability Administration Center at the following link http://www.npac.com/cmas/documents.shtml#ProcFlows - specifically the Cancellation Flows for Provisioning Process. Qwest is aware that there is at least one CLEC on the Oversight Committee that has cancelled port requests as the OLSP.

CLECs participating on the CMP Oversight Committee have claimed that there are operational impacts in Qwest’s implementation of this existing industry process flow for resellers; however those CLECs have made no showing that these operational impacts are truly different from those that occurred when the process flows documented in the industry documentation were implemented.

Susan Lorence

Qwest CMP Manager

402 422-4999

-

3/25/09 Postponement Request Integra and affiliates ("Integra"), tw telecom inc., McLeodUSA Telecommunications Services, Inc (d/b/a) PAETEC Business Services, XO Communications and Comcast jointly submit this request for postponement of the Qwest initiated changes Qwest sent in its 3/19/09 PROD.03.19.09.F.06186.LNPV61 notice. · The basis for the request for a postponement; The current process that was adopted 12 years ago by the industry for a customer to cancel a pending conversion to a new local service provider (NLSP) is for the customer to contact the NLSP. If the customer contacted the old local service provider (OSLP) then the OLSP would refer them to the NLSP to cancel the change in local service providers.

Qwest is changing that current process that has been accepted industry wide for over 12 years. Qwest asserts its only reason for its proposed process is to be consistent with the cancelation flow contained in the Inter-Service Provider LNP Operations Flow – Narratives (“LNP Flow”).

(See http://www.npac.com/cmas/codocs/NANCOpsFlowNarrativesv3.0.doc).

The LNP Flow was developed in 1997 in the early stages of telecommunications evolution. Also, these flows are not exact reflections of the current Industry cancelation practices governed by Industry Numbering Committee (INC) of the Alliance for Telecommunications Industry Solutions (ATIS) and practiced by all LECs except one CLEC, as purported by Qwest.

Because there has been no change of law or industry practice, CLECs do not agree that a change in process is required at all and that the current process adopted by the industry over 12 years ago meets industry needs and protects the customer from harm. However, even if Qwest had a valid basis for implementing a process based on the current LNP Flow, CLECs do not agree with Qwest’s interpretation of the cancelation LNP Flow or that Qwest’s proposed process accurately reflects the LNP Flow. As a result of discussion in CMP regarding the interpretation of the LNP Flow, Qwest referred CLECs to the LNPA Working Group (“LNPA-WG”), which Qwest asserts as the controlling body for the industry to request clarification and changes to the LNP Flow, even though Qwest and not CLECs, should have gone to the LNPA-WG for clarification and/or changes to the LNP Flow. Any changes to a process that was adopted by the industry, implemented by the industry and has been working well for over 12 years should be proposed, reviewed and approved by the proper governing body prior to implementation. (If Qwest want to make industry changes, they should be approaching the INC and NANC with their proposals.) Qwest should not be dictating changes to industry practices, and thus to NANC and INC, governing bodies. Rather, NANC and INC approved changes to the industry practices should be the basis for which Qwest implements such changes. Furthermore, if the industry collectively had determined another process was reflected in the Flow that was not implemented, and then found it necessary to do so, the industry would have recognized that need and taken action long before now and that change should not be based on a need for Qwest to create a “marketing opportunity” for itself.

Qwest claims it wants to implement this change "to be consistent with the industry flow as reflected in the LNP Flow charts." As described above, the LNP Flow chart on which Qwest bases its proposed process has been in existence since 1997. CLECs believe the current process is already consistent with the industry flow, has been working seamlessly for more than 12 years, and there has not been any incident or complaint justifying a significant process change as Qwest is proposing. Qwest said in the March 18th CMP meeting that the Qwest escalation group (CSIE) was getting calls asking to cancel the pending ports. Even upon query, Qwest did not indicate whether the calls were directly from the customer (in which case Qwest should deal with the OLSP for providing the CSIE contact information) or the OLSP. In any event, CLECs also receive those calls and per the process that has been in place for over 12 years, refer the customer to the NSLP to cancel their pending conversion.

The basis for postponement is to allow NANC, the governing body for the industry practices, to review and consider Qwest’s proposed process, specifically noting the concerns, issues and questions raised by the CLECs regarding the process, and provide clarification to the concerns, issues and questions and determine if the proposed process is appropriate for implementation in the industry.

· The extent of the postponement requested, including the portions of the proposed change to be postponed and length of requested postponement;

Qwest and CLECs have confirmed with the LNPA-WG Co-chair that there are no meeting minutes or members of the team that can verify the intent of the flow narratives so we are left with the LNP Flow language itself. Qwest’s proposed process is in conflict with the “language itself” and Qwest has documented its own interpretation of that language within the processes the CLECs would be bound to follow. Although Qwest should have contacted the LNPA-WG prior to proposing such changes to this process, Qwest imposed on the CLECs the responsibility to contact the LNPA-WG if it wanted to seek alternative interpretation to stop Qwest’s proposed changes. Though the CLECs do not agree with Qwest’s interpretations or position, the current CMP process allows Qwest to implement changes, such as this proposed flow, even if every CLEC objects, which is the case. Because CLEC’s concerns about the impact to the customer, to CLECs systems and processes, and to the industry are so great, the CLECs went to 1) the LNPA-WG to propose changes to the LNP Flow so that it is consistent with the industry flow; and 2) NANC and asked for their review of Qwest’s proposed cancelation flow.

CLECs ask that Qwest postpone or withdraw the implementation of this request and all related requests so that the LNPA and NANC can 1) review the process flow, 2) ensure that the flow, which was developed in 1997, accurately reflects an industry that has evolved over time, and 3) meets the needs of all involved, especially the customer. The LNP Flow has been available to Qwest for over 12 years and Qwest has not opted to implement its interpretation of an optional process until now. Accordingly, based on Qwest’s assertions that there is no pressing reason for the change, there should be no impact to Qwest to forestall the implementation until the above noted requests are completed.

· The harm that the CLEC will suffer if the proposed change is not postponed, including the business impact on the CLEC if the proposed change is not postponed;

If the changes are not postponed: As CLECs have communicated repeatedly to Qwest, the harm to the customer is the primary concern. Despite Qwest’s assertions to the contrary, interruptions in service are more likely, causing confusion and misunderstandings. There are also a variety of legal issues, such as what constitutes proper authority, compliance with Truth-in-Billing rules/regulations, CPNI privacy laws, 3rd Party Interference with a Contract, etc, which disputes will result in excessive costs, delays, and variant results to CLECs. CLEC’s internal processes have not been reviewed, much less updated, to accommodate Qwest’s proposed process, nor do CLECs have enough information or clarity of Qwest’s proposed process to determine the changes that are required for implementation. This is because Qwest’s proposed process does not reflect the flow or address all aspects of the impact of canceling a pending port. Qwest refuses to acknowledge that the port for many CLECs is the final step of larger process that may include equipment and other services.

If the changes are postponed: There should be no negative impacts on the CLECs or customers. Current processes will continue as they have for the last 12 years.

· Whether and how the CLEC alleges that the proposed change violates its interconnection agreement(s) or any applicable commission rules or any applicable law.

Applicable commission rules or applicable laws: As noted above, there are a variety of legal issues which have yet to be netted. Just as Qwest is imposing its interpretation of the flow on CLECs, likewise, Qwest is imposing its legal position regarding interpretation of the law, rules and regulations on CLECs. Consequently, Qwest has not been willing to acknowledge that any legal issues will be impacted, much less attempt to resolve these legal issues prior to implementation of their proposed process. CLECs disagree with Qwest’s interpretations and positions so far. CLECs feel that the proposed process will result in noncompliance or create ambiguity as to what is compliant with state and federal Truth-In-Billing regulations and rules, the CPNI privacy laws, laws regarding 3rd Party Interference with a contract, the Red Flag Rules, etc.

Also, regarding applicable laws and orders, there are still legal questions – and difference of interpretation from Qwest – as to: what constitutes proper authority in Qwest’s proposed process; when and under what circumstances can a LEC contact a customer; who is responsible for what documentation in this proposed process; and when Qwest takes control over CLEC’s LSR, who is accountable for the negative impacts, such a interruption of service, misunderstandings of financial obligations; cost and cancellation of related orders; and derogatory statements or acknowledgement of Qwest involvement in the process. Some of the answers may be settled by extrapolating language in ICAs or existing rules and orders. However, until the proposed process is detailed, the responsibilities and accountabilities are clearly identified, it is not clear how these will be addressed or what other legal issues may arise.

Violation of the Interconnection Agreement: Qwest repeatedly claims that, based on its interpretation of the ICA, it does not violate the Interconnection Agreements (“ICA”). However, at least one CLEC finds that Qwest has violated several sections of the ICA’s via the CMP process, yet the excessive costs, delays, and variant results issued by the different state entities, makes disputing or challenging Qwest’s actions an untenable solution in many cases. Nonetheless, CLECs do find that this Qwest’s proposed process does violate our ICAs.

Qwest proposed process is a violation of ICAs based on:

· The description and use of the LOA/POA as defined in the ICA.

· The Disclaimer of Agency language

· The CMP process via the Referenced Document language and the Cooperation language of the ICA. (See brief discussion below.)

· The LNP process outlined in the ICA, specifically, Qwest will comply with “the FCC’s rules and regulations and the guidelines of the FCC’s North American Numbering Council’s (NANC) Local Number Portability Administration (LNPA) Working Group and the Industry Numbering Committee (INC) of the Alliance for Telecommunications Industry Solutions (ATIS).” (emphasis added)

· Applicable Intervals, such as 48 hours for cancellation. Implementing a change that is contrary to industry practices without first approaching those changes through the proper governing authority is a violation of the CMP process, and thus a violation of the ICA (i.e., Qwest agrees it will comply with the CMP process in the ICAs). Further, the intent of the CMP process was to be collaborative and provide protection from one party unilaterally imposing changes on the other party. Based on Qwest’s implementation date of April 10, 2009 when it will force their proposed process over the objections of all CLECs, their actions are inconsistent with the intent of the process. Based on some recent commission decisions (i.e., AZ and MN), some state commissions would find Qwest’s actions to be a violation of the ICA as well.

Per the ICA noted above, CLECs, Qwest and the LNPA-WG should review FCC porting order that the flow is based on to ensure any cancelation flow accurately reflects the order. As noted above, inconsistencies do constitute a violation of the ICAs.

Integra and affiliates ("Integra"), tw telecom inc., McLeodUSA Telecommunications Services, Inc (d/b/a) PAETEC Business Services, XO Communications and Comcast

3/18/09 Prod/Proc CMP Meeting

Mark Coyne-Qwest said that this CR announced on 3/6/09 to be effective on 4/10/09. (3/27/09 Comments to minutes received from Integra) Bonnie Johnson- Integra asked if we were going to discuss this CR. Mark Coyne-Qwest asked if Integra wanted to discuss it. Bonnie Johnson- Integra said yes Mark Coyne-Qwest said we would discuss it in the oversight review Mark Coyne-Qwest said that we retracted the Level 1 notice and held 4 adhoc meetings to respond to concerns. Mark said that we have made some minor changes and that the notification was sent on 3/6/09 with an implementation date of 4/10/09.

Julia Redman-Carter –PAETEC said (3/27/09 Comments to minutes received from PAETEC) that implementation of this process is premature that every CLEC has objected and voiced their concerns to the proposed process in every adhoc meeting. Qwest’s position is they have answered all questions. She said they don’t agree that the questions have been answered and answering questions to Qwest’s satisfaction does not equate to a collaborative process. This CMP process regarding Qwest’s proposed process has not been a collaborative effort. Julia said that she wanted to make a formal request (3/27/09 Comments to minutes received from Integra) to delay implementation of the proposed process and to work collaboratively with the CLECs goal for a process that works for all of us. She said that the proposed process doesn’t accommodate or address CLECs concerns and the meetings so far have not helped us to reach any kind of consensus or real evidence that this a collaborative process. Julia said that she would like to delay implementation of the proposed process and continue with the adhoc meetings.

Brenda Bloemke-Comcast said that she agreed with PAETEC and that no CLEC has agreed with this process.

Mark Coyne-Qwest said that the Industry process is out there and that we have the ability to use the process.

Bonnie Johnson-Integra said that (3/27/09 Comments to minutes received from Integra) the current process has been working for 11 years and the document has been out there since 1997. Bonnie said that the Industry has evolved and to try and apply that process may not be appropriate to the impacts that may not have been anticipated back then. Bonnie said that Qwest should have gone back to the LNPA working group and have started that process with the LNPA working group to have the flow reviewed. She said that they would like to work through the process and ask Qwest to do that collaboratively before this is implemented. Bonnie said that Qwest indicated that their process is reflected is this industry document and they disagree. Bonnie said that they want Qwest to retract the level 3 notice and work through the flow with the LNPA working group.

Liz Balvin-Covad said that they don’t believe this has been a collaborative effort and that every party except Qwest disagrees with this process. She said that this has been available for 11 years and now Qwest has decided to take advantage. Liz said that the OBF guidelines are there to support every ILEC. She said that at the time, Qwest’s interpretation was that of the industry. She said that there is too much at stake with the end user being out of service with a timeline they can’t handle and with no experience on what’s going to happen. She said that they can’t support a 4 hour jeopardy window and whose LOA is appropriate and is concerned with the slamming rules. Liz said that the end user calling multiple parties could cause fraudulent activity. She said this needs to a collaborative effort and that this was a unilateral decision made by Qwest.

Mark Coyne-Qwest said Qwest has made an effort to work collaboratively and has made changes to the process. Mark said that this is an 11 year old process and if changes are made in the LNPA working group discussions, Qwest will consider further changes.

Bonnie Johnson-Integra said that this process is not consistent with the flow and is Qwest’s interpretation. She referred to steps 7 and 10 of the NAPC flow and it does not say that Qwest cancel their LSR. Bonnie said that every time they bring this up, Qwest says it is their interpretation and the CLECs don’t agree. Bonnie said that in all the adhoc meetings, the CLECs have expressed concern about this process.

Liz Balvin-Covad asked how Qwest can live with themselves.

Mark Coyne-Qwest said that there are other companies that are doing this.

Julia Redman-Carter-PAETEC said that (3/27/09 Comments to minutes received from PAETEC) Qwest stated there was only one CLEC that has applied this process.

Mark Coyne-Qwest said that (3/27/09 Comments to minutes received from PAETEC) he stands corrected and there is only one CLEC.

Julia Redman-Carter-PAETEC said that an overstatement like that makes her anxious. She said that there are 6 active vocal CLECs that are all having issues with this process. Julia said that Qwest is not taking any steps to accommodate the CLECs (3/27/09 Comments to minutes received from PAETEC) concerns that are using a successful current industry process and this has not a collaborative effort. Julia said that rather it seems like Qwest is saying “it’s my way and too bad”.

Mark Coyne-Qwest said that what Qwest is trying to do with the question raised by the CLEC is to take them it back to the LNPA working group to get a better understanding. Mark said that we conveyed clarification from the LNPA working group Co Chair, Gary Sacra.

Bonnie Johnson-Integra said that she (3/27/09 Comments to minutes received from Integra) talked to Gary Sacra and sent an e-mail about that conversation and that Gary said that was his opinion.

Susan Lorence-Qwest said that she does not see where we have not collaborated on this process. Susan said that we have made changes to the process, provided documentation and cites on issues where the CLECs have disagreed. Susan said that we provided written responses to outstanding issues and that we have not received one e-mail in response that the CLECs disagreed.

Liz Balvin-Covad said that Covad asked specifically where in the flow the requirement to issue a supplement order is not equal to that of jeopardy. Liz said that Qwest responded but not adequately by saying that the jeopardy notice was not part of the step.

Bonnie Johnson-Integra said that flow 2 is meant to apply to the OLSP/NLSP and not another service provider who is not Qwest (see step 2 of the NANC flow) and that it means if a customer coming to them to cancel, the OLSP should be contacting them. Bonnie said that this is the problem and believes there is so much disagreement on the interpretation is why we need to work together to get clarification. She said that interpretations vary and that the Co Chair (Gary Sacra) said that it was done in 1997 and there are no meeting minutes to sort it out and nobody left to ask. She said that since there are major disagreements, Qwest and the CLECs need to work together to protect the end user.

Liz Balvin-Covad said that the parties that wanted this process may have provided a different flavor of interpretation. She reiterated that all CLECs have given reasons why they disagree and this is not a collaborative effort.

Susan Lorence-Qwest said that the working group forum takes time and asked if the CLECs were asking Qwest to put this on hold.

Bonnie Johnson-Integra said that we need Qwest and the CLECs to go back with the concern about the interpretation that Jan Doell provided from Gary Sacra. She said that she did not get the same answer from Gary and then Qwest said that they wanted to take Gary out of the picture and that she does not feel good about this process.

Susan Lorence-Qwest said that we have responded to the questions put forth and have provided multiple cites associated with the interpretation from Jan Doell. Susan said that if there are specific points you think are outstanding you need to let us know and we will provide a response in writing. Susan said that Qwest feels that we have provided a response to all points.

Julia Redman-Carter-PAETEC said that Qwest (3/27/09 Comments to minutes received from PAETEC) apparently thinks the issues are resolved because Qwest has answered the questions to their satisfaction. Julia said that they disagree with Qwest’s position that it is not appropriate to delay the process in light of how long it may take going through the LNPA working group. However, Qwest has been using this current process for 11 years. It should not be a big deal to delay it until the LNPA Working Group has done its review. CLECs are asking Qwest, rather than rushing in and implementing immediately, to slow down and get it right for everyone and the industry. She asked what has happened that Qwest needs to implement this process now over the objections of all CLECs. Julia said that just complying with something that has never been implemented is not a good enough answer. Also, having to relist CLECs concerns because the answers received from Qwest were not adequate uses my time and resources and doesn’t seem to be getting me to where we want to get go Julia said that they need to engage in a collaborative effort to make this process work but we can’t do that in the abbreviated timeframe that Qwest is imposing without understanding all the facts and expectations.

Brenda Bloemke-Comcast said that she was not sure if the LNPA working group would take months to resolve.

Susan Lorence-Qwest reiterated that Qwest has provided documentation that supports our position and no CLEC has disagreed. (3/27/09 Comments to minutes received from PAETEC) She said that she was shocked to discover that there were still open issues.

Julia Redman-Carter-PAETEC said (3/27/09 Comments to minutes received from PAETEC) she didn’t realize that Qwest did not hear the objections, but the CLECs have continually voiced our objections at all the meetings. The CLECs requested and wanted to opt out of this “optional” process and Qwest then said that they can’t because it is not optional. CLECs have voiced objections, concerns, disagreement and/or our desire to opt out of this process at every meeting. Julia said that on every call there have been objections by the CLECs and she is surprised that Qwest didn’t know there are objections to the process. She did not know what more she needed to do to convey the concerns so to get the message through to Qwest. With that said, PAETEC is saying now, for the record, that we have serious concerns with and object to the implementation of Qwest’s proposed process.

Susan Lorence-Qwest said that we understand there were objections and in the last call we provided the reasons and rationale as to why we were moving forward with the process. Susan said that no one disagreed nor challenged the documentation we sent out. Susan said Qwest heard the objections and in the last call agreed to send the information out via e-mail and not one CLEC responded requesting an adhoc meeting.

Julia Redman-Carter-PAETEC said that in the last call we ran out of time and didn’t get through agenda. Julia said that Qwest said that they would get the responses out and move (3/27/09 Comments to minutes received from PAETEC) on. She said that she didn’t understand or didn’t assume that meant moving forward with implementation. So, She said that she is responding now stating that PAETEC does have a concern with and objects to the proposed process.

Liz Balvin-Covad said that Qwest is going to get these comments and then what happens. Liz said that the volumes for this process are not significant. She said that even with the comments it will be the same and Qwest won’t do anything about this. She said that Qwest will say that they have the ability to do this and will get the process in place.

Mark Coyne-Qwest said that when we get the responses to comments we will get with our SMEs and legal team He said that it is a marketing opportunity (3/27/09 Comments to minutes received from Integra and PAETEC to delete the words in CAPS in this paragraph) FOR THE COMPANY WHO IS THE OLSP. Mark said that the volumes may not be large but it is a marketing opportunity. Mark Coyne said that this can only be initiated by the end user.

Bonnie Johnson-Integra asked why it is a marketing opportunity if the customer is contacting the NLSP to initiate the cancellation. She said it shouldn’t be any different because if the customer wants to cancel they can cancel. Bonnie said that she did not understand why this is a market opportunity and does this mean you are going to have more cancellations using this process.

Mark Coyne-Qwest said that we turn the customer back to the NLSP.

Mindy Chapman-Neustar asked what is the impetus for putting this in now.

Susie Wells-Qwest said that (3/27/09 Comments to minutes received from PAETEC to delete the words in bold in this paragraph) Qwest is seeing more customers that belong to our resellers or Qwest retail calling in and requesting to cancel or take care of their request because they don’t want to port. Susie said that, in the past, we have turned them away. Susie said we discovered that this process has been there for 11 years. She said when it was brought to our attention and we thought it would be a good thing for our end user customer. She said this process gives the customer the opportunity to contact whoever they want and we were trying to help the reseller and the end user to make that choice. She said that was part of the impetus and as long as the opportunity was there we took advantage of it on behalf of the end user.

Joyce Bilow-PAETEC asked (3/27/09 Comments to minutes received from PAETEC) at what point is the LOA obtained by Qwest if the LSR is already in the pipeline? How would Qwest get the LOA when the customer calls in. Joyce stated that the LOA should never be obtained by Qwest to cancel the order when the port is two days away.

Liz Balvin-Covad said that they are looking at a 3 day interval from the time Qwest gets that request. Liz said that when the end user calls the NLSP to request their service, they could have called Qwest in the next 2-3 days to stop the port. Liz said that the end user calls Qwest and that is the issue with the LOA because it could possibly be on the same day. She said that there could possible slamming activities since the end user could say Qwest took me back and they really did not mean that. She said that they would take it up with the Commission and say that they have the LOA and had authorization from the end user. She said that it becomes a risk without the date and time stamp.

Susie Wells-Qwest said that the documented process is around who has the most current POA/LOA on behalf of Wholesale She said that if the reseller calls in or sends e-mail to the CSIE with a port request and based on the LOA/POA process today, we are assuming that the CLEC has POA/LOA from that end user. Susie said that this is based is on the customer contacting the CSIE having some POA from current end user.

Julia Redman-Carter-PAETEC said that (3/27/09 Comments to minutes received from PAETEC) the CLECs have issues with the timing associated with processing the LOA and would like to see the LOA within a timeframe that they can work with. Julia said that they asked for a copy of that LOA within the 4 hour window so they could respond appropriately. They wanted to check who made the authorization for what with the date and time stamp. She said that Qwest is saying that we can file a dispute after the fact, request the LOA and in 3 days Qwest will give us the LOA. She said by that time the damage is done. She said that Qwest’s response is not acceptable for the CLECs. She said that Qwest is the 3rd party in the middle of this and they are not the OLSP or NLSP. We are also concerned about lag time.

Bonnie Johnson-Integra said that we have had this discussion 6 times and it is getting us nowhere. She said that they don’t agree with Qwest’s interpretation and because of CMP process, Qwest has the ability to implement this over their objections. Bonnie said that Qwest will provide the same response that they are going to unilaterally implement over our objections. Bonnie said that Qwest hasn’t had this proposed process for 11 years and if you are receiving calls from the customers, Qwest should be talking to the people who are giving them the number and said that is a different issue. Bonnie requested that the notice be retracted and that we work with the LNP working group to get the interpretation and get the flow revised. She said that have been so many changes in 12 years to systems, processes and business in the industry that the flow doesn’t accurately reflect where are at today. Bonnie said that you haven’t used it for 12 years what is a few more months.

Mark Coyne-Qwest said that (3/27/09 Comments to minutes received from Integra) the CLECs can ask for to retract in the comments we will take a look at the comments and work with the SMEs and Legal and see what we can do. Mark said that we will respond to comments.

Susan Lorence-Qwest said that Qwest will provide the cites that Jan Doell (Qwest) provided if asked if the CLECs disagree with any of the areas to explain why as part of the comment.

Bonnie Johnson-Integra asked if Qwest could extend the comment cycle by a few days.

Mark Coyne-Qwest said that we will extend the comment cycle until next Wednesday, March 25th.

3/2/09 E-mail from Integra Qwest,

Please post this email to CR PC012009-1. We intend to discuss this item in the next CMP ad hoc call that Qwest scheduled for March 2nd (today) as well.

Qwest and many CLECs disagree about what type of authority was intended in step 7 of the cancelation process flow (page 23 of 35 of the LNP flow at http://www.npac.com/cmas/codocs/NANCOpsFlowNarrativesv3.0.doc). In an effort to get clarification on the LNPA's intent of step 7, Qwest said it spoke with Gary Sacra, the LNPA-WG Co-Chair. The minutes from the February 11th, 2009 Change Management Process (CMP) meeting state:

“Denise said that Qwest contacted the LNPA-WG Co-Chair for the clarification and the intent of Step 7 in NANC LNP Process Flows, Cancellation Figure 9. She said that the LNPA-WG Co-Chair says the authority indicated in this Step 7 should be the same type of acceptable authority that is required in the very beginning of the flows where the NLSP obtains authority from the end user to port their number. The beginning LNP Process Flow Main Flow, Figure 1, Step 3, says, “NLSP obtains authority (Letter of Authorization - LOA) from end-user to act as the official agent on behalf of the end-user. The NLSP is responsible for demonstrating necessary authority.” Denise said that Qwest supports the NANC LNP Process Flows.”

“Bonnie Johnson-Integra asked who Qwest talked to for their interpretation.”

“Denise Martinez-Qwest said that they talked with Gary Sacra from Verizon. He is the working committee’s Co-Chair.”

On Tuesday February 24th, 2009, I spoke directly to Gary Sacra, the LNPA-WG Co-Chair from Verizon. When I told him Qwest told CLECs in CMP that he said the authorization in step 7 of the cancelation was an LOA (see excerpts of meeting minutes above), he told me that is not what he said.

I asked Gary if he was present during discussions regarding step 7 of the cancelation flow when the language was developed. Gary told me that said he was not involved in the discussions when the language was crafted and said it was only his personal opinion that it was, or could be, an LOA. I asked Gary if there were any meeting minutes when step 7 of the LNP cancelation flow was discussed when the language was developed. Gary said there were none, as this dated back to 1997. Gary told me that he was involved in the development of Version 2.0 and Version 3.0 of the flow, and no conversation took place regarding step 7 of the cancelation flow. Gary also said that he understands how the difference in wording could lead to a dispute. Gary agreed that, because there is no documentation or meeting minutes to reference, all we are left with is what the document says.

Action Required:

Qwest based its refusal to remove its own interpretation of step 7 of the LNP cancelation flow (that the authority is an LOA) and denied Integra’s request to add the actual language in step 7 of the cancelation flow because “…the LNPA-WG Co-Chair says the authority indicated in this Step 7 should be the same type of acceptable authority that is required in the very beginning of the flows where the NLSP obtains authority from the end user to port their number.” Based on my conversation with Gary Sacra, that is incorrect. Therefore, Qwest has provided no basis for its position.

It is apparent that there is no resource (meeting minutes or attendees) that can shed light on what the LNPA intended when it developed language for step 7 of the cancelation process. In any event, it is not the alleged intent but the language of the document that controls. The document does not say the authority is an LOA. Therefore, it is inappropriate for Qwest to force its interpretation on CLECs, when Qwest knows the CLECs do not agree and any Qwest implementation would be over CLEC objection. Qwest should use in its documentation the actual language from the LNP process flow which states: “The OLSP obtains ‘actual authority’ from the end-user to act as the official agent on behalf of the end-user to cancel the porting request

2/20/09 Adhoc Meeting CMP Ad Hoc Meeting Minutes Change Request # PC012009-1 February 20, 2009

Attendees: Bonnie Johnson-Integra, Kim Isaacs-Integra, Kasha Faucett-Comcast, Jen Aspeslagh-Comcast, Liz Balvin-Covad, Nora Torrez-tw telecom, Susie Franke-tw telecom, Jason Lee-Verizon Business, Julia Redman-Carter-McLeod (PAETEC), Joyce Bilow-McLeod (PAETEC), Mindy Chapman-Neustar, Crystal Hanus-GVNW, Ann Vick-GVNW, Maureen Callan-Qwest, Susie Wells-Qwest, Linda Miles-Qwest, Janean Van Dusen-Qwest, Denise Martinez-Qwest, Ellen Munz-Qwest, Mark Coyne-Qwest, Susan Lorence-Qwest, Lynn Stecklein-Qwest

Nora Torrez-tw telecom said that she wanted to know who was on the call from Qwest.

Susan Lorence-Qwest said that we have representatives from Process, Documentation, Product and CMP. She said that the agenda and updated process were posted to the Wholesale calendar. She said that following the last our Qwest SMEs reviewed our proposed process with the LNP working group to ensure that we were in line with the LNP operational flows. She said that our representative could not be on the call today but did agree that we were in line with the flow.

Bonnie Johnson-Integra asked who that representative was.

Susan Lorence-Qwest said that her name is Jan Doell from Qwest.

Nora Torrez-tw telecom asked who Jan Doell confirmed with.

Susan Lorence-Qwest said that Qwest SME team confirmed with her.

Nora Torrez-tw telecom said that this is her interpretation of the flow.

Susan Lorence-Qwest said that was correct.

Nora Torrez-tw telecom said that she wanted to confirm that Qwest checked with a Qwest representative to interpret the rules around this process and it wasn’t an oversight person.

Susan Lorence-Qwest said that if there is a question or concern about the interpretation of the flow, Qwest is requesting that it be sent in writing and asked that them include any supporting cites She said that Jan Doell is willing to take back any concerns to the working group and that the CLECs are welcome to take any concerns to their LNP working group representative.

Susie Wells-Qwest said that we want to revisit and clarify the use of the term Optional Process. She feels that the use of term optional may have been misunderstood. She said that Qwest is updating the proposed language in the PCAT to reflect that this is simply the process for the OLSP to cancel a port request for the end user. Susie said that this process is intended to be a process the OLSP can use if the end user comes to them and they choose to follow the process. Susie said that Qwest is following the Industry Standard defined by the LNP working group and Qwest is in support of the industry standard. Susie said this process allows the End user authority to make the decision to contact the NLSP or the OLSP and is an alternative process for the OLSP to use. She said that the OLSP can choose to send the end user back to the NLSP or choose to follow the process we are proposing to document. Susie said that the process is not optional for the NLSP and they can’t opt out.

Nora Torrez-tw telecom said that they have a problem with not be able to opt out and that we are back to square 1. Nora said that Qwest went back and rethought their process. Nora said that when you look at the Industry flows it does not go into the alternative/ optional proposal of cancelling the LSR. She said that is a collaborative decision for the providers in the Industry to make sure we are caring for our business and customers.

Maureen Callan-Qwest said what Susie is referring to is the cancel flow figure 9. She said that if the end user contacts the NLSP or the OLSP, it defines the process depending on which service provider, the end user contacts. She said that if the OLSP is contacted, and the steps are followed, it does not give the NLSP the opportunity to not participate. She said that whether they choose to respond or not, there is still a result that impacts the NLSP.

Susan Lorence-Qwest said that we want to clarify that Qwest did not rethink the process. Susan said we wanted to clarify the wording because the term optional was throwing everyone off. Susan said that this is an alternative to cancel the port request that was not there previously. She said we are providing that based on the Industry Flow and is the same process proposed in November.

Nora Torrez-tw telecom said that she did not understand why the current porting process (when you are contacted by the end user to cancel the port and you refer them to the NLSP to cancel the port) isn’t working. She said that she does not understand why Qwest wants to invest money and time to change to an alternate solution and asked what the business reason was.

Maureen Callan-Qwest said that Qwest wants to have a clear connection between the cancel flow and our process.

Nora Torrez-tw telecom said that from their perspective the current process in place today has been working and working efficiently and cares for both sides of the business. She said that she wanted clarification why Qwest made a business to change to an alternate flow.

Maureen Callan-Qwest said that the current process flow says that the end user can contact the NLSP or the OLSP and that wasn’t being offered to the end user. She said that we wanted make the connection that the end user has a choice.

Nora Torrez-tw telecom said that statement was disconnected. She said that that today if a customer says they want to port to Tw telecom they issue a porting order to notify you they want to come to tw telecom. Nora said that if the customer decides they don’t want to port after all, they contact Qwest and Qwest will tell the customer to call tw telecom. Nora said that this process is working. She asked what changed with Qwest that they now want to take this to the next level in the port process by sending them a cancellation and said that she did not understand the motivation.

Maureen Callan-Qwest said it is not a matter of motivation and that if the end user is allowed to call the OLSP, we need to be able to support that.

Liz Balvin-Covad said that the process already provides the ability for the end user to cancel the port.

Maureen Callan-Qwest said that this is an alternative to that.

Bonnie Johnson-Integra (3/2/09 Comments to minutes received from Integra) asked if the question Nora for tw was trying to ask is what is broken that Qwest is trying to fix and asked what triggered Qwest believing that there was a need to do this.

Nora Torrez-tw telecom said that is sounds like a retention issue.

Maureen Callan-Qwest said that the flows state that the end user can call the OLSP and ask them to cancel. Maureen said we did not have that process defined and shared with the customer. Nora Torrez-tw telecom said that if the process were to be put in place, will they be able to call the customer when Qwest sends the cancellation. Maureen Callan-Qwest said that is not the purpose of this.

Nora Torrez-Tw telecom said that they have a contract with the customer and if they call the customer is Qwest going to take issue with that.

Maureen Callan-Qwest said that is not covered in the cancellation flow. She said that the flow says that the end user can make the decision to cancel.

Nora Torrez-Tw telecom said that Qwest needs to understand that they have a contract with the customer.

Maureen Callan-Qwest said that we can’t comment on their business.

Liz Balvin-Covad said that in order for them to issue the order to Qwest they have to have the LOA in place. Liz said that if there is a contract in place with them do they have the ability to contact them if Qwest intervenes.

Maureen Callan-Qwest said that she did not think that a contract and the LOA are the same thing.

Susan Lorence-Qwest said that we are rehashing items that were discussed in the last call. Susan said that we were clear and confirmed with the LNP co chair that the LOA that anyone gets in this process has to be the most current. Susan said that whoever is being contacted by the end user customer is working of the end users authority.

Julia Redman-Carter-McLeod said they want clarification from what they were told in the 1st meeting when they asked if they could contact the customer if they received this jeopardy code. Julia said Qwest said yes, you can call the customer. Julia said in a subsequent meeting Qwest said they can’t call the customer because that is a violation. She said that she has received different answers from Qwest on how they are to resolve the issue (2/27/09 Comments to minutes received from McLeod) or what is the next step. She said that one of the reasons they would need to call the customer is because they have contract with them but at the same time we don’t interfere with the last LOA, if it is yours. Julia asked how do they resolve their contract if they can’t call the customer. Julia said that she wants a clear definitive answer on whether they can call them or not under what situations and when. That should be part of the process.

Denise Martinez-Qwest said that she spoke to this on the last call and advised that we did have discussions with our attorneys and that based on the FCCs Brighthouse and Verizon opinion, that was just affirmed, no one should be contacting an end user to retain them triggered by the information we are sending.

Julia Redman-Carter-McLeod said that based on (2/27/09 Comments to minutes received from McLeod) Denise’s response, they would not be able to contact customer. Julia said that she wants to get the question on record that when they receive the jeopardy what are they supposed to do. It’s not in the process.

Susan Lorence-Qwest said that we confirmed that after review with our attorneys and it was discussed in the 1st meeting. Susan said that we will discuss that question in our agenda today.

Bonnie Johnson-Integra said that (3/2/09 Comments to minutes received from Integra) first she wanted to comment on the optional process and the NLSP not being able to opt out. Bonnie said that it is clear that Qwest now recognizes that a Level 1 can’t have an operational impact. She said that Qwest understands whether optional or not, this does have an impact to the NLSP. Bonnie asked where in the in the cancellation flow does it say that Qwest does anything with their LSR. Bonnie said that she was looking at the document flow narrative or at the flow diagram and asked Qwest to point her to where it says that Qwest can reject the NLSP LSR. Maureen Callan-Qwest said that the cancellation flow doesn’t talk about the actual flow or notification, it just says you notify. She said step 2 says that the NLSP or OLSP whoever gets the end user notification gathers the information and sends it to the other party and so it is not going to talk about the LSR.

Bonnie Johnson-Integra said that in step 2, the OLSP can initiate this request and the 2nd bullet says that the contacted service provider gathers information for sending the supp request to the other service provider noting cancellation and sending the cancellation request to NPAC. She asked if that was where Qwest is basing their authority to send jeopardy. She said that the non fatal jeopardy error is a step that Qwest takes so the CLEC to take action to clear that non fatal jeopardy. Bonnie said that this step has no meaning to this process because there is no action they can take. Bonnie said that Qwest said they can’t go from the FOCd LSR to a reject and that Qwest needs to have that step in between. Bonnie said that the non fatal jeopardy step is meaningless because there is no action they can take and that the LSR in the 2nd bullet in step 2 when activity is related to the LSR.

Maureen Callan-Qwest said that the jeopardy is how we notify when the end user cancels. She said the jeopardy is the vehicle for how that happens.

Bonnie Johnson-Integra said that in flow #10, the OLSP in this case would be Qwest. Bonnie said that she doesn’t see where it says that the LSR is rejected and asked where that was in the flow.

Maureen Callan-Qwest said that in flow #2, is where we use the tool and where it is defined.

Bonnie Johnson-Integra said that in steps 9 & 10 it talks about the NLSP notifies the OLSP via their intercompany interface. Bonnie asked if Qwest interprets the intercompany interface to be the e-mail that is sent to the CSIE and said it sounds like a system (3/2/09 Comments to minutes received from Integra) not an e-mail.

Maureen Callan-Qwest said that bullet says that the OLSP contacted by the end user or notified by the NLSP via the intercompany interface. Maureen said that intercompany is between 2 companies and not intracompany.

Janean Van Dusen-Qwest said that the CSIE is the intercompany interface for all CLEC calls, e-mails or when the go thru the self service portal.

Susan Lorence-Qwest asked if they were questioning the step or the process. Susan said that step 9 is the internal process and that the details of this flow are not discussed there. Susan questioned why we are getting to this detail because this is a reject notice or cancel etc. She asked what the CLECs were questioning and what is the issue.

Bonnie Johnson-Integra said they want to compare this flow to the process and that they have a right to ask questions about this process. Bonnie said they want to know about the intercompany interface. She said she does not agree that the details of this flow are not discussed because when you look at the flow it is pretty specific. Bonnie said they want to know how Qwest is interpreting this and want to put that step to the process. She said that in your process it says that you contact the CSIE and she wants to know if that is step 9.

Susie Wells-Qwest said that the answer to Integra’s question is yes. She said that we are relating the process to step 9 and is the intercompany interface that we have chosen to use to allow the OLSP to cancel the request.

Maureen Callan-Qwest said that we want to review steps 2, 9 & 10 and are there any questions in step 10.

Julia Redman-Carter-Mcleod said that (2/27/09 Comments to minutes received from McLeod) per step 10 it states that the jeopardy is Qwest’s proposed form of a cancellation message. She said that to clarify this 1st bullet says that the OLSP contacted by the end user notified by the NNSP via the intercompany interface sends a cancellation message to the OLSP via their intercompany interface and asked if that is the CSIE.

Susie Wells-Qwest said that was correct.

Janean Van Dusen-Qwest said that we are going to change the process to cancel the port request in the flow and we have taken out the word optional to eliminate confusion. Janean said it will read: In a porting situation, the end-user may contact either the New Local Service Provider (NLSP) or Old Local Service Provider (OLSP) to cancel the porting request. If the end user decides not to complete the port and contacts the OLSP to cancel an existing LNP or Loop with NP request to port to a NLSP, the following process applies.

Janean said that instead of stating NLP provider in the Qwest will create a CSIE ticket section we changed that to NLSP for clarification. She said that in the 4 hour business jeopardy window, Qwest has also changed NLP to say NLSP and we have added after being contacted by the end user and added the link to the ordering PCAT for clarifying information.

Julia Redman-Carter-McLeod referred to the paragraph that states: If the NLSP does not respond within the 4 hours, the port orders will be cancelled and the LSR will be rejected using the reject code of 814. She asked what she is supposed to do in the 4 hours.

Denise Martinez-Qwest said that they don’t need to do anything in those 4 hours. She said that today when we send these notifications and is documented in the Ordering Overview that if we do get a response and it is something we can act on, we can send the FOC. She said that if we don’t get anything, we cancel the existing order and send the reject notification. Denise said that based on discussions from our last call, she pulled a days worth of these type of jeopardy codes. She said that we had a variety of CLECs, and regardless of the reason we sent the jeopardy’s none of those jeopardy notices were responded to. She said that after the 4 hour period we did exactly what the process calls for and cancelled the service orders and sent reject notifications at that point in time.

Bonnie Johnson-Integra said regardless of whether any CLEC responded or not there may have been some type of action that could have been taken to respond to that non fatal jeopardy. She said that in this case it is a moot point because there is no action they can take or respond. She said that it is a process in the middle because Qwest is indicated that they can’t contact the customer. She said that they would have to wait for the 4 hours because there is nothing they can respond to. Bonnie said that she wanted to make her point that a non fatal jeopardy are design and that the CLEC may be able to take some type of action and respond to that non fatal jeopardy and it appears this is not the case.

Denise Martinez-Qwest said that this could be for non fatal or fatal is specifically designated in a note in the matrix in the Ordering Overview. She said some of the examples she looked at were definitely fatal. Denise said that one example was for a request for LNP to port the number out. At the time it was processed, we sent an FOC. She did say that there was a timing issue and the comment that was sent back was that the customer had already placed an LNP order with a conflicting date. Denise said that request conflicted with the request that had been sent. Denise said that we had several duplicate requests from the same company. She said these are things that are non fatal where we can’t process a secondary request for the same type of request that is being asked for. She said that another example was for a TN that had been disconnected. That is a fatal because there is nothing that can be done once the number has been disconnected.

Joyce Bilow-McLeod said if there is a pending order they will receive a reject that will tell them that there is a pending order that exists and that we are unable to port at this time.

Denise Martinez-Qwest said that when we put this jeopardy notification procedure in place, it was due to the fact that once we sent the FOC and needed to send additional information, whether it be fatal or non fatal, the CLEC systems couldn’t accept a reject or an error notice. She said that the notice your system could accept was the jeopardy notice. Denise said that she has issued a system CR SCR021809-1 that will be presented in the March CMP and it will be included in the prioritization for IMA 26.0. She said that we hope this will help because rather than receiving a jeopardy, you will be receiving a cancellation notice that the end user has cancelled the request.

Julia Redman-Carter-McLeod said that the jeopardy notification we are using today, (2/27/09 Comments to minutes received from McLeod) Qwest is claiming it is a catchall for anything that comes thru.

Denise Martinez-Qwest said that was correct and that it is for any fatal or non fatal condition identified after the FOC is sent.

Julia Redman-Carter-McLeod said that your flow says that if the NLSP does not respond in 4 hours they should be able to respond. She said now Qwest is telling them they can’t respond and that the flow is not accurate.

Denise Martinez-Qwest said that if within the 4 hour period, your end user contacted you pro-actively, you would have the opportunity to try and change their mind. Denise said that you would get the LOA and respond back to us by Supping your request.

Julia Redman-Carter-McLeod said that they have a 4 hour window but that can’t do anything unless everything (2/27/09 Comments to minutes received from McLeod) happens to falls into place.

Denise Martinez-Qwest said that the end user has started this entire process and we are reacting just as you are.

Nora Torrez-tw telecom said that when a customer calls Qwest to tell them they want to cancel a port and they have to get a signed LOA that means there should be a 24 hour delay. She said that from their perspective as a CLEC Community they are going to have to request a written copy of the LOA in all of these situations if this process goes forward.

Maureen Callan-Qwest said the process that has been agreed to is that the companies that have the LOA would produce it and if you (2/27/09 Comments to minutes received from McLeod) raised a dispute.

Julia Redman-Carter-McLeod said that the LOA is not automatically provided in the process (2/27/09 Comments to minutes received from McLeod) we currently have today. But in the process that Qwest is proposing, the CLECs want the LOA automatically provided in this situation.

Maureen Callan-Qwest said that it is a broader issue and that we have agreements that say if there is an LOA.

Nora Torrez-tw telecom said that we have an agreement that we would not use an alternate.

Maureen Callan-Qwest said that she was not aware of any agreement.

Julia Redman-Carter-McLeod said that our processes never allowed for (2/27/09 Comments to minutes received from McLeod) stacking LOAs with different providers, so we agreed that we would not have to provide the LOA each time. Julia said, however, they would like to see the LOA be produced each time, including a date and time in this situation because of the cancellation by another provider.

Maureen Callan-Qwest said that would not be acceptable and would be out of line with the acceptance of the company of the service provider who has the LOA. Maureen said it is not required to be presented on a regular basis.

Nora Torrez-tw telecom said that they are disputing this and is the purpose of these calls. Nora said the CLEC community is disputing this process and that there are huge flaws in it. Nora said that they have agreements and there is a current process that works and is not broken.

Maureen Callan-Qwest said that this proposed process matches the Industry flow process and we aren’t talking about concerns with LOA that are defined. She said that we haven’t agreed to not have a process that supports the Industry flow.

Bonnie Johnson-Integra said she wanted to talk to the point in the process about producing actual authority from the end user to cancel the porting request. She said Qwest has indicated that they don’t do this now for regular LSRs. Bonnie said that on page 3, step 3 and page 23, step 7 it says the NLSP is responsible for demonstrating authority and one says that the OLSP is responsible for such authority as necessary. She said that they don’t believe that step 3, page 3 is necessary (3/2/09 Comments to minutes received from Integra) but it is not for a cancellation.

Maureen Callan-Qwest said that that changes to the LOA flow is not on the table for this CR.

Julia Redman-Carter-McLeod said that (2/27/09 Comments to minutes received from McLeod) but page 23 step 7 which is the options process, is on the table for this CR. It appears that Qwest wants to mirror the flows when it suits them, but is not as flexible when the CLECs want to do the same in a different place in the flow.

Susan Lorence-Qwest said that we talked about this in the last meeting and that we received confirmation from the LNP co chair that the LOA /POA process was sufficient and that the current process is defined. Susan said that whatever process you have in place today is between you and your end user.

Kim Isaacs-Integra said that the arrangement that tw telecom is talking about is the arrangement between Qwest and the NLSP. She said that when the NLSP has ordered a special access Loop that supports the number that is porting in, they have to pay the install and early termination charges because they had to disconnect because you have disconnected the porting order. Nora Torrez-tw telecom said that she needed to get to the FCC about this information. She said that she was concerned about slamming, stranded investment and anti-competitive issues. She said that this gets worse instead of better. Julia Redman-Carter-McLeod said they want information/clarification on timing elements on when they send in the port, when they get the FOC and the LOA that cancels it. Susie Wells-Qwest said that process addresses that very issue. She said that the date of cancellation must be received by 2 pm MT one day prior to the port date. Susie said that if the port date is 4 days from today and you send the notification that the end user wants to cancel the port, we would have to have the request into the CSIE no later than 2pm MT the day before the actual port. Susie said that anything outside of that would be considered too late and would be sent back to you. Julia Redman-Carter-McLeod asked if when Qwest says cancellation is that the jeopardy Qwest is sending. Susie Wells-Qwest said that the request has to be in the CSIE by 2pm MT. Julia Redman-Carter-McLeod asked if Qwest is saying that they will send the jeopardy back in 60 seconds. Susie Wells-Qwest said that we will send it as soon as we can. Julia Redman-Carter-McLeod asked when is that last moment they can cancel the port. She said that if she calls at 1:59 to cancel the port, it is before 2:00pm MT. Janean Van Dusen-Qwest said that we would not accept that. Julia Redman-Carter-McLeod said that the cutoff is 2 pm (2/27/09 Comments to minutes received from McLeod) for the cancellation request, but when is the cutoff for Qwest to send the cancel message to the CLECs, that is not the same cutoff time that they can cancel up to. Janean Van Dusen-Qwest said that if we can’t get the cancel out by 3pm MT. Julia Redman-Carter asked if they will take calls until 2pm MT. Janean Van Dusen-Qwest said that we don’t take verbal phone calls. Julia Redman-Carter-McLeod asked if they used the ticket process what would be the last time the NLSP would see that jeopardy notice (2/27/09 Comments to minutes received from McLeod) comes in on a given day. Janean Van Dusen-Qwest said that she did not know when they pull the jeopardy notices so we don’t have an answer for that. She said not after 3pm MT. Julia Redman-Carter-McLeod confirmed that any jeopardy notices sent to cancel the port for the next day would be sent from Qwest no later than 3:00 pm MT prior to the due date. Julia asked for this to be added to the process. Janean Van Dusen-Qwest said that we can add that to the PCAT. Susan Lorence-Qwest said that there are 3 items to take back: 1) the inclusion of some reference or indication of the date and time stamp that the OLSP contacted Qwest Wholesale that they have the current LOA/POA, 2) Question about charges – We don’t believe that this is our issue because it is between you are your end user, 3) the clarification of the timing of the process. Susan said that Qwest will schedule another call to address these points. Bonnie Johnson-Integra said that the ‘SX’ jeopardy code for non design should not be used for this because it is the NLSPs LSR that Qwest is sending a jeopardy for. Susan Lorence-Qwest said that we will take that back and reconfirm. Denise Martinez-Qwest asked if Integra could put something in writing with details regarding their concern. She said that we did address this in a previous meeting but will look at their question again. Liz Balvin-Covad said that if they had concerns about the discrepancies in the NANC flows vs. the Qwest process they were asked to put it in writing. She said that she wants to do a side by side comparison and identify any concerns that Covad may have and talk about it in the next meeting. Susan Lorence-Qwest asked that Covad send their concerns to Qwest. Susan said that we will be inviting the Qwest LNP working group representative to the next call. Susan also requested that those who have representatives in the LNP working group invite, them to the next call.

2/18/09 ProdProcCMP Meeting Mark Coyne-Qwest said that this CR is also included in Attachment E associated with the Oversight issue. He said that Qwest has held several adhoc meetings in the last couple of weeks and have another meeting scheduled on 2/20 to address any remaining questions.

2/12/09 Adhoc Meeting LNP Optional Process Ad Hoc Mtg Change Request # PC012009-1 February 12, 2009

Attendees, Kim Isaacs-Integra, Bonnie Johnson-Integra, Laurie Roberson-Integra, Joyce Bilow-McLeod, Julia Redman-Carter-McLeod (PAETEC), Liz Balvin-Covad, Jennifer Aspeslagh-Comcast, Kasha Fauscett-Comcast, Ann Vick-GVNW, Susie Franke-tw telecom, Nora Torrez-tw telecom, Mindy Chapman-Neustar, Mark Coyne-Qwest, Susan Lorence-Qwest, Denise Martinez-Qwest, Janean Van Dusen-Qwest, Susie Wells-Qwest, Lynn Stecklein-Qwest

Susan Lorence-Qwest said that this is a continuation of discussions related to CR PC012009-1, Define LNP process for port cancellation by OLSP on behalf of or at the direction of the end user. She said that there is extensive background in regard to this CR that is available on the CMP website. Susan said that an agenda has been posted to the calendar.

Susie Wells-Qwest said that this process is for any service that a number port request can be issued against. She said that the industry guidelines that Qwest referred to are specific to Inter-Service Provider LNP Operations Flows. Susie said that it clearly relates specifically to Ports and this process is built around LNP and Loop with number port only. Susie said that we do not believe other products should be included as that document only refers to these specific scenarios. Susie said that in the last meeting a question of authority was brought up in regard to whether Qwest believed they had the authority to apply this process to other types of products and/or migration activity. Susie said that this is not a question of authority. She said that Qwest is implementing this process to address the specific scenarios identified in the Inter-Service Provider LNP Operations Flows.

Nora Torrez-Time Warner said that Time Warner does not want to participate in this optional process and they believe the existing LNP porting process is working. Nora said with the agreements and contracts they sign with their customers, they need to have the customer who decides they don’t want to follow through with the service we are selling them, to have that customer contact them directly. Nora said they expect not to receive rejects or calls if the customer chooses to cancel the service with them and they need to be talking with their end users because of their sign up process.

Susie Wells-Qwest said that Qwest noted Time Warner’s position.

Bonnie Johnson-Integra said that Qwest has said all along that the reason for implementing this new process is to benefit the customer so they can get what they want. Bonnie said they believe that this process is discriminatory by limiting it to LNP or Loop with LNP. She said if Qwest’s position is that they want all customers to get what they want, wouldn’t Qwest want all customers to get what they want regardless of what type of product the NLSP is ordering. Bonnie asked if the reason that Qwest is not implementing this process for all products is because there is no document of authority that applies to LNP and Loop with LNP and that is why Qwest is limiting to just porting products.

Susie Wells-Qwest said that the reason this process is being implemented this way is because it addresses LNP and the other broader product range are outside of the scope of this request. She said that Qwest believes there would have to be a separate CR to include all products.

Bonnie Johnson-Integra said that in the last several years when a CR has been submitted and if someone wanted other products included that request would be evaluated. Bonnie said that they want all products added so that it is not discriminatory.

Susan Lorence-Qwest said that this CR is specific to the notification that went out in November and Qwest worked through multiple issues and discussions. Susan said that this change is specific to porting and Qwest doesn’t want to modify this request and delay this process any longer. She said that if there are broader requirements then a separate request would be needed.

Bonnie Johnson-Integra disagreed and that by adding other products would not delay implementation or require additional work.

Susan Lorence-Qwest said that we will make note of Integra’s concern.

Susie Wells-Qwest reviewed 2 new scenarios that were added from the February 3rd adhoc meeting.

Migration Scenarios/Non Port Scenario Scenario Detail (Product Type) Where service is coming from What happens today What happens tomorrow 1) Wholesale End user with Eschelon wants to migrate QLSP Pots service to McLeod QLSP Pots service and then decides to stay with Eschelon QLSP POTs to QLSP POTs or Resale POTS to Resale POTs EU is required to contact New Provider of POTs service to advise they wish to Cancel the Migration request (Eschelon cannot contact Wholesale CSIE and request migration be cancelled) No Impacts – This is not part of the Optional Port Process, so the handling of the cancellation request stays the same as it is today. 2) Retail End User migrating to Eschelon Resale Service decides to stay Qwest Retail Retail POTS to Resale POTS or Retail POTs to QLSP POTS EU is required to contact the pending new service provider (Eschelon) to request cancellation of the migration. (Retail cannot directly contact the CSIE and request cancellation of the Migration request) No Impacts This is not part of the Optional Port Process so the handling of the cancellation request remains same as it is today

Bonnie Johnson-Integra said they want to go on record that they agree with Time Warner that this process is optional. She said that they don’t want to participate and they won’t have anything to do with the port process.

Joyce Bilow-McLeod said that they agree and if it is optional they don’t want to participate.

Liz Balvin-Covad said that Covad agreed and asked how Qwest would manage this given that the majority of CLECs do not want to participate in this optional process. Susan Lorence-Qwest said that the Industry Flow states this is a national standard and that we will take back the concern on whether or not there is an option to the opt out.

Nora Torrez-Time Warner said that they were not at any Industry forum to vote on any modification to the porting process. Nora said that the FCC has ruled on porting and there are hard rules on how it should be administered. She said that the Industry conversation on this should be reviewed by the Commission staff and that we have to be careful that we don’t get into situations like the slamming issue.

Denise Martinez-Qwest said that in the last meeting, there was concern that the 2 references identified in the industry document had 2 distinct meanings as they were not worded exactly the same. Although the wording is different, the meaning is not different.

Denise said that Qwest contacted the LNPA-WG Co-Chair for the clarification and the intent of Step 7 in NANC LNP Process Flows, Cancellation Figure 9. She said that the LNPA-WG Co-Chair says the authority indicated in this Step 7 should be the same type of acceptable authority that is required in the very beginning of the flows where the NLSP obtains authority from the end user to port their number. The beginning LNP Process Flow Main Flow, Figure 1, Step 3, says, “NLSP obtains authority (Letter of Authorization - LOA) from end-user to act as the official agent on behalf of the end-user. The NLSP is responsible for demonstrating necessary authority.” Denise said that Qwest supports the NANC LNP Process Flows. She said that based on that clarification, Qwest will continue to follow the Qwest documented process in the POA/LOA Business Procedure. She said that we believe we currently have this process documented and it meets the industry co-chairs’ understanding of what is required.

Liz Balvin-Covad provided a scenario when the end user goes to Covad with the LOA and they issue the order. She said the end user decides they don’t want to leave their provider and Qwest is saying that they too get an LOA. Liz asked what is the distinguishing factor in the LOA rules in the event the end user starts blaming one or both parties.

Denise Martinez-Qwest said that the LOA would have the most current date and time.

Liz Balvin-Covad asked what happens if the date is the same and asked why the end user wouldn’t cancel with the provider they went to.

Nora Torrez-Time Warner asked for clarification that Qwest received on the Industry document. She asked if Qwest was saying that because they have an agreement with them in the porting process to disconnect the service and migrate numbers, does that gives Qwest the authority to reject their order and to cancel.

Denise Martinez-Qwest said that the current LOA would overtake the previous LOA.

Liz Balvin-Covad said that the current process says that the end user should cancel with the new provider and that process has been in place for a long time. She asked what this change is buying anyone.

Susie Wells-Qwest said that the LNP flows have been the same for along time. She said that if Version 2 goes as far back as 2004. She said that the LNP flow states the end user has a choice.

Nora Torrez-Time Warner said that they are not suggesting that the end user doesn’t have the ability to make the decision about their service provider. Nora said that they are asking for clarification on how they handle this situation in their business so that the end user is abiding by agreements they are making. She said that if they have a contract with their end user with the LOA who is porting their service and that customer calls Qwest and says that they want to cancel, Qwest should refer them to Time Warner to cancel the service. She said that it would be the same if they want to disconnect their service with you or have a final bill they wouldn’t get in the middle of that discussion. She said that they manage their service with Qwest and they manage their service with us. Nora said that her concern is that there is work in progress that is outside of the conversation and that Qwest is saying they have the authority to cancel my business request because the customer is contacting you. She said she has an issue as to how Qwest can arbitrarily cancel an agreement/LSR request.

Susan Lorence-Qwest said that we will determine if the Industry intent is that if company by company these types of agreement would be made.

Bonnie Johnson-Integra asked who Qwest talked to for their interpretation.

Denise Martinez-Qwest said that they talked with Gary Sacra from Verizon. He is the working committee’s Co-Chair.

Susan Lorence-Qwest said that Qwest will determine if it is a possible that a company can disallow or not go forward with this intended Industry Guideline.

Julia Redman-Carter-McLeod asked how they would distinguish which LOA is the latest if they have the same date.

Denise Martinez-Qwest said we don’t provide a copy of the LOA/POA unless there is a dispute that is brought to our attention. She said that we are in good faith taking the fact that the customer is saying that what we are being given is the most current POA/LOA.

Julia Redman-Carter-McLeod asked how they would determine who has the most recent LOA.

Denise Martinez-Qwest said we would get a copy of the LOA being disputed at that time.

Mark Coyne-Qwest said that for the process to be invoked, the end user has to be doing the contacting, not the company.

Kim Isaacs-Integra asked how they are going to tell if the end user did the contacting.

Nora Torrez-Time Warner said that you could have a divorce situation and the wife calls in and cancels.

Bonnie Johnson-Integra asked how they avoid inappropriate retention.

Susan Lorence-Qwest said these are the same processes that exist today regardless of this process.

(2/19/09 Comments to Minutes received from Integra) Bonnie Johnson-Integra said currently this OLSP cannot cancel the port)

Julia Redman-Carter-McLeod said that in the divorces example Time Warner used, there may be 2 different parties talking to the provider now which may lead to an authority conflict and that they only have 4 hours to resolve.

Denise Martinez-Qwest said that in the last meeting there was discussion regarding the 4 hour window being insufficient. She said that the NLSPs concerns are a moot point. She said that based on discussions with our attorneys, Qwest is not required to give you any notification about the cancellation of a port request. She said that we are merely utilizing our existing notification process to notify that your original request has changed status and to make you aware of that current status. It is not clear to Qwest why there is an issue with the 4-hour window. Under the FCC's Brighthouse v. Verizon opinion, just affirmed, (2/19/09 Comments to minutes received from Integra) I do recall Jill saying it was just affirmed you should not be contacting the customer to retain them, triggered by Qwest's information to you that the port is cancelled. That is carrier-to-carrier porting information, proprietary to Qwest. Denise said that even before Brighthouse, the FCC held that "change of carrier" information exchanged between carriers (which this is, given that the customer has decided not to change carriers) was proprietary to the carrier submitting the information, the submitting carrier here being Qwest.

(2/19/09 Comments to Minutes received from Integra) Qwest, The meeting minutes should not include a parenthetical. The conversation either took place or it did not. If Qwest is attempting to add clarifications to state its positions, this is not appropriate. Qwest should review the minutes for any parenthetical it has added, and remove the parenthetical if the statement was made or remove the comment in its entirety if it was not.

Julia Redman-Carter-McLeod said that Qwest is using the jeopardy code to cancel their LSR and that they need to respond in 4 hour window. She said that they have no time to contact the customer for any follow up. She said they would have no clue what happened and for an error they never made.

Denise Martinez-Qwest said that we are sending you a jeopardy because of the way our systems are set up. Denise said that there is no other way to send you any type of notification advising you that the status has changed other than to send the jeopardy. Denise said that we have had this jeopardy process in place between 8 and 10 years to identify and explain a scenario to you once the FOC has been sent. Julia Redman-Carter-McLeod said that this sounds like a process that was designed for Qwest. Julia said that she did not think that the jeopardy will work for this process and that Qwest should not try and make it work for this optional process.

Bonnie Johnson-Integra said they agreed that the non fatal jeopardy process is not appropriate. She said that what Qwest is really sending is a fatal reject and that Qwest should either send a fatal reject or make some kind of change. Bonnie said that in the escalation she said that they suspected the only reason Qwest has interjected this non fatal process is because there is no other way for Qwest to reject their LSRs.

Denise Martinez-Qwest said that for clarification, this process is not specific to non fatal. It is for errors or rejects that can’t be sent. She said that we initially put this process in place based on requests from the CLECs because our systems allowed us to send but the CLECs systems did not allow any notification after FOC other than a jeopardy. Denise said that since that was how your systems were designed, we sent the jeopardy notifications to identify that information regarding both fatal and non fatal reasons.

Bonnie Johnson-Integra said that there is no action they can take. She said that in a previous call she asked what does Qwest anticipate they are going to do within the 4 hours window. She said that Qwest said that we would contact the customer etc. She said that she was looking at the order from Verizon Business and she agrees and that is a retention effort if the customer is being bounced back and forth. She said that she did not agree with Qwest comments re: contacting the customer. She said that a non fatal error is not fatal and is something that we need to do in this 4 hour window. Bonnie said that in this case because Qwest has sent the FOC and Qwest’s systems won’t let you do anything else, Qwest is going to use this process that means nothing.

Denise Martinez-Qwest said that as stated in the recent opinion that it is not something that someone should be doing as far as using the information from another source to contact the end user. Denise said that when the end user has contacted us or any other Carrier to identify they want to have the port cancelled, at that point the information is proprietary and it would be up to the end user to contact you. Denise said that if it happened within that 4 hour period we would expect you would take action.

Nora Torrez-Time Warner said that what Qwest is saying is right on track. The order says the customer has the right to cancel a port. Nora said if the customer now comes to you and you have FOC’d my LSR and confirmed the date, you can initiate a port order to take those numbers back and you have a responsibility to tell the customer that is what is going to occur because you have given the numbers away based on the initial request. She said that would drive the customer to contact the NLSP to resolve the issue. She said that the order doesn’t say you have a 4 hour window and that you can take a current LSR that I have sent for porting and cancel it. The order says that the customer can cancel and that we can’t contact them if we find out.

Denise Martinez-Qwest clarified that we aren’t cancelling the LSR; we are cancelling the internal port order.

Nora Torrez-Time Warner said that you can’t because that is my order to port. She said that the Industry says that in a porting scenario, they have an agreement that is the LSR with the customer who is porting a number. She said that the customer signs the LOA with them and that is what that agreement is about.

Bonnie Johnson-Integra asked if there were any other non fatal error that Qwest sends (2/10/09 Comments to minutes received from Integra) that a CLEC cannot act on because as Liz Balvin (Covad) has said before you are taking the LSR out of my hands.

Denise Martinez-Qwest said that it is based on the direction of the end user.

Liz Balvin-Covad said that across every ILEC, the process has the end user calling the local service provider they asked to port the number to cancel the order and that this process has been used for years. She said that she struggles with the fact that the Industry Guidelines allow for this and yet no one is using it because the process in place is working

Susan Lorence-Qwest said that Qwest doesn’t agree that no one is using this process.

Nora Torrez-Time Warner said that she deals with 300 to 400 providers and this is the 1st time she has heard about this.

Liz Balvin-Covad said that she supports that no other ILEC have this optional process to cancel the LSR during the port.

Susan Lorence-Qwest said that we aren’t trying to refute that you haven’t seen it but that Qwest knows this process has been used.

Bonnie Johnson-Integra said that Denise inserted a clarification in meeting minutes where she said that Qwest is not cancelling the LSR and when you reject the LSR you are cancelling the (2/19/09 Comments to minutes received from Integra) LSR. Bonnie said that with Qwest’s comment that nobody is using the process and asked if Qwest was referring to the brief period of time where Qwest implemented this inappropriately as a L1 and somebody used it you had implemented or are you aware that another ILEC or provider that has allowed a process for the OLSP to cancel the port.

Nora Torrez-Time Warner said that independent of this process.

Susan Lorence-Qwest said that from a Qwest perspective, we are aware it has been used it and not by Qwest.

Mark Coyne-Qwest agreed and that it is independent of this process.

Bonnie Johnson-Integra clarified that it was not associated with when Qwest briefly had this process in place, but Qwest is saying that this process is being used by another ILEC or Carrier that is allowing the OLSP to cancel port.

Susie Wells-Qwest said yes.

Julia Redman-Carter said that with the issues she sees and with the processes they currently have today, this is not the best way to deal with this process. She said that this process will not be smooth, neat or clean and will cause a lot of problems for them to force this process into the configurations they have today. Julia said they would like to see the process outlined to determine what system work would be necessary etc.

Jennifer Aspeslagh Comcast said that they agree with McLeod and by implementing this process the customer will suffer.

Susan Lorence-Qwest said that we will take note of their concern but was not sure how the customer would suffer because the customer is the lead in this effort.

Jennifer Aspeslagh-Comcast said that the CLECs are saying that with their processes today, there is a chance that the customer could remain in their systems, get double billed and there may be potential downstream impacts from Qwest issuing the jeopardy notices and only allowing 4 hours to responds.

Julie Redman-Carter-McLeod said that they have not been given the means on how to respond. Julia said that if it was possible that she understood that the legal stuff should not be discussed here but with the different interpretations from each company but is causing us problems on going forward and proposed to that their attorney and the Qwest attorney to talk about the issues whether they be Industry, legal, timing, or how we convey information not to negate Qwest’s legal authority because it seems the information Qwest is getting is different from the information they are getting from their attorneys. Susan Lorence-Qwest said that Qwest would be happy to have the attorneys talk and proposed taking this information back to review. Susan said that Qwest feels we are on solid ground with our interpretation with working with LNP working group to proceed. Susan said that we will send out a final adhoc meeting notice because we would like to get this optional process in place by using the existing mechanisms we have defined. Susan said that then Qwest would issue a change request to mechanize this process and make a fatal error that would have to go through prioritization. She said that with the jeopardy process in place for non fatal and fatal meets the needs and Qwest is proposing that we go forward with that. Susan asked if everyone could review the information we have provided.

Julia Redman-Carter-McLeod said that in the next meeting she would like to discuss how they can opt out of this process.

Susan Lorence-Qwest said that was one of the 1st points we discussed and that we will get with our attorneys to determine if that can be done and how that is handled.

Bonnie Johnson-Integra said that if this is an optional process they have the option to not to participate and Integra chooses not too.

2/18/09 ProdProc CMP Meeting Mark Coyne-Qwest said that there is an adhoc meeting scheduled on 2/20/09.

2/3/09 Adhoc Meeting LNP Optional Process Ad Hoc Mtg Change Request # PC012009-1 February 3, 2009

Attendees, Kim Isaacs-Integra, Bonnie Johnson-Integra, Laurie Roberson-Integra, Joyce Bilow-McLeod (PAETEC), Brenda Bloemke-Comcast, Jennifer Aspeslagh-Comcast, Kasha Fauscett-Comcast, Jason Lee-Verizon Business, Barbara Webb-Time Warner, Kenny Williams-Time Warner, Judy Burke-Time Warner, Jeff Sonnier-Sprint, Mindy Chapman-Neustar, Mark Coyne-Qwest, Susan Lorence-Qwest, Linda Miles-Qwest, Denise Martinez-Qwest, Janean Van Dusen-Qwest, Ellen Munz-Qwest, Susie Wells-Qwest, Lynn Stecklein-Qwest

Susan Lorence-Qwest said that this is a continuation of discussions related to CR PC012009-1, Define LNP process for port cancellation by OLSP on behalf of or at the direction of the end user. She said that there is extensive background in regard to this CR that is available on the CMP website -- as noted in both the CR and the ad hoc meeting notice. Susan said that she would not go through all of that background today. She said that we are here to continue our discussion around the optional process for existing LNP and Loop with NP requests to port to an alternate provider where the end-user decides not to complete the port. Susan said that she added an agenda to the Wholesale calendar for today’s meeting and there is also a matrix of LNP Port Scenarios that we will be discussing. She said that before she started the meeting, she wanted to review a couple items that will hopefully make our call go smoother. Susan asked if everyone could mute their line if they were not speaking, that may help with the echo. She also asked that we only have one person speaking at a time and listen to all information before asking clarifying questions or sharing your feedback. Susan said that there were a number of issues identified on the ad hoc call that we held on Wednesday, January 28, that we want to continue to discuss today. The first on the agenda is the question about which products this optional process is to be used with. Susie Wells-Qwest stated that the intent of this process is to cover LNP port out and Loop with number port requests. She said that when a CLEC is the OLSP either via resale or QLSP service, any TN that is eligible for porting could be included in this optional for cancelling port out. She said that when Qwest Wholesale receives a port out request from a Service Provider, that request could be included in this optional process if the end user chooses or wishes to go to the OLSP to cancel the port. Bonnie Johnson-Integra said that Qwest said that only time that this process can be used is if the NLSP has requested LNP only or LNP with number port. She said by design this is not an optional process because the other process does not limit to only LNP and LNP with port. Susie Wells-Qwest said that this process is for Loop and Loop with number port requests based on the NANC flows. She said this process is optional for those customers that are in a porting situation. She said that it doesn’t impact all products and is an optional process. Kim Isaacs-Integra said that Qwest indicated that this process only applies when a CLEC is the OLSP using resale or QLSP and asked if Qwest Retail was prohibited from using this process.

Susie Wells-Qwest said that Qwest could also use the process.

Kim Isaacs-Integra said that for a facility based user such as Integra, this process is discriminatory.

Susie Wells-Qwest reviewed the matrix when this process could be used and looked at applicable scenarios using actual customer names in these scenarios for clarification. The LNP port scenario matrix can be located at:

http://wholesalecalendar.qwestapps.com Bonnie Johnson-Integra referred to the NANC document, page 22, process flow #2. She said the description says that the end user contacts either the NLSP or OLSP to cancel the porting request and that only the NLSP or OLSP can initiate this transaction and not another service provider etc. She said that there no where in the step #2 flow does it talk about if the end user contacts the OLSP. Susie Wells-Qwest said that in step 2 the description says if ‘yes’ go to step 3 and if ‘no’ go step 7. Susie said step 7 is where the flow says ‘yes’ they did contact the NLSP or no they did not. She said that If they did not you go to step 7 where it is says that they did not, it says that the OLSP obtains end user authorization. Bonnie Johnson-Integra said that they have questions about authority and Qwest being the middle man. She said that Qwest indicated they are basing authority on this document. Bonnie asked if the reason Qwest is not applying this to resellers, is because Qwest (2/11/09 Comments to minutes received from Integra) believes it doesn’t have authority because there is no document. Susan Lorence-Qwest said we could take this question back to our SME team. Bonnie Johnson-Integra provided a scenario of Qwest retail with 5 POTS line and they are ordering QLSP for a conversion as is. Bonnie said that with Qwest’s proposal and documentation in the PCAT, if the customer goes to the OLSP, they can’t use this new process because the NLSP didn’t order LNP with NP or NP only. Susie Wells-Qwest said that we will take this question back to our SME team and provide a response. Susie asked, if in Integra’s example, would the service provider be Qwest. Bonnie Johnson-Integra said that it could be another reseller. Susie Wells-Qwest said that the QLSP provider is a Wholesale customer and you are a Wholesale customer and you want to do a Conversion as is for that customer. Susie said that if it doesn’t involve porting it doesn’t qualify and is not part of the process. Bonnie Johnson-Integra said that she was surprised that CLECs that are all facility based are impacted by this new process and straight resellers are not. (2/11/09 Comments to minutes received from Integra) She said that Qwest said it was doing this for the end user but if the end users NLSP orders a certain product, the end user cannot use this process. Susan Lorence-Qwest asked if there was an example of this in the scenarios matrix. Bonnie Johnson-Integra said that it does not fit any scenario. Susie Wells-Qwest said that she agreed that this scenario is not there. Susie said that the SME Team will look at adding it to the matrix. Bonnie Johnson-Integra said that her question is more around authority. Bonnie said that they believe it is discriminatory to limit this to LNP and LNP with NP. She asked if the reason Qwest has excluded that scenario, is because Qwest doesn’t believe it has the authority because there is not a document that spells it out. Susan Lorence-Qwest said that Denise Martinez will talk about the POA/LOA and authorization requirements. Denise Martinez-Qwest said that Qwest’s current policy for LOA/POA is available on the Qwest Wholesale website and is part of business procedure that is titled Proof of authorization/Order of Agency. She said that Process states that we don’t require that a POA accompany a request for any records or services. Denise said that we are taking the authorization at face value and in good faith. She said that the only time we ask for a copy of a POA, today, is if there is a dispute or discrepancy arises and we need to settle that discrepancy. She said that Qwest’s position is to continue with this current policy for this process.

Bonnie Johnson-Integra said that in step 7 it said that the OLSP is responsible for demonstrating such authority as necessary. She said that the CLEC community is telling Qwest that demonstrating such authority is needed in this type of transaction. She said that they want this to be part of the process because of the short timeframe of the 4 hour window to respond to does not allow them the opportunity to get that authority from the OLSP and they want this as part of the process. Bonnie wanted to know if Qwest was going to address the interpretation of the definition of POA/LOA. Denise Martinez-Qwest said that the document provides many definitions on terminology and that we did not see anything that refers to the actual proof Integra is referring to. Bonnie Johnson-Integra said that sometimes definitions to acronyms are provided in the beginning of the document. She said that if there is no separate definition provided, the definition is the description and this is a very different description. Denise Martinez-Qwest asked Integra if they could provide clarification on what they see the proof being. Bonnie Johnson-Integra said that the she sees it as it is described in the document. Bonnie said that it says that you obtain actual authority from the end user to act as an agent to cancel the porting request. She said that it is something that the customer has signed authorizing the OLSP to cancel the porting request and that is different than the LOA. Denise Martinez-Qwest said that Integra is looking for something more specific as rather than more general. Bonnie Johnson-Integra agreed and that it is inappropriate for Qwest to make an interpretation that the CLECs don’t agree with to that application. She said that if Qwest instead of the POA/LOA description that they put in the PCAT, want to use the description that is in the LNP Document without interpretation she is fine with that. Denise Martinez-Qwest said that we need to take this back to our legal group to get the appropriate interpretation. Mark Coyne-Qwest clarified that Integra’s definition of actual represents something written. Bonnie Johnson-Integra said that it is written and it specifically gives authority to cancel a port request. Mark Coyne-Qwest clarified that Integra does not believe that the LOA/POA is actual authority. Bonnie Johnson-Integra said not to cancel a port request. Susan Lorence-Qwest asked Integra if it believes that the LOA/POA is not actual authority, in this instance, to cancel the port. Susan said that the specific requirement is for OLSP to get that. Brenda Bloemke-Comcast said that they have the same concern as Integra. Mark Coyne-Qwest clarified that Comcast agrees that actual authority is written. Bonnie Johnson-Integra said that the LOA/POA for certain transactions don’t require party’s to provide the LOA, depending on what process your are using. She said that not only should it be written, the authorization needs to be specific to providing actual authority to cancel a port request. Mark Coyne-Qwest said that it could be electronic or written and that there are several options covered in LOA/POA. Bonnie Johnson-Integra said that it can’t be verbal. Denise Martinez-Qwest said that it can be verbal if it is verified by an independent 3rd party. Denise asked if there was a new type of LOA/POA that is very specific to porting and accepted as part of process, would Integra find it acceptable for Qwest to continue the process as we have described it to this point. Bonnie Johnson-Integra said that she does not agree with the limitation of products and does not with 4 hour timeframe. Bonnie said that (2/11/09 Comments to minutes received from Integra) what she does know is whether or not they object, Qwest will implement the process anyway. Bonnie said that she has obtained Integra’s legal interpretation of the authority if cancel the port which is different than Qwest’s interpretation. She said that with the difference between the two, they will escalate and dispute. Denise Martinez-Qwest said at this point in process you are looking for us to obtain the LOA/POA that is specific to authority for porting.

Bonnie Johnson-Integra said that Qwest’s proposed process says, as the service provider of choice whether to cancel a port request or issue a SUP request to continue with the port, you are responsible for obtaining the most recent POA either via the LOA or another method. She said that she does not agree on the cancelling the port portion of this. She said Qwest can word it exactly to say to obtain actual authority from the end user to act as the official agent on behalf of the end user to cancel the porting request. Susan Lorence-Qwest said that we understand that wording is the key issue and we can take that back. Denise Martinez-Qwest said that the Jeopardy notification process is part of current ordering overview and has been in place for many years. She said that it is referenced in the last row of the error reject notice matrix. She said that if the LSR has been accepted and the FOC has been sent, and we then detect a condition that requires a correction or a SUP from you, we will send the jeopardy notification of CO5 or SX jeopardy code. She said that we wait the maximum of 4 business hours for you to send a sup or cancel the request. Denise said that if we do receive a SUP, we act on that and send the FOC. She said that if we don’t receive anything within the 4 hours, we will cancel any existing service orders and send a reject notification. Joyce Bilow-McLeod said that this is not an error and is an optional process that would have to be included. Denise Martinez-Qwest said that it is terminology. She said that when we put this process into place, many of the CLEC/Qwest systems would not allow us to send any other type of a notice other than a jeopardy once the FOC had been sent. She said that Qwest deployed this process because it allows us to send any type of notification subsequent to the FOC without changes to the functionality of those systems. Denise said that it provides a mechanism to provide a free form remark as to what the issue is. Joyce Bilow-McLeod said she is having a hard time with the 4 hour timeframe. She said 8 hours isn’t even enough. Denise Martinez-Qwest said that the 4 business hour process has been in place for all types of notifications as was agreed upon when the process was put in place. Joyce Bilow-McLeod asked if Qwest would modify the process to accommodate this optional process. She said it will require additional calls to Qwest to figure out what is going on with our orders and that the need more clarification for their end users because they will not understand this process at all. Denise Martinez-Qwest said that the Remark is very clear that the end user has requested the cancellation of the service and there would not be much more to explain. Denise said that Qwest’s position is to be able to tell you that the end user has authorized the cancel. She said that we can talk about providing who the end user is, the date, etc. within the remark. Joyce Bilow-McLeod asked if they would be charged for the cancellation. (2/11/09 Comments to minutes received from Integra) because McLeod will not pay for a cancellation. Denise Martinez-Qwest said that they do not have to take any action at all and this is optional on their part on what they want to do or how they respond. She said that if they respond, we will act on the SUP and if they don’t, we will cancel the internal Qwest orders, reject the LSR and it will be in a final state. Bonnie Johnson-Integra said that they understand that the non fatal jeopardy process has been around a long time but Qwest has never sent this type message before. She said Covad explained in a previous meeting that the LSR is now out of their control and takes it out of the flow. She said that it is much different than the current non jeopardy process where they are still in control of their own LSR. She said that they disagree with sending this new type of message and determine internally how to react. Denise Martinez-Qwest said that we understand that the CLECs would prefer to see notices that are very specific to the issue. She said that we have looked at creating a mechanized end user cancellation notification. Bonnie Johnson-Integra said that whether it is mechanized or not, it would still require some development in each company depending on what action is taken and what process would need to be followed. Denise Martinez-Qwest said that we understand that there would be some process changes but thought it would be more appetizing. She said that if there was a problem with the jeopardy itself there are other possibilities that could be looked at. Susan Lorence-Qwest said that we will take back the questions from this meeting. Susan said that the next meeting is scheduled on February 12th at 1:00 pm MT and any supporting documentation will be provided prior to the meeting. LNP Optional Process Ad Hoc Mtg Change Request # PC012009-1 January 28, 2009

Attendees, Kim Isaacs-Integra, Bonnie Johnson-Integra, Laurie Roberson-Integra, Julia Redman-Carter-McLeod (PAETEC), Brenda Bloemke-Comcast, Jennifer Aspeslagh-Comcast, Kasha Fauscett-Comcast, Jason Lee-Verizon Business, Susie Franke-Time Warner, Jeff Sonnier-Sprint, Mindy Chapman-Neustar, Gloria Velez-AT&T, Mark Coyne-Qwest, Susan Lorence-Qwest, Denise Martinez-Qwest, Janean Van Dusen-Qwest, Ellen Munz-Qwest, Susie Wells-Qwest, Lynn Stecklein-Qwest Susan Lorence-Qwest said that a Level 1 notification was sent on 11/14/08 for an optional process and was implemented on 11/17/08. Susan said this optional process allowed existing LNP and loop port request to port to an alternate provider if there was an end user that decided not to complete the port. Susan said that we provided an alternative to the existing process to cancel the port request. She said that the PCATs were updated and e-mails were sent between Integra and Qwest expressing concerns about the process. Susan said an escalation was submitted in regard to the optional process and Qwest responded to the escalation with a binding response. Susan said that subsequent to the escalation, there was a CMP oversight issue submitted by several CLECs and a CMP oversight meeting was held in mid January. Qwest’s decision was to retract the L1 notice on 1/21/09 and to issue a Level 4 (CR PC012009-1) on 1/20/09 so that a formal comment cycle could occur .She said that the LNP updates were restored back to the way it was prior to the optional process going in. Susan said that this meeting was to review the optional process and discuss any changes or concerns the CLECs have on the process itself. Susie Wells-Qwest stated that she will be presenting the CR and to review the existing process. She said that when one of the CLECs end users wants to cancel a pending port request, the CSIE may receive a call from resale or QLSP providers requesting that Qwest, on behalf of their customer, cancel the port request. She said that the Qwest’s process is to advise the customer to contact the end user to get in touch with the pending NLSP or the new Network Service Provider to cancel the port for them. Susie said that Qwest does not cancel the request on their customer’s behalf. She said that Qwest’s proposed process is to cancel the port request from information received from our customer (Reseller or QLSP) on behalf of their end user. Susie said that we want to allow the end user to go to either the pending NLSP or the OLSP they have today. Susie said that this optional process is for existing LNP and Loop with NP requests when the end-user decides not to complete the port. Susie said that the original provider may utilize the optional process to cancel the port request to the alternate provider. Bonnie Johnson-Integra said that Qwest’s proposed process and the document which Qwest is basing it’s authority to cancel ports, says it is not limited to LNP and Loop with LNP. She said that Integra will object to limiting the process to Loop and Loop with LNP and that the process should be implemented across the board for all products. Bonnie said that the process is discriminatory for a CLEC vs. a Reseller or a Company doing one type of business over another. Bonnie asked why Qwest was not including all products. Susie Wells-Qwest said that operational flows being referenced by Integra are directly related to LNP. Mark Coyne-Qwest asked if the document Integra was referring to had the heading “Inter-Service Provider LNP Operational Flows”. Bonnie Johnson-Integra said that it did. She said that the link that Qwest provided is a separate document and she was looking at version 3. Mark Coyne-Qwest said that the document was specific to LNP. Susie Wells-Qwest said that the link provided takes you to the NANC Operation Flows V3 and the other documents are earlier versions of the same document. She said Integra’s concern has been noted. Bonnie Johnson-Integra said that if this document is only referring to porting. She said that in previous meetings Qwest stated that we want the customer to get what they want. She said that it was not appropriate to implement the process for only certain products and that the customer can’t use this option in all cases. Susie Wells-Qwest said Qwest’s proposed process will allow an e-mail to be sent to the Qwest Customer Service Inquiry and Education (CSIE) CSIEsup@qwest.com with a Subject Line of: Notification of Cancelled Port. Include the following information in the body of the e-mail: Billing Telephone Number (BTN) or Ported Telephone number of the Cancelled Port, Date of Cancellation (must be a minimum of 2:00 PM Mountain time one day prior to the port due date) and End-user name and address. Susie said that Qwest will create one CSIE ticket for each Notification of Cancelled Port e-mail request and manually issue a Jeopardy notice to the porting LNP provider via IMA or Fax Gateway. Susie said that the following Jeopardy (JEP) codes will be used: C05 – Design with is Loop with NP and SX – Non Design which is the standard number port. The Jeopardy notification will include the comment: End User has requested cancellation of the Port request. Susie said if the LNP provider does not respond within the 4 business hours which is the standard JEP window, the port order(s) will be canceled and the LSR will be rejected using the Reject code of 814 (No response to C05 or SX Jeopardy from CLEC 4 hours after request for additional info). She said that the CSIE will send a confirmation of the cancellation request and will be sent via email from the CSIE. She said if the LNP provider issues a SUP request within the 4 business hours JEP window, the CSIE will not cancel the pending port request and will respond back to the Notification of Cancelled Port e-mail: Due to a more current request we cannot process your cancel. Bonnie Johnson-Integra said that Qwest appears to be the only CLEC/ILEC implementing this type of process. She asked what action Qwest (2/4/09 Comments to Minutes from Integra) anticipates the NLSP will take when Qwest sends the non fatal jeopardy. Susie Wells-Qwest said they may want to change the due date, update the LSR indicating the end user changed their mind about completing the port request. She that the pending service provider would be sending it back saying that they have talked with the end user and they have changed their mind. Susie said they would SUPP the request advising they have the latest POA or information from the end user that enables them to finish the port request. Bonnie Johnson-Integra (2/4/09 Comments to Minutes from Integra) said so Qwest anticipates the NLSP would be contacting the customer to verify that information. Susie Wells-Qwest said that they would if they Supp’d the request. She said that all of our documentation today states that there has been contact with the customer and that they have the most recent POA. Bonnie Johnson-Integra said that contacting a customer in a 4 hour timeframe is unreasonable. Jennifer Aspeslagh-Comcast asked if the CLEC issues a SUP 3 that the customer wants to port to Comcast, does Qwest notify the reseller via e-mail that Comcast is going to take the customer. She asked if the Reseller can say no and that they have the most recent LOA. She said that there will there be a lot of back and forth. Bonnie Johnson-Integra said she can see that happening. Bonnie referred to page 23, step 7 (LOA) that states: “The OLSP obtains actual authority from the end-user to act as the official agent on behalf of the end-user to cancel the porting request.” She said that the LOA is discussed on page 3 of the document and does not agree with Qwest’s interpretation that the authorization is the standard LOA. She said she believes the Industry document is saying that there will be an actual document where the end user is giving the OLSP authorization to cancel the porting request. Susie Wells-Qwest said that she wanted to address Comcast’s concern of going back and forth. She said that because we have the cutoff time for when all this can occur, it lessens the likelihood of going back and forth. Susie said, for example, the customer has decided to port with us, we send a response back to the Reseller who sent the request. She said that the cutoff times will lessen the likelihood of that reseller wanting to start the whole process over. Bonnie Johnson-Integra said that they could open up a new ticket and say that they have the most recent LOA and start the whole process over. Susie Wells-Qwest said that port request intervals are 3 business days and if the end user were to request to port with one of our customers, that customer would send the LNP request. Susie said that in the meantime (i.e.4-6 hours) the customer says they want to go back to their OLSP. She said that there is no a whole lot of time to work with and the possibility is a lot less with the standard interval being 3 business days. Julia Redman-Carter-McLeod wanted clarification that they have 4 hours to contact their customer and to verify the authorization to determine what the customer wants to do. Susie Wells-Qwest said yes, and that we are following the existing jeopardy notification process and that Qwest will send the jeopardy notification in the standard 4 hour business timeframe. Gloria Velez-AT&T asked at what point Qwest would not accept the e-mail from the provider that they want to cancel. Susie Wells-Qwest said that we would not be able to accept the e-mail past 2 PM MT on the day prior to the port. Jeff Sonnier-Sprint said that they process 70,000 ports weekly with all RBOCs and to introduce Qwest as a 3rd party between Sprint and another CLEC adds complication. Jeff asked how Qwest gets any benefit from this. He said it would be a detriment for them to go through a 3rd party to get back with the end user as well as getting back to the other CLEC who is either taking or giving the number. Bonnie Johnson-Integra asked when Qwest cancels the subscription. Susie Wells-Qwest said that when we receive the e-mail, send out the jeopardy notice and the NLSP has not responded within the four business hour timeframe, Qwest rejects the LSR back to the NSLP. Susie said we then cancel the Qwest service order and notify via e-mail the cancellation of the port request. Bonnie Johnson-Integra said that Qwest does not have these steps outlined in the process. Susan Lorence-Qwest asked what steps Integra was looking for. Bonnie Johnson-Integra said they were looking for the process from end-to-end and should document step- by- step everyone’s responsibilities. Julia Redman-Carter-McLeod said they need to understand what happens before and after. Bonnie Johnson-Integra said that in a previous meeting, Covad stated that Qwest has taken the LSR out of their control. She said that Qwest needs to document this process end-to-end so the end user is not taken out of service. Jeff Sonnier-Sprint said that this process is putting Qwest in the middle of 2 CLECs and the end user with the latest LOA. Jeff said that he did not understand why Qwest would not refer back to the NLSP. Bonnie Johnson-Integra agreed and expressed her concern about Qwest making an interpretation of what documentation is appropriate and does not agree with Qwest’s Interpretation. Bonnie said there should be an actual authorization to cancel the port and the current service provider should provide that document attached to the e-mail sent to the CSIE. Brenda Bloemke-Comcast said that she agreed with the LOA comment. Susie Wells-Qwest said that the process does indicate the most recent authorization whether it is an LOA or another method. Bonnie Johnson-Integra asked where that is in the in the documentation. Bonnie said that the process flow of LNP in the document describes the process flow of LNP. She said that it specifically states that actual authority from the end user to act as the official agent to cancel the porting request. Susan Lorence-Qwest said that what we are getting into questions about the industry document and is not an area that is part of this discussion. Bonnie Johnson-Integra said it should be part of the discussion if Qwest is interpreting the LOA/POA and putting it into the PCAT. Susan Lorence-Qwest said that if there is a question about the interpretation of this document within the community, it needs to go back to the industry forum and should not be part of this discussion. Susan said that Qwest has made an interpretation of the LOA and if there is a question about the interpretation that should be taken back to the appropriate industry group. Julia Redman-Carter-McLeod said that she did not agree and when she gets the notification she wants to see the LOA (2/4/09 Comments to Minutes from Integra) or whatever is is attached that gives the actual authorization information. Julia said that she wants to see the date and time. She said McLeod would not be interested in this process unless they can see or have attached to the e-mail the most recent authorization which would need to include the time of the authorization to prevent making additional calls, sending things back and forth and spending their resources trying to beat a clock. Janean Van Dusen-Qwest asked if the CLECs were requesting that the OLSP who issued the cancel request, provide information as to who they spoke to, the time etc. in the e-mail they send the CSIE. Bonnie Johnson-Integra said that the actual signed document should be attached. Julia Redman-Carter-McLeod said that she has 4 hours when she gets the jeopardy notification to investigate and to call the customer and to determine if they have the most recent LOA. She said that someone else in the meantime calls them again and we go back and forth. Janean Van Dusen-Qwest said that she was not clear on how the information sent to the CSIE will help. Julia Redman-Carter-McLeod said that she was not clear on the process and that this information is very high level. She said that Qwest has left out a lot of things the CLEC needs to coordinate and to communicate to whom and when. Janean Van Dusen-Qwest said that what she is hearing is that that the CLECs want to see the authorization. Julia Redman-Carter-McLeod said that Qwest is cancelling the LSR that used to belong to them. (As a clarification, Qwest is cancelling the port and the internal service order. We are not cancelling the LSR). She said that she wants to know who took it, when, and where did the authority go and at what point they get it back. Janean Van Dusen-Qwest said that she wanted to clarify that the CLECs would like the CSIE to provide the NLSP the information on authorization. Julia Redman-Carter-McLeod clarified that she wanted access to that authorization. Susan Lorence-Qwest asked why this process is different than the initial port request. She asked if the LOA is provided when the NLSP initiates the port request. She said that there is a trust factor for all of this to work appropriately. Julia Redman-Carter-McLeod said that today someone contacts them about a port and you know you are going to lose the customer. She has talked to the party and she can cancel the port and knows that they have the authorization. She said that in this instance someone else is cancelling their LSR, she never saw the authorization, no one contacted them and they were not a player and have nothing to show why that customer went somewhere else. She reiterated that she only has 4 hours and now the LSR is out of their hands. She said that with the 3rd party involvement she has no control. Jeff Sonnier-Sprint agreed and wants the burden of proof on the 3rd party. Susan Lorence-Qwest asked who Sprint was referring to as the 3rd party. Jeff Sonnier-Sprint said that Qwest wants to be involved as a 3rd party because the end user is calling them. Jeff said that if they were doing a port with Integra and we swapped LSR and FOC information back and forth, the end user would call Qwest to ask to remain who they are with (Integra) and Qwest will cancel my LSR. Susie Wells-Qwest said Qwest will only be involved if one of the wholesale customers that we provide service to, i.e. on a Resale or QLSP basis where Qwest is the underlying Network Service Provider. Kim Isaacs-Integra said that Qwest needs to include Qwest retail because they are the most common user of this process. Susie Wells-Qwest said that from a retail perspective, the network SP or from Wholesale QLSP where Qwest is the underlying network provider – She said we have to be involved. Jeff Sonnier-Sprint said that he thought we were saying the same thing. He said that assuming Integra was using Qwest facilities. He said that if they are reusing facilities that Qwest owns as the network service provider is what he is referring to when he talks about 3rd party. Susie Wells-Qwest said that request goes to Qwest and not Integra. She said that you as the NLSP know that Integra has the end user on a resale or QLSP basis will send the port request to Qwest. She said that the only time you would go to Integra is in a facility type situation. Jeff Sonnier-Sprint said that the question of the LOA still stands. He said that he doesn’t want to have to hunt around with a very limited timeframe to try to reach an end user, a 3rd party etc. He said that the end user could just as easily call him and asked why they could not be directed to the new service provider. Janean Van Dusen-Qwest said that the customer will not call Qwest to cancel their request. She said that they either have to go to their OLSP saying they don’t want to leave or go to their NLSP and make those arrangements. Qwest retail will not take those calls. Kim Isaacs-Integra said Qwest retail would advise that Integra is porting a Qwest retail customer. She said that the end user contacts Qwest retail and indicates they don’t want to go with Integra anymore, or someone from Qwest calls them and ask why they are porting to Integra which does happen. Kim said Qwest retail will contact the CSIE and the CSIE will send them a jeopardy saying their port has been cancelled. Janean Van Dusen-Qwest said that she was just addressing scenarios between 2 local CLECs, rather than Qwest. Kim Isaacs-Integra said that they would refer the end user to the NLSP. Gloria Velez-AT&T said that if there are 2 CLECs, excluding Qwest, then Qwest wouldn’t need to be involved at all. Janean Van Dusen-Qwest said that she was addressing Sprint’s scenario. Gloria Velez-AT&T asked if QLSP translates to Qwest Retail. Susie Wells-Qwest said that it is a form of Qwest retail or the old UNE-P, QPP. Susie said that it stands for Qwest Local Service Platform. Susan Lorence-Qwest said that it appears the biggest issue is having authorization attached to the e-mail and that there is either a document included with a date and time stamp of the current LOA/POA. Bonnie Johnson-Integra said that she wanted to make it very clear regarding Integra’s concern with Qwest’s interpretation of what/when authorization is appropriate. She said that Qwest is refusing to discuss their interpretation. Susan Lorence-Qwest said that Qwest is not refusing to discuss but discussing the industry document in detail is not appropriate for this call. Susan said Qwest Qwest is not refusing to discuss but discussing the industry document in detail is not appropriate for this call. Susan said Qwest is proposing a port process that Qwest has interpreted and believes is in support of what the Industry document says. She said that if there is a broader question about the interpretation of the industry document, there is a forum where that discussion should reside. Julia Redman-Carter-McLeod said if that is the case it would be appropriate for the CLECs to determine what is adequate for the documentation. Susan Lorence-Qwest said that we have captured that concern and will take it as an action item. Bonnie Johnson-Integra said that if Qwest is going to make an interpretation on behalf of everyone, she does not agree. Bonnie said if Qwest wants to update the PCAT (2/4/09 Comments to Minutes from Integra) the information the same as the LNP document, they will not object and is subject to interpretation for the reader. She said that if Qwest makes an interpretation then Qwest has an obligation to advise who in the Industry they talked to. Bonnie said that if Qwest wants to make the interpretation for its own company they can do that but not for everyone else. She said that in the event Qwest accepts the LOA/POA and later the interpretation may be incorrect. Susie Wells-Qwest said that step 7 on page 23 “The OLSP obtains actual authority from the end-user to act as the official agent on behalf of the end-user to cancel the porting request. The OLSP is responsible for demonstrating such authority as necessary”. Bonnie Johnson-Integra said if that is what Qwest wants to document in the PCAT she does not object. Denise Martinez-Qwest asked Integra to provide their view on their interpretation so that Qwest can better understand why we are going down different paths. Bonnie Johnson-Integra said that their interpretation is exactly what it states. She said the way it is worded the OLSP obtains actual authority from the end-user to act as the official agent on behalf of the end-user to cancel the porting request. Bonnie said that the document is saying that it is not just the standard LOA and also includes actual authorization to cancel a pending port. Denise Martinez-Qwest said that Integra sees this as a document and if you were contacted by the end user you would not take this as a verbal. You are looking for a different document. Bonnie Johnson-Integra said that she believed it could be a LOA with additional paragraph and interprets that as a document and specifically says that the end user is giving the OLSP authority to cancel the porting request. Julia Redman-Carter-McLeod said that she agreed with Integra and is looking for something that specifically says that the OLSP has the authority to cancel the pending port. Bonnie Johnson-Integra said that on page 3 NLSP obtains authority LOA from the end user to act as the official agent of the end user. She said that in the cancellation it says to add that they have authority to cancel the request. She said that if the industry anticipated that the LOA was going to serve the purpose you would see this sentence in number 7 of the cancellation and it is not. Susan Lorence-Qwest said that Qwest has captured the concern. Susan said that Denise Martinez-Qwest will talk about the jeopardy codes of CO5 and SX. Kim Isaacs-Integra said the CO5 is used with LNP and LNP with Loop orders and so including the SX jeopardy in the process implies that Qwest will be cancelling implies that you are going to cancel LSRs to convert retail to resale or QLSP and resale QLSP to retail QLSP. Bonnie Johnson-Integra said that the codes are conflicting with the products you are implementing the process for. Denise Martinez-Qwest said, for example, if you had a POTS service with the associated TN to be ported that is when we would use SX. Denise said if we were porting a TN that was associated to a design service i.e. DID trunk, we would use the CO5. Kim Isaacs-Integra said that is not how Qwest is using them today. She said the CO5 is used on Unbundled Loops, LNP, and LNP with Unbundled loops. Denise Martinez-Qwest asked if Integra could share examples of where the codes are not being applied correctly. She said that the application of the codes is based on what the current Qwest service is and whether we have a POTS service or a design service. Denise said that we are not just using it for number portability. Kim Isaacs-Integra said that she did not think Qwest understood what Qwest’s Centers are doing. She said that they are applying the code based on the product. Denise Martinez-Qwest said that it should be applied based on the product that it is coming from and if Integra could provide examples we would be happy to research. Bonnie Johnson-Integra said that Qwest has the data too. Denise Martinez-Qwest said that if there is a problem, Qwest would like to research. Kim Isaacs-Integra said that the Qwest center is using the jeopardy codes based on where the product is going to. She said a port order with LNP will receive a CO5 or CO1 jeopardy and not the SX jeopardy. Kim said that the language implies that if it goes to resale/QLSP, Qwest will also cancel those. Denise Martinez-Qwest said that is not what we are trying to relay and will take this issue offline. Denise said that regardless of the code, the intent was to be able to send you notifications regarding an issue after the FOC has been sent because there was not a way we could send an error or reject code. She said the reason the process was put in place initially was so that we could mechanically send notifications after FOC. Denise said that we have a design and non design code and if they are being applied incorrectly we will fix that. She said that we are using the codes to identify for you a condition that exists which is a cancellation from the end user. She said that Qwest is sending the jeopardies so that you can take whatever steps within your company. 2/3/09 - Subsequent to the call, Denise analyzed 23 LNP and Loop with NP LSRs. One request had been identified incorrectly. The LSR had a mixture of one non-designed and three designed orders yet the SDC had marked all orders as designed. Denise will send a notification to the Centers to correct this misunderstanding. We appreciate that Kim brought this to our attention. On a good note, anything processed through FTS has the correct logic to determine non-design and design on an individual order basis. Lastly, this should still not impact this process. The jeopardy codes of SX and C05 only define design and non-design. They do not define a product type. The Remark for porting or loop with port jeopardy notices specifically indicate that the End User has requested cancellation of the port requested. Bonnie Johnson-Integra cited examples: if Integra sends an LNP only request (Qwest Retail) and ports all the numbers on the account, Qwest retail or any CLEC can use this process. Bonnie said that if the NLSP is issuing the LNP order, the OLSP, if Qwest is the Network provider can use this process. If Integra sends the LNP with Loop order and Qwest is the old Network provider the OLSP can use this process. Bonnie asked if Integra sends the order to convert either on a port into Qwest or a conversion from Qwest retail to QLSP can the OLSP use this process. Susie Wells-Qwest said no, if porting is not involved. Bonnie Johnson-Integra said that she provided examples of both. She said one example referred to when they were ordering QLSP with another CLEC and is a port into Qwest as QLSP. Susie Wells-Qwest said the answer to the 1st question would depend on if the other service provider that you are trying to port from wants to use this process. She said the Network Service Provider has their own facilities and you order the service through QLSP as a port in. She said we let that service provider know that we are going to port in this customer. Susie that they can FOC us and say fine and at some point if their customer says they have changed my mind and request to cancel the port for them, they can turn around and use this process to cancel the port. Susie said that this is an optional process for any service provider who wishes to use it. Bonnie Johnson-Integra said that in that case your description that it applies to LNP and LNP with Port only is inaccurate. Susie Wells-Qwest said that on behalf of Qwest, it’s not inaccurate because we don’t have any control over what other service providers do, decide to keep, or retain to keep care of their customers that are getting ready to leave. Susie said it doesn’t have anything to do with our porting process because that would not change. She said it depends on how the other service provider handles their port out process. Bonnie Johnson-Integra said that Qwest has indicated in this document that this applies to LNP and LNP with Loop with number port only. She said that per Qwest’s documentation the NLSP has to have ordered one of those 2 products. Susie Wells-Qwest said agreed and that they would have sent us a standard number port request which means they are not requesting the facilities; they just want the number ported. Bonnie Johnson-Integra said if they ordered QLSP, with the process written today, it would not apply. Susie Wells-Qwest said that was correct and said that it would only apply to port LNP or port out from Qwest. She said that the intent in this scenario is when an end user decides they don’t want to port away, we give that end user the option of contacting you as the reseller or QLSP provider or Qwest Retail when they change their mind. Julia Redman-Carter-McLeod asked if the NLSP defines which process is being used. Susie Wells-Qwest said that the OLSP defines the process from Qwest’s standpoint. Susie addressed Integra’s example. Susie said that if Integra has a customer that belongs to McLeod and Qwest is the underlying network service provider, they can provide their own facilities. Susie said that request to port in this customer (QLSP or Retail) that makes Qwest the underlying Network Service provider. She said that we get the request and if you have sent in a standard port request and you want us to provide new facilities on your behalf to that end user, we will do that. Susie said that if you ask that we try to reclaim an UBL we will go to McLeod with the LSR and say that we are requesting to port in this number either just as a standard number port or request UBL. She said that in this instance McLeod is the OLSP so we will FOC and we have everything ready to go. She said that the customer may choose not to go to Integra and stay with McLeod and request them to cancel the port request. Susie said that depending on the process that McLeod wants to use, it is their choice as the OLSP, to tell their end user that they have to contact Integra to cancel the request or they can come back to Qwest and say on behalf of their end user they are cancelling the request. Bonnie Johnson-Integra said that earlier she understood that the only time that the process of sending an e-mail to the CSIE as the NLSP order is with LNP only and LNP with Loop only. Bonnie said that if they ordered QLSP the answer is yes. Gloria Velez-AT&T said that she was confused as well. Susan Lorence-Qwest said that we do have another call in a week and we will provide a matrix to show under what conditions this optional process applies. Bonnie Johnson-Integra said that at the beginning of the call that she expressed Integra’s concern about their being any limitations. Bonnie said that if Qwest is going to implement this process, it needs to be implemented regardless of what products the OSLP is using to service the customer or how the NLSP is ordering from Qwest. Susan Lorence-Qwest said that we have Integra’s initial concern noted. Gloria Velez-AT&T asked when Qwest was talking about the jeopardy process and not receiving the supp within 4 hours, the company that initiated the LSR would get another response coming from and asked what that response would be. Susan Lorence-Qwest said that we will take that note and provide the flow and we can’t put down what the NLP is going to do but if we can provide examples of when we receive something back within the 4 hours and if we didn’t receive something back. Gloria Velez-AT&T said that the new company initiating the LSR and when there is no response within the 4 hours issue a supp. She said that Qwest will be sending another response. She said that the company that issues the LSR will be getting another response and in the flow doesn’t work that way. She said that in the flow the Network Service provider issues a jeopardy and they wait for something and if they don’t get anything they don’t send another response. Denise Martinez-Qwest said we were describing the current jeopardy process for CO5 and SX. She said that we send a jeopardy notice and if the company does not respond within 4 hours, we send a reject code of 814 that indicates there is no response to the CO5 and SX jeopardy. Denise said that it is in a final condition and the LSR is in a rejected state. Gloria Velez-AT&T said that Qwest is not doing that today. Denise Martinez-Qwest said that we are, and if we send the CO5 or SX jeopardy and don’t get a response within 4 hours, Qwest is sending a reject. Reference the Ordering Overview, then see the Error/Reject Notice Matrix, specifically the last row at http://www.qwest.com/wholesale/clecs/ordering.html Susan Lorence-Qwest said that we have a call scheduled on 2/3/09 from 9:30 am to 11:00 am and an agenda will be provided by Monday, 2/2/09.


Open Product/Process CR PC091001-1 Detail

 
Title: Mandatory tagging of both ILEC and CLEC circuit Ids at installation
CR Number Current Status
Date
Area Impacted Products Impacted

PC091001-1 Completed
1/17/2002
Installation WFA-C and T1s
Originator: Kratzer, Walter
Originator Company Name: SBC
Owner: Meehan, Terrance
Director:
CR PM:

Description Of Change

Have Qwest installers tag both ILEC and CLEC circuit Ids when new circuit installed.


Status History

09/07/01 - CR Received from Walter Kratzer of SBC Telecom

09/10/01 - CR status changed to New - to be Reviewed

09/10/01 - Updated CR sent to Walter Kratzer of SBC

09/19/01 - Qwest requested and obtained clarification from SBC.

09/27/01 - Held Clarification Meeting with SBC.

10/09/01 - Draft Response posted to database.

10/17/01 - Draft response presented. Qwest issued formal response to CLEC community. Status changed to CLEC Test.

11/14/01 - SBC respresentative was not available at the November CMP meeting to respond to Qwest on this CR.

12/12/01 - CMP Meeting - CLEC participants agreed to have Qwest confirm with SBC whether the CR can be closed.

12/17/01 - Telephone conversation with Walter Kratzer, SBC. SBC hasn't had the opportunity to process an order under the process. They would like to have the CR left open and in CLEC Test.

01/16/02 - CMP Meeting - SBC's Walter Kratzer wasn't present at the meeting and it was requested that Qwest confirm with Mr. Kratzer whether the CR can be closed.

01/17/02 - Voice mail received from Walter Kratzer advising that the CR can be closed. Qwest left return voice mail requesting e-mail confirmation.

01/17/02 - Received e-mail confirmation from Walter Kratzer, SBC, that the CR can be closed.


Project Meetings

Subject: Circuit Tagging Date: Thu, 17 Jan 2002 16:19:57 -0600 From: "KRATZER SR, WALTER J (SBCTI)" To: rhmart2@qwest.com

Rick: Please close CR PC091001-1 in which we asked Qwest to tag our circuits with both Qwest and SBC Telecom IDs. Thanks, Wally

Walter J. Kratzer Sr. Network Service Center SBC Telecom, Inc. Office: 214-689-7443 Pager: 888-472-1990

-

Thursday, September 27, 2001, 10:00 p.m. (MDT)

Alignment/Clarification Meeting Introduction of Attendees Walter Kratzer, wk4736@txmail.sbc.com, SBC Telecom Terry Wicks, terry.wicks@algx.com, Allegiance Terry Meehan, tmeehan@qwest.com, Qwest Cindy Buckmaster, cbuckma@qwest.com, Qwest Kate Spry, kspry@qwest.com, Qwest Wally, Terry W., Terry M., Cindy, and Kate Review Requested (Description of) Change At demark, SBC Telecom would like both of the Qwest’s and CLEC circuit IDs on smart jacks to be tagged at installation. Confirm Areas & Products Impacted Areas: Installation Products: WFA-C Confirm Right Personnel Involved Terry Meehan is the ‘owner’ of this CR and will be the point of contact for future problems of this nature until the root cause is established and draft response issued. Cindy will forward necessary System Contact information to Kate. Terry Wicks would like to stay informed as to response. Kate will coordinate all necessary clarification meetings, complete meeting minutes, and review, forward, and send information to Michael Belt and Matt Rossi to store to database. Identify/Confirm CLEC’s Expectation Per SBC Telecom, they want both SBCT and Qwest circuit Ids tagged at the demarc. For example, both Ids should be placed on a smart jack on a T1 installation or the Subscriber Network Interface on a UNE loop. Allegiance mentioned they would like phone numbers on their circuit Ids as well. Per Terry M., we do not tag circuit Ids currently because we are not provided with the information from the CLECs to do so, or it is not consistent. Per Cindy, when information is populated into the system by the CLECs, the information field that would provide the ID #s is not active for the CLECs. Qwest needs to find out if this is something that we can change. Cindy will look into who could answer that system question for us. She believes it is Jim Benedict with WFA-C. Terry M. stated that Qwest has no problems tagging with circuit Ids if we have the information at the time, however we will not search for the Id numbers if they aren’t provided and we also won’t go back and retag if all circuit Ids are provided. Also, the CLECs are welcome to tag Ids if they are at the sites. Identify any Dependent Systems Change Requests No related system CR’s were identified Establish Action Plan (Resolution Time Frame) Terry M. will clarify this process via a written formal response draft. After clarification is received regarding possible system changes. He will forward this documentation to Kate by 10/19/01. Cindy will look into who could answer that system question for us and forward the information to Kate by 10/5/01. Kate will arrange to hold a systems meeting with Terry M and the identified, Qwest systems personnel to discuss response options. Kate will review and forward the response draft to Michael Belt and Matt Rossi to store in the CR database by 10/19/01 for CLEC review. The web location will be noted in Matt Rossi’s email regarding the response document by 10/22/01. This information can then be reviewed and discussed by the CLEC Community at the following CMP Meeting. Wally can view this information on the CR database and this CR can then be reviewed and discussed by the CLEC Community at the following CMP Meeting. Corrections/updates can then be made at that time.

Date: Wed, 19 Sep 2001 10:38:53 -0500 From: KRATZER SR, WALTER J (SBCTI) To: kspry@qwest.com CC: SORIANO, DEBBI (SBCTI)

Kate: We want both SBCT and Qwest circuit IDs tagged at the demarc. For example, both IDs should be placed on a smart jack on a T1 installation or the Subscriber Network Interface on a UNE loop. The locations you mention appear to be internal Qwest locations which you need not tag with our IDs. When I was a technician with SWBT's InterExchange Carrier Center in St. Louis tagging with the SWBT ID and the IEC ID was a requirement for SWBT installers. This was done as tagging both IDs at the demarc facilitates both companies trouble shooting. Thanks, Wally

From: Kate Spry [mailto:kspry@qwest.com] Sent: Wednesday, September 19, 2001 10:02 AM To: KRATZER SR, WALTER J (SBCTI) Subject: PCCR091001-1 Tagging ILEC & CLEC circuit IDs Walter,

I received your change request #PCCR091001-1 for the mandatory tagging of both ILEC and CLEC circuit ID's at installation. I have been trying to find an owner for this CR however there are a number of questions coming up before we can assign this to someone:

Is this at the circuit level? Where go you want these tagged (i.e. splitters for dsl, CFA block, 4-10 blocks, unbundled, tagged in db)?

We really need more information on this CR before we can process it. Please let me know. Thanks.

Kate Spry (303) 896-0547


CenturyLink Response

10/09/01 Final Response Kratzer, Walter SBC

CC: Fred Aesquivel

This letter is in response to your CLEC Change Request Form, number PC091001-1 dated 09/07/01 Mandatory tagging of both ILEC and CLEC circuit ids at installation.

Qwest will not require "mandatory" tagging of both ILEC and CLEC circuit ids at installation, because the ID numbering information is passed by the CLEC to Qwest via the LSR CKR field. This is currently only an optional data field on the LSR and the information is not consistently received by all CLECs. A recent sample indicated that this information was only available approximately half of the time. On field dispatched provisioning orders, Qwest has no problems with tagging both circuit IDs when the CLEC completes the CKR field with the ID numbering information via the WORD document, although we will not delay the provisioning process seeking this information. Qwest also has no problems with the CLEC tagging the IDs if they happen to be on site.

Another option would be to make the CKR field on the LSR a "required" field, however this would impact all CLECs and all CLECs would have to agree to this process of providing this data on every order. If all CLECs agree to make the CKR field a required data field, then this CR would roll into a systems change request for coding updates.

Sincerely,

Terrance Meehan Lead Process Analyst


Open Product/Process CR PC100401-2 Detail

 
Title: Provision of Rated vs. Un rated usage, when applicable, regardless of CLEC status (resale, facility based, etc.). (Reference Systems CR # SCR112101 1)
CR Number Current Status
Date
Area Impacted Products Impacted

PC100401-2 Completed
12/14/2001
Billing
Originator: Dampier, Reginald
Originator Company Name: SBC
Owner: Zimmerman, Alan
Director:
CR PM:

Description Of Change

SBCT is receiving unrated EMI records for coin/inmate calls (10-01-31 records with Indicator 01=1 and Indicator 16=2). The billing telephone numbers are SBCT's customers. But since SBCT does not offer an "inmate" type of service to its customers, we verified the originating telephone numbers for these records and found these originating numbers not to be SBCT's customers.

Given the above, we believe that QWEST should send us rated usage records so that we can, on QWEST behalf, bill the SBCT customer that apparently accepted the call. In other words, we should receive rated records from QWEST via the standard incollect/outcollect process that is handled through CMDS. QWEST was also billing these calls on our paper bills (at a resale discount), but this is incorrect, these calls are not subject to a resale discount, since the calls were made not on a resale or facilities basis. Qwest did state that the discounted rates should have not been applied (which SBCT agrees w/). We dispute Qwest billings to SBCT of these calls.

Qwest is the only ILEC in that their daily usage file doesn’t contain rated records, and in addition, Qwest has told SBCT that we should use the calls reported on the summary bill and bill SBCT's customer at SBCT's rates.

We again explained that we could not rate the call, since the charges are QWEST's. We noted that we are not able to use the summary bill that QWEST talked about and indicated that industry practice would be for QWEST to send rated EMI records.


Status History

10/02/01 - CR received from Reggie Dampier of SBC

10/04/01 - CR Status changed to Submitted

10/04/01 - Updated CR sent to Reggie Dampier of SBC

10/16/01 - Requested "Clarification Meeting" with SBC. SBC (Reggie Dampier) to provide several time frames for scheduling purposes.

10/17/01 - CMP Meeting: Reggie Dampier, SBC Telecom presented CR as a walk-on agenda item for clarification.

10/25/01 - Letter received from SBC providing additional clarification of CR.

10/29/01 - Clarification meeting conducted with submitting CLEC (Reggie Dampier, SBC).

10/31/01 - Clarification response received from SBC.

11/14/01 - CMP Meeting - CR was clarified with the CLECs. CLECs are to assess internally how they want to be rated. Qwest to prepare its draft response and open a systems CR.

11/21/01 - Systems CR drafted by CRPM and submitted ( SCR112101-1).

12/06/01 - Qwest Draft Response (dated 12/05/01) transmitted to SBC Telecom.

12/12/01 - CMP Meeting - Alan Zimmerman, Qwest provided status on the Qwest response indicating that the Rated vs. Un-rated Usage would be address under Systems CR no. SCR112101-1. SBC (originating CLEC) was not in attendance. Judy Schultz, Qwest indicated that SBC would be contacted to determine if "CR Status" could be changed to "Completed" prior to the next monthly meeting.

12/14/01 - Reggie Dampier (SBC) contacted via telephone & indicated that "CR Status" can be changed to "Completed."

12/19/01 - Qwest response (dated 12/5/01) posted in CMP data base.


Project Meetings

This e-mail below from SBC. It provides responses to questions raised in the clarification meeting held on 29-Oct-01.

Subject: FW: Clarification of unrated vs. rated calls, Qwest Change Date: Wed, 31 Oct 2001 10:05:59 -0600 From: "DAMPIER, REGGIE (SBCSI)" To: "Zimmerman, Alan" ,"'pwirth@qwest.com'" CC: "NAPPIER, THOMAS G (SBCSI)" ,"MUELLER, KAREN (SBCSI)" ,"DAMPIER, REGGIE (SBCSI)"

Our SME states that if a call originates w/ a Qwest customer, such as these particular collect inmate calls do, OBF standards should be followed and the calls should be rated (this is response for Questions: 1) is this change request just for the inmate collect coin calls OR is our change request pertain to ALL incollects calls? and 2) the request to rate these types of calls pertains to resale, UNE, and facility-based (same as UNE)?

Reggie Dampier OBC 905 Chestnut, Suite 26-T-03 St. Louis, MO 63101 314-235-6369 RD5335@momail.sbc.com

-- Alignment/Clarification Meeting 1:30 p.m. (MT) / Monday 29th October 2001

1-866-289-7092 PC741-1286 # PCCR100401-2 Provision of Rated vs. Unrated usage, when applicable, regardless of CLEC status (resale, facility based, etc.)

Attendees: Peter Wirth - Qwest Alan Zimmerman - Qwest Reggie Dampier - SBC Telecommunications

Meeting Agenda: 1.0 Introduction of Attendees All attendees introduced. 2.0 Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} CR description discussed & reviewed by all parties. Additional clarification from SBC required for the following: 1) Does provision of rated vs. unrated usage address all incollect or just inmate calls?; and 2) Does rated vs. unrated usage address resold or UNI, or both? SBC to provide input back to Qwest.

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} Billing.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Parties agreed correct personnel were on call. Karen Mueller, SBC identified as SBC SME for purposes of this CR. Contact: (314) 235-0880.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measurable terms ie provide a documented process, change a process to include training etc)} Obtain rated equivalents for applicable records currently unrated originating from Qwest.

6.0 Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts} None identified.

7.0 Establish Action Plan (Resolution Time Frame) {state action required, who will be responsible and by when} Proceed with CR evaluation and response development.

- Letter (email) from Debbi Soriano, SBC, dated Oct 25, 2001, regarding PCCR 100401-2 To our fellow CLECs, operating within Qwest franchised territories:

I send you greetings, and wish you well.

As the billing Subject Matter Expert for SBC Telecom, Inc. (SBCT), my job duties include reviewing interconnection agreements to ensure that our billing organization has the appropriate language in place to process our end-user data, access data, reciprocal compensation data, and to ensure that our billing, and data feeds are correctly addressed.

The purpose of this letter is to provide clarification of a process change that SBCT has submitted via Qwest's change management process.

Qwest personnel have yet to contact me (as per their guidelines), to clarify this new issue. Therefore, I've included additional verbiage below, in order to help clarify the issue generating SBCT’s change request. SBCT would like your support on this issue, since it is likely your company is experiencing the same difficulty. It is SBCT’s goal to have Qwest resolve the issue in such a way that industry guidelines are met so that each company can accurately and effectively bill its end user customers.

In short, the issue is that alternately billed calls originated by Qwest end-user customers, and billed to SBCT end-user customers are being sent as unrated EMI records off of the daily usage file. Specifically, the calls that are of concern to SBCT are collect coin/inmate calls (10-01-31 records with Indicator 01=1 and Indicator 16=2). SBCT has verified that the billing (and terminating) telephone numbers are SBCT’s end-user customers. SBCT has also verified that the originating numbers are inmate facilities served by Qwest.

Normally, in the voice telephony world, all of us bill on behalf of other telco companies, since our end-user customers frequently travel to other places and have a need to place alternately billed calls. Therefore, a process, such as CMDS, has been put in place to assist in the billing and revenue settlements associated with these calls. Each of us uses either direct feeds or CMDS to deliver these types of calls to each other. The expectation being that the originating company will send rated EMI records to the billing company to eliminate the need for each of the companies to have to maintain rating tables for the entire country and to ensure that the company who incurs the cost for transporting the call also receives the revenue.

SBCT contends that Qwest is not relieved of this obligation just because a CLEC is serving its end-user customers via resale of Qwest service. The alternately billed calls in question still belong to Qwest. Since these calls are originated by Qwest customers and transverse the Qwest network, Qwest is entitled to the revenue. Only Qwest is able to determine what rates should be charged to recover the cost of setting up and transporting the call. Therefore Qwest should send rated EMI records via a CMDS or a direct feed process just as they would if the billed customer were not served via resale of Qwest service.

The process Qwest is using is wrong. Qwest is treating the rating and billing of alternately billed calls differently depending upon whether a CLEC customer to be billed, is provided service via resale of Qwest facilities or using its own facilities or being 3rd number billed for calls that do not fall under the scope of an ICA (e.g., our end-user customer has accepted charges for a call incurred within Qwest territory by a Qwest end-user customer). SBCT has repeatedly explained to Qwest personnel that SBCT could not rate the calls, since the charges are Qwest's. SBCT noted that industry practice would be for Qwest to send rated EMI records. Qwest did not agree.

Furthermore, Qwest personnel indicated that a CLEC should use the CLEC’s rates for the calls that Qwest bills on SBCT’s summary paper bills, and transpose those rates onto each call recording to bill its end-users customers. This is somewhat difficult to do. First, SBCT (or any other CLEC) would have to examine each summary bill received from Qwest and rate the unrated calls received via the daily usage file. Then get the SBCT rated calls into the files in order to guide and bill these calls to the end-user customers on behalf of Qwest.

In short, the solution to this problem is simple. Qwest should record and rate calls that belong to Qwest, and correct the edits in place at Qwest that incorrectly guide these unrated calls to any CLEC, e.g., do not use the billing telephone number edit that incorrectly guides these unrated calls to a CLEC. Furthermore, Qwest should deliver the rated calls per normal industry practices (as we all do), so these rated calls can be placed on the end-user customer's bills by the 'bill to' company.

If you have any comments, suggestions, etc., I can be reached at the below contact numbers.

Sincerely,

Reggie Dampier

Reggie Dampier OBC 905 Chestnut, Suite 26-T-03 St. Louis, MO 63101 314-235-6369 RD5335@momail.sbc.com


CenturyLink Response

December 5, 2001

Reggie Dampier, Business Manager SBC Telecom, Inc.

Cc: Susan Burson Michael Buck

This letter is in response to your CLEC Product & Process Change Request (CR) Form No. PC100401-2 "Provision of Rated vs. Unrated usage, when applicable, regardless of CLEC status (resale, facility-based, etc.)."

In order to accomplish this request, modifications are required in the Qwest Customer Records Network Information (CRIS) system. Hence, this request needs to be considered as part of the Qwest Systems Change Management Process. Qwest is proposing to close out this Product & Process CR, and has opened CR No. SCR112101-1 in the Systems Change Management forum so that the system issues can be properly considered.

Sincerely,

Alan Zimmerman Qwest Wholesale Billing Manager


Open Product/Process CR PC073007-1 Detail

 
Title: Reduction in LNP Interval (Simple Port / No Qwest Facilities)
CR Number Current Status
Date
Area Impacted Products Impacted

PC073007-1 Denied
9/11/2007
Provisioning LNP
Originator: Sonnier, Jeff
Originator Company Name: Sprint
Owner: Coyne, Mark
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Sprint requests that Qwest change their standard interval for LNP (REQTYP=CB) orders from 3 business days to 1 business day. This change would bring the interval in-line with the time frames used for wireless porting. Based on recent determinations that the two processes are very similar for simple ports, and there are no facilities involved with the change, we feel this request is justified. Additionally, OBF/LSOP Issue 3065 was put into final closure at the May OBF meeting to reduce the number of fields required on a simple port order (ELT=A or B).


Status History


Project Meetings

September 19, 2007 Product Process CMP Meeting Discussion: Mark Coyne-Qwest stated that this CR was submitted by Sprint and that Susie Wells (Qwest) would address the Qwest response. Susie Wells-Qwest stated that the current three business day interval is currently shorter than the 4 days recommended by the FCC which includes 24 hours for the FOC and the three day interval absorbs that FOC interval. The proposed change to the due date interval would pose potential risks to Qwest and to the customer. Porting triggers must be set by 11:59PM the day before the due date. A shortened interval to 1 day would not allow Qwest sufficient time to correct errors or detect issues when the triggers are not automatically set. Even with the current 3 day interval today, Qwest is often requested to work back port orders due to out of service conditions. A shortening of the porting interval would most likely increase the number of customer service issues and result in increased work backs for Qwest. Qwest is therefore denying your request for no demonstrable business benefit due to the increased risk of customer service outages. Susie then asked if there were any questions. Jeff Sonnier-Sprint thanked Susie (Wells-Qwest) for the clarification and asked if Qwest had any idea as to how many last minute changes or cancellations there are. Jeff asked for the percentage. Susie Wells-Qwest stated that she did not have that data at the moment and would gather the information and respond offline. Mark Coyne-Qwest asked if the question is in regard to the number of work backs. Susie Wells-Qwest asked to clarify that the request is for the number of last minute cancels. Jeff Sonnier-Sprint said that it is for cancels. Bonnie Johnson-Eschelon asked if this request is for a single port, single TN, and no reuse of facilities. Jeff Sonnier-Sprint restated that it is for LNP only. Bonnie Johnson-Eschelon stated that the response can then be limited to a simple port and noted that those requests would be different, depending on what one is looking at. Mark Coyne-Qwest stated that we would take this offline and share the information via either the Monthly CMP Meeting Minutes or would send a separate email. Susie Wells-Qwest agreed. NOTE: IMA does not have an indicator that can identify if an LSR request is for a simple port or a complex port. The research has indicated that 20% of Ports, that did not include a facility request with the order, have been either cancelled or the Port orders have had due date changes at the last minute.

- September 11, 2007 Email Sent to Sprint: Jeff, This email is to provide you with the Qwest response for your submitted Change Request PC073007-1 Reduction in LNP Interval (Simple Port / No Qwest Facilities). The response is located in the Qwest Response portion of the attached document. This CR will be included in the September Product Process CMP Distribution Package. The September CMP Meeting is scheduled to occur on September 19, 2007. Thank you, Peggy Esquibel-Reed Qwest Wholesale CMP

- August 15, 2007 Product Process CMP Meeting Discussion: Jeff Sonnier-Sprint presented the CR and noted that the CR results from their cable partners encouraging Sprint to work with their ILECs for a 1-line residential customer interval from 3-days to 1-day. Jeff stated that this would be when there are no facilities on Sprint new connects that would involve Qwest. Jeff said that he is hoping that Qwest will analyze this request and respond next month. Mark Coyne-Qwest stated that the Clarification Call had been held and that Qwest is meeting internally in order to analyze the request and stated that Qwest would provide status next month. This CR moves to Presented Status.

-- August 13, 2007: No Feedback Received For 8/8/07 Clarification Meeting Minutes.

August 8, 2007 Email Sent to Jeff Sonnier-Sprint and Kim Isaacs-Eschelon: Good Afternoon, I have attached the meeting minutes from the August 6th Clarification Call for PC073007-1 Reduction in LNP Interval (Simple Port/No Qwest Facilities). Please review the document to ensure that your comments were captured accurately. Please provide your proposed changes no later than 9:00 a.m. MT, Friday, August 10, 2007. Please track your changes. Thank you, Peggy Esquibel-Reed Qwest Wholesale CMP

- August 6, 2007 Clarification Meeting PC073007-1 Reduction in LNP Interval (Simple Port / No Qwest Facilities) Introduction of Attendees: Jeff Sonnier-Sprint, Kim Isaacs-Eschelon, Peggy Esquibel Reed-Qwest, Vicki Dryden-Qwest, Susie Wells- Qwest, Connee Moffatt-Qwest, Carol McKenzie-Qwest, Denise Martinez-Qwest, Chuck Anderson-Qwest Review Requested (Description of) Change: Peggy Esquibel Reed-Qwest reviewed the CRs title and description of change Peggy Esquibel Reed-Qwest asked if Sprint had any additional information to share regarding this request. Jeff Sonnier-Sprint noted that his customer’s are pushing for this request from all of the ILECs. Peggy Esquibel Reed-Qwest stated that the Exception Process Requested check box was marked on the submitted CR and asked if there was an exception to the process being requested or if the box was checked in error. Jeff Sonnier-Sprint stated that the box was checked in error. Confirmed Impacted Area(s): Peggy Esquibel Reed-Qwest confirmed that this request is for Provisioning Confirmed Impacted Products: Peggy Esquibel Reed-Qwest confirmed that this request is specifically for LNP / REQTYP = CB, and ACT = V, W, or Z. Confirmed Impacted Interfaces: Peggy Esquibel Reed-Qwest stated that this request was marked as both Product Process and Systems. Peggy stated that it may be only a Product Process change and that no systems work should be required. Jeff Sonnier-Sprint stated that from a systems perspective, if this request is accepted, it would be for orders to be accepted. Kim Isaacs-Eschelon asked Jeff (Sonnier-Sprint) to define a simple port. Kim asked if he was referring to a 1-line residential. Jeff Sonnier-Sprint said yes, with no facilities involved. Peggy Esquibel Reed-Qwest asked if there were any additional questions. There were none brought forward. Peggy Esquibel Reed-Qwest then stated that this CR is scheduled for Sprint to present the CR to the CLEC Community at the August 15th Product Process CMP Meeting. Peggy then noted that Qwest would then provide the response to this request by the September CMP Meeting. The meeting was concluded.

-


CenturyLink Response

Qwest Response September 11, 2007

For Review by the CLEC Community and Discussion at the September 2007 CMP Meeting

To: Jeff Sonnier, Sprint

This letter is in response to CLEC Change Request number PC073007-1 Reduction in LNP Interval (Simple Port / No Qwest Facilities)

CR Description as written by Sprint: Sprint requests that Qwest change their standard interval for LNP (REQTYP=CB) orders from 3 business days to 1 business day. This change would bring the interval in-line with the time frames used for wireless porting. Based on recent determinations that the two processes are very similar for simple ports, and there are no facilities involved with the change, we feel this request is justified. Additionally, OBF/LSOP Issue 3065 was put into final closure at the May OBF meeting to reduce the number of fields required on a simple port order (ELT=A or B).

Qwest Response: Qwest’s three business day interval is currently shorter than the 4 days recommended by the FCC which includes 24 hours for the FOC. Qwest’s three day interval absorbs the FOC interval, whether the request is electronic or manual.

The proposed change to the due date interval would pose potential risks to Qwest and to the customer. Porting triggers must be set by 11:59PM the day before the due date. A shortened interval to 1 day would not allow Qwest sufficient time to correct errors or detect issues when the triggers are not automatically set.

Even with the current 3 day interval today, Qwest is often requested to work back port orders due to out of service conditions. A shortening of the porting interval would most likely increase the number of customer service issues and result in increased work backs for Qwest.

Qwest is therefore denying your request for PC073007-1 for no demonstrable business benefit due to the increased risk of customer service outages, and due to the fact that shortening the interval would increase the risk of the triggers not being set and worked in a timely manner within the NPAC existing interval of 18 business hours.

Sincerely, Qwest Corporation


Open Product/Process CR PC081815-1 Detail

 
Title: Same day order acceptance change request to next day if order is not completed before 12PM.
CR Number Current Status
Date
Area Impacted Products Impacted

PC081815-1 Completed
1/14/2016
Provisioning UNE Loop and EEL - DS1 UNE
Originator: Cox, Rod
Originator Company Name: TDS Metrocom/USLink
Owner: Harmon, Linda
Director:
CR PM: Lorence, Susan

Description Of Change

Order acceptance up to 24 hours or next day if completed after noon (12 PM).


Status History


Project Meetings

01/20/16 Product/Process CMP Meeting Mark Coyne – CenturyLink relayed that this CR had been in CLEC Test since November 23, 2015. Mark said we had followed up with Rod Cox – TDSMetrocom to see if he was OK to move the CR to a Completed status and to relay that the CLECs participating on the December call had been OK to close the CR. Rod responded that he was also OK to move the CR to Completed which occurred as of January 14, 2016.

12/16/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said this TDSMetrocom CR has been in CLEC Test since November 23, 2015 and CenturyLink would like to move the CR to a Completed status.

Kim Isaacs – Integra asked if CenturyLink had spoken with TDS Metrocom about closing the CR.

Mark Coyne – CenturyLink said he was hoping that TDS Metrocom would be on the CMP call today and that we will reach out to them in regard to this CR to determine if it is OK to close.

Susan Lorence – CenturyLink asked if any customers on the call had utilized the revised process.

Kim Isaacs – Integra said they have used the process. Kim said she checked with testers and it works well and had not heard of any issues. She said she [1/5/16 Updates received from Integra in CAPS] DIDN’T WANT TO SPEAK FOR TDS BUT INTEGRA is fine moving the CR to a Completed status.

Mark Coyne – CenturyLink asked if any other customers had used the process. There were none that spoke.

Susan Lorence – CenturyLink asked if TDSMetrocom is OK with moving the CR to a Completed status, was it agreeable to everyone else on the call. There were no objections.

11/18/15 Product/Process CMP Meeting Mark Coyne – CenturyLink said we had issued a Level 4 notification on October 15, 2015 to update the Provisioning and Installation Overview Business Procedure with the change in the Loop acceptance process. The proposed effective date for this update is November 23, 2015. CenturyLink will then move the CR to CLEC Test and it will be revisited in December to move it to a Completed status. Mark asked if there were any questions. There were none.

10/21/15 Product/Process CMP Meeting Mark Coyne – CenturyLink provided the background on this CR and said that TDS Metrocom was requesting that CenturyLink reinstate an informal process that if CenturyLink completes work after noon, then the customer had until noon the next day to accept the loop with no change to the order Due Date. Mark then reviewed the updated Draft Response in the CMP package which is to accept this CR. The long term plan is to implement this process for all designed products (retail and wholesale) in order to be consistent. However, while the broader details and timeline are developed, in the interim, CenturyLink will implement the process change specific to Wholesale for Unbundled Loop, Enhanced Extended Loops (EEL), and Loop/MUX Combo (LMC) requests. Mark said that since TDS Metrocom requested this process change be made as soon as possible, CenturyLink had already issued a Level 4 notification on October 15, 2015 to update the Provisioning and Installation Overview. The proposed effective date is November 23, 2015. Mark asked if there were any questions. There were none.

09/16/15 Product/Process CMP Meeting Susan Lorence – CenturyLink stated that this CR was presented as a Walk-on in the August monthly meeting and was followed by a Clarification call on August 24, 2015. Following the Clarification call, Rod Cox - TDS Metrocom revised the CR to remove the Industry Guideline and Exception CR designation. Susan said a CenturyLink draft response was sent on September 10, 2015 which relayed a notification had been sent in February 2014 to eliminate the informal process that had been used by CenturyLink and customers. The notification was the result of a customer inquiry that the process was inconsistent with the CenturyLink documentation. Susan said the SME team has been meeting to review the Loop acceptance process, most recently with the CenturyLink Retail, and hopes to have a final response soon.

Rod Cox - TDS Metrocom asked if that might be the following week.

Kim Isaacs – Integra said Rod understood that the customer inquiry had come from Integra when CenturyLink was not following the documented CNR process. Kim said she is supportive of this CR and having (9/25/15 Updates received from Integra in CAPS) [delete THE] A process [delete CHANGE]documented so everyone [delete KNOWS WHAT IT IS] FOLLOWS THE SAME PROCESS.

Mark Coyne – CenturyLink said the SME team is working on both the short term and long term solution and that the process change may encompass all products to insure the process is consistent.

08/24/15 Clarification Call Meeting Minutes

Attendees: Rod Cox – TDS Metrocom Laurie Roberson – Integra Kim Isaacs – Integra Rita Urevig – CenturyLink Linda Harmon – CenturyLink Cindy Lyke – CenturyLink Lori Burchett – CenturyLink Steve Karpowich – CenturyLink Denise Martinez – CenturyLink Deb Andersson – CenturyLink Jamal Boudhaouia – CenturyLink Mark Coyne – CenturyLink John Hansen – CenturyLink Susan Lorence – CenturyLink

Susan Lorence – CenturyLink relayed that this CR had been a walk on in the August Monthly CMP meeting but had been presented by Kim Isaacs – Integra when the CR originator Rod Cox – TDS Metrocom was not available. Susan relayed the purpose of a clarification call and asked if there were any questions.

Rod Cox – TDS Metrocom thanked Kim for presenting the CR in the CMP meeting. Rod then explained a team was working on what was causing some order delays and that this was determined to be one of the root causes of the problem. Rod said when CenturyLink completes an order after noon, if the customer cannot get to it and does not accept the order by the end of the day, CenturyLink requires the order to be resubmitted which causes double work for both the customer and CenturyLink and impacts the end user. Rod said there used to be a process that if CenturyLink completed after noon, then the customer had until noon the next day to accept the loop. Rod said he had talked with other CLECs, e.g., Windstream and Integra, who agreed it was a problem. He said he thought it is a simple fix to have more time to accept late orders.

Susan Lorence – CenturyLink requested confirmation that this is related to the Loop Acceptance process of the products listed on the CR: UNE Loop and EEL – DS1 UNE.

Rod Cox – TDS Metrocom said yes that is correct and DS1 Loops are the products he is focused on.

Susan Lorence – CenturyLink asked if Rod was asking for the process to be relaxed until noon local time?

Rod Cox – TDS Metrocom said if it was completed before noon, they will do it the same day but if it is after noon, he would like until noon local time the next day. Rod said the time zone could be part of the problem.

Susan Lorence – CenturyLink asked if the Due Date (DD) will remain the same on the order.

Rod Cox – TDS Metrocom said if it is allowed to go to the next day, he did not think this revised process should impact the performance measures. He said it would need a possible work around.

Linda Harmon - CenturyLink gave the example if the DD was yesterday and the order was accepted by noon today, would we leave the DD of yesterday.

Rod Cox – TDS Metrocom said he was OK leaving the DD alone.

Kim Isaacs – Integra said the previous process was contrary to the documented process and CenturyLink sent an MCC to reinstate the documented process which was to accept on the DD or it would be a C01 Jeop. Kim said then testers on both sides agreed that if the order was completed before noon the next day, the DD and FOC date would match if completed in the AM of the next day and that the process worked for all.

Rod Cox – TDS Metrocom said that was much better than having to resubmit the request and wait. Rod said it should not impact the measure if the customer is asking for this.

Susan Lorence – CenturyLink said we wanted clarification of what would happen with the DD and that both TDS Metro and Integra seemed to agree that it would remain the same as what was on the order.

Rod Cox – TDS Metrocom said he wanted it to go back to what it used to be.

Susan Lorence – CenturyLink said the SME team had indicated a jeop notice goes out if the loop is not accepted and that the SMEs had assumed that the jeopardy notice would not be suppressed in this situation otherwise this change would then fall under a system change request.

Rod Cox – TDS Metrocom said he was not expecting the jeop notice to be suppressed.

Kim Isaacs – Integra said that was OK since those end-of-day notices had been kind of ignored in the past. Kim said there would need to be proper documentation on the process.

Susan Lorence – CenturyLink asked if there was an expectation of what documentation would be updated should this CR be accepted or could that be left up to CenturyLink.

Rod Cox – TDS Metrocom said he would prefer to leave that to CenturyLink.

Jamal Boudhaouia – CenturyLink asked if this was just for orders with cooperative testing or was it for any type of order.

Kim Isaacs – Integra said for any type of basic loop.

Rod Cox – TDS Metrocom said he thought it would make sense to do it for all to be consistent. Rod said this has to be causing a problem for CenturyLink as well as the delay to the customer.

Lori Burchett – CenturyLink asked if there was any way to get any examples of this when it had happened in the past.

Kim Isaacs – Integra said she thought that would not be likely since the CenturyLink MCC notice on Provisioning and Installation V152 was sent over a year ago effective February 13, 2014.

Mark Coyne – CenturyLink said he wanted to go back to the question on documentation and asked if there was any idea of where this might be captured in the documentation.

Kim Isaacs – Integra said she thought maybe the Provisioning and Installation business procedure but said it might also better fit in the UNE Loop General PCAT since it was specific to this product set.

Linda Harmon – CenturyLink asked if this would be for New connect or also Change activity.

Rod Cox – TDS Metrocom said he had thought about this question also and thought mainly new loops.

Kim Isaacs – Integra said it might also need to be considered for coordinated conversions. Kim asked if CenturyLink was calling on disconnects.

Linda Harmon – CenturyLink said she would check on that.

Susan Lorence – CenturyLink said she next wanted to discuss the designation of this being an industry standard CR indicated by the suffix IG and referenced Section 5.1.3 of the CMP document.

Rod Cox – TDS Metrocom said he thought that IG should be removed since he could not validate the industry forum.

Susan Lorence – CenturyLink then asked about the request to handle this is an Exception CR and briefly described the CMP exception process under Section 16.0 of the CMP document.

Rod Cox – TDS Metrocom asked if a vote was required.

Susan Lorence – CenturyLink said yes for an exception. When the SME team reviews this CR and should it be accepted, it would be a change in process which is normally a 45 day notification cycle but could be shortened to 31 days. Susan said our assumption is that the exception is to the timeline for implementation.

Rod Cox – TDS Metrocom said yes. He said he would like it sooner but thought he could live with a 45 day cycle if he could be guaranteed it was going to happen.

Susan Lorence – CenturyLink said there was no guarantee from the SME team of CR implementation but suggested an approach of removing the exception for the time being to allow CenturyLink to evaluate the requested change. Susan said then Rod could determine if the Exception needed to be reinstated. Rod Cox – TDS Metrocom said he was fine with that.

Susan Lorence – CenturyLink requested the CR revision be sent to the CMPCR mailbox. She said that CenturyLink understood that Rod was asking for the change to be as soon as possible.

Rod Cox – TDS Metrocom said he thought this would be a relatively simple change and would not require a 45 day timeline. He said he would send in the update to the CR.

Mark Coyne – CenturyLink said he was also ok with the suggested handling of the CR.

Rod Cox – TDS Metrocom said he would volunteer to have some of the TDS Metrocom experts on a call with CenturyLink SMEs if that was necessary.

Susan Lorence – CenturyLink said thank you and if that would be necessary, we would issue a CMP notification with a five day lead time. Susan asked if there were any other questions. There were none.

The Clarification call ended at 2:30 PM MT.

08/19/15 Product/Process CMP Meeting PC081815-1IGEX - Same day order acceptance change request to next day if order is not completed before 12PM Susan Lorence – CenturyLink stated that this Walk-on CR had been received from Rod Cox -TDS Metrocom. Rod said he was not able to join the call but that Kim Isaacs – Integra was familiar with the issue and would present it.

Kim Isaacs – Integra said she was familiar with this CR which had been discussed in the CLEC community call that is held the Monday before the CMP call. (8/27/15 Updates received from Integra in CAPS) Kim said there was a previous [insert quotes]“under the wire” [delete CenturyLink] process [insert] THE CENTURYLINK TESTERS AND CLEC TESTERS WERE USING that allowed CLECs to accept loops up until noon of the second day [insert including brackets] [FOC DD +1 DAY] if CenturyLink [delete is calling] CALLED for acceptance IN THE afternoon of the first day [insert including brackets] [FOC DUE DATE]. An MCC was sent TO THE CENTURYLINK TESTERS AND CLECS [delete changing this] ENFORCING THE DOCUMENTED ACCEPTANCE process [delete and required] WHICH REQUIRES CLECs to accept the same day [insert including brackets] [FOC DUE DATE] or [delete it] THE REQUEST was C01 Jeop. Kim said TDS Metrocom would like to revert back to the previous process WHICH ALLOWED CLECS TO ACCEPT CIRCUITS IN THE MORNING OF THE NEXT DAY since it worked better FOR BOTH CENTURYLINK AND THE CLECS.

Susan Lorence – CenturyLink stated that three dates/times had been proposed to hold the Clarification call and that Rod Cox -TDS Metrocom selected Monday, August 24, 2015 at 2:00PM MT. The call will be posted to the Wholesale calendar. Susan said that during the Clarification call, we will also discuss that the CR was identified as an Industry Guideline CR and that it was requested it be considered an exception CR which each have specific requirements per CMP. Susan asked if there were any questions. There were none.


CenturyLink Response

October 14, 2015

Rod Cox, TDS Metrocom

SUBJECT: TDS Metrocom Product Process Change Request PC081815-1, CenturyLink UPDATED RESPONSE for Review

This letter is in response to TDS Metrocom Change Request PC081815-1, entitled “Same day order acceptance change request to next day if order is not completed before 12PM”.

CR Description: Order acceptance up to 24 hours or next day if completed after noon (12 PM).

History: The CR was received on August 18, 2015 and was presented as a walk-on in the August 2015 Monthly CMP meeting. The CR was originally submitted as an Industry Guideline and Exception Change Request. A Clarification call was held on August 24, 2015 with TDS Metrocom, Integra and CenturyLink representatives present. During the Clarification call, TDS Metrocom relayed they would like to reinstate an informal process that had previously been in existence that if CenturyLink completes the work after noon, then the customer had until noon the next day to accept the loop with no change to the order Due Date. The change in process for this CR was focused on new connects for the product DS1 Loops but could apply to any basic loops.

During the Clarification call, Rod Cox, TDS Metrocom, relayed that he would send an update to the CR to remove the Industry Guideline and Exception request designations. The CR update was received on August 25, 2015. Rod requested this CR be implemented as soon as possible.

CenturyLink sent a Draft Response in September to relay that we are continuing to investigate the requirements associated with this CR and that we are reviewing the history of the Loop Acceptance process with the various SMEs before finalizing the CR solution.

UPDATED CenturyLink Response: As indicated in our Draft Response on September 10, 2015, the CenturyLink SME team has been working with our Network and Retail SMEs and other CenturyLink groups to investigate if we can put a solution in place to meet the needs of your CR. CenturyLink has determined that we will accept this CR. The long term plan is for CenturyLink to implement this requested process for all designed products (retail and wholesale) in order to be consistent. However, while the broader details and timeline are developed, in the interim, CenturyLink will implement the process change specific to Wholesale for Unbundled Loop, Enhanced Extended Loops (EEL), and Loop/MUX Combo (LMC) requests. The process will be expanded to include all designed circuits at a future date.

Considering that TDS Metrocom requested the change associated with this CR be delivered as soon as possible, CenturyLink is moving forward with a level 4 notification on October 15, 2015 to update the Provisioning and Installation Overview Business Procedure with the change in the Loop acceptance process. The proposed effective date is November 23, 2015.

Sincerely,

Susan Lorence CenturyLink Wholesale CR Project Manager

September 10, 2015

Rod Cox, TDS Metrocom This letter is in response to TDS Metrocom Change Request PC081815-1, entitled “Same day order acceptance change request to next day if order is not completed before 12PM”.

CR Description: Order acceptance up to 24 hours or next day if completed after noon (12 PM).

History: The CR was received on August 18, 2015 and was presented as a walk-on in the August 2015 Monthly CMP meeting. The CR was originally submitted as an Industry Guideline and Exception Change Request. A Clarification call was held on August 24, 2015 with TDS Metrocom, Integra and CenturyLink representatives present. During the Clarification call, TDS Metrocom relayed they would like to reinstate an informal process that had previously been in existence that if CenturyLink completes the work after noon, then the customer had until noon the next day to accept the loop with no change to the order Due Date. The change in process for this CR was focused on new connects for the product DS1 Loops but could apply to any basic loops.

During the Clarification call, Rod Cox, TDS Metrocom, relayed that he would send an update to the CR to remove the Industry Guideline and Exception request designations. The CR update was received on August 25, 2015. Rod requested this CR be implemented as soon as possible.

CenturyLink Response: The CenturyLink SME team is continuing to review the requirements associated with this CR. It was determined that the MCC that was sent by CenturyLink in February 2014 that eliminated the informal process was initiated by a CenturyLink customer. With that in mind, CenturyLink is reviewing the history of the Loop Acceptance process with the various SMEs before finalizing the CR solution. CenturyLink understands that TDS Metrocom would like this change in process delivered as soon as possible.

Sincerely,

Susan Lorence CenturyLink Wholesale CR Project Manager


Open Product/Process CR PC052202-1X Detail

 
Title: Getting scheduled cut times for Resale and UNEP DID's moving from one trunk to another. (Cross over CR SCR052202 01X)
CR Number Current Status
Date
Area Impacted Products Impacted

PC052202-1X Completed
7/17/2002
Originator: Thompson, Jody
Originator Company Name: TDS Metrocom/USLink
Owner: Neher, Laurel
Director:
CR PM:

Description Of Change

Example: When porting Resale or UNEP DID's over to new T1 and Trunks the customers vendor needs to be on site and we are not given a time when these DID's will be cutting over. This causes inconveniences and extra charges for the customer. Currently customer is having to keep vendor at location all day waiting for cut to happen


Status History

05/22/02 - CR Submitted by USLink

05/22/02 - CR acknowledged by P/P CMP Manager

05/24/02 - CR posted to Web

05/28/02 - Contacted Jody Thompson @ USLink and tentatively scheduled the clarification call for Thursday, 5/30/02 at 2:00p.m. MST

05/30/02 - Clarification call held with USLink

06/05/02 - Clarification call meeting minutes sent to USLink and posted to the database

06/19/02 - CMP Meeting - CR status changed to "Presented". Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

07/10/02 - Qwest initial response sent to USLink and posted to the Web

07/17/02 - CMP Meeting - Meeting minutes posted to this CR's Project Meetings section. CR status was changed to Completed.

07/29/02 - Final Response sent to CLEC community (no changes were made to the initial response)


Project Meetings

07/17/02 - July CMP Meeting Minutes: Qwest presented the initial response which included the following discussion: Qwest’s current mechanized process allows simple line translations changes to be delivered to the switch and worked without manual intervention using switch-specific default Frame Due Times (FDTs). For most DID order activity, Qwest believes that the default FDTs should meet the needs of the CLEC community.

To enable CLECs to request specific translations and/or switch work timeframes, Qwest proposes to open the Desired Frame Due Time (DFDT) field on LSRs for UNE-P DSS and UNE-P ISDN-BRI and PRI when ordered with DID trunks and Resale ISDN-BRI and PRI .

Because enabling the DFDT field in IMA will require IT development and implementation, Qwest has created cross-over CR SCR052202-1X on behalf of USLink. This IMA CR is eligible for CMP prioritization in IMA 12.0. The IMA 12.0 prioritization process will take place immediately following the July Monthly Systems CMP Meeting. All prioritization eligible CRs will be reviewed and discussed at the July Monthly Systems CMP Meeting to be held on July 18, 2002.

Currently, while in most instances the translations work will be initiated within a two-hour window of the DFDT, the following situations may delay translation activity: *Another large project is underway. *Many separate orders are contending for the same FDT in a switch. * Qwest translation system or the switch itself is experiencing an outage or technical difficulty . For example, if the link from the MARCH system, the system that holds the order information until FDT and then downloads it to the switch, were to go down, orders could not be completed until the problem is fixed. * MARCH system maintenance window is being employed.

In all these instances, RCMAC would also be "locked out" and even manually-handled order processing could be delayed for more than two hours.

In order to maximize the potential for UNE-P and Resale DID orders to be processed as requested, a new process will be put into place. For all UNE-P and Resale DID orders requesting a DFDT, the SDC will contact the RCMAC manager to verify that the requested FDT is available.

To minimize the possibility of switch contention and order delays, Qwest recommends that CLECs populate the DFDT field only when translations activity must be performed within a specific timeframe.

The next step to go forward with this proposal will be for the CLEC community to vote for or against supporting this proposal at the CMP meeting and, if in support, prioritize the IT development.

Eschelon asked if a trial is required to see if it works. Qwest responded that it already exists for some products and a trial is not required. Allegiance asked is the SBC can give an alternative time if the requested time is not available. Qwest responded that this will be investigated. CR status changed to completed.

Time, Date: 2:00 p.m. (MDT) , Thursday 30 May 2002 Conference Call Call-In No: 877.521.8688 Call-In Code: 7901848

Attendee Name, Company,Title: Jody Thompson, USLink , Sr. Provisioning Rep. Julie Pickar, USLink, Provisioning Manager Marnie Meyer, USLink, Provisioning Rep Teresa Rynchek. USLink, T1 Network Coordinator Jennifer Arnold, USLink, Carrier Relations Rep

Ed Perini, Qwest, 271 Network Technical Regulatory Laurel Neher, Qwest, 271 Network Technical Regulatory Joan Wells, Qwest, Process Manager, Local Number Portability Michael Keegan, Qwest, CMP Manager

Introduction of Attendees Attendees introduced.

Review Requested (Description of) Change Description: The following is extracted from the CR submitted by USLink: Example: When porting Resale or UNE-P DID's over to new T1 and Trunks the customers vendor needs to be on site and we are not given a time when these DID's will be cutting over. This causes inconveniences and extra charges for the customer. Currently customer is having to keep vendor at location all day waiting for cut to happen.

The following points were discussed during the clarification call: 1) New DIDs are not an issue 2) USLink stated problem is associated with Qwest identifying only the day the translations will be made and not a smaller time window (they are requesting a two hour window). USLink does not know the translations have been completed until a disconnect recording is heard. This problem is associated the following scenarios: a) Porting DIDs to another CLEC (LNP) b) Moving all DIDs from analog to new digital facilities c) Moving Non sequential DIDs from analog to digital facilities

Confirm Right Personnel Qwest confirmed the correct personnel were on the call.

Identify/Confirm CLEC’s Expectation USLink expects a two hour window for cut times.

Identify any Dependent Systems Change Requests To address LNP-related Issue: Systems change request SCR100401-1X (Allow for Coordinated Hot Cuts on CLEC UBL to CLEC Resale (Cross-over CR PC100401-1)) was discussed and it was determined that it does not impact this USLink Change Request. There is a Product/Process Global Action Item , AI051502-2, which was opened during the May 15, 2002 CMP meeting which is a request for Qwest to report progress on Retail's Coordinated Hot Cut Process Development.

Establish Action Plan (Resolution Time Frame) USLink can present this Change Request to the CLEC community at the June Product/Process CMP meeting scheduled for June 19 Qwest will issue draft response to this Change Request by July 10 (one week prior to the July 19 CMP meeting). Qwest will discuss the draft response at the July 19 CMP meeting.


CenturyLink Response

July 10, 2002

Jody Thompson Senior Provisioning Representative USLink

SUBJECT: Qwest’s Change Request Response - CR # PC052202-1 Getting scheduled cut times for Resale and UNE-P DID’s moving from one trunk to another

Dear Ms. Thompson:

The following proposal is in response to your Customer Request, CR PC052202-1. In your CR, you explained that “[when porting Resale or UNE-P DID’s [Direct Inward Dial Numbers] over to new T1 and Trunks the customers vendor needs to be on site and we [USLink] are not given a time when these DID’s will be cutting over. This causes inconveniences and extra charges of the customer. Currently customer is having to keep vendor at location all day waiting for cut to happen.”

Qwest’s current mechanized process allows simple line translations changes to be delivered to the switch and worked without manual intervention using switch-specific default Frame Due Times (FDTs). For most DID order activity, Qwest believes that the default FDTs should meet the needs of the CLEC community.

To enable CLECs to request specific translations and/or switch work timeframes, Qwest proposes to open the Desired Frame Due Time (DFDT) field on LSRs for UNE-P DSS and UNE-P ISDN-BRI and PRI when ordered with DID trunks and Resale ISDN-BRI and PRI .

Because enabling the DFDT field in IMA will require IT development and implementation, Qwest has created cross-over CR SCR052202-1X on behalf of USLink. This IMA CR is eligible for CMP prioritization in IMA 12.0. The IMA 12.0 prioritization process will take place immediately following the July Monthly Systems CMP Meeting. All prioritization eligible CRs will be reviewed and discussed at the July Monthly Systems CMP Meeting to be held on July 18, 2002.

Currently, while in most instances the translations work will be initiated within a two-hour window of the DFDT, the following situations may delay translation activity: * Another large project is underway. *Many separate orders are contending for the same FDT in a switch. *Qwest translation system or the switch itself is experiencing an outage or technical difficulty . For example, if the link from the MARCH system, the system that holds the order information until FDT and then downloads it to the switch, were to go down, orders could not be completed until the problem is fixed. * MARCH system maintenance window is being employed. In all these instances, RCMAC would also be "locked out" and even manually-handled order processing could be delayed for more than two hours.

In order to maximize the potential for UNE-P and Resale DID orders to be processed as requested, a new process will be put into place. For all UNE-P and Resale DID orders requesting a DFDT, the SDC will contact the RCMAC manager to verify that the requested FDT is available.

To minimize the possibility of switch contention and order delays, Qwest recommends that CLECs populate the DFDT field only when translations activity must be performed within a specific timeframe.

The next step to go forward with this proposal will be for the CLEC community to vote for or against supporting this proposal at the CMP meeting and, if in support, prioritize the IT development.

Qwest looks forward to working with you further on this project.

Sincerely,

Laurel A. Neher Staff Advocate, Policy and Law Local Networks Group


Open Product/Process CR PC041603-1 Detail

 
Title: Document ASR process for ordering EICT to and from Collocations; with LOA, to and from MUXs
CR Number Current Status
Date
Area Impacted Products Impacted

PC041603-1 Completed
4/15/2009
Ordering Collocation
Originator: Arnold, Jennifer
Originator Company Name: TDS Metrocom/USLink
Owner: Robertson, Lillian
Director:
CR PM: Harlan, Cindy

Description Of Change

A documented process to explain “CLEC process for ordering a DS1 from Collocation to customer owned M13”

Expected Deliverable:

none noted


Status History

4/16/03 CR Received

4/16/03 CR Acknowledged

4/22/03 LWTC for customer (Julie) advising we need more information to assign resources to this CR and need available date/time to schedule Clarificaiton call

4/23/03 LWTC 2nd time (Julie)

4/23/03 LWTC 3rd time (Stephanie)

4/24/03 - Scheduled clarification call with customer

4/30/03 - Held Clarification call with customer and posted notes to database.

5/21/03 - May CMP Meeting Minutes will be posted to the database

6/18/03 - June CMP Meeting Minutes will be posted to the database


Project Meetings

June 18, 2003 CMP Meeting Minutes Lillian Robertson – Qwest reviewed the response and advised Qwest looked at 2 LSRs that came in. We reviewed the documents in place and determined no updates were needed. The location of the documentation that identifies how to order the service is provided in the response. Julie – US Link advised they had issues on how to order the product, but after reviewing the CR and the documentation they are okay with the outcome. Initially, they were not happy with the response but we have worked with the Service Manager and are okay with the resolution. Lillian asked if we could close this CR. US Link said yes.

May 21, 2003 CMP Meeting Minutes Ben Campbell – Qwest advised we are currently identifying available documentation and working to put it together to ensure this process is documented. Cindy Macy – Qwest asked Jenn – US Link if she had anything to add since this CR was walked on to the systems meeting last month and it has not been presented to the P/P team as of yet. Jenn added that she also wanted to have documented ‘where these charges would appear on the bill’. Jenn explained that they did not know what account these would appear on. Cindy – Qwest added that it depends if the service was ordered via LSR or ASR. It may show on Specials account in IABS since it is ordered out of FCC tariff. Next Steps for Lillian and Ben – Qwest is to review existing documentation, create documentation for this process, ensure billing information is included in the documentation. Qwest will move this to presented status.

Clarification Meeting April 30, 2003 1-877-572-8687 3393947#

PC041603-1 Document ASR process for ordering EICT to and from Collocations; with LOA, to and from MUXs Attendees Benjamin Campbell – Qwest Dave Hahn – Qwest Jeff Cook – Qwest Lillian Robertson – Qwest Jenn – US Link Julie – US Link Millie – US Link Cindy Macy – Qwest

Meeting Agenda: 1.0 Introduction of Attendees Attendees introduced

2.0 Review Requested (Description of) Change US Link reviewed the CR. US Link explained they have a customer that leased a DS3 from Qwest and they were trying to order a DS1 on this service. It was unclear how to order, and out of which tariff, the local or interstate FCC1. US Link initially tried to order this via an LSR and that didn’t work. There were issues with potentially reselling the trunks and being told they would have to take over the entire DS3. US Link explained they have been dealing with this since last October. We would like this documented so next time the process will be available. US Link explained they want the process documented on how to order via the ASR process EICT to and from Collocations, out of FCC Tariff, with LOA, to and from MUXs. Qwest agreed to change the title of the CR to reflect this explanation. The following Order numbers were provided for the team to use as a reference. These order numbers did go through and the service is installed. C16777694# and C91140990#.

3.0 Confirm Areas & Products Impacted ASR ordering for EICT to and from Collocations out of FCC Tariff #1, with LOA, to and from MUXs

4.0 Confirm Right Personnel Involved Team agreed Lillian would take the lead with Benjamin supporting Lillian.

5.0 Identify/Confirm CLEC’s Expectation US Link explained they want the process documented on how to order via the ASR process EICT to and from Collocations, out of FCC Tariff, with LOA, to and from MUXs. Qwest agreed to change the title of the CR to reflect this explanation.

6.0 Identify any Dependent Systems Change Requests none

7.0 Establish Action Plan (Resolution Time Frame) US Link will present the CR at the May CMP Meeting Qwest will provide our Response at the June CMP Meeting


CenturyLink Response

For Review by the CLEC Community and Discussion at the June 18, 2003 CMP Product Process Meeting

June 11, 2003

Julie Pickar Manager of Provisioning USLink

SUBJECT: Qwest’s Change Request Response – CR #PC041603-1: Document the ASR Process for ordering EICT to and from Collocations; with LOA, to and from MUXs

This letter is in response to your CLEC Change Request PC041603-1 dated April16, 2003. This CR requests that Qwest provide:

-A CLEC process for ordering a DS1 from a Collocation to customer owned M13.

- During our April 30, 2003 Clarification Meeting USLink and Qwest determined:

- USLink provided two order examples, which were correctly completed. - USLink would like to have the process documented on how to order via the ASR, an EICT to and from Collocations, out of FCC Tariff, with LOA, to and from MUXs.

Qwest acknowledges USLink’s CR and apologizes for the unfortunate experience USLink endured with the delay of the two orders. Looking at the documentation available in the PCAT, the FCC No. 1 Interstate Tariff, the ASOG and Qwest Training opportunity, both USLink and Qwest should have been able to issue and complete the order without confusion.

- This request is for a FCC No. 1, Private Line Service. The Collocation termination requires a CCEA (APOT or tie down information) instead of the CFA. - Third Party Marketing requires a Letter of Authorization (LOA). - The question is, “What are we ordering?”

- In this situation, the CLEC requests a DS1, at 100% PIU to connect from their existing Collocation to their third party’s existing DS3. Both the DS1 and DS3 will terminate in the same central office servicing area. The DS1 information may be found in the PCAT by accessing this URL: http://www.qwest.com/wholesale/pcat/ds1.html

- The PCAT will direct you to the FCC NO. 1, Qwest Corporation Access Service Tariff with this URL:

- http://tariffs.uswest.com:8000/docs/TARIFFS/FCC/FCC1/

- Interstate DS1 and DS3 questions are answered in the FCC No. 1 Tariff, Section 7, Private Line Transport Services.

Sections 7.11.and 7.12 describe the DS1 and DS3 Products, as well as muxing.

Technical References are found in Section 7.11, allowing the CLEC to choose their NC/NCI codes from the identified references.

This tariff also gives reference to Expanded Interconnection Channel Termination (EICT) as set forth in Section 21.2.1.

- Issuance of the ASR - CLECs may access the Access Service Request Guide (ASOG) on the ATTIS URL: http://www.atis.org/atis/clc/obf/obfdocs.htm

- Qwest also has ASR Training available Web Based or Instructor lead. Please check our Web site at: http://www.qwest.com/wholesale/training/index.html

Again, Qwest apologizes for the unfortunate experience and confusion regarding this situation. Due to the documentation and references in the PCAT, Tariff, Training and ASOG, no changes will be made to existing documentation.

Sincerely,

Lillian Robertson Qwest

Cc: Joanne Garramone, Susie Bliss


Open Product/Process CR PC032803-1ES Detail

 
Title: Qwest to halt the implementation of CLEC impacting process changes with no notice.
CR Number Current Status
Date
Area Impacted Products Impacted

PC032803-1ES Denied
5/21/2003
Pre Ordering, Ordering, Provisioning All Products
Originator: Powers, Lynne
Originator Company Name: Tel West
Owner: Schultz, Judy
Director:
CR PM: Harlan, Cindy

Description Of Change

Qwest should at all times ensure that it provides proper notice and follows procedures before implementing CLEC affecting process changes. CLEC involvement is necessary to ensure that changes which adversely affect the CLEC community are reviewed to determine options for implementation that are best for all parties and are not unilaterally in favor of minimizing impact to Qwest. In some cases, Qwest states that the change in process or procedure is not actually a change because Qwest has started to follow previously documented procedures. Qwest will say, for example, that it is just tightening up processes. The affect on CLECs, however, is that of a process change. One day, orders are processed just fine, and the next they are not. The tightening up in allegedly existing procedures has changed the process for CLECs. Even assuming the alleged existing process appears in the Qwest documentation, the documentation is meaningless if the Qwest business is not following that documented process. When Qwest begins to follow it, it needs to let CLECs know how and when it is changing its practices and what the resulting impact to CLECs will be. Essentially, changes in actual processes that impact CLECs are occurring under the guise that it is only an implementation of previously documentation. See examples (from multiple carriers) below:

Example 1 - Tel West

Qwest recently began rejecting orders for having the A block on LSRs without having the usoc RTVXQ. After questioning the CLEC impacting change that was implemented with no notice Tel West was told that when Block A is selected, RTVXQ may or may not be required on the order depending on whether TBE A is chargeable item in the state tariff. Additionally, Tel West was told that it could review this information in RPD (Resale Product Database) under "Billed

Number Screening (Long Distance Blocking) - All States Bus Res.

Example 2 – Tel West

Recently Tel West was told after a CLEC impacting change was implemented with no notice that USOC – ORDMS is now being required on all LSRs that are addressing accounts on a 5E switch. Subsequently, Qwest stated that it was not all 5E switches but that ORMDS in now required only on a 5E switch that has Call Return Deluxe. In addition, Qwest stated that there was not a method for determining which 5E switches have Call Return Deluxe and that Tel West should submit the order and if it errors out, then Tel West will know the switch has Call Return Deluxe. For example, rejected LSR 6312075 for PON 30310RB07. This was rejected and was the first one rejected that was on a 5E switch.

Example 3 - Eschelon

Eschelon populated the hunt group (A, b or c…so on) with the hunt sequence. Qwest accepted and worked our LSR. Qwest then implemented a CLEC impacting change with not notice then all of the sudden one day they started rejecting the orders, and though the documentation indicated the order should be rejected that was not Qwest business practice until recently. Eschelon had to react very quickly to change process.

Example 4 - Eschelon

Qwest recently implemented a CLEC impacting change with no notice in which it suddenly change the requirements for Type of Service (TOS) when ordering Resale and UNE-P. Eschelon always used multi-line flat rate as a default. Qwest is now requiring single line when it applies and measured for UNE-P.

Example 5 - Eschelon

Qwest recently implemented a CLEC impacting change with no notice regarding listings when changing at time of conversion. Qwest now requires the CLEC to populate the omit address and direct marketing field on the listing that is being removed.

Example 6 – Eschelon

Qwest recently implemented a CLEC impacting change with no notice regarding call forwarding features…intra VS inter. Previously Qwest would correct the type of CF’ing from FVJ to EVF or visa versa if needed. Qwest is now rejecting for these.

Example 7 – McLeod

Qwest recently implemented a CLEC impacting change with no notice regarding CFLAG. In the past, Qwest’s practice was that the CFLAG is only to be used when a verbal has been given to the CLEC for a change to their order. Recently Qwest began using this if they can determine what the CLECs intent was without contacting the CLEC or to communicate to the CLEC regarding process issues.

Example 8 – McLeod

Qwest recently implemented a CLEC impacting change with no notice regarding the BA field. In the past the CLEC populated the BA =N on a 1FB order then the USOC's do not need to be recapped would be retained. Recently Qwest changed its business practices and instructed CLECs that this is incorrect and flow through has been dropping the blocking. All the while, McLeod thought the orders were

recapping.

Example 9 - McLeod

Qwest recently implemented a CLEC impacting change with no notice regarding IMP CON telephone number. In the past Qwest’s business practice was to not require a local or toll free number

for the IMP CON TN. Recently Qwest changed its business practices and started rejecting McLeod orders due to the IMP CON TN not being a local number or toll free number for pots. McLeod pointed out

That this is not documented in the EDI developer worksheets but is in the LSOG.

Example 10 - McLeod

Qwest recently implemented a CLEC impacting change with no notice regarding Partial Moves. In fact this process has been changed several times and Qwest is not sure what the process is supposed to be. Qwest issues rejects on a process that is not documented.

Example 11 - McLeod

Qwest recently implemented a CLEC impacting change with no notice regarding MDSI fids. Qwest accepted call forwarding and Message waiting indicators for voicemail without fids in the 5ESS switches. Recently Qwest changed its business practices and started requiring them to be on all orders where the features were being added or changed. They then made the change to flow through to add the mdsi fids to

the call forwarding usoc's if we sent it with the MWW usoc.

Example 12 - McLeod

Qwest recently implemented a CLEC impacting change with no notice regarding PFG. In the past McLeod was instructed to pass the PFG fid in all CO's. Recently, Qwest changed their practice and started requiring that the McLeod pass this in the 5ESS switches individually at a later date stating this was the correct process.

Example 13 – McLeod

Qwest recently implemented a CLEC impacting change with no notice regarding ALI Codes. In the past, - Qwest allowed the use of a placeholder for ALI Codes on all directory listing related orders. Recently Qwest changed its business practices and started requiring the correct ALI and disallowing the placeholder.

Example 14 – McLeod

Qwest recently implemented a CLEC impacting change with no notice regarding Hunt Ids. Qwest was allowing a placeholder for all hunt activities the. Then recently Qwest started requiring correct hunt ids and disallowed the placeholder on orders. Qwest is now requiring McLeod to fill in the Hunt Id on move

orders even though the hunt activity is new. This is contrary to the developer worksheets, which state it must be blank. But the LSOG states its conditional and again that is what the business unit is following.

Expected Deliverable:

Immediate implementation date is expected.


Status History

3/28/03 CR Received

3/31/03 CR Acknowledged

4/2/03 Contact Customer to schedule Clarification Meeting for 4/8/03

4/8/03 Held Clarification Call with CLEC

4/16/03 - April CMP Meeting minutes will be posted to the database

5/14/03 - Sent response to CLEC via email and posted to database 5/13

5/21/03 - May CMP Meeeting minutes will be posted to the database

5/21/03 - This CR will be handled via the oversight committee - see notes posted to the web under Oversight Committee Notes for details


Project Meetings

5/21/03 May CMP Meeting - Judy Schultz – Qwest reviewed the response. Judy explained this CR is asking Qwest to comply with an existing process. This is outside the scope of CMP as outlined in Section 5.3. The correct avenue to bring items to Qwest when the CLECs believe Qwest is not following an established process is via the Oversight Committee (Section 18 CMP Process) or to their Service Manager if it is a performance related issue. Judy explained we are denying this request but we have done investigation on each item and would be glad to review them with the participating CLECs. Lynne Powers – Tel West advised she did escalate the CR yesterday. Lynne said if Qwest creates an MCC internally to change the process, then this also needs to be communicated externally via a notification. Judy agreed these items are important and advised that we have done an investigation on each item. Lynne advised she has not gotten anything in writing. Judy asked what procedure would you like to take to review the investigation? Oversight committee or Service Manager review? Bonnie Johnson said when she calls Escalations they tell her she can’t issue the LSR that way as they got an MCC that tells them they need to comply with the process. If the CLEC is not doing something correctly and Qwest has been processing the LSR and now we are rejecting them, it is a courtesy for Qwest to notify the CLECs that we are going to adhere to the process. Judy agreed that if we begin enforceing a process across the board it is our responsibility to notify. When we reviewed the 14 items there were multiple reasons for each item. Covad asked if this CR includes creating a process for how to stop a process when it is implemented without notification? Cindy – Qwest advised this is the first time that was discussed so it wasn’t part of the original request. Section 2.4.5 talks about how to stop a process. Bonnie Johnson – Eschelon requested for Qwest to identify how/where the CLECs should have taken these items if it wasn’t via a CR. Qwest agreed to add that to their investigation documentation. The group agreed this CR would be denied and show the suffix of Escalation and be taken to the Oversight Committee and be discussed after the P/P meeting in June.

4/16/03 April CMP Meeting - PC032803-1 Qwest to halt implementation of CLEC impacting process changes with no notice

Lynne Powers – Tel West reviewed and clarified the CR. Lynne explained Tel West has 2 examples, Eschelon has 4 and McLeod has the remainder. Lynne explained the CLECs have been following a process and the next day the process is different. This is systematic across the board. This is not a ‘onesy twosy’ occurrence. Sharon ATT said she does not have a recent example but this has happened in the past. Qwest made an upgrade to back end systems and it impacted the LSR process. No notification was sent as it was a back end system. This has happened a couple of times and it does impact the CLECS. This CR will be moved to Presented status.

Clarification Call CR PC032803-1 Qwest to halt the implementation of CLEC impacting changes without notification

In Attendance: Dusti Bastian Qwest Mark Early Qwest Terri Kilker Qwest Bonnie Johnson Eschelon Susie Wells Qwest Jolene Wees Qwest Stephanie Prull McLeod Shon Higer Qwest Lynn Powers Tel West Chris Scurgul Tel West Matt Myers Tel West Cindy Macy Qwest Pete Budner Qwest Jean Novak Qwest Jennifer Fisher Qwest

Lynn Powers reviewed the overall intent of the CR. Lynn advised she would cover the Tel West examples and the other CLEC in attendance will cover their own examples.

Lynn explained that sudden changes in policies and procedures without notification negatively affects the CLECs. Lynn said she has been advised that Qwest is just tightening up the process. From a CLEC perspective this has a large impact.

Example 1 Lynn Powers – Tel West Lynn read example 1. There were no questions.

Example 2 Lynn Powers – Tel West Lynn read example 2. There were no questions.

Example 3 Bonnie Johnson – Eschelon Bonnie read example 3. Shon Higer asked if the field on the LSR where you input the Hunt Sequence is the field that is referenced on the CR? And what was the Hunt Activity on this example? Bonnie agreed to provide the Hunt Activity Indicator on a flow thru order that caused it to fall out.

Example 4 Bonnie Johnson – Eschelon Bonnie read example 4. There were no questions.

Example 5 Bonnie Johnson – Eschelon Bonnie read example 5. Mark Early asked for an example to be able to investigate. Bonnie agreed to send an example.

Example 6 Bonnie Johnson – Eschelon Bonnie read example 6. There were no questions.

Example 7 Stephanie Prull - McLeod Stephanie read example 7. Stephanie explained CFLAG is being used without McLeod’s input. Bonnie also added that she was looking for a process on how to use CFLAG and couldn’t find one. She sent a question to ‘Ask Questions’ on the documentation page and her reply was there isn’t a process documented. There are internal discussions going on about this. Bonnie advised she believes the LSOG is different than EDI documentation. There were no questions.

Example 8 Stephanie Prull - McLeod Stephanie read example 8. Stephanie said she was told they should be recapping the Toll Denied and 900 Block USOCs and then they would not drop out. McLeod didn’t know they should be doing anything with these USOC. No questions were asked.

Example 9 Stephanie Prull - McLeod Stephanie read example 9. Stephanie said they started getting rejects saying they need an 800#. They brought this to their Service Manager’s attention. In December they got information about this in the LSOG. There were no questions.

Example 10 Stephanie Prull - McLeod Stephanie read example 10. McLeod was told to write two orders for a partial move. At some point the SDC said they only needed to write 1 order, but then the CLEC gets a reject. It seems like this process is not documented or very clear to Qwest. Susie Wells asked if this is regarding a certain product? Stephanie said mainly 1FB and some 1FR POTS.

Example 11 Stephanie Prull- McLeod Stephanie read example 11. McLeod has voice mail products and was told not to pass MDSI trouble information. Then McLeod was told we need to pass on all Call Forwarding features. Then we were told to not pass on this information as FTS is doing it. This process keeps changing and we were not notified. There were no questions asked.

Example 12 – Stephanie Prull- McLeod Stephanie read example 12. McLeod was told to pass the PFG fid in 5ESS offices. Having to pass this information caused a hard coding change in our systems. There were no questions.

Example 13 – Stephanie Prull - McLeod Stephanie read example 13. Mark Early asked for examples to be able to investigate further.

Example 14 – Stephanie Prull McLeod Stephanie said that Qwest was allowing placeholders and we didn’t have to match to a hunt group and now we don’t allow the placeholder. This is also happening on EDI. Stephanie said she was advised an MCC has been issued to help clarify the LSOG and Developer worksheets. There were no questions.

Cindy summarized our next steps. The participating CLECs will Clarify this CR to the CLEC Community at the April 16 CMP Meeting. Qwest will provide our response at the May CMP Meeting.


CenturyLink Response

May 14, 2003

For Review by CLEC Community and Discussion at the May 21, 2003 CMP Meeting

Lynne Powers Tel West Communications

SUBJECT: Change Request Response – CR #PC032803-1 ‘Qwest to halt the implementation of CLEC impacting process changes with no notice’

This letter is in response to Tel West Communications Change Request (CR) PC032803-1. This CR requests that Qwest halt the implementation of CLEC impacting process changes with no notice.

Qwest denies this CR on the basis that it is outside the scope of the Change Management Process because the CR seeks adherence to existing procedures. It is Qwest’s practice to notify CLECs when it makes CLEC impacting changes to its processes.

However, Qwest has investigated the issues raised in the CR and will be happy to discuss our findings with you. Alternatively, you may submit your issues to the CMP Oversight Committee pursuant to Section 18 of the CMP.

Sincerely,

Judith Schultz Director Program / Project Management Qwest


Open Product/Process CR PC050703-5 Detail

 
Title: Service Manager Transition: Qwest to create a documented and adhered to process for the transition of Service Managers and review and revise its Service Manager staffing practices for quality improvement.
CR Number Current Status
Date
Area Impacted Products Impacted

PC050703-5 Denied
5/7/2003
All All Products
Originator: Powers, Lynne
Originator Company Name: Tel West
Owner: White, Matt
Director:
CR PM: White, Matt

Description Of Change

Qwest historically has made changes in Service Managers very frequently. Service Managers are often the main point of contact for pressing CLEC issues. When Qwest replaces a CLEC’s Service Manager and puts a new one in place, valuable information is lost. The CLEC must then expend time and resources to re-educate the new Service Manager about the CLEC’s business or to explain issues that occurred in the past. Very often, when the CLEC has an issue and tries to discuss that with the new Service Manager, the response is "Oh, I don’t know anything about that, that was before my time." The result is that resource expenditures and delays are forced upon CLECs to address Qwest’s failure to provide a smooth transition.

The issues of frequency of Service Manager changes and lack of a clear, effective and documented transition process is persistent and common among CLECs. This problem was identified, for example, in "comments arising out of the OSS testing process." See enclosed proposed "Agreement between Qwest and the Minnesota Department of Commerce" (Qwest/DOC Agreement). The problem was serious enough that it became one of the issues addressed by the MN DOC in the proposed Qwest/DOC Agreement in the MN 271 docket. In that document, Qwest describes a process that it claimed it had implemented "processes to assure the smooth transition of responsibilities when account representatives are reassigned." See enclosed document. These processes, if implemented, have not adequately addressed the problem. If Qwest had developed these processes jointly with CLECs through CMP (as should have been done for new processes), CLECs would have had input from the CLECs to ensure processes that address the problem. Instead, Qwest’s unilaterally developed process is inadequate. Vendors, such as Qwest, should operate with consistency and quality of service when dealing with issues that affect CLECs.

The changes in Service Managers occur too frequently. Please see experience of the following CLECs:

Tel West - J.S., Account Rep, (1998- 4/18/2001); K.M., Account Rep, (4/18/2001 - 5/9/2001) Transition Notice (to P.W.) received on 5/08/2001, effective 05/09/2001; P.W.(05/09/2001 - 9/17/2001)Transition Notice (to S.G.)received 09/13/2001,effective 09/17/2001; S.G.(09/17/2001 - 02/05/2002) Transition Notice (to P.J.)received on 02/04/2002, effective 02/05/2002; P.J.(02/05/2002 - 10/03/2002); S.K. (10/03/2002 - 4/28/2003)Transition Notice (to R.V.) received on 04/22/2003 effective 04/28/2003. R.V. (04/28/03 - present)

Eschelon - L.B, Account Rep. (February 1996 - Fall 1996); R.R., Account Rep. (Fall 1996 - Late 1997); L.J.(Late 1997- July 2000; Account Rep. until Fall 1999); J.V., Account Rep. (Fall 1999 - July 2000); P.L.,Service Manager (January 2000 - September 2002); B.F., Service Manager (September 2000 - April 2001); J.R., Account Rep. (July 2000 - April 2001) & Sales Rep. (April 2001 - Summer of 2002); J.H., Sr. Service Manager (April 2001 - June 2001); S.S., Service Manager (Fall of 1999, collocation & June 2001); S.S, Sr. Service Manager (June 2001 - May 2003)

J.N., Sr. Service Manager (May 2002 - Current); J.T., (September 2002 - Current); C.A. Sales Manager (Summer of 2002 - Current)

Contact - Has worked with 4 different Service Managers over the past 4-1/2 years and just received the fifth on April 28, 2003. One Service Manager lasted 31 out of the past 54 months. The benefits of his "extended" stay vs. the average of 7 months for the previous 3 Service Managers are obvious. This customer of Qwest’s has voiced concerns with the quality of personnel and frequency of personnel changes. Given the importance and level that a Service Manager position is within Qwest, a change every 2 years might be acceptable. A few days or one week transition period is definitely not enough time.

As shown above, personnel changes in Service Management are frequent. Often, transitions of Service Managers occurs with a few days notice and no written transition document(s). Qwest should create a documented and adhered to transition process that outlines standard timelines, and required meetings, transition documents. Service managers should maintain a database or other tool that tracks issues, and then successor service management personnel may review that database to learn the history and status of issues. This process should be jointly developed with the CLEC community. In addition, the CLEC community would like Qwest, in the "Spirit of Service," to seriously review its current staffing practices that are resulting in frequent Service Manager changes or poor quality Service Management.


Status History

05/07/03 - CR Submitted

05/08/03 - CR Acknowledged

05/14/03 - Clarification Meeting

05/21/03 - Presented at CMP Meeting

06/11/03 - Qwest response posted and distributed


Project Meetings

CMP Meeting 06-18-03

White-Qwest presented the response. Powers-Tel West stated that she was again concerned that this had been denied. She stated that she would raise this issue at the oversight committee. Thomte-Qwest stated that Ken Beck and Toni Dubuque would be willing to host a meeting to discuss this issue outside CMP. ========================================== 05-21-03 CMP Meeting

Powers-Tel West presented the CR. Zulevic-Covad stated that Covad had had a recent transition where the issues weren’t communicated between the old manager and the incoming manager. He stated that this problem exists at senior levels as well. Balvin-MCI stated that service managers are folks who MCI must train about MCI’s business. She stated that Qwest must insure that impact to CLECs is minimal during transition. She stated that transitions were especially impactful to smaller CLECs with only one service manager. Powers-Tel West stated that Qwest sent the more experienced service managers to the bigger companies/accounts. Osborne Miller-AT&T stated that AT&T had none of the problems expressed in the CR. She explained that she did think the service manager transition process was important.

===========================================

Clarification Meeting Wednesday, May 14, 2003

1-877-550-8686 2213337#

Attendees Matt White – Qwest Lynn Powers – TelWest Liz Balvin – MCI

Introduction of Attendees White-Qwest welcomed all attendees and reviewed the request.

Review Requested (Description of) Change Powers-TelWest reviewed the CR. She stated that most CLECs agree that Qwest’s Service Managers do not conduct and adequate transition. She stated that since submitting the CR she had received feedback from Covad that they were also disappointed with the transitions. She stated that this was a systemic problem within Qwest. She stated that she was also requesting that Qwest reduce the frequency of Service Manager transitions.

Balvin-MCI stated that this was especially difficult for smaller carriers who had only one service manager. She stated that in MCI’s case, there were multiple Service Managers, which made transitions much smoother. She stated that any process Qwest implements must address the impact to CLECs.

Powers-TelWest stated that she had received a denial to another CR earlier in the day. She stated that she was disappointed with the level of discussion in the response. She explained that there should be significant discussion of why a request was outside the scope of CMP if Qwest elected to deny for that reason. She stated that two paragraphs were not sufficient. She stated that she anticipated that this CR (PC050703-5) would also be denied for being out of scope. She stated that if that was the case, she expected a far more detailed response.

Confirm Areas and Products Impacted White-Qwest confirmed that the attendees were comfortable that the request appropriately identified all areas and products impacted. Identify/Confirm CLEC’s Expectation White-Qwest reviewed the request to confirm TelWest’s expectation.

Identify and Dependant Systems Change Requests White-Qwest asked the attendees if they knew of any related change requests.

Establish Action Plan White-Qwest asked attendees if there were any further questions. There were none. White-Qwest stated that the next step was for TelWest to present the CR at the May Monthly Product/Process Meeting and thanked all attendees for attending the meeting.


CenturyLink Response

June 11, 2003

DRAFT RESPONSE For Review by CLEC Community and Discussion at the June 18, 2003, Monthly CMP Product/Process Meeting

Lynne Powers Tel West Communications

This letter is in response to Tel West Communications Change Request (CR) PC050703-5. This CR requests that Qwest create a documented and adhered to process for the transition of Service Managers and review and revise its Service Manager staffing practices for quality improvement. Qwest denies this CR on the basis that it is outside the scope of the Change Management Process because the CR seeks adherence to existing procedures. It is Qwest’s policy to adhere to the Service Manager transition procedures in the Account Team / Sales Executives and Service Managers portion of the Business Procedures section of the PCAT (http://www.qwest.com/wholesale/clecs/accountmanagers.html). An excerpt from these procedures reads:

In the event that it is necessary to reassign you to a different Qwest Sales Executive or Service Manager, the former Qwest Sales Executive or Service Manager will be responsible for familiarizing the new Qwest Sales Executive or Service Manager with: - Your corporate profile and all contact information - Your sales and/or service objectives - Your network - Your Interconnection Agreement and any pending amendments - Your meeting schedules They will also: - Transition all current open issues/sales proposals to the new Qwest Sales Executive and/or Service Manager along with all background information, parties involved, commitments and timelines - Establish a conference call or meeting with you to introduce you to the new Qwest Sales Executive or Service Manager - Provide your files to the new Qwest Sales Executive and/or Service Manager including emails and any pertinent document

If you believe that Qwest is not adhering to this process, please contact your Service Manager to discuss your concerns. If your Service Manager is unable to resolve the problem to your satisfaction, please feel free to escalate through the Service Management Escalation Process.

In addition, this request seeks a change to Qwest’s internal processes for making decisions regarding staffing and organizational issues. CMP is not intended to address changes of this nature. Instead, as described in the first paragraph of Section 1.0,

This document defines the processes for change management of Operations Support Systems (OSS) Interfaces, products and processes (including manual) as described below. CMP provides a means to address changes that support or affect pre-ordering, ordering/provisioning, maintenance/repair and billing capabilities and associated documentation and production support issues for local services (local exchange services) provided by Competitive Local Exchange Carriers (CLECs) to their end users.

Similarly, the CMP Redesign Team determined that issues of this nature fall outside the scope of CMP when it agreed to and published the Qwest Service Center and Manager Roles in Relation to CMP document.

Sincerely,

Judy Schultz Director Program / Project Management Qwest


Open Product/Process CR PC032304-1 Detail

 
Title: Document Discrepancy
CR Number Current Status
Date
Area Impacted Products Impacted

PC032304-1 Withdrawn
4/15/2009
Ordering UNE Loop
Originator: Yedersberger, Bernie
Originator Company Name: Time Warner Telecom
Owner:
Director:
CR PM: Andreen, Doug

Description Of Change

EDI Disclosure Documents for 14.0 state that the DL form is required for

REQTYP A, Product 4 (Unbundled Loop), Activity N and T.

But the LSOG 6 rules below state REQTYPE A, Activity of N and T, the DL

form is optional.

Expected Deliverables: Clarification on correct rule.


Status History

03-23-04 CR Submitted

03-23-04 Kit Thomte and Doug Andreen contacted customer and verified that this was purely a clarification question. Advised customer that they did not have to submitt a CR for this an would get back to them with an answer.

03-24-04 - Acknowledged CR see below

Dear Emmy Brown,

Thank you for participating in the Qwest Change Management Process (CMP).

As we discussed in our call yesterday, this request is to clarify a document discrepancy and therefore does not require a CR. We will process with getting you a clarification on the correct rule. This should happen within the next few days.

Please contact me via email or at the number below should you have questions or desire additional information.

Sincerely,

Doug Andreen

Change Request Project Manager

Doug Andreen

CRPM

Qwest

303-382-5777


Project Meetings

03-24-04 -

Dear Emmy Brown,

Thank you for participating in the Qwest Change Management Process (CMP).

As we discussed in our call yesterday, this request is to clarify a document discrepancy and therefore does not require a CR. We will process with getting you a clarification on the correct rule. This should happen within the next few days.

Please contact me via email or at the number below should you have questions or desire additional information.

Sincerely,

Doug Andreen Change Request Project Manager CRPM Qwest 303-382-5777


Open Product/Process CR PC042108-02 Detail

 
Title: CLEC NAME CHANGE SAME CUSTOMER 7/16/08 Revision Received from Time Warner See Description
CR Number Current Status
Date
Area Impacted Products Impacted

PC042108-02 Completed
11/19/2008
NA
Originator: Franke, Susie
Originator Company Name: Time Warner Telecom
Owner: Buckmaster, Cindy
Director:
CR PM: Stecklein, Lynn

Description Of Change

Revision to CR 7/16/08

tw telecom (fka Time Warner Telecom) is requesting an additional option associated with a ToR change. The additional option, based on volume, would treat the ToR process request differently based on the magnitude of the ToR change which would be to handle it in a bulk manner at the circuit level. Time Warner Telecom is asking for all of a CLEC’s records with Qwest - including any collocations and/or UNE circuits under all billing systems – to be processed with this optional offering.

The benefit to the CLEC is in saving the cost and resources involved in issuing all of the ASRs and LSRs for this ToR change to occur. When issuing all of the change requests, there is also a potential risk that downtime could occur.

The benefit to Qwest is that the CLEC’s records will have the correct name on them which will allow Qwest to properly process requests and negotiate trouble tickets.

Previous Description

Time Warner Telecom is requesting an additional option associated with name changes which would allow a CLEC to not have to go through a TOR (transfer of responsibility) just to have Qwest records changed for a simple name change. We understand there is an existing Wholesale process to change the ACN/ACNA in IABS and TIRKS. Time Warner Telecom is asking for all of a CLEC’s records with Qwest - including any collocations and/or UNE circuits under CRIS billing – to work the same way.

The benefit to the customer is that we would be saving the cost and resources from issuing all of the ASRs and LSRs for this simple change to occur. When issueing all of the change requests, there is also a potential risk that downtime could occur.

The benefit to Qwest is that the customer’s records will have the correct name on them which will allow Qwest to properly process requests and negotiate trouble tickets


Status History


Project Meetings

11/19/08 Product/Process CMP Meeting Mark Coyne-Qwest said that the notification for this CR went out on 9/25/08 and was effective on 11/9/08. He said that the CR is in CLEC Test and that we would like to close. Bonnie Johnson-Integra said that Qwest implemented this change over their objection (11/26/08 Comments to minutes received from Integra) and Qwest could close it over Integra’s objection. Mark Coyne-Qwest said that we do have Integra’s objection noted. This CR will be closed.

10/15/08 Product/Process CMP Meeting

Mark Coyne – Qwest stated that the notice went out September 25th and will be effective on November 9th. Mark stated that Qwest received comments and will respond in the appropriate timeframe. Bonnie Johnson – Integra stated that she was not sure who submitted comments but Integra did and asked if Qwest anticipated any changes would be made due to Integra’s comments. Mark Coyne – Qwest stated that we need to review the comments and assess if any changes would be made.

9/17/08 Product/Process CMP Meeting Susan Lorence-Qwest stated that Bob Mohr is the owner of this request and will be providing status.

Bob Mohr-Qwest said that we have evaluated this CR and that the batch/bulk is something we can offer. He said that the concept is a batch size of 200 circuits or more per CLLI or ACTL and submitted on a unique spreadsheet per product. He said that the Unbundled loop would be on 1 spreadsheet and the individual UNEs would be on another spreadsheet instead of having to submit LSRs and ASRs. He said that all circuits would be dependent on the product type within the ACTL and would be considered towards meeting the 200 circuit limit. He said that there will be an amendment created for the batch ToR with the terms and conditions as well as the new rate. He said that the amendment would have to be signed to make this available. He said that we are looking at the PCAT and plan to announce by the end of this month with a targeted date of 9/25/09. The draft amendment would be available mid October with a targeted implementation date of early November depending on comment cycle etc.

Bonnie Johnson-Integra said that she was not going to comment on the amendment part but had questions on the process. She said that in the adhoc meeting, the determination was made that it does not make any difference on why you need the ToR and that the bulk process will be available for any ToR.

Bob Mohr-Qwest said that is correct under the current ToR guidelines, i.e when it is needed. He said that this is another method for submitting the ToR circuits with a batch method. We clarified in the adhoc meeting that this is not a new direction or setting new guidelines on whether the ToR is necessary or not.

Bonnie Johnson-Integra verified that Qwest said it is available only if there are 200 or more circuits per spreadsheet with the criteria set by product. Bonnie asked if, for example, DSO and DS1 UBL would be submitted on 2 different spreadsheets.

Bob Mohr-Qwest said that we separated it by the product family so UBL, UDIT, EEL and individual UNEs would have to be on a separate spreadsheet but all of those together spreadsheets combined towards the 200 total.

Crystal Soderlund-Qwest said that is correct.

Bonnie Johnson-Integra said that you could potentially have 4 different spreadsheets but as long the 4 total 200. She asked if the USOC defines the product.

Bob Mohr-Qwest said that the class of service defines the product and that he will clarify the product family in the PCAT. He said that it is not really a preference but is needed for the tool that will run this.

Bonnie Johnson-Integra verified that Qwest said you are not requesting separating spreadsheets by CLLI and ACTL and not by BAN.

Crystal Soderlund-Qwest said that is correct and said that it ends up being per BAN because each product is usually separated by BAN.

9/4/08 Adhoc Meeting CMP Adhoc Meeting –Transfer of Responsibility questions submitted by Integra Thursday, September 4, 2008

Attendees: Susie Franke-Time Warner Telecom, Kim Isaacs-Integra, Doug Denney-Integra, Bonnie Johnson-Integra, Tim Kagle-Comcast, Jim Hickle-Velocity, Cindy Buckmaster-Qwest, Bob Mohr – Qwest, Brett Bode-Qwest, Susan Williams-Qwest, Kathy Battles-Qwest, Crystal Soderlund-Qwest, Linda Miles-Qwest, Susan Lorence-Qwest, Lynn Stecklein-Qwest

Lynn Stecklein-Qwest stated that the purpose of this meeting is to address the questions submitted by Integra on August 11, 2008 associated with Transfer of Responsibility (ToR). She said that the questions could be found on the Wholesale Calendar. She said that Qwest will be providing a high level overview of the Time Warner CR in the September CMP Meeting

Question #1 - In an effort to ensure Integra understands how Qwest can maintain that their previous responses to Integra were consistent. Integra has enhanced Qwest’s original responses to Integra with the information gained on the 8/4/08 ad hoc call. On 7/14/08, Qwest stated: “With or without the ACNA change, a corporate name change requires a TOR”. It is Integra’s understanding that the complete answer should have been: With or without the ACNA change a corporate name change requires a ToR if and only if the CLEC would like to or is obligated to change the name on the collocation.

Cindy Buckmaster-Qwest said that changing the name of a corporation implies that the CLEC is going to be submitting orders and trouble tickets under a new name. If the intent is to submit orders and trouble tickets under a name that is not currently on the collo, ToR is required.

Bonnie Johnson-Integra said if you are going to be submitting the information to Qwest for orders and trouble tickets under the old name and there is no need or desire to change the name, can they assume that no ToR is required.

Cindy Buckmaster-Qwest said that is true. If you are going to maintain your collo under the name of Eschelon and continue to submit trouble tickets and services orders under the name Eschelon, there is no change from a ToR perspective.

Bonnie Johnson-Integra asked if that would be the case if you don’t have to change the ACNA or RSID.

Cindy Buckmaster-Qwest said that the tables tie the ACNA, RSID or ZSID to a customer name that guarantees integrity on your collo and the orders and trouble tickets associated with the collo. She said that anytime you change the RSID, ZSID, ACNA or the corporate name, that change has to go into our system and ToR applies.

Bonnie Johnson-Integra said that if the name or ACNA is not changed with Telecordia, the integrity should be intact and the previous response would apply if you change the name with Telcordia.

Cindy Buckmaster-Qwest said that her previous response was based on whether you submit trouble tickets and service orders under the old name or the new name.

Bonnie Johnson-Integra said that Qwest said since the ACNA and the RSID are tied to the corporate name and that for integrity a ToR would be required to change the name. She said that if you are not changing the name with Telecordia, it’s not going to change the name on the ACNA and RSID.

Cindy Buckmaster-Qwest agreed and reiterated that there is nothing that we are doing that is forcing you to do anything. The only way a ToR applies is when you take action. If you change your name, ACNA or RSID it is because it is required by law or because you just want to and you have a collo with or without subtending circuits at Qwest, you have to go through the ToR process. The current process is circuit by circuit.

Doug Denney-Integra said that the confusion is that you keep bringing up the corporate name in with the list of ACNA, RSID etc.

Cindy Buckmaster-Qwest said that they are tied because our system looks at the ACNA and corporate name. If you submit something as ABC for the ACNA and XYZ Telecom our system will reject because they don’t match. If you want to submit as ABC and XYZ Telecom you have to go through ToR process to tell us that you are changing it.

Doug Denney-Integra said that from the CLEC view we may have a corporate name change but we may not change the way we do our ordering. From Qwest’s view, we did not have a corporate name change and that is where there is confusion is. He said that they want clarification if the way they are placing their orders is not changing from the Qwest perspective there is no need for the ToR.

Cindy Buckmaster-Qwest said that is correct and that if you are going to leave your collo under the current name and you are going to place your trouble tickets and orders under the name that you currently have your collo in, there is no ToR.

Bonnie Johnson-Integra asked if it would be safe to say that if there were some kind of a name change and they submit orders under the collo name, Qwest will stay out of that as long as we submit them as ABC RSID with ABC company. She said that you will process the order and if they are doing something they shouldn’t be doing that is their problem.

Cindy Buckmaster-Qwest said if on Jan 1 you submitted to ABC company name and ABC RSID and something happens that requires you to do something different by July 1 and Aug 1 you are still submitting orders with ABC Telecom and RSID we don’t care. There is no legal impetus that causes us to change the name of your business.

Question #2 - 7/16/08, in the July CMP Meeting Qwest indicated if there is a corporate name change and the CLEC will continue to submit orders and repair tickets under the old corporate name, the Transfer of Responsibility process does not apply. It is Integra’s understanding that the complete answer should have been: If there is a corporate name change and the CLEC does not wish to or need to change the name on the collocation and the CLEC will continue to submit orders and repair tickets under the old corporate name, the Transfer of Responsibility process does not apply.

Lynn Stecklein-Qwest said that we already addressed this question and everyone agreed.

Question #3 - Does Qwest believe the ToR applies in the following scenarios? If so, please confirm our understanding on whether the various scenarios are addressed in Time Warner Telecom’s revised change request: When a CLEC chooses to transfer a collocation site from a vacating CLEC, which results in a change to the name and ACNA/ZCID of the collocation site and any subtending circuits. This scenario is not addressed in Time Warner Telecom’s request for a bulk ToR process.

Cindy Buckmaster-Qwest said we agree it is not addressed in Time Warner’s request.

Question #4 - A CLEC chooses to change only the name of a collocation site (and therefore the subtending circuits) without a change to the ACNA/ZCID of collocation. This scenario is addressed in Time Warner Telecom’s request for a bulk ToR process.

Cindy Buckmaster-Qwest said that Time Warner is only requesting a more efficient means of requesting a ToR on a volume of subtending circuits.

Susie Franke-Time Warner said that this specifically applies on the CRIS BILLING side of the house because there is not bulk process in place like there is on the IABS side. She said that an N and D Order would be required for every UNE circuit to change the name down to the circuit level and they are requesting a bulk process. She said that at no time was this CR addressing an ACNA change. She said that this is completely based on if a ToR is necessary.

Bonnie Johnson-Integra said that changing the name down to the circuit level is still considered a ToR and that Time Warner is looking for a more efficient way of doing it rather than submitting order by order.

Bob Mohr –Qwest said that he is evaluating the CR and is approaching it from that perspective. He said that it does not change when a ToR is or is not required but instead looking at a more efficient way for performing the ToR on the circuits.

Susie Franke-Time Warner said that was a good summary of what they are requesting.

Question #5 - A CLEC chooses to change the name and ACNA/ZCID of a collocation site (and subtending circuits). This scenario is not addressed in Time Warner Telecom’s request for a bulk ToR process.

Cindy Buckmaster-Qwest said that she agreed it is not addressed. It is already understood that this is part of the original ToR process and that Time Warner Telecom is only asking how they can do that original ToR process in bulk.

Bonnie Johnson-Integra said that whatever the situation is that causes a need for a ToR, Time Warner’s CR is not addressing when you need one or not. The CR is addressing a bulk process on the CRIS side when a ToR is requested. She asked if Time Warner’s CR would include all of these situations.

Cindy Buckmaster-Qwest said that they are not asking about the ToR process or criteria. She said that they are asking that consideration be given in the existing process and criteria for a bulk request.

Bonnie Johnson-Integra asked if once you develop a bulk process for a ToR wouldn’t that apply to any ToR regardless of the reason. Cindy Buckmaster-Qwest said that the ToR process and criteria stay in tact, the development underway is whether you follow the individual LSR process or whether you have the capability to follow a bulk process whether that is a spreadsheet, process etc.

Bonnie Johnson-Integra said that we are saying the same thing.

Kim Isaacs-Integra said that in the 1st bullet where you said it was not addressed in Time Warner’s request, the bulk process would be available if they were transferring a collo site from a vacating CLEC and they have active circuits. She said that if someone is vacating a collo and they have active circuits, you require the individual orders. In this case that portion of the ToR would be gone and we would be able to use the bulk process that is being developed.

Cindy Buckmaster-Qwest said that her intent was to say that isn’t about transferring a collo site from a vacating CLEC or resulting in a change to the name and ACNA. She said that you already have that process in place. We are looking at how to do it more efficiently for a large number of circuits.

Doug Denney-Integra asked for clarification on what already having the process in place means.

Cindy Buckmaster-Qwest said that the original intent of the ToR process was for CLECs that picked up a company going out of business etc. who wanted to take over the customers left on that collo. She said at that time there were very few customers to take over. The CLEC would submit individual LSRs to convert the few customers left on the collo. She said that process is defined. Time Warner is saying today they have a substantial amount of circuits to convert and would like a bulk process.

Doug Denney-Integra said that on a previous call there were restrictions re: this process and what Time Warner Telecom was requesting. He said that he thought that in Time Warner’s CR the only change was to the corporate name and not to the RSID, ACNA etc. He asked if that is part of Time Warner request.

Cindy Buckmaster-Qwest said it is not.

Kim Isaacs-Integra said that the Time Warner CR will cover any portion in the ToR process that requires LSRs to be sent individually.

Bob Mohr-Qwest agreed and with the parameters that we develop for that offering.

Bonnie Johnson-Integra asked if those parameters were going to be any different depending if you want to change the corporate name or if you want to change the name and ACNA.

Bob Mohr-Qwest said they would be the same.

Bonnie Johnson-Integra said that there was no need to address the last 2 questions below.

Question #6 - A CLEC acquires another CLEC and requests to change the name of the collocation but not the ACNA/ZCID of the collocation. There is one corporate name with 2 separate ACNAs/ZCID. This scenario is not addressed in Time Warner Telecom’s request for a bulk ToR process.

Question #7 - A CLEC has a corporate name change but does not choose to change the name on the collocation and the CLEC chooses to continue to submit orders and repair tickets under the old corporate name.

8/20/08 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this CR was revised and will be presented today by Time Warner.

Susie Franke-Time Warner said that they are requesting an additional option associated with a ToR change. The additional option, based on volume, would treat the ToR process request differently based on the magnitude of the ToR change which would be to handle it in a bulk manner at the circuit level. Time Warner Telecom is asking for all of a CLECs records with Qwest - including any collocations and/or UNE circuits under all billing systems – to be processed with this optional offering. The benefit to the CLEC is in saving the cost and resources involved in issuing all of the ASRs and LSRs for this ToR change to occur. When issuing all of the change requests, there is also a potential risk that downtime could occur. The benefit to Qwest is that the CLECs records will have the correct name on them which will allow Qwest to properly process requests and negotiate trouble tickets. She said that Time Warner’s goal is to address the current process to avoid having to write N & D orders to make this change on 3500 UNE CKTs resulting in 7000 orders.

Bob Mohr-Qwest asked if Time Warner’s main focus is on the bulk process and not collocation.

Susie Franke-Time Warner said that special access is managed today by a special project and is handled on a spread sheet. She said that with this change they won’t have to write 7000 UNE orders.

Kim Isaacs-Integra said that Integra has sent a number of e-mails re: questions on ToR and asked why they aren’t posted in the CR.

Lynn Stecklein-Qwest said that they will be posted in the CR. She said that an adhoc meeting to address the last questions received from Integra has been scheduled for next week. The e-mails and responses will be posted in the CR after that meeting.

PC042108-02 CLEC Name Change – Same Customer Monday, August 4, 2008 12:00 PM – 1:00 PM Mountain Time

Attendees:

Susie Franke-Time Warner Telecom, Kim Isaacs-Integra, Doug Denney-Integra, Jeff Sonnier-Sprint, Loriann Burke-XO Communication, Brenda Bloemke-Comcast, Kasha Fauscett-Comcast, Cindy Buckmaster-Qwest, Susan Williams-Qwest, Kathy Battles-Qwest, Crystal Soderlund-Qwest, Bob Mohr-Qwest, Lynn Stecklein-Qwest

Lynn Stecklein-Qwest stated that the purpose of this meeting is to discuss the revised CR submitted by Time Warner on July 16, 2008. She reviewed the CR description: tw telecom (fka Time Warner Telecom) is requesting an additional option associated with a ToR change. The additional option, based on volume, would treat the ToR process request differently based on the magnitude of the ToR change which would be to handle it in a bulk manner at the circuit level. Time Warner Telecom is asking for all of a CLECs records with Qwest - including any collocations and/or UNE circuits under all billing systems – to be processed with this optional offering. The benefit to the CLEC is in saving the cost and resources involved in issuing all of the ASRs and LSRs for this ToR change to occur. When issuing all of the change requests, there is also a potential risk that downtime could occur. The benefit to Qwest is that the CLECs records will have the correct name on them which will allow Qwest to properly process requests and negotiate trouble tickets.

Susie Franke-Time Warner Telecom said that many Carriers are impacted by this same issue and companies are constantly acquiring other companies. She said that she handles other ILECs and Qwest is the only one that requires a name change down to the circuit level.

Kim Isaacs-Integra asked how Qwest is defining ‘bulk’ (i.e. spreadsheet or similar to the bulk disconnect process in the IMA GUI).

Susie Franke-Time Warner Telecom said that she did not think Qwest had defined that yet and is why they issued this revision.

Cindy Buckmaster-Qwest said that the request today was modified by Time Warner and we are having this meeting to determine if there are any questions on the modification. Cindy provided background as to when we reviewed this process in 1998. She said that the current ToR process was to allow companies to acquire other companies leaving the market. She said that we initially had these discussions when Rhythms/Jato were bought out and abandoned their customers. She said that we were trying to help transition those customers from the Rythyms and Jato collos to their new provider and that’s what ToR was about. Cindy said that if the company is agreeable to continue to do business under the name that they are currently doing business under by submitting trouble tickets and service orders under the circuits attached to the collo there isn’t any impact. She said that it’s only when the company requires thru their own initiatives to submit service orders and trouble tickets under a different name, then TOR comes into play. She said that we have to change the name on the account from end to end from the collo to the circuit level.

Kim Isaacs-Integra stated that if there is a corporate name change and you choose to continue submitting orders under the same name using the same RSID, then TOR doesn’t apply. She said that your corporate name is one thing and the way you submit orders is another but if you can manage that, then there is no need for ToR.

Cindy Buckmaster-Qwest said that is correct.

Susie Franke-Time Warner said that Time Warner Telecom is now tw telecom and under legal obligation they have to change the name.

Cindy Buckmaster-Qwest said that if we were to receive a trouble ticket or service order into our system with the name tw telecom we would not know what to do with it. The collo has to have the name tw telecom for the technician to understand where the circuits are going to and from. She said that in the Time Warner Telecom case, with the acquisition of the Xspedius account, is that you have this account but you can’t use our name. She said that it becomes an issue to submit the request under Time Warner or tw telecom and that we need to communicate thru all the channels and the only way to do that is with ToR.

Susie Franke-Time Warner Telecom said that with Xspedius there is a combination of potential of ACNA and OCN codes as a result of that acquisition. She said that they delayed the name change from Xspedius because the Time Warner name was changing too and they wanted to do everything at the same time. She said that special access is managed under the project arena. She said that It is primarily the 3500 UNE circuits requiring an N and D totaling 7000 orders and that they were hoping to avoid the additional work for both them and Qwest. She said that it sounds like if they are agreeable in keeping the Xspedius name under all the UNE circuits and we would agree to submit any change under the name of Xspedius Qwest would not require any of those circuits to be changed.

Cindy Buckmaster-Qwest said that if you have a license to use Xspedius and you leave the circuits terminated at the point they are currently in the CO and continue to submit trouble tickets and service orders under the name of Xspedius on those circuits, you don’t have to follow the ToR process. She said that you would be Time Warner doing business as Xspedius on those accounts. She said that on the Time Warner accounts you would be Time Warner doing business as tw telecom and in both cases you don’t have to follow the ToR process. She said when you are required to change the name of the provider at the collo then circuits that subtend that collo have to change.

Susie Franke-Time Warner Telecom said that the collo name would have to change to tw telecom and if the collo is under a different name than the circuit name, that is when the ToR comes into play.

Cindy Buckmaster-Qwest agreed and said that we can’t change the name of the collo without changing the name of all the subtending circuits.

Susie Franke-Time Warner Telecom asked if this would fall under any UNE that fall under specific collos. She said that the only thing that might help are the UNE circuits not under the name of Time Warner but under the name of Xspedius. She said that is they don’t have to change they would probably keep them under Xspedius.

Cindy Buckmaster-Qwest said that they can maintain them under how you are currently managing them or you can change from Xspedius to tw telecom. She said that in that case you would only have 1 transfer which would be more efficient for them and Qwest.

Susie Franke-Time Warner asked if Qwest would require the change down to the circuit level on the Xspedius UNE circuits that fell under the collo.

Cindy Buckmaster-Qwest said that if you have to change the name of the collo, you have to change down to the circuit level.

Susie Franke-Time Warner Telecom said that they issued the CR to avoid having to do 7000 orders. (N&D orders). She said that their service manager director gave her that information that there would be 2 separate orders and 2 separate costs based on what is in their ICA by state.

Cindy Buckmaster-Qwest said that you really only have to do a N/D order if you are re-terminating but if that is how you write your orders that might be what she is referring to.

Susie Franke-Time Warner Telecom said that nothing would change as far as the UNE circuit except the name.

Cindy Buckmaster-Qwest said that if you are going to leave them in the same location and continue doing business under the name they are currently under, you don’t have to go thru the ToR process. She said that if you are required to change the name and can’t continue to do business under the old name you have to go through the ToR for the collo and subtending circuits. She said that we want to look at a proposing a bulk process that would be more efficient in handling the mergers and acquisitions that are happening more frequently.

Susie Franke-Time Warner Telecom said that this will still impact them because they will have to change the name at the collo level and, therefore, all the circuits. She asked if Qwest would be willing to do this as a project like special access to avoid the work effort and the cost of doing 7000 orders.

Kim Isaacs-Integra said that the cost question keeps coming up and asked if the bulk process would have a cost associated with it. She said that current TOR rates are $20 to $30 a circuit.

Cindy Buckmaster-Qwest that we will be evaluating to determine what costs are involved and determine if there is a modification to the costs, a reduction to the cost or whether there is no cost at all.

Susie Franke-Time Warner Telecom said that cost is a concern but they are just as much as concerned with the work effort with N/D orders and the chance that a circuit could be taken down.

Doug Denney-Integra asked why the name of the collocation needed to change.

Susie Franke-Time Warner Telecom said that legally they can’t have the name as Time Warner Telecom anymore.

Doug Denney-Integra asked if that was an issue for Xspedius.

Susie Franke-Time Warner Telecom said that they would have to figure out what collos are under the Xspedius name.

Kim Isaacs-Integra said that this would be a decision made by Time Warner Telecom and is not that Qwest is telling you have to change the name.

Susie Franke-Time Warner Telecom said that this is internal we have to change the name (July 1st)

Cindy Buckmaster-Qwest said (8/8/08 Comments to minutes received from Integra) we will not tell you, you have to make a name change. The change is driven by the CLEC. If you don’t want to change the name on the collocation then you don’t need to do anything.

Susie Franke-Time Warner Telecom said that whatever name is at the collo level is what has to be at the circuit level as well. She said that they want to move forward with the request and she will check to see if they have the ability to keep the collo under the Xspedius name. She still wants to see that if they are required to change the collo level how can we make it easier at the circuit level.

Kim Isaacs-Integra said that there is still the open question on the definition of bulk.

Cindy Buckmaster-Qwest said that the definition of bulk is under evaluation. She said that to define bulk you would have a single collo that has x number of subtending circuits and x is yet to be determined. She said that x would be the efficiency point that is determined by the cost process and that cost process would determine the efficiency point at this level. She said that there would be less cost involved than at a level of that many single LSRs and that the X number overall is how that affects our business and how it affects you input mechanism.

Kim Isaacs-Integra said that decision needs to be made as to where this falls - per collo, per company or per state and that you still have to massage the numbers.

Doug Denney-Integra said that it should be clear in Time Warners request that this process would not require the placement of individual orders for each circuit.

Susan Williams-Qwest said that is correct and that there would not be any change to the ACNA or OCN or ZSID information and that this is a name change.

Cindy Buckmaster-Qwest said that we have a matching mechanism that takes your name and assigns it to an ACNA (assigned by telecordia). She said that if you change the name and we go into a table and see that the ACNA does not belong to this name anymore impact how orders flow and to be processed and the level of integrity on the circuity on your collo. She said that what we are looking at now is the name change piece.

Doug Denney-Integra asked the question if they had 2 entities in a state like Integra/Eschelon and went with the single name, they would still be placing orders separately because they would have different profiles due to different ACNAs on each collo (8/8/08 Comments to minutes received from Integra) and would not need a Transfer of Responsibility.

Cindy Buckmaster-Qwest said that you would still be placing orders and trouble tickets under separate profiles because you would have separate ACNAs (Integra and Eschelon). She said that when you get to the point that you don’t want to submit trouble tickets under the Eschelon name and now want to use Integra, we have to modify the tables to say that Integra is now under this ACNA and not Eschelon. She said that becomes an issue because we have to figure out the multiple ACNA issue for you. She said we are not addressing this scenario today.

Kim Isaacs-Integra confirmed that you (Qwest) are not currently addressing two separate ACNAs with the same name.

Doug Denney-Integra asked if the performance measures reports would still be reported separately by ACNA.

Cindy Buckmaster-Qwest said they would.

Susie Franke-Time Warner Telecom said that the ACNA and OCN are very closely related to a name change. She asked if Qwest could provide an estimate on timeframes for this request.

Lynn Stecklein-Qwest said that this CR will be presented in the August CMP meeting as a formality and that we need to regroup internally. She said that we should be able to provide a response in the September CMP Meeting.

Susie Franke-Time Warner Telecom said that they initiated this request in April and legally they should have changed the name on July 1st and asked if this request could be expedited.

Lynn Stecklein-Qwest said that Qwest would look into that.

8/11/08 E-mail received from Integra Hello Lynn,

Qwest indicated that its responses to Integra’s questions on when Transfer of Responsibility (ToR) process applies have been consistent. Qwest’s previous answers appeared to have been inconsistent but in fact Qwest’s responses may have been incomplete.

On the 8/4/08 ad hoc call to discuss tw telecom’s revised change request (PC042108-02), Qwest clarified that if the CLEC has a name change and is going to leave circuits in the same location and continue doing business under the old business name, then the CLEC does not have to go through the ToR process. Qwest indicated that if the CLEC was required to change the name or could not continue to do business under the old name the ToR for the collocation and subtending circuits applies. Qwest further clarified that Qwest would not drive the name change. A name change to the collocation is driven by the CLEC. If CLEC does not want to or need to change the name on the collocation then Qwest will not force a CLEC to complete a ToR.

In an effort to ensure Integra understands how Qwest can maintain that their previous responses to Integra were consistent. Integra has enhanced Qwest’s original responses to Integra with the information gained on the 8/4/08 ad hoc call.

7/14/08, Qwest stated: “With or without the ACNA change, a corporate name change requires a TOR”. It is Integra’s understanding that the complete answer should have been: With or without the ACNA change a corporate name change requires a ToR if and only if the CLEC would like to or is obligated to change the name on the collocation. 7/16/08, in the July CMP Meeting Qwest indicated if there is a corporate name change and the CLEC will continue to submit orders and repair tickets under the old corporate name, the Transfer of Responsibility process does not apply. It is Integra’s understanding that the complete answer should have been: If there is a corporate name change and the CLEC does not wish to or need to change the name on the collocation and the CLEC will continue to submit orders and repair tickets under the old corporate name, the Transfer of Responsibility process does not apply. Does Qwest believe the ToR applies in the following scenarios? If so, please confirm our understanding on whether the various scenarios are addressed in tw telecom’s revised change request:

When a CLEC chooses to transfer a collocation site from a vacating CLEC, which results in a change to the name and ACNA/ZCID of the collocation site and any subtending circuits. This scenario is not addressed in tw telecom’s request for a bulk ToR process. A CLEC chooses to change only the name of a collocation site (and therefore the subtending circuits) without a change to the ACNA/ZCID of collocation. This scenario is addressed in tw telecom’s request for a bulk ToR process. A CLEC chooses to change the name and ACNA/ZCID of a collocation site (and subtending circuits). This scenario is not addressed in tw telecom’s request for a bulk ToR process. A CLEC acquires another CLEC and requests to change the name of the collocation but not the ACNA/ZCID of the collocation. There is one corporate name with 2 separate ACNAs/ZCID. This scenario is not addressed in tw telecom’s request for a bulk ToR process. A CLEC has a corporate name change but does not choose to change the name on the collocation and the CLEC chooses to continue to submit orders and repair tickets under the old corporate name. Thank you.

Kim Isaacs | ILEC Relations Process Specialist

7/16/08 Product/Process CMP Meeting Mark Coyne-Qwest stated that this CR is being denied based on the fact that the option which Time Warner is requesting is already an element of the ToR process. There is no alternative to that process to change only BAN records, because the applications and repair tickets are edited to ensure only the customer of record places orders and repair tickets on the elements they own. Qwest is, however, open to working with Time Warner to revise their CR in order to address a process option that will allow for bulk processing based on the magnitude of the request.

Susie Franke-Time Warner asked who they should work with to revise their CR.

Mark Coyne-Qwest said that they should work with their Service Manager (Kathy Battles/Qwest).

Kathy Battles-Qwest said that she would work with Time Warner.

Susie Franke-Time Warner asked if Qwest would have a response to the revised CR in August.

Mark Coyne-Qwest said that we would get the team together once the revised CR is submitted.

Kim Isaacs-Integra said that there is CLEC industry wide interest and Integra would like to be involved in the development of the CR.

Mark Coyne-Qwest said that Qwest would schedule an adhoc meeting to give the CLECs an opportunity to provide input.

Doug Denney-Integra asked for clarification on the denial and when ToR charges don’t apply.

Cindy Buckmaster-Qwest said that if it is specific to collocation (7/24/08 Comments to minutes received from Integra) and you have subtending circuits with a name change, ToR applies. She said with other products (i.e. resale, UNE-P, tariff) are not under the ToR process). Other mechanisms and processes besides the ToR process are used.

Doug Denney-Integra cited (7/24/08 Comments to minutes received from Integra) an example using McLeod/Paytec merger assuming where McLeod changed their company name to Paetec.

Cindy Buckmaster-Qwest said you just can’t change the account at the BAN level on collocation. She said that on the collocation side you have to change to the circuit level.

Doug Denney-Integra said that in the Paetec situation they did not request a change at the circuit level (7/24/08 Comments to minutes received from Integra) there is no change to the ACNA.

Cindy Buckmaster-Qwest said that if orders and trouble tickets are to be submitted as Paetec the ToR process is required to change the name on the accounts all the way down to the circuit level. (7/24/08 Comments to minutes received from Integra) If submitting orders and trouble tickets under the old name the ToR process is not needed.

Susie Franke-Time Warner said that she would hold her comments until the CR is revised.

6/18/08 Product/Process CMP Meeting

Mark Coyne-Qwest stated that this CR is currently in an evaluation status. He said that the Qwest SMEs are meeting internally and hope to have a response in July.

E-mail sent to Time Warner 5/29/08

Hi Susie,

We are currently evaluating your request and will be providing a response in the June 18th Monthly CMP Meeting,

Thanks,

Lynn

--Original Message-- From: Franke, Susan [mailto:Susan.Franke@twtelecom.com] Sent: Thursday, May 29, 2008 1:02 PM To: Stecklein, Lynn Subject: RE: Action required: May CMP Meeting Minutes for your reviewandfeedback

Hi Lynn-

Just curious, how long does it normally take to get feedback from this?

Susie Franke Sr. Carrier Account Manager Time Warner Telecom Access Management 303-566-1782 (Office) 877-206-1646 (Pager) 8772061646@usamobility.net susie.franke@twtelecom.com

5/21/08 Product/Process CMP Meeting

Susie Franke-Time Warner said that they are requesting an option associated with a name change which would allow a CLEC to not have to go through a Transfer of Responsibility (TOR) to have the records changed for a simple name change. Susie said that with the Time Warner merger they would like the name change to the BAN level and that they don’t care about going down to the circuit level. She said that this option would apply to LSRs and ASRs. Mark Coyne-Qwest said that Qwest will assign an owner and if there were additional questions an adhoc meeting would be scheduled.

4/22/08 Acknowledgement sent to Time Warner:

Susie,

Qwest has received the Change Request form you submitted April 21, 2008. As a result of the request, PC042108-02 has been created as a Procuct/Process CMP CR. This change request will be presented in the May Monthly CMP Meeting to be held on May 21, 2008. If you do not agree with the classification of this CR as a Product/Process request, please advise ASAP. Attached for your reference is a current copy of your Change Request. Your change request will appear in the next scheduled update of the "CMP Change Requests - Product/Process Report" on the Qwest CMP web site. You may access the interactive report at http://wwwqwest.com/wholesale/cmp/changerequest.html. (Scheduled updates take place every Monday, Wednesday, and Friday, except for Qwest holidays.)

I am the Qwest CRPM (Change Request Project Manager) assigned to this CR. If you have any questions, please feel free to contact me at Lynn.Stecklein@qwest.com.

Thank you,

Lynn Stecklein Qwest Wholesale CMP

4/21/08 CR revised per Time Warner


CenturyLink Response

Qwest Response

For Review by CLEC Community and Discussion at the July 16, 2008 CMP Meeting

Susie Franke Time Warner Telecom

SUBJECT: Qwest’s Change Request Response – PC042108-02 “CLEC Name Change – Same Customer”

This letter is in response to Time Warner Telecom Change Request (CR) PC042108-02. Time Warner Telecom is requesting an additional option associated with name changes which would allow a CLEC to avoid the Transfer of Responsibility (ToR) process to do a legal name change that does not include a transfer of responsibility between entities. Time Warner Telecom indicated they believe there is an existing Wholesale process to change the ACN/ACNA in IABS and TIRKS at the summary BAN level, and are requesting a similar process to be used to do a name change. The Time Warner Telecom CR is asking for all of a CLEC’s records with Qwest, including any collocations and/or UNE circuits under CRIS billing, to have a name change using a similar process.

Qwest understands that Time Warner Telecom is requesting a name change without a ToR between entities at the summary BAN level.. However, within Qwest, the activity referred to as a simple name change by Time Warner is in fact part of the TOR process. In regard to the point about requesting a similar process to IABS, it is important to note that other services that terminate in the Collocation may bill via various Qwest billing systems and must also follow this same TOR process. The Qwest ToR process was developed to accomplish all of the necessary changes attributed to any change of name, including but not limited to ensuring record ownership accuracy, insuring circuit ownership accuracy, placing current and future orders/repair tickets on those circuits, updating all Qwest internal systems that feed IMA for future use, and possible re-stenciling of the Central Office equipment to ensure connections go to the proper location.

Because of the need to ensure the integrity of our customers’ future activity with Qwest, it is not possible to separate the steps of the ToR process. Therefore, Qwest respectfully denies this request.

Sincerely,

Qwest Corporation


Open Product/Process CR PC010202-1 Detail

 
Title: Removal of UDC
CR Number Current Status
Date
Area Impacted Products Impacted

PC010202-1 Denied
4/19/2002
Ordering Other: Shared Loop
Originator: Hundertmark, Kirk
Originator Company Name: Twin Rivers Valley Telephone
Owner: Houston, Neil
Director:
CR PM:

Description Of Change

Process to remove UDC off line to provide DSL to Qwest Customers


Status History

12/28/01 - CR received from Twin Rivers Valley Telephone.

01/03/02 - E-Mail Acknowledgement issued to Twin Rivers Valley Telephone.

01/07/02 - Twin Rivers Valley Telephone contacted (via telephone) to set up clarification meeting.

01/11/02 - Clarification Meeting conducted with Twin Rivers Valley Telephone.

01/17/02 - Draft clarification meeting minutes transmitted to sbmitting CLEC.

02/20/02 - CMP Meeting - CLEC community clarification conducted. CR status changed to "Evaluation." Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

03/13/02 - Qwest draft response posted to database

03/13/02 - Qwest draft response posted to Web and sent to submitting CLEC

03/20/02 - CMP Meeting - Qwest presented its Draft Response dated March 12, 2002. Twin Rivers Valley Telephone was not present at meeting. CR status as Presented unchanged. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

04/12/02 - Revised response sent to CLEC and posted to the CMP database and the Interactive Report

04/17/02 - CMP Meeting - Twin Rivers Valley Telephone was not present at meeting. CR status as Presented unchanged. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

04/19/02 - Twin Rivers Valley contacted by Qwest to confirm that the Qwest response dated April 11, 2002 was received and understood. CR status changed to "Denied".

04/19/02 - Formal response dated April 11, 2002 issued to CLECs. Notification CMPR.04.19.02.F.01258.Final_CR_Responses.


Project Meetings

1:00 p.m. (MDT) / Friday 11th January 2002 Conference Call TEL: 877.554.8688 CODE: 3269208 PC010202-1 "Removal of UDC"

Kirk Hundertmark, Twin Rivers Valley Telephone Cindy Buckmaster, Qwest Brett Fesler, Qwest Neil Houston, Qwest Crystal Soderlund, Qwest Clifford Dinwiddie, Qwest Bernadette Derlein, Qwest Peter Wirth, Qwest

1.0 Introduction of Attendees Attendees introduced.

2.0 Review Requested (Description of) Change: Twin Rivers Valley Telephone (TRV) is a re-seller of Qwest dial-up services in Iowa. TRV does not maintain a co-location presence in any Qwest Central Office (CO). TRV is requesting Qwest to remove UDC’s from residential lines for TRV DSL orders.

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} Appropriate products & areas identified in CR.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Qwest & TRV confirmed appropriate personnel were in attendance.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measureable terms ie provide a documented process, change a process to include training etc)} TRV is requesting Qwest to remove UDC’s from residential lines for TRV DSL orders. TRV is receptive to a reasonable fee for this activity. Qwest to evaluate CR. During the February 2002 Monthly P&P CMP Meeting, Qwest will either solicit input from CLEC community & provide potential solutions to the CR; or provide an expedited response to the CR.


CenturyLink Response

April 11, 2002

Twin Rivers Valley Telephone Kirk Hundertmark

SUBJECT: Qwest’s Change Request Response - CR # PC010202-1 Process to remove UDC off line to provide DSL to Qwest Customers

This letter is in response to Twin Rivers Valley Telephone Change Request (CR) PC010202-1. This CR requests that Qwest create a process to remove UDCs off of working residential lines, to enable Twin Rivers to provide DSL data service to Qwest’s voice customers.

Qwest uses many different technologies to provision voice services to its end user customers. UDCs are one of these technologies. UDCs are deployed throughout the Network to meet growth and service demands for POTS (voice) service. The voice paths that are constructed by use of the UDCs are local loops and the UDC is an essential element of such loops. In addition to customer requests for POTS voice service, loops derived from UDCs can be used to provision resold and UNE-P services to CLECS. Removing UDCs would equate to de-constructing the loop, thus taking the voice out of service. Qwest does not have a policy to remove UDCs on a repair call other than when it is determined that the apparatus is degrading the voice service.

Qwest has no requirement under the Telecommunications Act of 1996 to de-construct the loop. Therefore, Qwest respectfully denies Twin Rivers Valley Telephone request to remove UDCs.

Sincerely,

Neil Houston Staff Advocate Policy & Law

Cc: Mary Retka


Open Product/Process CR PC010202-2X Detail

 
Title: Shared loop on resold lines. (Cross over CR SCR010202 02X)
CR Number Current Status
Date
Area Impacted Products Impacted

PC010202-2X Completed
7/17/2002
Ordering, Provisioning Other: Shared Loop for Resold Customers
Originator: Hundertmark, Kirk
Originator Company Name: Twin Rivers Valley Telephone
Owner: Fesler, Bret
Director:
CR PM:

Description Of Change

Process to provide DSL to TRV Telephone resold Qwest Customers


Status History

12/28/01 - CR received from Twin Rivers Valley Telephone.

01/03/02 - E-Mail Acknowledgement issued to Twin Rivers Valley Telephone

01/07/02 - Twin Rivers Valley Telephone contacted (via telephone) to set up clarification meeting.

01/11/02 - Clarification Meeting conducted with Twin Rivers Valley Telephone.

01/17/02 - Draft clarification meeting minutes transmitted to submitting CLEC.

02/20/02 - CMP Meeting - CLEC community clarification conducted. CR status changed to "Evaluation." Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

03/12/02 - Qwest draft response posted to database and sent to submitting CLEC

03/13/02 - Qwest draft response posted to Web

03/20/02 - CMP Meeting - Qwest presented its Draft Response dated March 4, 2002. Line Partitioning will be deployed by Qwest during late 2nd quarter 2002. Twin Rivers Valley Telephone was not at meeting. CR status changed to Development . Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

03/22/02 - Formal response dated 03/04/02 issued to CLECs. Notification CMPR.03.22.02.F.01240.CR_Responses

04/17/02 - CMP Meeting - Twin Rivers Valley Telephone was not present at meeting. CR status "Development" unchanged. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

05/15/02 - CMP Meeting -- Twin Rivers Valley Telephone was not present at meeting. CR status "Development" unchanged. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

05/15/02- Action Item opened at CMP meeting to determine if amendment to Interconnect Agreement is required in order to do Covad line partition.

06/19/02 - CMP Meeting -- Twin Rivers Valley Telephone was not present at meeting. CR status changed to "Evaluation". Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

06/27/02 - Update to Qwest Response Dated March 4, 2002 sent to CLEC and posted to CMP database. Response included in Mailout CMPR.06.27.02.F.01286.Supp_CR_Responses

07/17/02 - CMP Meeting - Meeting minutes posted to this CR's Project Meetings section. CR status was changed to Completed.


Project Meetings

07/17/02 - July CMP Meeting Minutes: Twin Rivers Valley Telephone was not at the meeting. Qwest, at the June 19, 2002 CMP Meeting, requested CLECs to provide anticipated volumes for this product. Qwest, to date, has not received any volume estimates. Qwest explained a Cross-over Systems Change Request SCR010202-02X has been opened to enable the scope of this CR to be included in the voting for IMA 12.0. The CLECs attending the meeting agreed the Change Request can be closed if Qwest contacts Twin Rivers Valley Telephone and they agree it can be closed.

1:30 p.m. (MDT) / Friday 11th January 2002 Conference Call TEL: 877.554.8688 CODE: 3269208 PC010202-1 "Shared loop on resold lines"

Kirk Hundertmark, Twin Rivers Valley Telephone Cindy Buckmaster, Qwest Brett Fesler, Qwest Neil Houston, Qwest Crystal Soderlund, Qwest Clifford Dinwiddie, Qwest Bernadette Derlein, Qwest Peter Wirth, Qwest

1.0 Introduction of Attendees Attendees introduced.

2.0 Review Requested (Description of) Change: Twin Rivers Valley Telephone (TRV) is a re-seller of Qwest dial-up services in Iowa. TRV does not maintain a co-location presence in any Qwest Central Office (CO). TRV is requesting a process from Qwest; whereby TRV can provide DSL to TRV telephone Resold Customers.

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} Appropriate products & areas identified in CR.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Qwest & TRV confirmed appropriate personnel were in attendance.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measureable terms ie provide a documented process, change a process to include training etc)} TRV is requesting Qwest to allow TRV to provide DSL (shared loop) to it’s telephone Resold Customers. Qwest to evaluate CR. During the February 2002 Monthly P&P CMP Meeting, Qwest will either solicit input from CLEC community & provide potential solutions to the CR; or provide an expedited response to the CR.


CenturyLink Response

June 27, 2002

Kirk Hundertmark Twin Rivers Valley Telephone

SUBJECT:Qwest’s Change Request Response - CR # PC010202-2 Update to Qwest Response Dated March 4, 2002

In an effort to formally update our response to the Twin Rivers initiated CR #PC010202-2, Qwest respectfully submits the following information as provided in the CMP meeting of June 19th, 2002.

As indicated in those meeting minutes, Qwest stated that Line Partitioning is not yet available. When a test order for the product was generated, a coding systemization issue emerged (i.e., the co-existence of the RSID and ZCID on the same order). Due to this issue, Qwest is re-evaluating its ability to deliver this product. As a critical element to that evaluation, Qwest asked the CLECs to provide an estimate of their anticipated volumes for this product before Qwest moves forward with development. CLEC input should be sent to the CRPM, Mike Keegan.

At this time we cannot accept or process an order manually or mechanically. Qwest will receive the declarations of volume from the CLEC’s based on the June 19th CMP meeting. At that point Qwest will re-evaluate its ability to provide this product.

Sincerely,

Brett Fesler Line Sharing Product Manager Qwest

Cc: Michael Buck, Qwest CMP Manager Michael Keegan, Qwest CRPM Cindy Buckmaster, Product Manager

March 4, 2002

Kirk Hundertmark Twin Rivers Valley Telephone

CC: Cliff Dinwiddie Peter Wirth

This letter is in response to CLEC Change Request Form #PC010202-02 dated December 19, 2001 - "Line Sharing on Resold Lines."

Qwest has received the request to provide "Line Sharing on Resold Lines." In the Ordering and Billing Forum ("OBF"), the industry has agreed to refer to this arrangement as "Line Partitioning."

After reviewing the request, Qwest has determined that it is able to support the request for Line Partitioning. Further, Qwest has initiated the product ideation and development process to prepare to deploy Line Partitioning during the 2nd quarter of 2002. Qwest will distribute the official Line Partitioning product announcement via this communications channel and in keeping with all Change Management requirements.

Sincerely,

Brett Fesler Product Manager


Open Product/Process CR PC050812-2X Detail

 
Title: Informed Firm Order Commitment (FOC) with Detailed Build Interval Information in REMARKS(Crossover CR from SCR050812 2X)
CR Number Current Status
Date
Area Impacted Products Impacted

PC050812-2X Completed
9/19/2012
DS1, DS3, and OCn
Originator: Warner, Chad
Originator Company Name: Verizon
Owner: Robberson, Anne
Director:
CR PM: Lorence, Susan

Description Of Change

3. Request that CenturyLink provide an informed FOC and identify delivery intervals where a build is required within 9 business days for DS1, DS3, and OCn (Ethernet and fEmabarq/CT scheduled in later phase(s)) with details in the REMARKS field of the FOC. This goes along with using the Network Facility Requirement (NFR) field on the FOC. In addition, provide details in the REMARKS field for minor builds when the interval is longer than the standard interval. This will help Verizon set the appropriate interval expectation with our customer when a build is required by CenturyLink.


Status History


Project Meetings

September 19, 2012 Product/Process CMP Meeting Mark Coyne - CenturyLink relayed a level 3 initial notification was sent on 7/17/12. The final notice and response to CLEC comments were sent 8/16/12 with an effective date of 8/31/12. Mark relayed the CR is in CLEC Test and we would like to move the CR to completed. Mark asked if there were any objections. There were no objections.

August 15, 2012 Product/Process CMP Meeting Mark Coyne - CenturyLink relayed a level 3 initial notification was sent on 7/17/12 providing the change in process. The final notice and response to CLEC comments are due 8/16/12 with an effective date of 8/31/12.

July 18, 2012 Product/Process CMP Meeting Mark Coyne - CenturyLink recapped the Change Request and explained that it had been opened as a Systems Change Request but had been transferred to a Product/Process Cross-Over Change Request. A Level 3 Product Process notification was sent out on July 17, 2012 with an effective date of August 31, 2012.

Kim Isaacs – Integra stated that a download associated with the change was missing from the review site.

Susan Lorence – CenturyLink stated that CenturyLink would investigate and correct.

Chad Warner – Verizon asked about adding Ethernet at a later date and stated that it was not detailed in the products listed in the Change Request. He asked if it needed to be added to be considered.

Mark Coyne – CenturyLink indicated that it was planned for a future roll out of this enhancement.

Chad Warner – Verizon pointed out that there was a list of products impacted and that Ethernet was not in the list.

Mark Coyne – CenturyLink indicated that in the definition, Ethernet was identified.

Susan Lorence – CenturyLink added that CenturyLink can revise the Change Request to include it and asked Chad if he felt documents on the review site should be updated. She added that the final notice could include information.

Chad Warner – Verizon indicated that he just wanted to make sure it did not get lost along the way since it was part of the request.

Susan Lorence – CenturyLink stated that Anne Robberson from CenturyLink was on the call and asked if she had any updates.

Anne Robberson – CenturyLink stated that the spreadsheet missing from the review site provided timelines. The Phase 1 piece is scheduled to into effect on August 31, 2012. The Ethernet piece requires internal process changes and hopes for an end of year deployment.

Liz Tierney – Megapath Inc. asked if the LSR/ASR request would generate an FOC and then someone would manually provide the information.

Anne Robberson – CenturyLink stated that the FOCs would remain manually processed.

Kim Isaacs – Integra asked for clarification that this process was for ASR only.

Anne Robberson – CenturyLink confirmed that was correct.

June 20, 2012 System CMP Meeting Mark Coyne – CenturyLink stated that this CR was presented in the May meeting. On June 13, 2012, CenturyLink provided the CenturyLink response to Verizon that identified that during evaluation it was determined that the best solution would be a Product/Process change. CenturyLink proposed that the CR be crossed over from Systems to Product/Process. Mark asked if Chad had anything to add.

Chad Warner – Verizon stated there had been some email exchanges regarding Ethernet being included in a Phase 2 and wanted confirmation.

Mark Coyne – CenturyLink stated that was true.

Susan Lorence – CenturyLink added that no revisions were required to the CR.


CenturyLink Response

CenturyLink DRAFT Response

June 13, 2012 Chad Warner, Verizon Tom Priday, Verizon

SUBJECT: CR # SCR050812-2 Informed Firm Order Commitment (FOC) with Detailed Build Interval Information in REMARKS

This letter is in response to Verizon’s Change Request (CR) SCR050812-2, Informed Firm Order Commitment (FOC) with Detailed Build Interval Information in REMARKS.

This CR requests that CenturyLink provide an informed FOC and identify delivery intervals where a build is required within nine business days for DS1, DS3, and OCn services and to provide the details in the REMARKS field of the FOC.

CenturyLink is accepting this CR and is currently working on developing the solution. CenturyLink believes this CR will not require a system solution from a CLEC perspective and would like to cross this CR over to a Product Process change request during the June CMP meeting. As such, this CR SCR050812-2 will be closed and CenturyLink will open CR PC050812-2X on Verizon’s behalf with a reference to the original system CR.

Based upon CenturyLink’s understanding of the scope of this CR, CenturyLink views the implementation of this CR as a Level 3, “change in process” and will follow that timeline to implement the solution. CenturyLink is considering a phased implementation for this change request with DS1, DS3, and OCn services provided in a Phase 1 roll-out with Metro Ethernet services roll-out during Phase 2 at a later date. CenturyLink proposes that Verizon modify their CR to include Metro Ethernet services.

CenturyLink will seek concurrence for this approach at the June Monthly Product & Process CMP meeting.

Sincerely, Susan Lorence CenturyLink CR Project Manager


Open Product/Process CR 4185985 Detail

 
Title: US West policy on a 2000 circuit limitation per Billing Account Number (BAN)
CR Number Current Status
Date
Area Impacted Products Impacted

4185985 Completed
2/21/2002
BAN Billing Interface
Originator: Rodriguez, Cecilia
Originator Company Name: WorldCom
Owner: Routh, Mark
Director:
CR PM: Routh, Mark

Description Of Change

US West has set a 2000 circuit limitation per Billing Account Number (BAN), for each US West region. This restriction places the burden on MCI Worldcom to develop functionality within it’s facility based systems, in order to maintain and manage multiple BAN’s per end user account for unbundled loops. MCIWORLDCOMs change request will impact unbundled loop orders.


Status History

10/12/99 Received and validated CR. Sent email to Eric Bransky informing him of the CR log#, Status of New – To be industry evaluated, and mentioned to him to be prepared to present the CR at the next industry team meeting for IMA OSS interfaces on 11/11/99. Copied Account Management on email.11/02/99 Updated form to Version 03 and added in CICMP Manager Section “Prioritization Process Category” types and selected Common per Co-Provider Industry Issue/Action #34. Sent email to Carol Beaupre – CR Manager informing her of the addition and attached revised CR.

11/04/99 Eric resubmitted CR with additional information. Request clarification was sent to and responded by Eric Bransky. Status "New - To be industry evaluated"

11/08/99 Sent email to Eric Bransky and Carol Beaupre with CR and status of "New -- To be industry reviewed".11/11/99 CR industry reviewed and prioritized.

11/15/99 CR resubmitted with changes from industry meeting

11/18/99 Status change to “Evaluated – To be reviewed, industry prioritization level and priority number. Sent email to Carol Beaupre on CR changes.

12/03/99 Status update Reviewed – Under consideration and sent email to Carol Beaupre on status.

12/29/99 Received resubmitted CR with new submitter and named products/services. Sent email to Liz Balvin on receipt and updated CR to be web posted on 01/03/00.

11/13/00 Changed priority level. Sent email to Liz Balvin.

01/24/00 T-shirt size and option provided at industry team meeting.

02/01/00 Sent email to Liz on CR form version 04 update.

04/19/00 Status Hold to be reviewed in 6 months (10/00) agreed to by the Co-Provider Industry Team

05/01/00 Sent email to Liz and Scott Sparks on CR status.

10/18/00 Status changed to Reviewed – Under consideration.

11/08/00 Sent email to Liz Balvin with updated CR.

11/15/00 T-Shirt Sizes Medium and Large and Options provided in CICMP meeting. Eligible for industry prioritization.

12/01/00 Sent email to Liz Balvin with the updated CR.


Project Meetings


CenturyLink Response

Option 1: Medium T-Shirt Size, Qwest could provide an email message to the Co-Provider when a BAN is close to reaching the 2000 circuit limitation. The message would be emailed to the same address as the Completion Loss Reports.

Option 2: Large T-Shirt Size, Qwest could provide an electronic transaction to the Co-Provider when a customer's BAN is close to reaching the 2000 circuit limitation.

2/11/02 - The 10K table holds a record of updates (basically service order activity) against an account. When you get more than 2K TNs on a BAN, the likelyhood of having >10K activities against the account go up. The 2K is not a hard limit, it is just a cautious limit. The table can not be expanded so Qwest will provide Option 1 as the solution to this request. Qwest will however provide the CLECs with an e-mail notification when the 2000 TN limit is close to being reached.


Open Product/Process CR PC062802-1CM Detail

 
Title: Modify Prioritization Process for SATE Production Mirroring
CR Number Current Status
Date
Area Impacted Products Impacted

PC062802-1CM Withdrawn
7/18/2002
Other: CMP/SATE
Originator: Hines, LeiLani
Originator Company Name: WorldCom
Owner: Maher, Jim
Director:
CR PM: Thomte, Kit

Description Of Change

Per Qwest direction resulting from an AZ TAG Meeting discussion on the Draft PO-19B, this CR is being submitted to request a change in the execution of the CMP CR Prioritization and Ranking processes as Qwest has explained them to exist. Section 10.2 "Prioritization" of the redlined CMP Redesign document states that the prioritization and ranking process is applied to change requests for OSS interfaces as well as change requests for the test environment. Section 10.2 further explains how a voting and ranking process follows a Prioritization Review held during a CMP meeting to produce an Initial Prioritization List. Qwest has verbally represented in the AZ TAG, that this voting and ranking process (of proposed OSS system changes and test environment changes) would also be carried out in the SATE Users Group forum. Qwest has recently explained that, consequently, the prioritization process in the CMP and SATE Users Group forums could produce different outcomes which would cause not all functionality planned for implementation in production (as determined by the prioritized CRs selected for the future IMA release) to be, likewise, implemented in the test environment.

Therefore this CR requests that the CMP Prioritization process for an IMA release not include proposed test environment changes; so that the CR prioritization for an IMA release in production is what's used for implementing that IMA release in the test environment-SATE. Additionally, this CR requests that proposed test environment changes be managed separately from OSS interface changes ensuring that test environment specific changes do not prevent the implementation of IMA Release CRs in the SATE.


Status History

06/27/02 - CR Submitted by WorldCom

06/28/02 - CR acknowledged by P/P CMP Manager.

07/01/02 - CR Posted to Web

07/01/02 - Qwest requested Worlcoms proposed language

07/17/02 - CR was "Withdrawn" based on discussion that took place in the July Product and Process CMP monthly meeting further information is available ath the CMP web site in the meeting minutes


Project Meetings

Qwest CMP -- Additional Information Required for Change to CMP Framework PC062802-1CM

LeiLani,

As indicated in the acknowledgement sent on Friday, June 28, Qwest has received your proposed modification to the CMP framework (PC062802-1CM).

In accordance with "Managing the Change Management Process Document" (section 2.1 of the Qwest Wholesale Change Management Process Document) Qwest is requesting that WorldCom provide specifics on the proposed modification to the Qwest Wholesale Change Management Process Document. Specifically, what section (or sections) of the document are to be changed and what is the proposed language to be added or altered. If you could please provide the proposed redlined language Qwest can ensure that complete information is included in the Distribution Package for the July Monthly Product & Product CMP Meeting.

If you should have any questions, please don't hesitate to contact me or the CRPM assigned to this proposed modification to the CMP framework.

Sincerely,

Michael Buck Qwest Communications, Inc. CMP Manager


Open Product/Process CR PC050703-2 Detail

 
Title: Supplemental Routing Form Process
CR Number Current Status
Date
Area Impacted Products Impacted

PC050703-2 Completed
8/20/2003
NPA-NXX Routing Group, Tandem & Local Switching LIS / Interconnect
Originator: Kiesbuy, Shawna
Originator Company Name: XO Communication
Owner: Moffatt, Connee
Director:
CR PM: Harlan, Cindy

Description Of Change

Qwest should route codes based on the LERG and TG ECCKT. CLEC should not have to submit forms to tell Qwest how to route CLEC codes. The current process is run via e-mail and 100% of the accountability falls on the shoulders of the CLEC to ensure that the Qwest dialtone customers can originate calls destined for the CLEC.

Expected Deliverable:

If Qwest chooses not to route on the LERG and TG ECCKTs, then the current Supplemental Routing Form Process should be modified. CLECs should receive notification of receipt of the Supplemental Routing form by Qwest and should also receive an FOC stating when the routing change will occur. CLECs Traffic Engineering management should be allowed a single point of contact within the Qwest routing team in order to improve communications, answer questions and escalate when appropriate.


Status History

05/07/03 - CR Submitted

05/08/03 - CR Acknowledged

5/13/03 - LWTC for Shawna to schedule clarification meeting

5/14/03 - Scheduled Clarification Call for 5/15

5/15/03 - Held Clarification Call

5/21/03 - May CMP Meeting Minutes will be posted to the database

6/18/03 - June CMP Meeting Minutes will be posted to the database

7/16/03 - July CMP Meeting Minutes will be posted to the database

8/20/03 - August CMP Meeting Minutes will be posted to the database


Project Meetings

August CMP Meeting Minutes - Connee Moffatt-Qwest advised the new form is implemented and XO agreed to close this CR. We have asked XO if they have any issues or concerns via voice and email messages. We advised XO we will be closing this CR in August. The CLEC community agreed to close this CR.

July CMP Meeting Minutes - Cindy Macy – Qwest advised this CR was issued by XO Communications. The form has been updated and posted to the web site for review. The comment cycle ended and the form is implemented. I have talked with and passed messages to XO Communications and advised them we will move this CR to CLEC Test in July and move to close the CR in August.

June CMP Meeting Minutes - Connee Moffatt – Qwest reviewed the response. Connee advised the comment cycle ended June 16 and the updates will be implemented July 1. Connee requested this CR be moved to Development. Cindy Macy – Qwest will follow up with XO Communications as they were unable to attend this meeting.

May CMP Meeting Minutes - Cindy Macy-Qwest advised XO Communications issued this CR. During the Clarification Call Qwest reviewed the CMP process and next steps with Shawna Kiesbuy from XO Communications. Shawna was not available to attend the May CMP meeting but provided another person’s name from XO Communications to present the CR. The meeting ran long so the back up person from XO Communications was not available. Instead, Cindy – Qwest reviewed the CR with the CLEC community. No additional questions were asked

Clarification Meeting May 15, 2003 1-877-572-8687 3393947#

PC050703-2 Supplemental Routing Form Attendees Connie Might – Qwest Jan Dimmest – Qwest Shawn Kiesbuy – XO Communications Cindy Macy - Qwest

Meeting Agenda: 1.0 Introduction of Attendees Attendees introduced

2.0 Review Requested (Description of) Change Shawna reviewed the CR. Shawna advised this is the first time she has submitted a CR form so she wanted us to be aware. Cindy explained the CMP process / next steps at a high level to help all attendees understand. Shawna advised she has been working with routing forms/processes for 6 years. She rarely receives confirmation or notification that Qwest received the form and that we are working on it or that the routing is completed. XO feels as if the form gets lost in the black hole and they know if the routing has been done when traffic starts going across the network. XO deals with many LECs and all other LECs use the LERG for routing. They do not require a form. XO is not suggesting that Qwest eliminate the form, but they would like confirmation and a point of contact to discuss questions and issues. There is confusion around the process as at times the Service Manager has advised XO to issue a trouble ticket if the routing does not happen, and XO calls to do that they have been told to issue an ASR. XO advised there is bad communication internally with Qwest and externally. Connie – Qwest asked if it would help if we provided a contact name and communicated information about the request. Shawn advised yes. Shawn advised they would like to get a point of contact, confirmation that the request was received, and information regarding when the request will be completed. A contact in the routing group would be good, as it seems the Service manager is a go-between. Shawna advised she feels bad bothering the SM with all her questions. Shawna advised they are told it is a 25-day interval and it that doesn’t happen then they should contact their SM. Jan advised the CM is the point of contact.

3.0 Confirm Areas & Products Impacted NPA-NXX Routing Group Tandem Switching Local Switching LIS

4.0 Confirm Right Personnel Involved Yes – Qwest agreed additional personnel should be involved in the internal meetings. Such as Deb Doty, Keiko Petty, Lashon Vincent, Dave Garner, Patty Slavings

5.0 Identify/Confirm CLEC’s Expectation Shawna advised they would like to get a point of contact, confirmation that the request was received, and information regarding when the request will be completed.

6.0 Identify any Dependent Systems Change Requests none

7.0 Establish Action Plan (Resolution Time Frame) XO Communicatins will present the CR at the May CMP Meeting Qwest will contact Jean Dukovich at XO the day/time of the meeting at 509-444-8504 Qwest will provide our Response at the June CMP Meeting


CenturyLink Response

For Review by the CLEC Community and Discussion at the June 18, 2003 CMP Product Process Meeting

June 11, 2003

Shawna Kiesbuy Traffic Engineering Manager XO Communications

SUBJECT: Qwest’s Change Request Response – CR #PC050703-2 Supplemental Routing form Process

This letter is in response to your CLEC Change Request PC050703-2 dated May 7, 2003. This CR requests that if Qwest chooses not to route on the LERG and TG ECCKTs then the current Supplemental Routing Form Process should be modified. CLECs should receive notification of receipt of the Supplemental Routing form by Qwest and should also receive an FOC stating when the routing change will occur. CLECs Traffic Engineering management should be allowed a single point of contact with in the Qwest routing team in order to improve communications, answer questions and escalate when appropriate.

Qwest accepts all requests on this CR and provides the following response: - Single Point of Contact: The single point of contact is currently, and should continue to be your Service Manager. This will be stated both in the PCAT under the “Contacts” section and at end of the Supplemental Routing Form (now called the Code Routing Request form or CORR).

- Confirmation that the request was received: The new CORR form and process will include that an email will be sent to the email address provided on the CORR form by the CLEC acknowledging receipt of the CORR form. This will be identified on the form in the field “Date Received by Qwest Routing”.

- Information regarding when the request will be completed: The new CORR form and process will include that an email will be sent to the email address provided on the CORR form by the CLEC with the activation due date. This will be identified on the form in the field “Requested Activation Date”.

The revised CORR form and PCAT will be posted for review within 30 days and can be accessed at www.qwest.com/wholesale/pcat/phonenumbers.html, under Qwest NPA-NXX Code Activation Process click on “NPA NXX Code Request Routing Form.”

Sincerely,

Connee Moffatt Staff Advocate Policy & Law

cc: Mary Retka, Jamal Boudhaouia


Open Product/Process CR PC050812-1X Detail

 
Title: CenturyLink’s recognition of to be decommissioned copper routes. (Crossed over to SCR050812 1X)
CR Number Current Status
Date
Area Impacted Products Impacted

PC050812-1X Crossover
6/20/2012
Pre-Ordering, Ordering, Provisioning Loop, UNE-P, EEL
Originator: Ivanuska, John
Originator Company Name: XO Communication
Owner: Boudhaouia, Jamal
Director:
CR PM: Lorence, Susan

Description Of Change

CenturyLink does not recognize the “to-be-decommissioned” status of copper outside plant in its pre-ordering and ordering systems. The lack of “to-be-decommissioned” status in the CenturyLink systems has resulted in CenturyLink placing customers on circuits that are pending removal. This threatens to disrupt service, impacting CenturyLink, the ordering CLEC, and, most importantly, the end user customer.

The most recent example of a failed process involved copper retirement which was announced in CenturyLink’s Network Disclosure Announcement #751 and impacted a senior living facility in Minnesota (“Customer”) which was served via copper loop facilities. Disclosure #751 established the planned retirement date of July 13, 2011 for copper facilities which were subsequently used by CenturyLink to provision service to the Customer. After receipt of Disclosure #751 and prior to the announced retirement date, XO found alternative service arrangements for several customers then served by the copper facilities subject to the planned retirement.

With respect to the Customer, the copper loop facilities needed to provide service weren’t placed into service by CenturyLink until November 3, 2011 – nearly 4 months after the planned copper retirement date about which CenturyLink had notified XO via notice #751. XO received no notice from CenturyLink that such retirement had been substantially delayed. Based on the above, XO had reasonably concluded that the facilities subject to notice #751 had been retired in July as CenturyLink’s notice indicated. The fact that CenturyLink provisioned the copper facilities to Customer in November clearly demonstrates that CenturyLink’s systems showed copper facilities were available to Customer’s premises when ordered and that even CenturyLink personnel weren’t aware that the facilities were about to be disconnected.

On January 25, 2012, XO was notified by CenturyLink that the copper facilities serving the Customer were about to be removed by construction crews. CenturyLink and XO had to take extraordinary measures in a short period of time and incur significant costs in order to delay removal of the copper and prevent a service disruption to the Customer while an alternative means of service provision was identified and put in place.

The recent experience described above makes abundantly clear that CenturyLink needs to expeditiously update its pre ordering and ordering systems to accurately show copper facilities noticed for retirement , thus avoiding threats to customer service and the imposition of significant costs. XO sought to participate in a cooperative evaluation and modification of CenturyLink’s systems, which CenturyLink refused to do. Instead, CenturyLink invited XO to request a process change by following the CMP process located at: http://www.centurylink.com/wholesale/cmp/


Status History


Project Meetings

06/20/2012 CMP Prod/Proc Meeting Mark Coyne - CenturyLink stated that John Ivanuska from XO Communications presented the CR in the May meeting. A clarification call was held May 16, 2012. Mark read the CenturyLink response that was sent June 13, 2012 that CenturyLink has determined that the best solution for this CR is a systems change. CenturyLink has proposed that this CR be closed and a system crossover CR be opened. That new CR number will be SCR050812-1X. CenturyLink’s evaluation of the CR is ongoing.

Kim Isaacs – Integra asked when the ad hoc calls were anticipated.

Mark Coyne – CenturyLink stated that no date has been set and when they are scheduled, an announcement would be made. Mark asked if John had any other comments. John Ivanuska – XO Communications said he was fine with the approach and looked forward to the ad hoc calls.

5/16/2012 CMP CR Clarification call Attendees: John Ivanuska – XO Communications, Liz Tierney – Megapath, Kim Isaacs – Integra, Cindy Buckmaster – CenturyLink, Jeff Ruckel – CenturyLink, Shon Higer – CenturyLink, Lori Burchett – CenturyLink, Jamal Boudhaouia – CenturyLink , Denise Martinez – CenturyLink, Clinton Maurice – CenturyLink, Michelle Faamausili - CenturyLink, Rita Urevig – CenturyLink, Mark Coyne -CenturyLink, John Hansen - CenturyLink, Susan Lorence - CenturyLink

Susan Lorence – CenturyLink took attendance and asked John Ivanuska - XO Communications to give an overview of his Change Request (CR). She recapped the reason for the CMP clarification call.

John Ivanuska – XO Communications relayed the contents of his CR. The CR as currently written states the orders placed on a route to be decommissioned would be rejected. He said it would be possible to expand the discussion but he wanted to know the construction timeline. John said he thought that currently there was no designation in CenturyLink systems that would stop an order placed on a decommissioned route.

Susan Lorence – CenturyLink then asked Kim Isaacs - Integra to explain the modification that she had asked for in the earlier CMP monthly call.

Kim Isaacs – Integra stated that the reject is fine but that her modification would allow the ability to override a reject if necessary on the short term. For example, if a customer was ordering a service that was delayed and needed a copper facility for the short term until the requested service was available and before the decommissioning of the copper.

Jamal Boudhaouia – CenturyLink stated that John Ivanuska had mentioned that he didn’t have visibility to the CenturyLink systems and asked him to elaborate.

John Ivanuska – XO Communications clarified that he did have access to IMA but didn’t know which CenturyLink systems would need to be updated since he thought there was no designation to support this CR.

Jamal Boudhaouia – CenturyLink said that is correct, it is not in IMA or the Raw Loop Data tool.

Liz Tierney – Megapath asked for clarification as to the level of the rejection and whether it would be at the Serving Wire Center (SWC) level. Liz said she could provide examples of where there was a retirement and not all end users were impacted.

Jamal Boudhaouia – CenturyLink replied that the decommissioning would be down to the crossbox level and not the SWC level.

Kim Isaacs – Integra asked for confirmation that the rejects would happen on services that were dependent on the copper loop to be decommissioned.

Jamal Boudhaouia – CenturyLink replied that any service that required a copper loop would be rejected.

Kim Isaacs – Integra asked if a voice grade circuit riding on copper would be impacted by a copper retirement.

Jamal Boudhaouia – CenturyLink replied that CenturyLink just changed the technology so it would not be impacted.

Kim Isaacs – Integra asked if her order would be rejected if she orders a voice grade loop in an area pending copper retirement, since CenturyLink can change the technology.

Jamal Boudhaouia – CenturyLink said he would have to check with developers but thought that would be part of the requirement.

Kim Isaacs – Integra asked if there was agreement from those on the call that CenturyLink would not reject any order that was not impacted by the copper retirement.

John Ivanuska – XO Communications agreed.

Susan Lorence – CenturyLink summarized by stating that the orders to receive a reject were the orders directly impacted by the copper retirement.

Kim Isaacs – Integra confirmed that it was the orders that would have to be disconnected when the copper was decommissioned.

Jamal Boudhaouia – CenturyLink said CenturyLink would not want to restrict a CLECs opportunity to order a loop that was not impacted.

Liz Tierney – Megapath asked if pre-qualification would be enhanced with this CR so the customer would not get to provisioning or would the CR need to be expanded?

Susan Lorence – CenturyLink stated that currently the CR was a Product/Process CR and that it might need to cross over to a Systems CR depending on what CenturyLink SMEs are thinking.

Cindy Buckmaster – CenturyLink stated we needed to talk internally. She said CenturyLink may be doing something wrong as decommissioning should not impact end users and maybe we can just get that fixed. She said if CenturyLink had offered loops in the facility, the CLEC would still have the loops.

Kim Isaacs – Integra said no, xDSL wouldn’t work if the copper is pulled.

Cindy Buckmaster – CenturyLink replied that she wasn’t involved in xDSL issues but that we needed to work internally to see what gaps exist before we decide to crossover the CR to systems.

Susan Lorence – CenturyLink stated that she agreed that we need to evaluate the CR to determine impacts. If there are system changes required, we would cross it over to a Systems CR but that will be a longer timeline than a product/process change.

Liz Tierney – Megapath asked if she needed to submit a System CR to get the information at the pre-qualification level.

Susan Lorence – CenturyLink stated that she felt that would be true if this CR remains a Product/Process change with no impact to systems. If that was the case, a System CR would be required to make a pre-qual change.

Liz Tierney – Megapath said OK.

John Ivanuska – XO Communications indicated that he was in agreement.

Susan Lorence – CenturyLink asked if there were any other questions for John Ivanuska regarding his Change Request. There were none.

John Ivanuska – XO Communications asked what the timeline on the response would be.

Susan Lorence – CenturyLink stated that CenturyLink had a couple of weeks to get the response together and that it should be before the next CMP Meeting.

There was further discussion in regard to whether the examples that Liz Tierney – Megapath was going to send were needed. It was determined they were not.

The call was concluded at 11:22AM MT.

05/16/2012 CMP Prod Proc Meeting John Ivanuska - XO Communications presented the proposed change as included in the CR.

Liz Tierney – MegaPath said she supported this CR and has had similar issues which is not a good place to be in with the end user.

Kim Isaacs – Integra said she supported the concept of this CR but asked if XO Communications would be open to a modification (5/25/12 Updates received from Integra in CAPS) IF THE ORDER WAS ON A COPPER FACILITY. Kim asked if the order reject could be over ridden depending if the request was for a short or longer term facility.

John Ivanuska - XO Communications said there would not be a problem for a modification but he wanted the order reject made clear up front if the route was going to be decommissioned. He said if there was a need on the short term for the facility, he was OK with that flexibility.

Bonnie Johnson – Minnesota Department of Commerce said she supported the CR and agreed with the caveat Integra presented. If there was a job a year down the road, there was a need to allow the CLEC to override the reject for a short term.

Susan Lorence - CenturyLink said there is a clarification call with CenturyLink SMEs scheduled for Wednesday, May 16, 2012 at 11 AM to review the CR.

Jamal Boudhaouia - CenturyLink said CenturyLink would determine the feasibility of the CR and that on face value it is doable. Jamal said there needed to be a common understanding on what the CR is asking for and there may be a need for another CR depending on what is being asked for and the type of facility.

Kim Isaacs - Integra asked if the reject would include voice grade loops that may not be impacted by a copper retirement.

Jamal Boudhaouia - CenturyLink said the impact is to the copper loop CO to the end user premise.

Liz Tierney – MegaPath said the copper retirement is at the distribution level and asked if Jamal was saying that CenturyLink could not implement a process at that level.

Jamal Boudhaouia - CenturyLink said he has not seen examples that say that the F1 facilities are going away but there could be examples of that.

Liz Tierney – MegaPath said she has examples where the retirement is not at the CLLI level and will try to send them before the clarification call.

Mark Coyne – CenturyLink said to send them to the CMPCR mailbox and said that this is the kind of discussion that will be included in the CR clarification call.

Kim Isaacs - Integra asked why the CR was a Product Process CR vs. a system CR and whether the rejects will be manual.

Mark Coyne – CenturyLink said that will be addressed on the clarification call.


CenturyLink Response

CenturyLink DRAFT Response

June 13, 2012

John Ivanuska, XO Communications

SUBJECT: CR # PC050812-1 CenturyLink’s recognition of to be decommissioned copper routes

This letter is in response to XO’s Change Request (CR) PC050812-1,CenturyLink’s recognition of to be decommissioned copper routes. This CR requests that CenturyLink reject orders that are placed on a route that is to be decommissioned.

During the Clarification call held on May 16, 2012, there was some discussion that there could be a CenturyLink process issue that was causing this to be a problem. After further investigation, that is not the case. CenturyLink processes and systems associated with tracking copper retirement are working as designed. Furthermore, during the Clarification call, Integra proposed a revision to the CR that an order could be placed on an exception basis if a CLEC has a need for an unbundled copper loop on a temporary basis.

The SME team has been reviewing potential solutions and believes that the most efficient approach for a solution to this CR will require a system change since orders are placed through IMA. Thus, CenturyLink proposes that this CR cross over to a system CR during the June CMP meeting. As such, this CR PC050812-1 will be closed and CenturyLink will open CR SCR050812-1X on XO’s behalf with a reference to the original product process CR.

CenturyLink is continuing to evaluate the possible options for a system solution and hopes to schedule an ad hoc call in the near future to present the proposed solution.

Sincerely, Susan Lorence CenturyLink CR Project Manager


Information Current as of 1/11/2021